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24-25 SEPTEMBER TIANJIN 2014 International Conference of Banking Supervisors Venue: The Renaissance Tianjin Lakeview Hotel, Tianjin, China The Post-Basel III Agenda September 2014 Workshop 2 The interaction between macro- and microprudential policy and supervision Chair: Kerstin af Jochnick, First Deputy Governor, Sveriges Riksbank As the primary objective of banking regulators and supervisors, the safety and soundness of banks sets an important foundation for overall financial stability. However, ensuring the health of individual components of the financial system is not sufficient to guarantee overall financial stability. In particular, it is important to recognise the importance of systemic risk, and how individual banks’ actions can spread distress through direct linkages and common exposures. This macroprudential view of the overall financial system complements and reinforces microprudential regulation and supervision, fostering an environment where individual firms and the overall financial system are more resilient to shocks. Taken together, the financial crisis has underscored the need for a coherent risk assessment and policy framework, with appropriate domestic and cross-border arrangements for cooperation and the necessary powers and tools to secure durable financial stability and growth. However, there are important preconditions for a successful use of micro- and macroprudential tools and ensuring that the two frameworks act to reinforce rather than conflict with each other. First, authorities must further develop tools for identifying vulnerabilities and assessing risk. Second, there is a need to understand the important interactions not only between micro- and macroprudential policies, but also with monetary and fiscal frameworks. Third, these interactions highlight the need for appropriate cooperation and communication between policymakers and other stakeholders, both domestic and cross-border. 1. Understanding microprudential and macroprudential frameworks As noted above, microprudential policies aim to ensure the safety and soundness of individual financial institutions, by setting effective limits on risk-taking. Macroprudential tools aim to increase the resilience of the overall system, but also to lean against the build-up of imbalances in the system. FSB, IMF and BIS (2011) explain macroprudential policy as one that uses prudential tools to limit systemic or system-wide financial risk. In this context, systemic risk is defined as the risk of disruption to financial services that is caused by an impairment of all or parts of the financial system and that also has the potential to have serious negative consequences for the real economy. Therefore, while it would be incorrect to say that microprudential policies ignore interconnectedness, the focus on system-wide stability is an explicit objective of macroprudential frameworks. 1/7 Restricted As a result, the analytical scope of these two frameworks will necessarily differ, but are mutually reinforcing. While microprudential frameworks tend to focus on individual firms or, in our case, banks, macroprudential frameworks broaden the scope to the whole financial system, including non-bank financial institutions, financial markets, and also governments and the real economy. Table 1 below compares the different analytical frameworks for assessing financial stability. Microprudential policies tend to focus on idiosyncratic risk, often driven by exogenous shocks. Systemic risk, on the other hand, has both a time dimension and a cross-sectional dimension (Borio (2003)). The time dimension emphasises the build-up of risk over time, including increases in concentration, procyclical forces, and amplification mechanisms. The time dimension also incorporates second-round effects into the analysis. The cross-sectional dimension, in contrast, describes systemic risk at a given point in time, focusing on transmission channels such as direct linkages and common exposures. Therefore, endogenous shocks become more central when risk is viewed through a systemic lens. The macro- and microprudential perspectives compared Proximate objective Ultimate objective Model of risk Correlations and common exposures across institutions Calibration of prudential controls Examples of tools Table 1 Macroprudential Microprudential Limit financial system-wide distress Limit distress of individual institutions Avoid output (GDP) costs Consumer (investor/depositor) protection (In part) endogenous Exogenous Important Irrelevant In terms of system-wide distress; topdown In terms of risks of individual institutions; bottom-up Countercyclical capital buffer, LCR drawdown, higher loss absorbency requirement for systemically important banks, recovery and resolution plans, macro stress tests Minimum capital requirements, minimum liquidity requirements, heightened supervision, bottom-up stress tests Sources: Borio (2003), BIS staff. 2. Opportunities: learning from the crisis While it has come to wider prominence in the wake of the crisis, the term “macroprudential” was used by policymakers as early as 1979, at a Basel Committee meeting. 1 While it appears that authorities understood the importance of both micro- and macroprudential aspects, the concept was not well known in the public domain and a coherent framework to understand interactions between microprudential and macroprudential policies had not yet been developed. However, many countries have employed (what we now call) macroprudential tools to mitigate rising risks and fight crises in the recent past (see, for example, IMF (2012)). The global response to the financial crisis has incorporated the lessons learned and reinforced the need to exploit the benefits of both micro- and macroprudential regulation and supervision. The Basel III framework is still fundamentally a set of reforms to microprudential regulations and supervision. However, taking the lessons learned from the crisis, the framework incorporates a number of 1 A later report to the G10 Governors stressed the importance of both micro- and macroprudential supervision of the international banking system (Clement (2010)). 