Welsh Government Housing Directorate Regulation

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Welsh Government Housing Directorate Regulation Financial Viability Judgement September 2014

Financial Viability Judgement Financial Viability Judgement The Welsh Ministers have powers under the Housing Act 1996 to regulate Registered Social Landlords (RSLs) in Wales, in relation to the provision of housing and matters relating to governance and financial management. Part 1 of the 1996 Act is amended by Part 2 of the Housing (Wales) Measure 2011 ( The Measure ) and provides the Welsh Ministers with enhanced regulatory and intervention powers, concerning the provision of housing by Registered Social Landlords and the enforcement action that may be taken against them. The Welsh Ministers are publishing this Financial Viability Judgement under section 35 of the Housing Act 1996. This report sets out the Welsh Government s Financial Viability Judgement and is designed to provide the RSL, its tenants, service users and other stakeholders with an understanding of the RSL s financial viability. The term Association has been used throughout the report to refer to Registered Social Landlords (RSLs). Housing Regulation Team Welsh Government Housing Division Merthyr Tydfil Office Rhydycar CF48 1UZ e mail: housingregulation@wales.gsi.gov.uk WG22892 Digital ISBN 978 1 4734 1961 2 Crown Copyright 2014

Description of the Group The Group consists of Coastal Housing Group Limited (Coastal Housing), the parent company, with subsidiary member Pennant Housing Association Limited (trading as Pennant Homes). Both are Registered Social Landlords with Coastal Housing providing general needs homes and Pennant Homes developing new homes for sale. Coastal Housing is registered under the Co operative and Community Benefit Societies Act 2014 and has charitable rules. Pennant Homes is non-charitable and is a company limited by guarantee. The majority of the Group s activity arises from around 5,000 general needs homes. They also provide around 500 shared ownership and leasehold homes. They are active in Swansea, Neath Port Talbot and Bridgend local authority areas in Wales. The Group has an equity stake in the Welsh Housing Partnership which was acquired via a joint venture agreement with three other associations. To date the Welsh Housing Partnership has delivered nearly 700 new homes across Wales. Coastal Housing built 216 homes during 2013/14 and is committed to building a further 139 new homes by 2017. Pennant Homes built 13 homes for sale in 2013/14 and is committed to building a further 22 new homes by 2016. For the year ending 31 March 2014, the Group s turnover was 25.8m (2013: 23.8m), its retained surplus was 3.5m (2013: 2.0m) and it employed 195 staff (2013: 177). 1

Financial Viability Judgement Overall Conclusion Our judgement of the Group s financial viability remains unchanged from last year. As at 30 September 2014, the judgement is: Pass The Group has adequate resources to meet its current and forecasted future business and financial commitments. Our judgement is explained as follows: 1. The Group has prepared the 30 year financial forecasts using a reasonable set of assumptions. The 30 year forecast models the variable loan portfolio at an interest rate of 5%. Using the above assumptions the Group is in breach of its interest cover covenant of 110%, at 108% in 2014/15. The current interest rate on the variable loan portfolio is actually 1.5% and therefore the actual interest cover rate is 133%. 2. The 30 year forecast is suitably funded, in terms of cash and secured facilities for the committed development programme. It also shows the Group continuing to meet its lenders covenants. The Group s gearing is currently in the region of 61% compared to a covenant limit of 70%. Interest cover is above the minimum level of 110% throughout the forecast period. The Group has 67% of its debt at a fixed rate thereby ensuring that it has a reasonable level of certainty in relation to this cost. The assumptions made in relation to the debt at a variable rate of interest are reasonable. 3. The Group s 30 year forecast shows that it should continue to operate within the lenders covenants under most scenarios. 4. The Group has reported achievement of the Welsh Housing Quality Standard in 2012 and has used stock condition survey information to inform the costs included in its 30 year forecast to continue to meet this standard. 5. The level of committed development included in the forecast is within our expectations of what the Group can achieve and is sufficiently funded. There is a track record of the Group delivering schemes of a similar size in the past to those currently being undertaken. 6. The Group s financial results to date and its 30 year forecast demonstrates that it does not rely on property sales or commercial activities to fund its operations. 2

7. During 2013/14, the impact of the UK Government s welfare reforms has been within the expectations of the Group. Going forward it has assumed that there will be further increases in arrears and bad debts (from 2.1% in 2014/15 to 4.4% in 2016/17) as the UK Government introduces its Universal Credit provisions. We are satisfied that the assumptions made by the Group are reasonable given its current experience. 8. This Financial Viability Judgement covers the activities of Registered Social Landlord Coastal Housing Group Limited. It does not include Pennant Homes, as we are satisfied that it is not significant in the context of the Group s activities and therefore does not pose a material risk to the financial viability of the Group. 3

Financial Viability Judgement Sources of information and regulatory activity The following information is received from Associations and reviewed by the Welsh Government: Audited annual accounts, including the internal controls assurance statement; External auditors management letter; 30 year financial forecasts; Quarterly management accounts; Private finance returns; 5 year business plans; Welfare reform data collection; Internal audit reports; Board papers, as requested; Financial and risk management information collected through undertaking regulatory engagement. This is in addition to regulatory engagement with the Association. Basis of financial viability judgement This judgement is based on information submitted by the RSL and our accumulated knowledge and experience of the RSL, its management and the RSL sector as a whole. In preparing this report, the Welsh Ministers have relied on the information supplied by or on behalf of the RSL. The Board and the Directors of the RSL remain responsible for the completeness and accuracy of such information. This report has been prepared for the RSL as a regulatory assessment. It must not be relied upon by any other party or for any other purpose. Any other parties are responsible for making their own investigations or enquiries. The financial element of the regulatory assessment is undertaken throughout the year and culminates in a financial viability judgement which is issued to each housing association at the end of March each year. There are three categories of financial viability judgement: pass, pass with closer regulatory monitoring, or fail. Where the judgement is pass with closer regulatory monitoring, the Welsh Ministers are of the view that additional work and/or scrutiny, is required to provide stronger assurance on financial viability. Where a judgement of fail applies, the Welsh Ministers will have already been working closely with the association to address the underlying issues. 4

Annex 1: Glossary Gearing is defined as the level of a company s debt compared to its equity capital, usually expressed in percentage form. For housing associations this is typically calculated as debt divided by net assets and capital grants. Most associations have gearing covenants that they need to comply with as part of their loan agreements. Interest cover is defined as the ability of a company to pay its interest cost on its outstanding debt. This is typically calculated as earnings before interest divided by interest payment. This is another common covenant that associations need to comply with as part of their loan agreements. 5