Global Banking: Paradigm Shift – Managing Transition
Speech by Mr Malcolm D Knight, General Manager of the BIS, at the Federation of Indian Chambers of Commerce and Industry (FICCI) – Indian Banks' Association (IBA) Conference, Mumbai, 12 September 2007.
Abstract:
There are three important issues in the context of globalisation and the move towards
global banking. First, market participants need to understand the changing nature of
risk in the context of the increasing use of innovative and complex instruments that
can be traded across markets and borders. In particular, credit risk transfer and
liquidity risk management need to be looked at from a fresh perspective. Second,
disclosures need to keep pace with market developments. The enhanced disclosures
under international financial reporting standards (IFRS) and Basel II will strengthen
market discipline and contribute to the soundness of the international financial
system. Third, good governance is important for supervisory agencies and central
banks. It lends credibility to their actions and enhances their legitimacy as public
policy institutions.
Full speech:
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It is a pleasure to be here in Mumbai once again to address the participants of the
FICCI-IBA Conference. This is the fourth occasion on which I have had the opportunity to
participate. I believe that, as in the past, the theme of the conference aptly reflects the need
of the hour – that of "managing transition" in an increasingly global world. The global financial
system is in the process of transition because of two important initiatives: the implementation
of the Basel II regulatory framework for ensuring stability and strong risk management in
banking institutions and the move towards harmonised international accounting standards.
Managing these transitions effectively will contribute to the success of both these initiatives
and help to address the challenges involved.
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Before I proceed with my talk today, let me take a few minutes to mention the
increasingly important role of the emerging market economies (EMEs) and the Asian region
in the global economy. Over the last few years, a significant contributor to global growth has
been the expansion of real GDP in the EMEs, which has remained above 7% a year.
1
Among
the EMEs, India has been one of the fastest-growing economies, maintaining a growth rate
of more than 9% per annum for the last two years. India's track record in managing its
progression to a liberalised and globalised economy has been impressive.
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The Bank for International Settlements (BIS) has been strengthening its already
deep relations with the Asian region. To facilitate deeper interaction and cooperation with
Asia, the BIS set up its Representative Office for Asia and the Pacific in Hong Kong in 1998.
In 2001, the Asian Consultative Council – composed of the Governors of all the BIS member
central banks in the Asia-Pacific region – was established to facilitate communication
between the central banks of the region and the BIS Board of Directors on matters of mutual
interest. Dr Y V Reddy, Governor of the Reserve Bank of India, currently chairs the Asian
Consultative Council. Additionally, in 2006 the BIS launched a focused programme, the "BIS
Asian Strategy", to further deepen and enhance BIS outreach to the region by fostering more
intensive regional economic research, providing more extensive banking services from our
Hong Kong Office, and addressing capacity-building needs among financial sector
supervisors in the region through the Financial Stability Institute of the BIS.
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Let me now turn to the two important initiatives that require the effective
management of the transition process. The Basel II regulatory and supervisory framework for
banking institutions, which is now in the process of being implemented by most jurisdictions
in both advanced and emerging market economies, has important change management
implications for banks and supervisory agencies alike. The framework requires
implementation of three "pillars". Pillar 1 aligns a bank's holding of regulatory capital with the
underlying risks in its specific business. Pillar 2 requires each bank to operate a
comprehensive internal capital allocation process and the supervisors to review banks'
methodologies for risk management. Pillar 3 fosters transparency and public disclosures by
banks that are intended to promote market discipline. Basel II implementation requires, inter
alia, improvements in banks' risk management systems, enhancement of data management
and IT capabilities, and upgrading of human resource skills. Each jurisdiction should
determine its schedule for Basel II implementation over the next few years, based on a
consideration of all the relevant factors. In order to ensure adequate preparedness on the
part of all stakeholders and to facilitate a smooth transition to Basel II, India has extended the
time frame for its implementation. Indian banks that have a foreign presence and foreign
banks that operate in India will implement Basel II by March 2008, while all other Indian
banks will do so no later than March 2009.
