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An international regulatory body said this week that they are looking at setting new, enhanced leverage ratio requirements for the largest global banks, a move that echoes the higher standards in the U.S.' supplemental leverage ratio and demonstrates why going beyond international accords can influence the rest of the world.
January 14 -
Regulators don't want to use the name Basel IV, but the sheer number of changes they are contemplating over the next few years add up to an entirely new capital regime.
December 4 -
The Basel Committee needs to measure the efficacy of recently implemented rules, strengthen banks' operational risk requirements and make banks' risk models less variable. Luckily, secretary general William Coen has vowed to do just that.
April 14
The formation and continual evolution of global capital rules by the Basel Committee are often driven by a battle between dueling regulatory desires: simplicity versus risk sensitivity.
In the Basel II accords reached well before the crisis, risk sensitivity seemed to hold the upper hand. In developing the so-called Advanced Approaches — a component of Basel II allowing large banks to align their capital levels with their specific level of risk — regulators believed that the key to safe and sound banking was risk management, putting the onus on banks to measure their risk exposure and corresponding capital reserves.
But a more recent
As part of the Basel II effort, then-Federal Reserve Board Chairman Ben Bernanke said in 2007 that the Advanced Approaches were "designed to foster good risk measurement and management practices." It took another six years, and hundreds of millions of dollars spent by banks to build their Basel II risk models, until eight institutions were actually permitted to use the Advanced Approaches to calculate regulatory capital — a regulatory milestone.
Unfortunately, for proponents of the Advanced Approaches, this was an empty victory.
Since the financial crisis, there have been a growing number of voices arguing against risk-based approaches to capital and the Advanced Approaches. Federal Deposit Insurance Corp. Vice Chairman Thomas Hoenig, long a critic of the Advanced Approaches,
The attacks on the risk-sensitive approaches to capital have succeeded with policies placing greater emphasis on risk-blind leverage ratios. Even within the risk-based framework, models are "floored" by simpler approaches. Federal Reserve Gov. Daniel Tarullo has even
Not only is the shift in emphasis jarring for banks, but it is confusing for institutions attempting to satisfy the regulators' mandates when officials also praise the risk models applied to large banks in the Advanced Approaches. Here, banks would agree that many of these models are extremely useful in terms of risk management. In the same speech, Tarullo, while encouraging a reevaluation of models in the capital framework, stated that the Fed "would continue to expect that firms practice sound quantitative risk management using internal models and other techniques."
A clearer understanding of risk management expectations is vitally important if regulators shift away from a risk-sensitive capital framework. There is a significant danger that resources and key personnel could be repurposed as the capital standards shift to less risk-sensitive approaches. Models and programs that cost millions of dollars to develop could be left to atrophy. In fact, banks are already discussing reallocating staff and resources away from operational risk modeling based on a
If the regulators are intent on establishing non-risk-sensitive approaches to regulatory capital, they must clarify the expected role of risk-sensitive models. Should they be abandoned or repurposed solely for risk management purposes unrelated to capital? Regardless of the final approach, regulators need to set clear expectations for risk management to strengthen bank safety and soundness going forward.
Hugh Carney is vice president of capital policy for the American Bankers Association.