MARKET DISCLOSURE FOR DEC 09 UNDER PILLAR-III OF BASEL II Risk Management Department The City Bank Limited

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1 MARKET DISCLOSURE FOR DEC 09 UNDER PILLAR-III OF BASEL II Risk Management Department The City Bank Limited 1. Consequent upon globalization, Banks and other financial institutions all over the world are exposed to different types of risks. The emergence of Basel-II accord and its increasing applicability throughout the world calls for sound practices in risk management. To cope with the challenges, the Bank has put in place various risk management practices and processes in line with the guidelines of the Bangladesh Bank issued from time to time. 2. The Bank s risk management objectives broadly covers proper identification, measurement, monitoring / control and mitigation of the risks towards enhancing and maximizing the shareholders value by addressing appropriate trade off between an expected reward and potential changes. 3. In line with the guidelines issued by the Bangladesh Bank, the Bank has implemented New Capital Adequacy Framework (Basel-II) with effect from January 01, The Basel-II framework, as referred, is based on three mutually reinforcing pillars. While Pillar-1 of the revised framework addresses minimum capital requirement for credit, market and operational risk, the Pillar 2 (Supervisory Review Process) intends to ensure that the Banks have adequate capital to address all the risks in their business commensurate with Bank s risk profile and control environment. The Bank has put in place a Board approved policy on Internal Capital Adequacy Assessment Process (ICAAP). 4. Pillar-3 refers to Market Discipline. As released by the Bangladesh Bank, a set of Disclosures (both qualitative and Quantitative) are published in the pages of the guidelines of Risk Based Capital Adequacy for Banks. Disclosure Format (DF-1) to Disclosure Format (DF-9) as annexed with regard to risk management in the Bank which will enable market participants to assess key information on the scope of application, capital risk exposures, risk assessment processes, Bank s Risk Profile and level of capitalization etc. This would also provide the market participants with the necessary data to evaluate the` performance of the Bank in various parameters. Table DF-1 SCOPE OF APPLICATION 1)The name of the top Bank in the group to The Bank does not belong to any group. which the Framework applies 2)An outline of differences in the basis of consolidation for accounting and regulatory purposes, with a brief description of the entities within the group (i) that are fully consolidated (ii) that are pro-rata consolidated (iii) that are given a deduction treatment; and (iv) that are neither consolidated nor deducted (e.g. where the investment is risk - weighted) In the consolidated accounts Bank s subsidiary /Associates and Joint venture are treated as under: a) Subsidiary: Presently the Bank has no subsidiary. b) Associates: Presently CBL has no associates. c) Joint Venture: Bank has no joint venture. Note: Since the Bank has no subsidiaries, associates and joint venture companies, consolidation of financial did not arise and hence deduction of investment from capital has not been done. i

2 SL. No Quantitative Disclosures 1 The aggregate amount of capital Not Applicable deficiencies in all subsidiaries not included in the consolidation i.e. that are deducted and name(s) of such subsidiaries 2 The aggregate amounts (e.g. current The Bank has made investment in shares of book value) of the Bank s total IDLC Finance Ltd. The company interests in any Financial Institutions which are risk weighted as well as incorporated in Bangladesh as a Non Banking Financial Institution. CBL holds their name,their country of 27% of its total issued shares which has incorporation or residence,the been risk weighted as per Bangladesh Bank proportion of ownership interest and,if different,the proportion of voting Guidelines on Risk Based Capital Adequacy (RBCA). power in these entities. In addition, indicate the quantitative impact on regulatory capital of using this method versus using the deduction. Table DF-2 1)Summary information on the terms and conditions of the main features of all capital instruments, especially in the case of capital instruments eligible for inclusion in Tier 1 or Tier2. Quantitative Disclosures CAPITAL STRUCTURE Bangladesh Bank has released guideline for issuing subordinated debt.. Future debt instruments that will be issued by CBL shall adhere to applicable Bangladesh Bank guidelines. Sl.No. Particulars BDT in million 1 Tier-I (Core Capital) % of total capital 1.1 Fully paid-up Capital 1, % 1.2 Statutory Reserve 1, % 1.3 Non-repayable Share Premium account General Reserve % 1.5 Retained Earnings % 1.6 Proposed Bonus Share % 1.7 Non-cumulative irredeemable preference shares Dividend equalization account Sub-Total (1.1 to 1.8) 3, % 2 Tier-II (Supplementary Capital) 2.1 General Provisions (provisions for unclassified loans + provision for Off-balance sheet exposure) % 2.2 Assets Revaluation Reserves upto 50% % 2.3 Revaluation Reserve of Securities upto 50% % 2.4 Perpetual subordinated debt (upto max. 30% of eligible Tier-I capital) row Balance of Exchange Equalization Account % 2.6 Sub-Total (2.1 to 2.5) % ii

