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Alternative Approaches to Regulatory Structure

Alternative Approaches to Regulatory Structure. Jeff Carmichael Chairman Carmichael Consulting Pty Ltd. Outline. Main models that have emerged around the world Key issues for consideration How the various models handle the issues and mitigate the risks Making regulation effective

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Alternative Approaches to Regulatory Structure

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  1. Alternative Approaches to Regulatory Structure Jeff Carmichael Chairman Carmichael Consulting Pty Ltd

  2. Outline • Main models that have emerged around the world • Key issues for consideration • How the various models handle the issues and mitigate the risks • Making regulation effective Conclusions: • There is no perfect structure • Structure matters – but it doesn’t guarantee good regulation

  3. Some Definitions • Regulation Vs Supervision • Regulatory structure • Institutional structure • Unified structure • ‘Mega’ regulators/‘Super’ regulators/ ‘Integrated’ regulators

  4. Main Models • Institutional (31) • Mexican (9) – Banking and securities • South African (3) – Non-banks • Canadian (13) – Banking and insurance • UK (10) – unified outside CB • Singaporean (3) – unified within CB

  5. The ‘Big 8’ Issues • Role of the Central Bank • Cultural conflicts • Objective conflicts • Co-operation and co-ordination • Size • Regulatory arbitrage • Financial conglomerates • Political dynamics

  6. Role of the Central Bank • Systemic stability role is undisputed • Case for regulatory role: • Banks are key to systemic stability • LLR • Banks and monetary policy • Specific Emerging Market issues: • CBs are typically more independent • CBs are typically better resourced

  7. Case Against CB Regulatory Role • Case against: • Conflicts between regulatory and monetary policies • Reputational risk • On balance – don’t separate banking regulation from CB unless there are powerful other reasons for doing so

  8. Conflicts of Culture • Conduct (policemen) Vs Prudential (doctor) • Different skill sets are needed • Different approaches are needed • There are risks in bringing them under the same roof • But there can also be benefits from exposing the cultures to each other

  9. Conflicts Among Objectives Regulatory Objectives: • Systemic stability – payments and macro policy • Safety and soundness – prudential • Fairness – conduct • Efficiency – competition Conflicts: • Prudential/conduct • Prudential/competition Handling conflicts: • Internal Vs external

  10. Co-operation & Co-ordination • Co-operation and co-ordination are needed under any structure • But some are more demanding than others: • Institutional – conglomerates • Canadian – multiple regulators • Unified – across departments

  11. Size • Can be the ‘deal breaker’ • Very small countries: • Shortage of regulatory skills • Economies of scale • Cost • Careers • Very large countries: • Risk of dominance • Risk of over-regulation

  12. Regulatory Arbitrage • Effective regulation demands neutrality • Arbitrages arise from gaps and overlaps • Institutional structure is exposed • Choice can lead to arbitrage • Conglomerates can exploit arbitrage • Arbitrage not limited to prudential regulation • Higher levels of amalgamation should lower risk of arbitrage

  13. Financial Conglomerates • Emergence of conglomerates has challenged traditional demarcations due to: • Complexity of structures • Intra-group exposures and lack of transparency • Contagion • Lack of information to specialist regulators • Need to capture totality of risks • Regulatory structure should reflect industry structure

  14. Political Dynamics • Change has many stakeholders • Change needs a champion who can deliver • Change can be a catalyst for delivering the undeliverable (powers, break up ineffective coalitions, improve conditions) • Nevertheless, resistance is inevitable and should be anticipated • A compromised outcome may be worse than the status quo

  15. Institutional Model • Positives: • Leaves banking regulation with CB • Separates cultures (to a point) • Facilitates tailoring • Avoids over-concentration of power • Negatives: • Can lack scale • Potential for capture • No real synergies • High cost • Reputational risk for CB • May have conflicts of objectives • Potential for gaps and overlaps • Doesn’t deal well with conglomerates

  16. Risk Mitigation – Institutional Model • Co-ordination: • Council of regulators • Lead regulator • Cross-board memberships • Gaps – power to deem institutions to require regulation

