Operational risk capital: Nowhere to hide



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Regulatory November 2014 brief A publication of PwC s financial services regulatory practice Operational risk capital: Nowhere to hide Overview The Basel Committee on Banking Supervision (BCBS) last month proposed revisions to its operational risk capital framework. The proposal sets out a new standardized approach (SA) to replace both the basic indicator approach (BIA) and the standardized approach (TSA) for calculating operational risk capital. In our view, four key points are worth highlighting with respect to the proposal and its possible implications: The proposed new SA would likely increase operational risk capital levels across the industry. The proposed new SA calculates capital by applying marginal capital requirements to a new Business Indicator, which is composed of publicly available revenue and expense data for each bank. Our calculations show that for a sample of 29 global banks, operational risk capital would be on average 55% higher under the SA than under the BIA. 1 For 12 institutions, operational capital would increase by at least half (please see the Appendix for further detail). The proposed new SA would only partially remediate perceived shortcomings of the existing BIA and TSA. Although the SA may address regulators concerns that both the BIA and TSA underestimate operational risk capital levels in the global banking system, it does not take into account such factors as improvements in the control environment or historical loss profiles. The SA may also improve risk sensitivity compared to the BIA and TSA, and increase transparency relative to the TSA (since the SA s calculations are based on publicly available information). The proposal affects US-based AMA banks by supporting the upward pressure on operational risk capital. Large US banks and their regulators commonly use Basel s BIA and TSA as comparison and calibration points for operational risk capital calculations under the advanced measurement approach (AMA). If the SA replaced the BIA and TSA, the higher capital required under the SA would exacerbate the upward pressure on operational risk capital which many US-based AMA institutions have been (painfully) experiencing. If adopted, the proposal increases the likelihood that the US capital regime for operational risk is amended within the next three to five years. The proposed SA may evolve to provide a credible alternative to the AMA which has been resource intensive and cumbersome for US institutions to implement. However, in the eyes of some US regulators the AMA has also resulted in operational risk capital levels that are lower than desired. It is therefore far from certain whether US institutions would experience capital relief as a result of adoption of the SA by US regulators. This Regulatory Brief provides background information on calculation methodologies for operational risk capital, analyzes the proposed SA approach, and describes its anticipated impact on US and non-us banks. 1 A direct comparison of the SA to the TSA or the AMA is not possible based on publicly available information.

Background Basel II provides three methodologies for calculating operational risk capital requirements: the BIA, TSA, and AMA. These methodologies are different in terms of complexity of calculation and risk sensitivity, both of which increase from one model to the next, as illustrated in the graphic below. Theoretically, more sophisticated methodologies with greater risk sensitivity should result in more accurate risk calculations and lower regulatory capital levels. Basic Indicator Approach (BIA) Capital requirement = Consolidated Gross Income (GI) x 15% Operational risk models under Basel II The Standardized Approach (TSA) Capital requirement = Sum of: GI Corporate Finance x 18% GI Sales and Trading x 18% GI Retail Banking x 12% GI Commercial Banking x 15% GI Payment & Settlements x 18% GI Agency Services x 15% GI Asset Management x 12% GI Retail Brokerage x 12% Advanced Measurement Approach (AMA) Capital requirement is based on regulator-approved internal risk models, such as the Loss-Distribution Approach. The main weakness of the BIA and TSA is their use of Gross Income (GI) as a direct, linear indicator for operational risk exposure. As noted by BCBS, this assumption does not hold under many scenarios, including periods of stress where GI levels may decrease at a time when the bank is facing increased operational risk. These less sophisticated methodologies also employ limited risk sensitivity in their calculations. For example, these methodologies do not effectively account for differences in operational risk exposure across different business units. Although the TSA attempts to resolve this issue (i.e., by applying a business line-specific approach), it has not produced statistically different outcomes. As a result, many banks using these simpler methodologies are considered undercapitalized. Although the more sophisticated AMA methodology endeavors to addresses these issues, it also requires more expansive data collection and modeling than the formulaic BIA and TSA, and is thus more costly. As a result, the AMA is generally suitable for large and complex firms that can derive benefit from its precision and are better able to absorb its higher associated costs of implementation. For this reason, in the US, the AMA is used, subject to regulatory approval, by Advanced Approaches firms. 2 The BIA and TSA methodologies are nevertheless used by these firms (and regulators) to benchmark and calibrate capital requirements calculated under the AMA. The SA methodology The SA methodology employs variables that should better explain changes in operational risk exposure. Unlike the BIA and TSA that rely solely on GI as an indicator of risk exposure, the SA methodology uses an enterprise-wide approach (called the Business Indicator ). The Business Indicator includes net income from interest, services, and trading and banking activities. Notably, the Business Indicator excludes dividend income (which is included as part of GI under the BIA and TSA) but includes net banking book income (which is excluded from the GI). The Business Indicator also uses absolute values of net income/loss from interest, trading activities, and banking activities (i.e., it uses the highest amount regardless of whether the amount is positive or negative). This will require banks to hold capital even in years where income is negative and are therefore operating in an environment that is more likely to require capital. The use of absolute value does not, however, address the scenario where a bank breaks even and has no capital requirement. The intent of the regulators to better capture business activity as a driver of operational risk may have been more accurately achieved by utilizing the absolute value of income or expenses, whichever is higher. The following table lays out the components of the Business Indicator: 2 Generally those firms with either at least $250 billion in consolidated total assets, or with at least $10 billion in onbalance sheet consolidated foreign exposure. Regulatory brief PwC 2