3 3 Tier-III (Eligible for market risk only) 3.1 Short-term subordinated debt Total Eligible Capital ( ) 5, % Table DF-3 CAPITAL ADEQUACY Bangladesh Bank adopted Basel I for credit risk through BRPD Circular # 01 dated January 08, 1996, which was subsequently revised on 25 th November 2003 by BRPD master Circular # 10. CBL has been fully compliant to Basel I capital Requirement of 10%. A Quantitative Impact Study (QIS) was done by Bangladesh Bank to implement the Basel II in Bangladesh in 2007 To implement Basel II, Bangladesh Bank had published Roadmap on December 30, 2007 and Basel II Guidelines through BRPD Circular # 09, dated December 31, 2008 Bangladesh Bank has recognized External Credit Assessment Institutions (ECAIs) through BRPD Circular # 05, dated April 29, Banks in Bangladesh have started reporting on parallel calculation of Minimum Capital Requirement (MCR) from April 2009 based on financials March 31, According to BRPD Circular # 10, dated March 10, 2010, Minimum Capital Requirement (MCR) will be 8% upto June 30, 2010, 9% upto June 30, 2011 and 10% from July 01, CBL hopes to be fully capital compliant. SL. No Quantitative Disclosures BDT in million 1 Capital requirements for Credit Risk: 5, a Portfolios subject to standardized approach-funded 5, b Portfolios subject to standardized approach-non-funded Capital requirements for Market Risk (Standardized Approach) Interest rate risk Foreign exchange risk(including gold) Equity risk Capital requirements for Operational Risk (Basic Indicator Approach) 4 Total and Tier-1 & Tier-II Capital Ratio: 4.1 Total CAR 7.95% 4.2 Tier- I CAR 5.00% 4.3 Tier-II CAR 2.95% Table DF-4 CREDIT RISK: GENERAL DISCLOSURE 1. Credit Risk : 1.1. Lending involves a number of risks. Credit Risk is broadly the possibility of losses associated with diminution in the credit quality of borrowers or counterparties Credit Risk or default risk involves inability or unwillingness of a customer or counterparty to meet commitments in relation to lending, trading, hedging, settlement and other financial transactions. The Credit Risk is generally made up of transaction risk or default risk and portfolio risk. 2. Credit Risk Management Policies : The Bank has put in place a well-structured Credit Risk Management Policy known as Credit Policy Manual (CPM) approved by the Board in The Policy document defines organization structure, role and responsibilities and, the processes whereby the Credit Risks carried by the Bank can be identified, quantified and managed within the framework that the iii

4 Bank considers consistent with its mandate and risk tolerance. Credit Risk is monitored by the Bank on an enterprise basis and compliance with the risk limits / exposure cap approved by the Board is ensured. The quality of internal control procedures is also monitored and internal expertise is built up to tackle all the facets of Credit Risk. The Bank has taken earnest steps to put in place best credit risk management practices in the Bank. In addition to Credit Risk Management Policy, the Bank has also framed Credit Instruction Manual, Investment Policy, Credit Administration Department (CAD) process manual etc. which forms integral part in monitoring of credit risk in the Bank. 3. Credit Appraisal / Internal Rating : 3.1. The Bank manages its credit risk through continuous measuring and monitoring of risks at each obligor (borrower) and portfolio level. The Bank has internally developed credit risk grading/rating modules and well-established credit appraisal/approval processes The internal risk rating/grading modules capture, quantitative and qualitative issues relating to management risk, business risk, industry risk, financial risk and project risk. Besides, such ratings consider transaction specific credit enhancement features while assessing the overall rating of a borrower. The data on industry risk is constantly updated based on market conditions The rating for every borrower is reviewed at least once every year. As a measure of credit risk management practices, the Bank has implemented two tier system of credit rating process for the proposals sanctioned at Head Office level and Business Unit level which includes validation of rating independent of Credit Risk Management Division The Bank follows a well defined multi layered discretionary power structure for sanctioning loans. The Bank has put in place a risk management framework for new products which lay down minimum processing / assessment norms to assess risk in a New Product prior to its introduction. SL. No. Quantitative Disclosures BDT in million 1 Total gross credit risk exposures, Fund based and Non-fund based 53, separately. 1.1 Fund Based 43, Non Fund Based 10, Geographic distribution of exposures 2.1 Overseas: Fund Based Non-Fund Based Domestic: 53, Fund Based 43, Non-Fund Based 10, Highest exposure to single sector (amount OS)-Trade Service Total exposure to a single factor exceeds 10% of Gross Credit as on (amount outstanding) 10, , Residual contractual maturity breakdown of assets: Repayable on Demand Over 1 month but not more than 3 months 11, Over 3 months but not more than 1 year 6, Over 1 year but not more than 5 years 18, over 5 years 5, TOTAL 43, Amount of NPAs (Gross) 2, Substandard Doubtful Bad & Loss 1, Net NPAs 1, NPA Ratios 7.1 Gross NPAs to gross advances 4.87% iv