  17. Mexican Model • Positives: • Some economies of scale and career opportunities • Doesn’t over-concentrate power • Less costly than institutional • Can deal with bank/securities conglomerates • Negatives: • Can lack scale in insurance • Insurance exposed to capture • No real synergies • Cost may still be high • Potential cultural clashes • Possible conflict of objectives • Gaps and overlaps – congloms. • Difficult to keep in CB

  18. Risk Mitigation – Mexican Model • Co-ordination: • Council of regulators • Lead regulator • Cross-board memberships • Gaps – power to deem institutions to require regulation • Cultural clash - silos

  19. South African Model • Positives: • Leaves banking regulation with CB • Economies of scale in non-bank regulation • Better balanced than Mexican • Power no overly-concentrated • Deals with non-bank conglomerates • Negatives: • No real synergies • Relatively high cost • Bank/non-bank conglomerates • Culture clashes • May have conflicts of objectives • Reputational risk for CB

  20. Risk Mitigation – S.Af. Model • Co-ordination: • Council of regulators • Lead regulator • Cross-board memberships • Gaps – power to deem institutions to require regulation • Cultural clashes - silos

  21. Canadian Model • Positives: • Aligns structure with objectives/less cultural clash • Economises of scale in prudential regulation • Deals with ‘prudential’ conglomeration • Stronger career prospects • Reduces arbitrage opportunities • Maximises synergies • Negatives: • Removes banking • Concentrated power • One-size-fits all • Co-ordination still needed • Conglomerates with securities

  22. Risk Mitigation – Canadian Model • Co-ordination: • Council of regulators • Cross-board memberships • Concentration of power – legislate strong governance and accountability

  23. UK Model • Positives: • Matches structure with industry – conglomerates • Minimises arbitrage • Very broad career prospects for staff • Economies of scale/lower costs • Resolve conflicts internally • Synergies • Negatives: • Concentration of power • Conflicts of objectives • Conflicts of culture • Banking away from CB • Possible one-size-fits all

  24. Risk Mitigation – UK Model • Co-ordination: • Cross-board memberships with CB • Power – need for very strong governance and accountability (e.g. UK) • Culture – silos

  25. Singaporean Model • Positives: • Leaves banking regulation with CB • Very cost effective • Good career prospects/synergies • Maximises scale economies and synergies • Eliminates arbitrage and deals with conglomerates • Negatives: • Extreme concentration of power • Clashes of objectives • Clashes of culture • Moral hazard on safety net • Reputational risk • One-size

  26. Risk Mitigation – Singaporean Model • Moral hazard - need to educate public about safety nets • Power – needs very strong governance and accountability (rare in CBs)

  27. Choosing a Structure • Every structure has some strengths and weaknesses • In practice, moves towards some form of amalgamation have been prompted mainly by: • Cost/scale • Reducing regulatory arbitrage • Conglomerates • In practice, any structure can work if it has the right foundations and commitment

  28. Independence and Accountability • Independence is to ensure clarity of objectives • Regulators need independence to: • Develop, implement and enforce policy • Independence is determined by: • Appointment and dismissal terms • Indemnities for staff • Relationship to Government • The greater the independence, the greater should be the accountability

  29. Governance • Refers to how the agency is run: • How it deals with conflicts • How it ensures it is doing its job effectively • Requires internal structures such as: • Board • Risk Committee • Code of conduct • Delegation structure and internal controls • Dispute mechanisms

  30. Powers • Issue of how much ‘black letter’ law • Ideal powers include: • Licensing/de-licensing • Regulations/standards • Reporting obligations • Monitoring and surveillance • Directions • Investigation • Enforcement • Transfers • Statutory management • Winding up • SROs • Information sharing

  31. Funding • Independence of funding is critical (independent but accountable) • Adequacy of funding is critical • Best model is industry funding

  32. Summary • Regulation is a ‘hot’ topic • Regulation matters – but it is not a panacea • International trend has been to amalgamate into one of a number of different forms • No model is perfect and requires a balancing of issues: • Role of CB • Cultural clashes • Conflicting objectives • Co-operation • Size • Regulatory arbitrage • Conglomerates • Political dynamics

  33. Alternative Approaches to Regulatory Structure Jeff Carmichael Chairman Carmichael Consulting Pty Ltd

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