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Underwriting: Assessing a client’s risk profile

Underwriting: Assessing a client’s risk profile . March 2006. Jennifer Rademaker. Changes to ABIL’s risk assessment processes. The Credit Bill requires some adjustments to ABIL’s scoring processes in terms of price ceilings over-indebtedness and reckless lending principles

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Underwriting: Assessing a client’s risk profile

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  1. Underwriting: Assessing a client’s risk profile March 2006 Jennifer Rademaker

  2. Changes to ABIL’s risk assessment processes • The Credit Bill requires some adjustments to ABIL’s scoring processes in terms of • price ceilings • over-indebtedness and reckless lending principles • changes to the NPS Act and payment platforms • non-discrimination clauses

  3. Reckless lending principles Key concepts from the Bill 1. An assessment must be made We may not grant a loan without assessing the consumer’s: • General understanding of the risks, costs, rights, and obligations of credit • Debt repayment history • Existing financial means, prospects and obligations 2. The consumer must tell the truth • They must fully and truthfully answer any requests for information made as part of the above referenced assessment. • It is a complete defence against a reckless lending charge if the consumer failed to tell the truth and, in doing so, affected our ability to make a proper assessment. 3. We must not grant a loan if the assessment reveals that doing so would over-indebt the consumer • A consumer is over-indebted if they are unable to satisfy in a timely manner all the obligations under all the credit agreements to which they are a party.

  4. 1. An assessment must be made

  5. 2. The consumer must tell the truth • We rely on the consumer to be truthful about their monthly living expenses, or non-debt obligations. • There is no independent, verifiable source for this information.

  6. 2. The consumer must tell the truth We cannot accurately assess what is a “correct” level of expenses for a consumer • Different expense priorities • Private school versus public school; DSTV versus no TV • Different patterns of expense sharing • Roomates share or assign expenses; one partner mainly supported by the other Expense information may sometimes be inaccurate • Consumers may not feel comfortable revealing true expenses. • Consumers may not remember true expenses. What does African Bank do? • Branches with high percentages of consumers reporting low expenses are identified monthly for additional training around prompting the consumer for expense data. • We are testing the capturing of additional income fields to create a more holistic financial picture of the consumer. • We have adopted a “belt and braces” approach to our over-indebtedness assessment.

  7. 3. We must not grant a loan if it would over-indebt the consumer The African Bank assessment boils down to two major components • A predicted risk score • An affordability calculation The affordability calculation is twofold, with the components on a monthly basis: The Belt: (Existing Debt + Expenses + New AB loan – AB Debts Settled) / Net Income <= 100% The Braces: (Existing Debt + New AB Loan – AB Debts Settled) / Gross Income <= 60% Both conditions must be satisfied in order for a loan to be granted.

  8. 3. We must not grant a loan if it would over-indebt the consumer The “belt and braces” approach was rolled out to the entire African Bank Retail and Credit Indemnity network in December 2005. We initially experienced a 9% impact to sales volumes, which has since stabilised at a 4% impact.

  9. Next Steps – Reckless lending principles • Align the rest of ABIL to the “belt and braces” approach • Standard Bank Joint Venture – March 2006 • African Bank Miners Credit – May 2006 • Continue research into components of the consumer financial picture • Improving expense capturing • Assessing other sources of income and household financial dynamics • Await further clarification from regulators • The detail of our expense and income declaration is aligned to the components published in the NCB regulations for a “debt review”. • To date, no definitive formula or criteria has been published, although the NCB makes reference to the future possibility of such a metric. • Our current approach has been shared with the MFRC. • Continue to lobby for more complete and accurate credit bureau data • The NCB requires that the details of all credit agreements be listed on the National Credit Register. It also puts the onus on credit bureaus to verify the accuracy of the data. • In the meantime, some lenders either do not report, report inaccurately or report infrequently. This interferes with an accurate assessment of the consumer. • We have developed proprietary tools to screen out errors as far as possible.

  10. Changes to payment platforms • All-banks product in existence since Oct 2004 • in anticipation of these changes • Product uses ordinary EFT process with no • specific arrangement with issuing bank • Total booked to date R81 million on 11 687 • accounts • Initial performance poor across all risk • groups • Performance substantially improved as • experience gained and adjustments made to • scoring models.

  11. Next Steps – Payment platforms • Refine risk segments to isolate the effect of payment platforms • Continue testing and learning from All-banks products • Refine affordability tests to take cognisance of affordability/default interplay

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