Title: Basel 2: The end of the beginning.
1Basel 2 The end of the beginning.
2Basel 2 in the EU and USA
- EU Capital Requirements Directive (CRD aka CAD
3/RBCD) The EU implementation of Basel 2 - Extends Basel requirements to credit institutions
investment firms, not directive as to approach
- up to each bank - Live now - for SA and FIRB, AIRB next year
- Includes a great deal of prescription on controls
- USA Congressional oversight over federal agency
rule making powers. Political issues - hence
still at the drafting stage - Proposing mandatory Basel 2 AIRB only option for
core/opt-in (250bn total assets or 10bn foreign
exposure) and Basel 1A for all other banks - BUT.still seeking views on smaller banks vs.
bigger banks - Basel 1, Basel 1A, Basel 2 AIRB,
Basel 2 Standardised - Time now very tight for January 2009 start
3Basel 2 Timeline - where we are now
CRD Agreed
Implementation through EU legislatures
Target end of decision making on UK applications
Jan Start of Parallel Run
EU start date AIRB
EU start date SA , FIRB, retail AIRB
implementation
EU
2005
2006
2007
2008
2009
Q3 Draft B2 NPR
US start date for implementation
Start of parallel run for core/opt-in banks
USA
Q3 Draft B1A NPR
March 26 Comments on NPRs close
AT RISK
4Illustrative IRB Impact on Capital - PD LGD
driven
- B1/B2 benchmark c1 PD, LGD of c.45, maturity
of 2.5 years - NB NOT including capital floors, EL charge, op
risk, or pillar 2
Price increase?
Capital change within 10
Price reduction pressure?
5But pricing impacts are uncertain
- Pragmatic implementation approach by supervisors
means uncertainty in the early years. E.g. UK FSA
may - Require FSA consent before later roll out to
certain portfolios - Require delayed roll out of portfolios with
shortcomings - Apply more conservative parameters in Pillar 1
- Apply a bespoke capital buffer or multiplier to
models in Pillar 1 - Apply a capital floor to a particular model.
- What to do with portfolio level charges for
credit expected loss, op risk, and pillar 2? - Banks manage to a different capital requirements
than the regulatory minimum anyway
6LGD - future opportunities
- LGD - observations still very low without data
pooling (with little to no downturn measurement) - Loss data sharing will become more important -
e.g. Pan European Credit Data Consortium
(www.pecdc.org) - Lending policies and internal policies on default
management will become much more important - they
will be the basis of adjustment/interpretation of
pooled data - likely to be increasingly
controlled - Credit Risk Mitigation recognition requirements -
AIRB Banks must be generally consistent with
these, FIRB banks and SA must be completely
compliant. Control infrastructure requires
upgrade in order to support CRM recognition in
LGD
7EAD - future opportunities
- EAD Current balance () (Remaining Drawing
Capacity () x Conversion Factor ()) -
- Could be the parameter that makes the most
difference between banks - Not as well understood across the industry
- Little consensus on how it should be done, or
what drivers should referenced - It is THE fundamental building block of the
calculation - affects the calculation of LGD AND
is a multiplier in the calculation BUT there is
virtually nothing written about it - For example, it determines when there is an
exposure to measure.
8What does Basel 1 say about when exposure starts?
- An exposure exists 30 days after offering a
facility to a customer
9What does Basel 2 (and the CRD) say about
exposure?
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10EAD - a principles based approach
- Principle 1 A firm should treat a facility as
an exposure from the earliest date at which a
customer is able to make drawings under it. - Principle 2 Where a customer can draw without
reference a conversion factor is required - Principle 3 Where a bank can control drawing a
conversion factor is not required - Zero can be the right answer - e.g. creditor
accounts, unadvised/marketing lines, potential
excesses - Conditional drawings where conditions are not met
- CF based on potential drawing over next 12
months or zero if the bank has option to decline - Contingent obligations - based on probability of
line capacity being drawn (through issuance) x
probability of claim (against issued)
11EAD Impact
- Banks with strong systems and controls can make
cases for lower CCFs - Unadvised lines attractive from capital
perspective - but not from risk perspective - Conditional drawings more attractive - not just
to manage risk - Only banks which can control conditionality can
benefit - Controls will have to recognise draw
conditionality, fulfilment and timing - Greater use of conditions in order to create
regulatory firebreaks - Contingent obligations - likely to require
further investment in systems and data capture to
better understand P(Use) vs. P(Claim)
12EAD conclusion
- Not just about modelling, the benefits rely on
the control framework - Stronger transparent well documented control
frameworks will allow more flexibility - Have to accept more prescription, perhaps less
flexibility - May bring pillar 2 benefits as well
- Probably not an issue in the short term - but
next 3 years these issues are going to become
ever more important - Transforms far more than the capital calculation
rules - and this is of course intended
Far from the only issue 1st January 2007 not the
end of Basel 2 ..rather the end of the beginning