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The adoption of international financial reporting standards (IFRS) also has change
management implications for firms, analysts, investors, auditors and other stakeholders.
International accounting standards are being harmonised to ensure common reporting,
consistent understanding of financial information, and comparability of financial statements
across firms and jurisdictions. The standards will also ensure that information and
disclosures provided by a firm are comprehensive, and reflect its financial position and
performance more accurately than at present. The transition to IFRS may require legal or
regulatory amendments in some jurisdictions. I understand that in order to better align Indian
accounting practices with international standards, the Institute of Chartered Accountants of
India is initiating steps to ensure adoption of IFRS by 2011.
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I would also like to mention an initiative that is currently engaging the attention of
policymakers worldwide – that of building more inclusive financial systems. Financial
inclusion is all about ensuring that everyone has access to appropriate financial services.
Many countries are addressing the issue of how best to broaden the reach of financial
services to include the "unbanked" or "underbanked" segments of society. To create an
awareness of this initiative, in recent years the Financial Stability Institute of the BIS
organised two conferences on microfinance and financial inclusiveness in cooperation with
the World Bank and the Consultative Group to Assist the Poor (CGAP). The Basel
Committee on Banking Supervision has also initiated a new work stream to assess how the
growing area of microfinance fits into the existing supervisory frameworks. In the Indian
context, I understand that the Reserve Bank of India has stepped up efforts to promote
financial inclusiveness. Banks in India are now making available basic "no frills" banking
accounts with low or minimal balances, and – in partnership with non-governmental
organisations and self-help groups – improving their outreach. In the future, these measures
will lead to major social and economic benefits.
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I will now talk about three themes that I think are especially important in the context
of globalisation and the move towards global banking:
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Understanding the changing nature of financial risk and the need for fresh
perspectives in risk management.
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Encouraging the use of enhanced disclosures for effective market discipline.
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Promoting good governance in supervisory agencies and central banks.
Risk management: fresh perspectives
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In this era of financial globalisation, risks transcend all borders. It is now possible to
originate, repackage and distribute various financial risks across investors, markets and
borders. Effective risk management, therefore, requires a better understanding of risks by
market participants, supervised entities and supervisory agencies. In this regard, I will
highlight some issues relating to (i) credit risk transfer and (ii) liquidity risk management.
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Simple credit risk transfer instruments such as loan sales and loan syndications
have been used by banks for many years. But securitisation and credit derivative
transactions that are assuming increasingly complex structures have now gained in
popularity. Both the overall transaction volumes and the number of market participants have
been increasing. I understand that the Reserve Bank of India has decided to allow market
participants to deal in credit default swaps as part of the gradual process of financial sector
liberalisation. This will open up the credit derivatives market in India.
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Credit risk transfer instruments enable trading in credit risk, which allows for its
valuation or pricing by the market. Banks can offload credit risk in the market without
impairing their relationship with the borrowers. The traditional "originate and hold" strategy of
banks involved originating loans and holding them on the balance sheet until they were
repaid or written off. The "originate and distribute" strategy, on the other hand, allows banks
to distribute the underlying risk of the originated loans to final investors such as pension
funds, insurance companies, hedge funds, mutual funds and other banks. This unbundling
and repackaging of credit risk enables market participants to assume credit risk exposure in
accordance with their risk appetites and their capacities to bear risk. The resulting
diversification of risk can contribute to the efficiency and stability of the financial system.
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However, it is important that both the originating and the investing firms understand
the risks in transactions relating to credit risk transfer. In a benign macroeconomic
environment, it is easy for investors to be lured by "return", losing sight of the fact that
"return" forms only one part of the equation; the other part relates to "risk". The "originate and
distribute" strategy may lead, and indeed probably has led, to reduced incentives for banks to
undertake adequate assessment of credit risk at the time of origination, since the risk is to be
offloaded later. Moreover, the markets for credit risk transfer are especially vulnerable
whenever there is impaired market liquidity.