2/7 Restricted macroprudential elements. For example, the countercyclical capital buffer and the ability to draw down liquidity under the LCR both promote the building of resilience in normal times, but they also have countercyclical properties. The large exposures framework helps manage risk concentrations and reduce excessive interlinkages, which are both micro- and macroprudential by construction. Finally, the higher loss absorbency requirement for systemically important banks (SIBs) forces the SIBs to internalise the negative externalities they might otherwise impose on the financial system. Other policy measures include the creation of recovery and resolution plans, as well as central counterparty clearing of derivatives trades. Complementing regulatory reforms and enhanced supervision, authorities have developed, and some are using, macroprudential tools. As mentioned above, a number of jurisdictions are reviewing their use and understanding of such tools. Some jurisdictions are also formally incorporating these tools, and frameworks for activating them, into legal and other frameworks (see Annex 1 for an example from the EU). In order to implement these tools, jurisdictions have (or should have) also established or enhanced institutional frameworks, both domestically and those which promote greater cross-border cooperation. However, in most cases, cross-border initiatives still rely solely on non-legislative “cooperation”. Many jurisdictions have established or strengthened macroprudential/systemic risk councils that comprise banking supervisors, central banks, deposit insurers, finance ministries and other relevant agencies.2 These domestic arrangements complement global forums, including the primary international standard setters, such as the Basel Committee for Banking Supervision, and other bilateral/multilateral forums, including supervisory colleges and crisis management groups. 3. Challenges for the future: preconditions to optimise policy frameworks Notwithstanding significant advances in the development of micro- and macroprudential frameworks in both academic and policymaking circles, several important practical challenges must be mastered when implementing these regimes.3 First, policymakers need to further develop analytical frameworks to assess systemic in addition to idiosyncratic risks. Second, we need a better understanding of the interactions between micro- and macroprudential policies, as well as their interactions with other policies, such as monetary and fiscal policies. Third, institutional arrangements must be optimised to exploit the complementarities between different policies and to ensure that policy tools are effectively deployed. 3.1 Assessing vulnerabilities and risk Our understanding of systemic risk, endogenous reaction functions and transmission channels is still developing. Several analytical frameworks are used. At the most basic, these can include the assessments of indicators of potential imbalances for individual firms, the overall financial system and the real economy, such as balance sheet indicators, market-based indicators and macroeconomic variables. However, these models are still in development and it is difficult to incorporate features that are important for understanding systemic risk, eg contagion channels, amplification mechanisms, and there 2 Some examples include the US Financial System Oversight Committee, and the European Systemic Risk Board. 3 CGFS (2012) set forth some broad principles for the design and operation of macroprudential policy, including some challenges discussed in this section. 3/7 Restricted are also substantial challenges with operationalising these models for policy analyses, including issues with the robustness of data sets (see Enria (2012)). Most importantly, policymakers need to gain more experience in interpreting data, indicators and models in order to develop and communicate policy decisions. In addition to the challenges noted above, authorities must feel confident that the signals from analytical frameworks are sufficiently robust for policy decisions to be based on them. This will develop over time as models develop and are implemented. However, conflicting signals or a lack of confidence in the results of data-driven analyses can result in hesitancy on the part of macroprudential authorities to take firm policy measures. This could increase the dependence on other authorities and/or more “tried and true” policy frameworks, exacerbating inaction bias by prudential authorities. 3.2 Understanding interactions between policy frameworks As noted in Section 1, micro- and macroprudential policies can reinforce each other. While the frameworks and tools may differ, macro- and microprudential policies share the same goal, which is to reinforce the resiliency of banks and the banking system, including the latter’s interactions with other parts of the financial system. This will enable banks to better absorb shocks and allow for continuous operations, thus insulating the real economy from wealth destruction and large losses in economic activity. Reinforcing positive interactions between the two viewpoints, as well as the agencies charged with their execution, is important in securing these objectives. However, there is some potential for conflict if micro- and macroprudential policies are not coordinated. One source is what Crockett (2000) refers to as the “fallacy of composition”, when an action that is optimal from an individual’s point of view is not in the common interest. For example, when faced with a liquidity shock, a bank may act to reinforce its liquidity position. It may do so by selling securities into the open market to generate cash or reducing contingent liquidity commitments to customers. Both actions can lead to liquidity constraints on other agents in the financial system through common exposures or interconnectedness. However, microprudential