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Dr. Willi Schwarz, Commerzbank AG

Dr. Willi Schwarz, Commerzbank AG. 2007 AFGAP & ALMA International Conference German Framework on Liquidity Management. Agenda. German Regulatory Environment. 1. The new German Liquidity Regulation. 3. 2. The new Liquidity regulation A Comparision to Grundsatz II. 4. 3. Conclusions.

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Dr. Willi Schwarz, Commerzbank AG

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  1. Dr. Willi Schwarz, Commerzbank AG 2007 AFGAP & ALMA International Conference German Framework on Liquidity Management

  2. Agenda German Regulatory Environment 1. The new German Liquidity Regulation 3 2. The new Liquidity regulation A Comparision to Grundsatz II 4 3. Conclusions 5

  3. 1. 2. 3. The new German „Liquiditätsverordnung“ – Liquidity Regulation For the assessment of sufficient liquidity the institute may, with the consent of the regulator (BaFin), elect for the long-term use of an internal liquidity risk measurement- and steering procedure under the following conditions: • The internal procedure guarantees a continuous determination and monitoring of liquidity risk. • The internal procedure determines the liquidity situation in more depth and more adequately as compared to a liquidity measurement in accordance with the general rules of the Liquidity Regulation. • The internal procedure should especially provide information about (i) expected short term net-outflows, (ii) the possibility to borrow unsecured funds and (iii) the implications of stress-scenarios. • The regulator has confirmed suitability of the internal risk measurement- and steering procedure. Based on the internal liquidity risk measurement- and steering procedure, the institute shall set up, and check on a regular basis, appropriate liquidity risk limits which must be determined on a quantitative basis and must also consider stress-scenarios. To achieve this, the institute shall identify key characteristics of its liquidity risk measurement- and steering procedure which are suitable for an aggregated presentation of the institute`s risk of insufficient liquidity. The institute shall document which levels of these key characteristics are equivalent to the institute`s being subject to an appreciable, middle and high risk of insufficient liquidity. It shall also document which measures will be taken when reaching one or more of the described levels. - Set-up process of Audit Guidelines by the BaFin is still ongoing - Detailed requirements are not yet determined

  4. 1. 2. 3. The new Liquidity Regulation A comparison to Grundsatz II Criteria Grundsatz II Institute`s Internal Liquidity Model Liquidity benchmark figure Ratio between disposable payment facilities vs payment obligations for given maturity buckets • Determination of future net cash flows • Assumptions in liquidity modelling Sufficient Liquidity The ratio until one month maturity needs to be bigger than 1, the ratios of the three other maturity buckets are calculated for informative purposes only Agreed limits need to be challenged by a traffic light approach incl. a catalogue of agreed measurements Product Coverage No consideration of derivatives portfolio incl. derivatives portfolio Stress Tests - Market and behavioural stress Group level only Granularity Portfolio, product and ccy for complete maturity Reporting Reporting to BaFin/BuBA Reporting of limit breaches to BaFin/BuBA

  5. 1. 2. 3. Conclusions: German Liquidity Regulation: Principle based versus rule based Enables coherent liquidity management approach: Internal approach and external requirements are dealt within the same framework New German Liquidity Regulation is overall in line with IIF requirements New German Liquidity Regulation can be taken as model for the European legislation

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