5 Net NPAs to net advances 3.50% Movement of NPAs (Gross) 8.1 Opening balance 2, Additions 1, Reductions 1, Closing balance 2, Movement of provisions for NPAs Table DF Opening balance Provisions made during the period Write-off/Write-back of excess provisions Recovery from write-off Closing Balance Credit Risk : Disclosures for Portfolios Subject to the Standardized Approach 1. General Principle : In accordance with the Bangladesh Bank guidelines, the Bank has adopted Standardized Approach of the New Capital Adequacy Framework for computation of capital for credit risk as parallel run during 2009 and live from In computation of capital, the Bank has assigned risk weights to different asset classes as prescribed by the Bangladesh Bank. 2. External Credit Ratings : 2.1. Bangladesh Bank has permitted Banks to use the external ratings of the two domestic External Credit Assessment Institutions (ECAIs) namely (a) Credit Rating Information and Services Limited (CRISL) and (b) Credit Rating Agency of Bangladesh (CRAB). In consideration of the above guidelines, the Bank has decided to accept the ratings assigned by all these ECAIs The Bank shall use the ratings assigned for any type of exposures by any of these ECAIs as accepted and provided by the borrowers. External ratings assigned, fresh or reviewed, at least during the previous 12 months shall only be reckoned for capital computation by the Bank. Wherever, a borrower possesses more than one rating from ECAIs, the guidelines prescribed by the Bangladesh Bank is followed as regards to assignment of risk weight for computation of capital. Accordingly, the Bank has taken into consideration the borrower s loan exposure ratings assigned by Bank s approved ECAIs (if any), while computing capital for credit risk under segments namely Corporate. 2.3 In case of Bank s investment in particular issues of Corporate / SME, the issue specific rating of the approved ECAIs will also be reckoned and accordingly the risk weights will be applied after a corresponding mapping to rating scale provided in Bangladesh Bank guidelines. The Bank is well aware for the application of higher risk weight (125%) for the unrated exposures relating to all fresh sanctions or renewals as per the Bangladesh Bank guidelines. The Bank has taken steps for getting the exposures of Corporate Borrowers rated by ECAIs in 2010 and onward. SL. No Quantitative Disclosures BDT in million 1 For exposure amounts after risk mitigation subject to the standardized approach, amount of the Bank's outstanding (rated and unrated) in the following three major risk buckets as well as those that are deducted; 1.1.a. Below 100 % risk weight -Funded 25, b. Below 100 % risk weight-non Funded 10, a. 100 % risk weight-funded 7, b. 100 % risk weight-non-funded a. More than 100 % risk weight-funded 28, b. More than 100 % risk weight-non-funded Amount Deducted for risk mitigation 6, v