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This brings me to the issues relating to liquidity risk.
2
Liquidity facilitates
the smooth functioning of financial institutions and markets. Institutions require liquidity to carry out
"business as usual", execute business strategies over the medium and long term, and
sustain the confidence of clients, counterparties and stakeholders. Markets require liquidity
to function efficiently. Liquidity imparts resilience to the markets to absorb shocks, and can help
prevent imbalances from spreading from one segment of the market to another.
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Liquidity risk has assumed greater significance in the light of the increasing cross-
border operations of banks and corporations, the complexity of the activities undertaken, the
growing interdependencies among markets, and the emergence of innovative off-balance
sheet instruments and products with embedded optionality. While individuals and firms are
now able to trade complex assets in markets of increasing breadth and depth, it is important
that this ability to trade continues under stressful market conditions, as well as in normal
times.
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The Basel Committee on Banking Supervision, hosted by the BIS, issued a paper on Sound practices for managing liquidity in banking organisations in February 2000. The
Committee is currently taking a fresh look at liquidity risk in the context of banks' growing
reliance on market liquidity to distribute risk, and their associated vulnerability to market
liquidity shocks. Some of the areas being reviewed – which have been much in the news
lately – include the growing links between market and funding liquidity, the use of stress
testing exercises, and the impact of "originate to distribute" strategy on the funding liquidity of
institutions. A stocktaking of the current regulatory frameworks for liquidity risk management
is also being undertaken. Based on the findings, the Committee will identify issues that may
need to be addressed.
Disclosures and market discipline – the Basel II and IFRS perspectives
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Market discipline reinforces the incentives for the management of banking
enterprises to manage them along sound lines. It operates on the basis of disclosures and
other information available in the market. Periodic and meaningful disclosures by banks
relating to their capital, risk exposures and risk management techniques enable market
participants to make an assessment of a bank's risk profile. Bond spreads or stock prices
quoted in the markets provide information that may indicate changes to the risk profile. This
information can be used by the supervisors to initiate appropriate supervisory responses, if
required.
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For market discipline to be effective, creditors, investors and other stakeholders
should analyse the disclosed information, understand its meaning and have incentives to act.
Markets are effective in identifying outliers, ie a risky institution in an otherwise healthy
financial system. Markets, however, find it more difficult to identify and limit excessive
exposure to risk in the financial system as a whole.
3
In this context, monitoring the
macroprudential aspects of financial stability by the supervisory agencies and central banks
becomes important.
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Enhanced, high-quality disclosures are mandated in IFRS from an accounting
perspective and in Basel II from a prudential perspective. While IFRS disclosures focus on
assessing the current financial position of an enterprise, Basel II disclosures are more
forward-looking. Given the different focus of accounting and prudential standard setters, it is
to be expected that the disclosure requirements under the two standards differ in some
respects. IFRS disclosures are made in the financial statements by all enterprises that
prepare and submit financial statements. On the other hand, disclosures under Pillar 3 are
required to be made only by banks that are implementing Basel II. Moreover, Pillar 3
disclosures need not necessarily be made in the financial statements.
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IFRS and Basel II disclosures do, however, complement as well as supplement
each other in several ways. Both require a firm or corporation to provide information on its
capital, the risks it is exposed to, and how it manages these risks. Disclosures are required to
be made "through the eyes of the management". This enables the user of information to view
and assess a firm in the same way as its management would. While material information
should be disclosed, confidential information need not be. Disclosures under both IFRS and
Basel II include a good mix of quantitative and qualitative aspects.
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Consistent, comprehensive and comparable disclosures contribute to effective
market discipline. IFRS and Basel II disclosures try to ensure that this goal is met. There is
potential for achieving synergies in disclosures under IFRS and Basel II by defining risk
parameters in a common way, and developing common processes and data collection
methodologies. This could lead to a consistent basis for internal reporting to the
management of the enterprise and external reporting to the supervisors or regulators and
other stakeholders.
