Title: Enhancing Deposit Protection in Hong Kong
1Enhancing Deposit Protection in Hong Kong
- David Carse
- Hong Kong Monetary Authority
- 11 July 2002
2Objectives
- Explain the thinking behind the decision to
introduce deposit insurance in Hong Kong - Describe the main design features of the proposed
scheme and the rationale for these
3Why introduce deposit insurance?
- Hong Kongs banking system is robust and our
supervision is generally regarded as effective - But we cannot say that banks will never fail
- We should have contingency plans in place in case
they do - Avoids the need to improvise in a crisis
- Should mitigate the risk of rumour-driven runs
4Objectives of deposit insurance
- A deposit insurance scheme (DIS) should help to
meet the following objectives - - provide an orderly means of compensating small
depositors if a bank fails - reduce the probability of failure by reducing the
risk of rumour-driven runs - reduce fall-out effects if failure does occur
- define more clearly the role and extent of
government support in protecting depositors
5The current arrangements
- No DIS
- Depositors have priority of up to HK100,000 in a
liquidation - This has certain limitations -
- no certainty of full payment of priority claims
- uncertain timing of payment
- lack of pre-determined contingency plan
- Current arrangements lack liquidity and
credibility
6Overview of the proposed arrangements
- Adding liquidity back-up to the current scheme
- DIS undertakes to compensate depositors (up to
predetermined limit) if the bank fails - DIS steps into the shoes of the depositor as a
priority creditor - DIS Fund is there to meet possible shortfall loss
and funding costs (prior to repayment by
liquidator)
7The history so far
- KPMG Strategic Review of the banking sector (Dec
1998) - AA Consultancy Study on Deposit Protection (July
2000) - 1st Public Consultation on concept (Oct 2000)
- Approval by Exco (April 2001)
- 2nd Public Consultation on details (March 2002)
8Issues arising during the consultation
- Is it necessary?
- Why should large banks pay for something they
wont need? - Cost
- Moral hazard
9Moral hazard (1)
- Acknowledged to be a potential risk with deposit
insurance - Irresponsible behaviour by banks/depositors could
give rise to increased systemic risk - But research findings on this are mixed
- Depends on the design of individual schemes and
the institutional environment
10Moral hazard (2)
- Some studies (e.g Demirguc-Kunt and Detragiache)
argue that deposit insurance increases the risk
of banking crisis - Others (e.g Eichengreen and Arteta) suggest that
there is just as much evidence of a stabilising
influence through reduction in depositor panic - ECB study (Gropp and Vesala) finds strong
evidence that the introduction of explicit
deposit insurance reduces moral hazard
11Moral hazard (3)
- Despite the different views, we agree that we
need to contain moral hazard - Try to achieve this through -
- effective regulation and supervision
- avoidance of over-generous compensation
- differential premium
- financial disclosure that encourages market
discipline
12Guiding principles for system design
- Dont try to protect against systemic crisis
- Keep it simple
- Keep it aligned with DIS objectives
- Keep it cheap
13Key design features membership
- Participation by banks would be mandatory
- Foreign banks in Hong Kong would be included -
- because of their significant presence in the
retail deposit market - Deposits in foreign branches of Hong Kong banks
would not be covered
14Key design features coverage
- Coverage would be kept low -
- up to HK100,000 (US12,800)
- coverage of about 84 of depositors by number but
only 16 of deposits by value - lower cost and would also leave room for market
discipline - Eligible claims paid in full (no co-insurance
because of low coverage limit) - Foreign currency deposits would be covered
- Interbank and connected deposits excluded
15Key design features netting
- Original preference was to pay depositors as much
as possible on a gross basis - - only partial netting of the liabilities of the
depositor of the bank against his claims on the
bank - better meets liquidity needs of depositors
- However, this conflicts with current insolvency
rules (no appetite to change these) - - would lead to increased losses by DIS from
potential mismatch between amount paid out to
depositors and amount due from liquidator - Therefore, we now intend to adopt policy of full
