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Evaluating the Effectiveness of Financial Supervision

Evaluating the Effectiveness of Financial Supervision. Paul J.van Sluijs World Bank Nairobi, 15-17 May 2006. Contents . Some observations FSAP background Main components of regulatory standards Reviews 2003 and 2006 Gaps in financial sector regulation Strengthening standards.

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Evaluating the Effectiveness of Financial Supervision

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  1. Evaluating the Effectiveness ofFinancial Supervision Paul J.van Sluijs World Bank Nairobi, 15-17 May 2006

  2. Contents • Some observations • FSAP background • Main components of regulatory standards • Reviews 2003 and 2006 • Gaps in financial sector regulation • Strengthening standards

  3. 1 Some observations • FSAP: interesting experience for the country to be assessed as well as for the assessing experts • Self assessments should be critically reviewed • Assessment includes practical application of supervisory standards: rule- or principle based • Application in practice of supervisory rules and regulations is difficult to assess • Stress testing important addition to assessment • EU used similar approach for new entrants

  4. Relative security 1. Not even “perfect” formal implementation of the existing principles or standards and codes will ensure financial system stability. 2. Not even the most thorough financial supervision regime can fully protect against risks to the financial system.

  5. 2 FSAP Background • Start in 1999 as voluntary program • Joint effort World Bank and IMF • 75 central banks, supervisory agencies etc cooperated • Based on review in 2003 decision for continuation • Further evaluation in 2006

  6. FSAP characteristics • Financial sector coverage • Analytical tools: • FSIs • Stress testing • Assessment of standards and codes: • BCP/CPSIPS/IAISCP/IOSCO principles/MFP code

  7. 3 Main components of regulatory standards • Introduction • (Regulatory preconditions) • Regulatory governance • Regulatory practices • Supervisory practices • Financial Integrity and Safety Nets

  8. Introduction • Financial sector regulatory standards comprise essential, but minimum standards • Good quality regulation is a key element of financial stability • Regulatory standards are internationally adopted and locally implemented • Cross sector review contributes to review of standards

  9. Introduction (continued) Regulatory standards: • BCP (1997 + 1999; draft revision 2006 ) • IOSCO (1998 + 2003) • IAIS (2003) • Common ground • Some variations in similar risks (e.g. capital/risk treatment) • Some variations arising from intrinsic differences

  10. Introduction (continued) Main regulatory issues from financial stability viewpoint: • Regulatory governance: capacity and ability of regulatory bodies for sound policies and practices • Prudential framework: rules, directives etc to govern operations of financial firms • Regulatory practices: practical application of regulatory framework • Financial integrity and safety net arrangements: instruments to promote fairness and integrity in operations

  11. (Regulatory preconditions) BCP (1997) • Sound and sustainable macro-economic policies • Well developed public infrastructure • Effective market discipline • Procedure for efficient resolution of problems in banks • Mechanisms for providing an appropriate level of systemic protection (public safety net) (Similar preconditions in IAIS CP)

  12. (Regulatory preconditions) • Preconditions are basis for standards • Linkages between preconditions and regulations, for instance: • “well developed public infrastructure” links with asset valuation, supervisory powers, enforcement, collateral, licensing, accounting framework

  13. Regulatory governance • Objectives of regulation • Independence and adequate resources • Enforcement powers and capabilities • Clarity and transparency of regulatory process • External participation

  14. Prudential framework • Risk management • Risk concentration • Capital requirements • Corporate governance • Internal controls

  15. Regulatory practices • Group-wide supervision • Monitoring and on-site supervision • Reporting to supervisors • Enforcement • Cooperation and information sharing • Confidentiality • Licensing, ownership transfer and corporate control • Qualifications

  16. Financial Integrity and Safety Net • Markets (integrity and financial crime) • Customer protection • Information, disclosure and transparency

  17. 4 Review in 2003 and 2006 • Comprehensive and system wide approach to analyzing the financial sector • Independent review by objective outsiders • Discuss supervisory matters with experts from other countries • Compare practices • Benchmarking against international practices • Testing vulnerabilities in the financial system • Selection of key issues and priorities for improvements

  18. Review in 2003 and 2006 • Points of attention (2003): • Faster and more thorough understanding necessary of legal and regulatory traditions • Limitations of data availability for stress testing • Large resource costs for authorities • Reduction of lag between assessment and report

  19. Review in 2003 and 2006 • FSAP increased depth and breath of coverage of financial issues: • Developing countries: strengthening medium term financial system and supervision • Address legal and regulatory framework • Emerging countries: non bank sector deficiencies in supervision and regulation; enforcement and prompt corrective action • Industrial countries: large and complex financial institutions