policies can also serve to reinforce systemwide resilience. As seen in Section 2, many of the microprudential reforms undertaken in the wake of the crisis now incorporate macroprudential elements. In this way, overall financial stability can be fostered by bolstering the resilience of individual banks, as calibrated to the negative externality they pose to the system. Importantly, there is a need to consider interactions between the financial system and the real economy. This may be even truer when there is a need to coordinate across multiple objectives, such as financial system stability, price stability and growth. One potential conflict is rooted in the observation that business cycles and financial cycles are not always in synch; financial cycles tend to be longer and have a higher amplitude than business cycles (see, for example, Drehmann et al (2012)). If this is the case, actions taken by monetary policy or fiscal authorities to maintain price stability and encourage growth may unintentionally exacerbate financial systems conditions that respond to these policies in different ways. Authorities need to carefully consider the trade-offs associated with different tools to achieve price stability and financial stability objectives, as well as their effectiveness under prevailing macrofinancial conditions.4 In addition, there is a need to consider not only banking safety and soundness, but also stability in other parts of the financial system. The macroprudential framework also needs to take into account 4 For further discussion, please see “Workshop 2: The interaction between extraordinary monetary policy and banking regulation”, a note prepared for the ICBS workshop to be held on 25 September. 4/7 Restricted the tendency for activities to migrate outside the formally regulated sector when they become the subject of policy action to reinforce banking system stability (see, for example, Haldane (2014)). Crystallisation of these risks could feed back into the banking system, due to interconnectedness (eg through provision of liquidity facilities to non-banks) and common exposures (eg exposures to same asset and/or funding markets). 3.3 Evolving optimal institutional arrangements A coherent policy framework is needed to ensure that the positive interactions between micro- and macroprudential frameworks are maximised. In order to do so, jurisdictions must develop appropriate institutional frameworks or regulatory architecture. While these may differ across countries due to national circumstances, some important features can be defined. First, is it important that clear mandates are established for the relevant agencies, and that these are well documented and provide some measure of accountability. These mandates would clearly outline each agency’s primary responsibility with regards to the financial system (IMF (2013)). Crucially, there should be some overarching coordinating structure to strengthen information-sharing and cooperation in policy decision-making. Osinski et al (2013) note that this can take several forms, including cross-representation in decision-making bodies or a committee structure, amongst others. Clear mandates and a commitment to coordination not only foster efficient cooperation between authorities and avoid regulatory arbitrage, but also serve to ground the expectations of financial system participants and avoid misleading or mixed signals. In turn, this increases the credibility of policymakers and will help ensure that policy decisions have the anticipated result. Second, this commitment to coordination should not be limited to domestic authorities, but should also apply to relevant foreign stakeholders, as external conditions and potential spillovers should be factored into decision-making. Authorities should make extensive use of standing international forums, such as the Basel Committee, supervisory colleges and crisis management groups to exchange relevant information, identify and discuss emerging risks and to coordinate policy responses as necessary. This will help build trust between authorities, which is crucial to avoiding unintentional negative spillovers, implementating policies effectively, and achieving desired outcomes, particularly in time-sensitive situations. Finally, authorities must be transparent in their analytical frameworks and policy decisionmaking processes. It is important that vulnerability and risk assessments be linked to policy actions and, potentially, the communication of desired outcomes. Many authorities already use speeches and sometimes regular publications (eg financial stability reports) to warn of emerging risks. But it is possible that these vehicles can make a more meaningful contribution to explaining the authorities’ perception of risk and signalling their intentions to intervene. However, given the significant uncertainties regarding policy interactions and effects, macroprudential authorities may want to rely on discretion rather than rules. Regardless, building a strong narrative that explains the analytical frameworks used by authorities to ground policy decisions will help build support for policy making, particularly in view of the difficulties inherent in communicating the benefits of curbing the build-up of risk (Domanski and Ng (2011)). Needless to say, market education regarding the respective roles of micro- and macroprudential authorities will have to continue, particularly in the light of differing setups across jurisdictions. 