The New Basel Capital Accord Oliver Wyman
The New Basel Capital Accord Oliver Wyman
The New Basel Capital Accord Oliver Wyman
Last month, the Basel Committee on Banking • The first pillar sets minimum capital requirements
Supervisions (BCBS) issued a proposed revision to the for all supervised banks. It is the most direct
1988 Basel Capital Accord, commonly known as the BIS replacement for the current BIS capital regulations.
capital rules. This New Accord represents the culmination The central requirement remains unchanged: banks
of a great deal of thoughtful work by the members of the must hold capital equal to 8% of Risk Weighted
BCBS, national banking supervisors, and the industry in Assets, of which at least half must qualify as Tier I
the 19 months since the first consultative paper was capital. The bulk of the Risk Weighted Assets remain
released in June 1999. It will significantly affect not just based on the credit risk of the banks assets;
the amount of capital that banks will be required to hold, however, there is now an explicit capital requirement
but the relationship of government supervisors to the for operating risk.
supervised institutions and the incentives in the financial
markets. Consistent with our impression of the earlier For credit risk, the New Accord introduces three
consultative paper, we view the New Accord as a major options for how banks can calculate their Risk
step (if not a giant leap) forward which should Weighted Assets:
significantly improve the basis for international bank
capital regulation. – Standard Approach: For banks wishing to
minimise the impact of the New Accord, there is
a standard approach which works very much like
Three Pillars the current rules. In particular, most commercial
The central concept of the New Accord is that there are to lending will continue to have a 100% risk
be three separate pillars working together to ensure weighting. Some changes have been made to
capital adequacy. align the Risk Weightings more with market
economics, particularly for sovereigns, banks,
and publicly rated borrowers.
New
NewBasel
Basel Capital Accord
Capital Accord
– Internal Ratings Based Approach Advanced: Working with many of the G10s leading banks,
Banks whose internal ratings systems Oliver, Wyman & Company has been at the forefront
incorporate a rigorous analysis of facility level of the development of sophisticated risk
risk factors, such as collateral, covenants, and measurement tools and internal economic capital
maturity, will be able to further adjust their risk frameworks. We are pleased to see that the New
weightings to take account of loss given default Accord proposes to make use of many of these tools
and exposure factors. and the concepts underlying economic capital. In
particular, rigorous credit rating is now deservedly at
• The second pillar calls for the supervisory review the heart of the capital requirements for credit risk.
of banks internal capital adequacy and planning. This We are also pleased to see that the Internal Ratings
serves to ensure that bank management is paying Based approach is built around the Default
appropriate attention to risks which may be neglected Probability X Loss Given Default X Exposure at
or understated by the Pillar I minimum capital Default framework we have advocated for over 10
requirements. It is also intended to encourage years.
supervisors to intervene early if a banks risks are
growing dangerously relative to its capital. • Provides Incentives for Continued Improvement in
Risk Measurement and Management
• Finally, the third pillar promotes the role of market
discipline on banks risk taking activity by greatly The three pillar approach found in the New Accord
increasing the public disclosure of risks. provides incentives for almost all banks to improve
their risk measurement in order to advance to the
Step in the Right Direction next level of sophistication and take advantage of the
more rational capital requirements. The strict
In our view, the New Accord is a major step in the right requirements for operational controls and reporting,
direction. It moves towards a regulatory capital regime necessary to apply the more advanced methods, will
that is truly risk-based, and attempts to reflect insofar as also encourage banks to drive measures into day-to-
possible in a rules-based system broadly applicable to a day business practices.
large number of banks the economic risks undertaken
by a financial institution. • Increases Role of the Market
The New Accord will help create appropriate incentives We believe that, generally, the financial markets can
for risk taking, risk management, risk mitigation and risk provide the most accurate, timely and bias-free
pricing. At the same time, it generally strikes a good assessment of risk and value. However, in the case
balance between a desire to advance the state of of large complex financial institutions, current
regulatory capital with an understanding of the practical disclosure practices provide the market with a very
limitations of current technology and the business opaque, rear-window view of risk-taking. Thus the
environment. need for government supervision. Nevertheless, the
New Accord, has an important section, in Pillar III,
We see five key areas in which the New Accord which recommends far reaching extensions to the
represents a significant improvement on the current state amount of risk information banks should publish.
of capital regulation: Years from now, increased market disclosure may
well be seen as the most significant change in the
• Removes the Worst Perverse Incentives of the Old 2001 Accord.
System
• Flexibility of Supervision
The existing capital regulations, due to their
simplicity, contain many arbitrary distinctions which Although we feel that the BCBS has done as good a
have led capital requirements for some activities to job as could be expected in setting minimum capital
differ greatly from the true, economic risks. An requirements, no set of rules, even running over 400
obvious example is lending to high-quality, pages, can capture every possible type of risk. Even
investment grade borrowers, for which the current if it could, the pace of innovation in today's financial
equity requirement far exceeds the true level of markets means that the rules would soon be
economically-implied capital. This has led banks to incomplete. That is why we think Pillar 2 of the New
reduce lending to the highest quality borrowers and Accord the supervisory review of banks internal
worse, to overlend (and underprice) loans at the
• Full recognition of many credit risk mitigation tools • Preliminary Treatment of Consumer Credit Risk and
Operating Risk Treatment Require Further
• Reliance on capital market solutions Refinement
• System-wide Capital Impact and Individual Financial • What they absolutely must do to meet the minimum
Institution Impact is Unclear reporting requirements
The stated desire of the BCBS is that there be no net • Whether they will be advantaged by using the more
impact on the system-wide level of capital held by the sophisticated options, and what is needed to qualify
banking industry. Yet given the complexity of the
regulations it is not yet clear if the proposed accord • How the New Accord will affect their competitors, and
achieves this objective. This is true not only at the thus the markets in which they do business
system-wide level but also for individual institutions.
The unspecified nature of some elements of the Even The Most Sophisticated Fall Short
framework (such as Operating Risk) and uncertainty
over how other elements (e.g. Pillar II) will be applied The most noticeable area where banks will need to work
in practice, make it difficult for individual banks to is on the IRB approach for credit risk. Banks whose
estimate the net impact of the proposals on their expected credit losses are less than the industry average
capital requirements. Significant efforts should be will benefit from reduced minimum capital requirements if
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