netting of liabilities against claims
16Key design features funding (1)
- Funded by the banks
- Build up a small fund in advance (ex ante)
- help bolster depositor confidence by speedy
payout through having a ready pool of funds - avoid raising bulk of funds after failure (ex
post) when banking sector is already weak - banks that fail have contributed to the fund
- favoured by banks as they can plan and budget for
annual contribution costs
17Key design features funding (2)
- Distinguish between capital and liquidity needs
of the DIS - Capital adequate to cover potential losses caused
by- - recovery shortfall i.e. inability to recover
amounts paid from the estate of the failed bank - finance costs for the period until funds
recovered from the estate - Liquidity required to fund payout to depositors
would be provided by a separate back-up facility
(from Exchange Fund)
18Key design features funding (3)
- Initial target for fund size HK1.5 billion
(0.3 of deposits) - Based on Monte Carlo simulation (10,000
iterations) - 99.8 confidence interval (BBB-rating)
- Sufficient to meet failure of 2 medium size banks
- Built up over 5 years
- Provision for rebates and surcharges to keep fund
within target range
19Key design features premium (1)
- Initial premium would be set initially at a level
sufficient to build up the capital of the fund in
5 years - - central rate of 8 basis points would be paid by
most banks - differential premiums based on CAMEL rating
- Reduce the premium (central rate of 1 basis
point) to cover only expected annual loss once
fund reaches target level
20Key design features premium (2)
21Key design features status of the DIS (1)
- DIS would be established as a statutory Board
with majority of lay members - It would operate only as a paybox, not as a
separate regulator - - small size of Hong Kong market does not support a
separate body that also regulates the banks - comparative rarity of bank failures does not sit
well with having a large risk minimising machinery
22Key design features status of the DIS (2)
- Functions of the Board would be to
- collect premiums
- manage the fund
- make payouts to depositors
- claim in a liquidation as a priority creditor
- The functions and power would be captured in
legislation - HKMA would be continue to be the sole regulator
of the banking sector
23Key design features trigger criteria
- Payout by DIS would be triggered if -
- winding up order made, OR
- a Manager under the Banking Ordinance or
provisional liquidator appointed, AND - MA notifies the Board that payout should be
triggered because bank is likely to become unable
to meet its obligations or is insolvent - Thus, Board cannot unilaterally trigger payout
(consistent with paybox role)
24Key design features Board and HKMA (1)
- Proposed structure of the safety net -
- HKMA bank regulator and Lender of Last Resort
(LOLR) - Board deposit insurer
- As already noted, need for clear division of
responsibilities to be enshrined in law (e.g. as
regards who triggers payout) - In practice, the Board may delegate some of its
administrative responsibilities to HKMA (e.g. for
premium collection)
25Key design features Board and HKMA (2)
- Scope for tensions between HKMA and Board -
- over-provision of LOLR support to keep a failing
bank afloat - regulatory forbearance
- However, these risks should be mitigated by -
- existence of explicit LOLR policy statement
- prompt corrective action features of the BO
- sharing of supervisory information with Board
26Key design features Board and HKMA (3)
- DIS Board will need to obtain information from or
through HKMA in order to - - assess annual premium due from individual banks
(amount of insured deposits and CAMEL rating) - review the risk profile of its portfolio of
insured banks to update target fund size and
annual premium - prepare for possible failure of a problem bank
- make the payout if the bank fails
27Key design features Board and HKMA (4)
- DIS legislation must therefore provide a gateway
for HKMA to disclose the relevant information to
the DIS - Arrangements need to spelt out in a MoU between
HKMA and DIS Board - Board and DIS employees need to be subject to
confidentiality requirements
28The way forward
- The HKMA is finalising the detailed design
features of the DIS - Legislation will be required
- Bill on DIS ready by end of 2002
- Implementation by end 2003 or 2004 depending on
progress in Legco