Business Indicator components Interest Absolute Value (Interest Income Interest Expense) Services Fee Income + Fee Expenses + Other Operating Income + Other Operating Expenses Financial Absolute Value (Net P&L on Trading Book) + Absolute Value (Net P&L on Banking Book) The SA also takes into account the firm s size by taking a tiered approach to calculating operational risk capital requirements, ranging from 10% to 30% of the Business Indicator. As depicted below, the capital requirement progressively increases as the Business Indicator exceeds certain levels, leading to a range of effective capital requirements. 3 Business Indicator ( millions) Capital requirement Effective capital requirement 0-100 10% 10% 100-1,000 13% 10% - 12.7% 1,000-3,000 17% 12.7% - 15.6% 3,000-30,000 22% 15.8% - 21.4% >30,000 30% 21.4% - 30% By adopting this formulaic approach that looks to better capture and reflect the drivers of operational risk while limiting implementation costs, the SA methodology seeks to optimize the balance between accuracy and simplicity. 3 In addition, the SA methodology enhances transparency by developing an approach that would be difficult to game, and improves comparability of capital levels across different firms by reducing the number of available approaches. Anticipated impact to banks The introduction of the SA is likely to have a significant impact on firms. For US banks, we expect continued upward pressure on their regulatory capital levels, as regulators use the SA as a benchmark to assess the firms regulatory capital. As illustrated in the graphic below, some banks will experience an increase of more than 75% in their BIA benchmark levels. In addition, non-us banks that currently use either the BIA or TSA to calculate their operational risk capital are likely to face an uptick in their regulatory capital requirements under the SA, driven in large part by the size of their organization. 3 The SA approach generally captures operational risk capital more accurately than the BIA and TSA. 30 Operational Risk Capital Charges BIA vs SA 25 20 Billions 15 10 5 0 State Street Nordea Bank of New York Mellon Groupe BPCE Standard Chartered Mizuho FG Credit Suisse Group Crédit Agricole Morgan Stanley BBVA UBS Goldman Sachs Sumitomo Mitsui FG Société Générale Royal Bank of Scotland Unicredit Group ING Bank Mitsubishi UFJ FG Deutsche Bank Barclays Bank of China BNP Paribas Santander HSBC Citigroup Wells Fargo ICBC Bank of America JP Morgan Chase BIA Capital (USD) SA Capital (USD) Regulatory brief PwC 3

Appendix: Percent increase in operational risk capital BIA vs. SA The below table shows that for a sample of 29 global banks, operational risk capital would be higher under the SA than under the BIA. For 12 institutions, operational capital would increase by over 50%. Bank Capital increase from BIA to SA Bank Capital increase from BIA to SA State Street 33% Unicredit Group 47% Nordea 39% ING Bank 48% Bank of New York Mellon 40% Mitsubishi UFJ FG 56% Groupe BPCE 43% Deutsche Bank 56% Standard Chartered 44% Barclays 59% Mizuho FG 45% Bank of China 67% Credit Suisse 45% BNP Paribas 67% Group Crédit Agricole 46% Santander 68% Morgan Stanley 46% HSBC 74% BBVA 46% Citigroup 75% UBS 46% Wells Fargo 78% Goldman Sachs 46% ICBC 79% Sumitomo Mitsui FG 47% Bank of America 80% Société Générale 47% JP Morgan Chase 82% Royal Bank of Scotland 47% Regulatory brief PwC 4

www.pwcregulatory.com Additional information For additional information about this Regulatory Brief or PwC s Financial Services Regulatory Practice, please contact: Dan Ryan Financial Services Advisory Leader 646 471 8488 daniel.ryan@us.pwc.com Dietmar Serbee Partner, Financial Services Risk Advisory 646 471 7270 dietmar.d.serbee@us.pwc.com Shyam Venkat Partner, Financial Services Risk Advisory 646 471 8296 shyam.venkat@us.pwc.com Armen Meyer Director of Regulatory Strategy 646 531 4519 armen.meyer@us.pwc.com Contributors: Dietmar Serbee, Helene Katz, and Geoffrey Allbutt. To learn more about financial services regulation from your ipad or iphone, click here to download PwC s new Regulatory Navigator App from the Apple App Store. Follow us on Twitter @PwC_US_FinSrvcs 2014 PricewaterhouseCoopers LLP, a Delaware limited liability partnership. All rights reserved. PwC refers to the US member firm, and may sometimes refer to the PwC network. Each member firm is a separate legal entity. Please see www.pwc.com/structure for further details. This content is for general information purposes only, and should not be used as a substitute for consultation with professional advisors. PwC US helps organizations and individuals create the value they re looking for. We re a member of the PwC network of firms in 158 countries with more than 180,000 people. We re committed to delivering quality in assurance, tax and advisory services. Tell us what matters to you and find out more by visiting us at www.pwc.com/us.