6 Table DF 6 Credit Risk Mitigation : Disclosure For Standardized Approach 1. In line with the regulatory requirements, the Bank is going to put in place a wellarticulated Policy on Credit Risk Mitigation and Collateral Management duly approved by the Bank s Board. 2. As advised by Bangladesh Bank, the Bank has adopted the comprehensive approach relating to credit risk mitigation under Standardized Approach, which allows fuller offset of eligible securities against exposures, by effectively reducing the exposure amount by the value ascribed to the securities. Thus the eligible financial collaterals have been used to reduce the credit exposure in computation of credit risk capital. In doing so, the Bank has recognized specific securities in line with the Bangladesh Bank guidelines on the matter. 3. Other approved forms of credit risk mitigation are On Balance Sheet Netting and availability of Eligible Guarantees. On balance sheet netting has been reckoned to the extent of the deposits available against the loans/advances of the borrower (to the extent of exposure) as per Bangladesh Bank guidelines. Further, in computation of credit risk capital, the types of guarantees recognized for taking mitigation, in line with Bangladesh Bank guidelines. All types of securities eligible for mitigation are easily realizable financial securities. As such, presently no limit/ceiling has been prescribed to address the security concentration risk in credit risk mitigation. SL. No. Quantitative Disclosures BDT in million 1 For disclosed credit risk portfolio under the standardized approach, the total exposure that is covered by: 1.1Eligible financial collateral; after the application of haircuts. 2, Table DF-7 Market Risk: Disclosures Relating to Market Risk in Trading Book (a) Market Risk : Market Risk is defined as the possibility of loss to a Bank caused by changes/movements in the market variables such as interest rates, foreign currency exchange rates, equity prices and commodity prices. Bank s exposure to market risk arises from investments (interest related instruments and equities) in trading book [HFT categories] and the Foreign Exchange positions. The objective of the market risk management is to minimize the impact of losses on earnings and equity. Policies for Management of Market Risk: The Bank has put in place Board approved Asset Liability Management Policy for effective management of Market Risk in the Bank. Bank is going to finalize comprehensive policy on Market Risk. The policies set various risk limits for effective management of Market Risk and ensuring that the operations are in line with Bank s expectation of return to market risk through proper Asset Liability Management. The policies also deal with the reporting framework for effective monitoring of Market Risk. The ALM Policy specifically deals with liquidity risk management and interest rate risk management framework. As envisaged in the policy, Liquidity Risk is managed through GAP & Duration analysis, based on residual maturity/behavioral pattern of assets and liabilities, on a daily basis based on best available data coverage, as prescribed by the Bangladesh Bank. The Bank has put in place mechanism of Short Term dynamic liquidity management and Contingent Funding Plan. Prudential (Tolerance) limits are prescribed for different residual maturity time buckets for efficient Asset Liability Management. Liquidity profile of the Bank is evaluated through various liquidity ratios. Interest Rate Risk is managed through use of Gap analysis of rate sensitive assets and liabilities and monitored through prudential (tolerance) limits. The Bank estimates Earnings at Risk (EaR) periodically against adverse movements in interest rate (as prescribed in the vi

7 policy) for assessing the impact on Net Interest Income. The Asset Liability Management Committee (ALCO)/Board monitors adherence of prudential limits fixed by the Bank and determines the strategy in light of market conditions (current and expected) as articulated in the ALM policy. The Mid Office at the Treasury also monitors adherence of prudential limits on a continuous basis. SL. No 1 BDT in million The Capital Requirements for 1.1 Interest rate risk Equity position risk Foreign exchange risk 8.20 Table DF 8 OPERATIONAL RISK: GENERAL DISCLOSURES 1. Operational Risk is the risk of loss resulting from inadequate or failed internal processes, people and systems or from external events. Operational risk includes legal risk but excludes strategic and reputation risks. 2. The Bank is going to frame Operational Risk Management Policy to be approved by the Board. Supporting policies already been adopted by the bank which deal with management of various areas of operational risk are (a) Operational Manual for General Banking (b) Compliance Risk Management Policy,(c) FX Risk Management Policy (d) Policy Document on Know Your Customers (KYC) and Anti Money Laundering (AML) Procedures (e) IT Business Continuity and Disaster Recovery Policy etc. 3. The newly established Risk Management Unit and Risk Management Department are working on preparing risk inventory for Bank to introduce Risk Log as well as Risk Register. SL. No. Quantitative Disclosures BDT in million 1 In line with the final guidelines issued by Bangladesh Bank, the Bank has adopted the Basic Indicator Approach for computing capital for operation risk. 2. As per the guidelines, the capital for operational risk is equal to 15% of average positive annual Gross Income of the previous three years, as defined by the Bangladesh Bank. Year Gross Income (GI) Average (GI) 15% of Average Gross Income , , , ,810.6 Table DF-9 Interest Rate Risk in the Banking Book (IRRBB) (a) Interest Rate Risk in the Banking Book: Interest Rate Risk is the risk which affects the Bank s financial condition due to changes in the market interest rates. Changes in interest rates affect both the current earnings (earnings perspective) as also the net worth of the Bank (economic value perspective). The risk from earnings perspective can be measured as impact in the Net Interest Income (NII) or Net Interest Margin (NIM). Similarly, the risk from economic value perspective can be measured in the Economic Value of Equity (EVE). The Bank identifies the risks associated with the changing interest rates from short term (Earnings perspective). The impact on income (Earnings perspective) is measured through use of Gap analysis by applying notional rate shock up to 400 bps under stress test practice at CBL. Going forward the Bank will adopt Traditional Gap Analysis combined with Duration Gap Analysis for assessing the impact on the Economic Value of Equity (Economic Value perspective) by vii

8 applying a notional interest rate shock upto 200 bps. Particulars/Shock Minor Moderate Major Change in interest rate (%) 2% 3% 4% Gap (in million) 8, , , Period (in year) Impact on NII (Net interest income) [in million] Applicable Tax Rate 42.50% 42.50% 42.50% Tax adjusted Impact on NII (in million) viii

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