1 / 14

Housing Conference 2015 on “Affordable Housing & Housing Finance”

Housing Conference 2015 on “Affordable Housing & Housing Finance” The role of Regulators in Housing Finance Olivier Hassler ohhfinance@gmail.com. Objectives and Constraints of Housing Finance Regulation. Within the general goals of prudential regulation

annalise
Download Presentation

Housing Conference 2015 on “Affordable Housing & Housing Finance”

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. Housing Conference 2015 on “Affordable Housing & Housing Finance” The role of Regulators in Housing Finance Olivier Hassler ohhfinance@gmail.com

  2. Objectives and Constraints of Housing Finance Regulation • Within the general goals of prudential regulation • Protect depositors • Ensure financial stability and mitigate systemic risks • Formalize the awareness of risks and their management framework within FIs – e.g. internal control, reporting requirements, risk appetite framework • Ensure level playing field • Avoid regulatory arbitrage • Specific themes for housing finance • Cyclical market, prone to asset price bubbles • Liquidity risk generated by long term lending • Need of investors’ confidence • But also specific constraints • Real estate markets dynamics, often not primarily driven by credit • Objectives can be conflicting

  3. Main Lessons from the 2007-2009 Crisis • A crisis mostly acute in the US (starting point) and in Europe- only a few emerging countries affected to some extent:RSA, Mexico, India • But with generally valid lessons– contrarily to the regional , also real estate related, crises of the 1990s. The last financial crisis = largely shapes the new global regulatory landscape, and provides a reference stress scenario • Three main areas: I) Micro-level credit risk • Sound underwriting criteria • Responsible lending II) Macro-level stability • Avoid losing track of credit risks through risk transfer mechanisms • Manage the use/impact of mortgages on speculation and housing market overheating III) Mitigate contagion risk through funding • Impact of confidence losses / market disruption on liquidity • Treatment of creditors in case of insolvency

  4. I A) Ensure Sound Underwriting Criteria • A flurry of regulatory adjustments world wide - Examples • FSB Principles for Sound Residential Mortgage Underwriting Practices March 2011 & Apr 2012 • USDodd Frank ActJul 2010, UK Mortgage Market Reviews Dec 2010 and 2011, • Hungary, Latvia, Lithuania, Malaysia, Norway, Poland, UAE etc., since 2010 • EU: Mortgage Credit Directive • Ability to Repay = primary criteria (mortgage security = safety net) • Lend primarily based on repayment capacities • Requirement to verify stated income, no self-certification • Assessment of free disposable income and living expenditures (simple DTIs % not enough) • Verification of total indebtedness • Variable rate /FX mortgages: • Disregard initial teaser rates (fully indexed rates) • Stress tests , at origination and on an on-going basis • Income buffer • LTVs still important – Typically determine Risk Weights Note: Basle III only changes Risk Weights of mortgages by setting a 20% floor for Internal rating Bases Approach

  5. I A) Sound Underwriting Criteria, Ctd • Avoid risk layering Addition of products risky features ( e.g. interest only, no-or low doc., negative amortization, teaser rates) and borrowers risky profiles: typical of subprime lending– but more generally a tempting way to create apparent affordability • Provide discipline incentives to lenders : • Linkage soundness of lending / capacity of funding: 5% risk retention rule for securitizing originators (Basle, Mexico, US, EU) • In the US: “Qualified Mortgages” • Exempted from the 5% risk retention requirement • Provides protection in case of foreclosure (burden of the proof of unfair lending born by the defending borrower) • Expected loss based provisioning (Mexico)

  6. I B) Strengthen Consumer Protection • Reckless lending targeted by recent framework enhancements • Responsible lending has been defined… • Not lending against borrower’ interest • Affordability based lending • Fair information • Advisory services (ex.: South Africa National credit Act since 2007; France: ANIL network; US :Office of Housing Counseling created within HUD by the US Mortgage Reform and Anti-Predatory Act – MRAPA -, Title 14 of Dodd- Frank) • … and its legal implications strengthened • Direct legal responsibility of bankers already in some systems (South Africa, France, UK) Important innovation in the USA: • lenders legally liable for not complying with MRAPA • Dodd Frank / CFPB/ HUD “Qualified Mortgages” provide legal safe harbor • In many jurisdictions –including the US now-: unfair lending = defense against foreclosures • “Passive” over-indebtedness (post-origination hardship), an on-going debate • Ex. EU: EBA Opinion on good practices for responsible mortgage lending and treatment of borrowers in financial difficulties (June 2013) • Several options: personal bankruptcy, loan restructuring (pre-set rules? judicial discretion?) • Risks: strategic defaults (US) , moral hazard

  7. II A)Ensure that risk transfers do not hide risks at the Macro-Level • Shadow banking system – Basle III, new insurance prudential framework in Europe (Solvency II) and Australia : • Securitization made more costly, restriction to its role as a risk transfer instrument (risk retention requirement) • dissuasive treatment of re-securitization • Increased due diligence and market disclosure requirements • Mortgage insurance - prudential regime already in various countries (ex. India, Australia) – Generalization: Basle Joint Forum Feb 2013 report : • same soundness criteria as for lending, • Insurers’ prudential standards = a condition to lower risk weights in lenders’ balance sheets • no regulatory arbitrage

  8. II B) Preventing Housing Price Bubbles • A potential source of systemic risk –even if a small portion of credit portfolios • The amplification effect of mortgage security: housing market downturns not only increase defaults, but affect the value of collaterals • Developer loans: large amounts, high sensitivity to the fall of prices • Specialized lenders: more sensitive than commercial banks, and sources of contagion through their funding by banks or capital markets • Concentration of activity conducive to bubbles : lenders and developers often focus on thin, upper market segments , creating the conditions for oversupply • First type of macro- prudential measures: reining-in credit growth • Quantitative caps ( ex. Hong-Kong) • Limiting LTVs, as an indicator of expectation-based lending • Hard limits (e.g. India, China 201 -70%) • Higher capital charges for high LTV loans • Dynamic provisioning(e.g. Chile, Colombia, Spain) • Limiting Debt-to-service ratios (e.g. Hong Kong).

