In November 2016, the Bank of England (BoE)
published the results of its 2016 banking stress tests which measured the
resilience of UK’s major banks’ balance sheet in adverse scenarios. These
incorporated a synchronised UK and global recession with associated shocks to
financial market prices, and an independent stress of misconduct costs. The
stress tests also represented the BoE’s first annual cyclical scenario (ACS), a
new approach to stress testing, which examines the resilience of the system to
a more severe stress than in previous years.
In 2017, the BoE is expected to extend stress
testing even further by including a biennial exploratory scenario which will
test the resilience of banks to risks that may not be directly linked to the
financial cycle. At a UK level, the 2017 stress test scenario also includes a
severe level of stress, with substantial impact on UK residential and
commercial property, UK GDP and unemployment. However, the impact could be even
more severe if the economic and political challenges currently facing the EU
and Eurozone were to be incorporated, such as high-debt levels, security
concerns and Brexit.
In order to prepare for the upcoming stress
tests, banks should ensure they have an effective analysis of balance sheet
vulnerabilities in place and adopt an integrated approach to their risk
management functions. An important part of this is to build optimal granular
data infrastructure and risk data aggregation as per BCBS 239 requirements.
These principles, which were published by the Basel Committee on Banking
Supervision, came into force in January 2016 and aim to increase the ability of
global systemically important banks to aggregate and report risk data and cover
a range of topics including data architecture and IT infrastructure, the
completeness of data, as well as the timeliness and frequency of reporting.
In addition to the core data, the BoE will
continue to make scenario-specific data requests as appropriate and the
requested information will give the central bank the flexibility to gain deeper
insight into the way banks have taken account of specific features of such
scenarios in their projections. This will allow the BoE to examine areas of
balance sheets that are likely to be affected in a given scenario.
Consequently, the provision of core data will need to become more automated
over time and participants will have more time to provide scenario-specific
data.
The BoE is not expected to release details
about its biennial exploratory scenario before spring this year; however, banks
need to ensure that they have appropriate resources in place to run two or even
more scenarios simultaneously. In order to do so, they should start identifying
key data gaps and limitations that could be exposed through these new
scenarios.
Questions remain as to whether banks are
prepared to fully capture risks or whether the established BoE stress test
templates, such as the firm data submission framework (FDSF), are the most
effective method to determine balance sheet vulnerabilities.
The Prudential Regulation Authority has
developed FDSF to provide quantitative, forward-looking assessments of the
capital adequacy of the UK banking system and individual institutions within
it. FDSF is likely to be managed by risk teams, who have up until now focused
on internal reporting and who will now need to upgrade their technical
infrastructure to comply with external disclosure requirements. In order to do
so, they will need robust calculation engines to run the stress tests and the
ability to reconcile the results with data reported as part of other regulatory
requirements.
Finally, banks need to ensure that they have
the flexibility to model their own scenarios, not just comply with regulatory
requirements, but also as an internal capital management exercise. It is
imperative that calculations, regulatory and internal reports are all
consistent and banks have to be able to trace back results and calculations all
the way from regulatory returns to originations, with the ability to view the
entire data lineage.
In short, in order to be prepared for this
year’s stress tests, over and above the methodology, design and implementation
of models, banks need to ensure that they have the appropriate controls and a
comprehensive governance process.
Sufyan Khan,
Product Manager, EMEA,
AxiomSL
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