5/7 Restricted References Borio, C (2003): “Towards a macroprudential framework for financial supervision and regulation?”, BIS Working Paper, no 123, February. Clement, P (2010): “The term “macroprudential”: origins and evolution”, BIS Quarterly Review, March. Committee on the Global Financial System (2012): “Operationalising the selection and application of macroprudential instruments”, CGFS Papers, no 48, December. Crockett, A (2000): “Marrying the micro- and macroprudential dimensions of financial stability”, remarks before the 11th International Conference of Banking Supervisors, Basel, 20–21 September. Domanski D and T Ng (2011): “Getting effective macroprudential policy on the road: eight propositions”, in “Macroprudential regulation and policy: Proceedings of a joint conference organised by the BIS and the Bank of Korea in Seoul on 17–18 January 2011”, BIS Papers, no 60. Drehmann, M, C Borio, and K Tsatsaronis (2012): “Characterising the financial cycle: don’t lose sight of the medium term!”, BIS Working Papers, no 380, June. Enria, A (2012): “Micro-data for micro- and macro-prudential purposes”, prepared for the Sixth ECB Statistics Conference, April. European Systemic Risk Board (2014): “Flagship Report on macro-prudential policy in the banking sector”, March. Financial Stability Board, IMF and BIS (2011): “Macroprudential policy tools and frameworks”, progress report to the G20, October. Haldane, A (2014): “Halfway up the stairs”, Central Banking Journal, vol 25, no 1, August. International Monetary Fund (2013): “Key aspects of macroprudential policy”, June. International Monetary Fund (2012): “The interaction of monetary and macroprudential policies – Background paper”, December. Osinski, J, K Seal and L Hoogduin (2013): “Macroprudential and microprudential policies: toward cohabitation”, IMF Staff Discussion Note, no 13-05, June. Questions for discussion Q1. How do we judge the appropriate mix of macroprudential and microprudential policies to ensure they complement each other within a coherent framework? How should macro- and microprudential policies interact with other policy areas (eg monetary policy, fiscal policy)? Q2. How do jurisdictions take into account international macrofinancial developments for domestic policymaking? How should/do jurisdictions take into account the spillover effects of their own policy decisions on other jurisdictions? Q3. How can governance arrangements be structured to ensure an appropriate policy mix and avoid inaction bias (ie a reliance on other policymakers for a solution)? Q4. How do we create incentives and mechanisms for stronger cross-border cooperation? Q5. Given the importance of transparency and communication, what is the appropriate balance between rules and discretion in microprudential and macroprudential frameworks? 6/7 Use of macroprudential tools in the EU’s Capital Requirements Directive and Regulation Annex 1 Instruments under the CRD Instruments under the CRR Other Countercyclical capital buffer (CCB) Systemically important institution (SII) buffer Systemic risk buffer (SRB) Liquidity requirements under Pillar 2 Other macroprudential requirements under Pillar 2 Higher requirements for capital/ liquidity/large exposures/risk weights Higher real estate risk weights and stricter lending criteria Higher minimum exposureweighted average LGDs Including LTV/LTI/DSTI and LTD limits and a leverage ratio CRD 130, 135-140 CRD 131 CRD 133 and 134 CRD 105 CRD 103 CRR 458 CRR 124 CRR 164 National legal framework Mandatory buffer: (1) Mandatory surcharge for global systemically important banks (G-SII) applicable from 2016. A surcharge between 1% and 3.5% of RWAs, depending on the degree of an institution’s systemic importance. Optional buffer on all or a subset of institutions. (2) Optional surcharge for other SIFIs (O-SIIs) applicable from 2016. A surcharge of up to 2% of RWAs. An SRB above 3% requires authorisation by the European Commission after the EBA and ESRB have provided opinions. Member States have to decide on a buffer rate informed by a buffer guide based on the credit-to-GDP gap. Other relevant variables also have to be considered. Member States can decide to apply the CCB from 2014 and must apply it from 2016. Mandatory reciprocity up to a buffer rate of 2.5% applies from 2019. (3) Combination of rules between GSII and O-SII buffers and the SRB to ensure a floor/cap on all three buffers at the consolidated and subsidiary level. Until 2015 the competent or designated authority can set a buffer between 1% and 3% subject to notification to the European Commission, EBA and ESRB. From 2015, the same authorisation is required for an SRB of above 3% on exposures in other Member States and of above 5% on local and third-country exposures. Option: Optional: Optional: Optional: Optional: Optional: Competent authorities may impose specific requirements to address systemic liquidity risks. Competent authorities have the power to impose additional requirements on institutions with similar risk profiles in a similar manner if – inter alia – they pose similar risks to the financial system. National authorities may apply stricter rules for a number of selected measures subject to an EU procedure. It has to be established that the measure is necessary, effective and proportionate, and that other specified measures cannot adequately address the systemic risk. These measures are subject to a notification and nonobjection process, with the Council having the final decision on whether to block a measure if objections are raised. Competent authorities can set higher risk weights up to 150% based on financial stability considerations, taking into account loss experience and forward-looking market developments. Competent authorities can set higher minimum exposureweighted average LGDs (no upper limit) based on financial stability considerations, taking into account loss experience and forward-looking market developments. Member States can assign macroprudential instruments that are not covered by the scope of EU legislation. This includes instruments, such as LTV/LTI/DSTI limits (eg to dampen a boom in real estate mortgage lending or to curb excessive lending for consumption), liquidity instruments, such as LTD limits, and a leverage ratio. These instruments are based on national law. These include administrative penalties, including prudential charges that relate to the disparity between the actual liquidity position and any liquidity and stable funding requirements. These requirements include own funds and additional disclosures. Source: European Systemic Risk Board (2014). 7/7 Applies only to retail exposures.