  9. II B) Preventing Housing Price Bubbles,Ctd Improved approach: targeting specific speculation factors: • Restricting the financing of multiple investments (2nd or 3rd investment) • Reducing LTV caps (Malaysia 2010, Canada 2010, Singapore, UAE, Indonesia 2013) • prohibiting lending (China) • Limiting non-residents investments (China – local level-, reversed by many communities since 2014) • Prudential tightening in selected, overheating areas- Korean example: 40% LTV in Seoul metropolitan area (2002), on higher priced houses (2006), delineation of speculative zones with contra-cyclical LTV and DTI limits • Restrictions on off-plan sales financing (Dubai, Saudi Arabia, Indonesia)

  10. II B), CtdThe Limits of Macro-Prudential Steps • Not all price appreciations are bubbles • Real estate market Intrinsically cyclical –e.g. leads an lags between demand and supply • Structural housing shortage, supply bottlenecks • Lack of alternative investment opportunities • Purchasing power of non-residents (incl. nationals) • Mortgage lending is not the main engine of market exuberance • Often a largely cash market • Land speculation • Off-plan purchases prone to speculative contract flipping • High LTVs not necessarily a bet on future appreciation (young households) • Anti-speculative measures must directly target the housing market • Land management policy • Taxation– see China 2013, Singapore 2009-2011 (level of registration charges increased to up 16% for short holding period, up to 16%; + 3% or 10% stamp duty surcharge for second houses) • Stimulation of affordable housing supply Ex. Viet Nam bubble management: 2013 subsidized mortgage loan programs ( 600 million US$) targeting the middle income segment (Quintiles 3 &4) to induce a redirection of –even on-going- housing developments • Strengthening the developers industry to control over-supply and avoid contagion effect

  11. II B), Ctd … But Financial Authorities’ rolecanbebroader • Monitoring prices In quite a few countries, the construction of price indexes have been initiated by the Central Bank – Indonesia, Morocco- or related agencies (Mexico SHF, India NHB) • Promoting real estate observatories with a stability focus • Length of upturn phases (may fuel perception of enduring appreciation) • Sellers’ markets drive appreciation • Turn-over and sale rhythm of new developments • Analyses by segments (location, price brackets) critical to spot overheating areas • Best practices: Thailand (pioneer), Canada, Korea • Identifying over-evaluations not an easy task - are “fundamentals” really fundamental? • Rents to prices ratio: numerous drivers, not a simple indicator • Income-to-price ratio: averages of little value in highly segmented housing markets, income distribution by geographic areas needed but not always available

  12. III A) Ensuring resilience to funding market disruptions • Mortgage lending particularly sensitive to liquidity risk • Long term, frequently illiquid asset class • Regular temptations to play the yield curve through short term wholesale funding, critical role of investor confidence in refinancing requirements • Specialized lenders among the hardest hit by the 2007-2009 crisis: non-bank mortgage banks in the US, Northern Rock (UK), Depfa (Germany), Mexico SOFOLEs • Hence the importance of prudential norms for liquidity management – Basle III new liquidity ratios: • Liquidity Coverage Ratio: ensuring that estimated monthly cash out-flows are covered by liquid or easily monetizable assets • Net Stable Funding Ratio: ensuring that a FI can function without mobilizing market funding for a year

  13. III B) Secured funding and insolvency situations • Raising long term debt for mortgage lending implies special security for investors… Basis of mortgage-related securities: securitization, MRCs, covered bonds • … and correlatively the “structural subordination” of other creditors : • Allocation of high quality assets to a specific category of creditors, via encumbrance or sale • Amplified by over-collateralization • Ranking competition with deposits and deposit insurance: a critical consideration … • … extended to senior unsecured debt trough the new resolution regimes (USA, EU, Brazil, Switzerland) SS debt holders could be bailed –in to avoid costly government bail-out interventions and enhance market discipline • A new responsibility for financial stability Authorities: contributing to the legal mechanism (permitted overcollateralization, debt ranking) and its enforcement (degree of flexibility?)

  14. Conclusion: a delicate balancing act between conflicting objectives for Regulators • General economic stimulation through monetary easing vs risk control (incentive to risky, high return seeking behaviors) • Reining-in RE market risks and overheating vs market deepening: high LTVs required for first –time buyers, needs of informal sector households (US: fears of Qualified Mortgage concept on non-traditional lending) • Control risky effects of competition between FIs without limiting competition • Control risks without over-regulating • Too strict sets of rules stunt product innovations (example of extreme standardization of products by the Colombian mortgage law) • Too costly impact of regulation may deter lending • … But benefits of enhanced soundness to be quantified and factored in (see in the US: estimation by the Consumer Financial Protection Bureau of the quantitative impact of Qualified Mortgages more efficient foreclosure process

More Related