  20. FSAP review recommendations (2003) • Updates necessary for: • systematically important countries • Countries evolving at a rapid pace • Selection of key topics per update • For developing countries: focus on medium term and structural issues • AML/CFT issues to be included • Possible basis for TA • Promote publication on a voluntary basis

  21. FSAP findings: areas for improvement (2003) For BCP: • Credit policies and connected lending • Provisioning practices in practice weaker than on paper • Increase attention for country, market, fc and interest rate risk • Remedial action • Large and complex financial institutions • Consolidation of accounts and supervision on a consolidated basis • AML/CFT issues

  22. FSAP evaluation 2006 Some issues: • Better understanding key linkages • Discussions with authorities and support institutional changes • Not all systemic countries assessed • FSIs generally not used in a meaningful manner • Quality of data needs to be emphasised • Stress testing needs further development • Cross border issues need more attention • Surveillance and technical assistance

  23. 6 Gaps in financial sector regulation

  24. Conclusions (2004) • Average level of implementation of regulatory components across sectors broadly satisfactory • Implementation in industrial countries better than in emerging and developing countries • Level of implementation across sectors is correlated

  25. Conclusions (2004) • High level of implementation in particular for legal foundation of regulator • Prudential area: capital, solvency and margin requirements prescribed across sectors • Licensing process and entry standards largely adequate in most countries

  26. Where are the Gaps? A. Regulatory Governance B. Regulatory practices C. Prudential framework D. Financial Integrity and Safety Net

  27. A. Regulatory governance • Lack of formal and informal independence • Ill-defined accountability arrangements • Different categories of deposit taking institutions under different laws and regulators • Regulatory forbearance is a problem in some countries • Ill-defined oversight responsibilities in case of regulators and SRO”s • Lacking legal protection of supervisors and clarity of regulatory powers

  28. B. Regulatory practices • In many cases robust regulatory standards but weaker regulatory practices • Consolidated supervision and – regulation needs more attention • Shortcomings in regulatory data and reporting, including consolidated reporting

  29. B. Regulatory practices (continued) • Limited powers to enforce regulations and impose sanctions • Inadequate cooperation between home and host supervisors • Lack of clear definition of “control” • (Quality of management, administration and internal control??)

  30. C. Prudential framework • Strong focus on prudential regulation, but: • Deficiencies in oversight and monitoring of country risk • Insufficient requirements for connected lending • Weaknesses corporate governance in particular in banking and insurance

  31. C. Prudential framework (continued) Sector specific issues: • Banking: Credit risk management, loan classification and provisioning, large exposures, country and transfer risk • Asset quality regulation in insurance • Monitoring and inspection systems ensuring compliance with capital and prudential requirements • Collective investment schemes: improvement needed of information, asset valuation and pricing of units

  32. D. Financial integrity and safety net In general differences along sectoral lines: • Content and timeliness of disclosure • Protection of minority shareholders • Accounting and auditing issues • Procedures for winding up insurers and securities forms missing • Weak AML efforts

  33. Strengthening regulatory standards

  34. Strengthening regulatory standards Challenges from three factors: • Diversity of financial systems a.o. • Ownership • Role government • Competition • Intermediation patterns

  35. Strengthening regulatory standards • Cross-sectoral and cross border issues a.o. • Linkages in financial sector growing • Role of international financial centers • Role of off-shore centers • Cross-sector and cross-border financial groups • Arbitrage possibilities across sectors • Different cross-sector and cross-border capital calculations • Cross country differences in preconditions and governance

  36. Strengthening regulatory standards • Objectives and design of regulatory standards a.o. • Regulatory issues and components more linked to system-wide financial stability • Interrelationships among key components of regulatory standards more explicit • Improve standards on information disclosure

  37. Issues for standards setters • Diversity in financial systems require diversity in regulatory standards? • More focus on preconditions • Cross-sectoral and cross-border issues • Guidance on regulatory governance issues • Information exchange arrangements

  38. Issues for country authorities • Greater attention to preconditions • Periodic review of governance in regulatory bodies • Periodic self assessment of regulatory standards • Attention for cross-sector and cross-border issues • Attention for system-wide issues

  39. Sources: * Financial Sector Assessment Program – Review, lessons and issues going forward IMF/World Bank February 2003* Report on the evaluation of the Financial Sector Assessment Program IMF January 2006 * Financial Sector Regulation: Issues and Gaps IMF August 2004

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