Good governance in supervisory agencies and central banks
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Good governance facilitates the emergence of more efficient and robust institutions,
whether they are in the private or public sector, whether they are central banks,
governments, supervisory agencies or international financial institutions. I will highlight some
important issues relating to good governance in supervisory agencies and central banks.
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There is no specific code of governance for supervisory agencies.
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However, three
elements are important for their good governance. First, a supervisory agency needs to have operational independence, adequate legal powers, and the ability to take decisions without
external influence. It should have the necessary financial, IT and other resources and the
ability to attract and retain suitable qualified staff. Second, the agency needs to be
transparent in the exercise of its functions. It should engage in a consultative process with
the supervised entities in formulating supervisory policies, and make efforts to ensure that
regulation and supervision are understood by those entities. Third, the agency needs to be
accountable for the discharge of its duties. It should periodically explain its performance vis-
à-vis the objectives to the stakeholders and wider public, thereby building understanding and
support among them.
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Do institutional arrangements for financial sector regulation and supervision have an
impact on good governance? In this regard, I will mention the results of a survey that the
Financial Stability Institute of the BIS undertook in 2006. The survey focused on the current
institutional arrangements for financial sector supervision globally. The results indicate that
there is a variety of approaches through which financial sector supervision can be structured.
Across jurisdictions, banking supervision is carried out by either the central bank, a
government department or a separate supervisory agency. There are also differences in the
level of integration of supervisory functions across the banking, insurance and securities
sectors. Each jurisdiction has to determine which institutional arrangement for financial
sector supervision is best suited for its financial system. Good governance must be ensured
whatever the institutional arrangements for financial system supervision.
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In recent years, there has been a growing interest in the governance of central
banks. The principles of operational independence, transparency and accountability that I
referred to earlier apply equally to central bank governance. However, in view of the unique
functions performed by central banks, the focus of governance is also on their institutional
and organisational setting for the pursuit of monetary and exchange rate policies, reserve
management and financial stability functions. For many years, the BIS has been facilitating
discussions and the exchange of views on central bank governance. More recently, in 2005,
the Central Bank Governance Forum was set up by the BIS to foster the good governance of
central banks and to compile, analyse and disseminate timely and accurate information on
central bank governance matters.
Conclusion
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Let me conclude by summarising the issues that I have talked about today. First,
financial market participants need to develop a better understanding of various risks that are
inherent in the increasing use of innovative and complex instruments that can be traded
across markets and borders. Second, disclosures need to keep pace with market
developments. Over time, the enhanced disclosures under IFRS and Basel II will strengthen
market discipline and contribute to the soundness of the international financial system. Third,
good governance in supervisory agencies and central banks lends credibility to their actions
and enhances their legitimacy as public policy institutions. Discussions and the sharing of
views will lead to an increased awareness of the various options available for their sound
governance.
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I am happy to be at this conference and wish you every success in your
deliberations.
1
77th Annual Report, 1 April 2006–31 March 2007, Bank for International Settlements, Basel, Switzerland.
2
Two dimensions of liquidity risk are well known: funding liquidity risk and market liquidity risk. Funding liquidity
risk relates to a firm not being able to efficiently meet both expected and unexpected current and future cash
flow and collateral needs without affecting either the daily operations or the financial condition. Market liquidity
risk relates to the difficulty a firm has in offsetting or eliminating a position without significantly affecting
the market price because of inadequate market depth or a market disruption. The same factors could trigger both
types of liquidity risk. The management of liquidity risk in financial groups, Joint Forum Report, Bank for
International Settlements, May 2006.
3
M Knight, "Three observations on market discipline", in C Borio et al (eds), Market discipline across countries and industries, MIT Press, 2004.
4
The OECD Principles of Corporate Governance, issued by the Organisation for Economic Co-operation
and Development, have become an international benchmark for assessing the effectiveness of corporate
governance in different entities. The Basel Committee on Banking Supervision has issued guidance on
Enhancing corporate governance for banking organisations.