REGULATORY APPROACHES TO MONITORING LIQUIDITY MANAGEMENT IN ISLAMIC FINANCIAL SERVICES INDUSTRY

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REGULATORY APPROACHES TO MONITORING LIQUIDITY MANAGEMENT IN ISLAMIC FINANCIAL SERVICES INDUSTRY PRESENTED AT: Conrad Istanbul Hotel, Istanbul, Turkey 6-7 April 2011 Seminar on Managing Liquidity in the Islamic Financial Services Industry Zahid ur Rehman Khokher Member of the Secretariat, Technical and Research ISLAMIC FINANCIAL SERVICES BOARD

Agenda Liquidity Supervision of the IIFS Some specificities Regulatory Challenges in Monitoring Liquidity Risk in the IIFS Issuing Regulations and Guidelines for the IIFS Liquidity Infrastructure Elements and Central Banks/Supervisors Financial Sector Contingency Plan IFSB Standards and Initiatives Closing Remarks 2

Liquidity is the oil that greases the wheels of the financial machine Extract from the Speech by Mr. Malcolm D Knight, General Manager of the BIS, at the Ninth Annual Risk Management Convention and Exhibition of the Global Association of Risk Professionals, New York, 26 February 2008. 3

Geographic Expansion of Islamic Finance IFSB Membership April 2011 Category Members Regulatory/Supervisory Authorities 54 Intl Organizations 6 Financial Services 118 Professional Services 7 Industry Associations 6 TOTAL 191 Jurisdictions 43 4

Rationale of Liquidity Supervision and Monitoring Conventional To protect general confidence of stakeholders on soundness and stability of the financial system Systemic repercussions of the failure and illiquidity of one financial institution on other market players Depositor protection IIFS Infant nature of the industry in many jurisdictions Few players and Shari ah compliant instruments in many jurisdictions Liquidity support mechanisms from supervisory authorities and other IIFS Huge reputational contagion risk => problem in one IIFS many be attached to very business model of Islamic financial services industry Safeguarding the interest of IAH which contractually absorb their own risk Growing market share of Islamic finance in most jurisdictions 5

Regulatory Challenges in Monitoring Liquidity Risk in the IIFS Public safety net/ Shari ah Compliant Deposit Insurance LRM Regulations and Guidelines Liquidity Management by Islamic windows Basel III Implementation Market Liquidity Contingency Plan Regulatory Challenges Government Sukuk & Public Debt Management Macro-level Stress Testing Home-Host and Cross-Sector Supervision Monetary Policy Instruments to manage IIFS Liquidity Provision of Liquidity Support including LOLR Availability of Sufficient Shari ah Compliant Collateral 6

LRM Regulations and Guidelines for the IIFS Major Areas of Liquidity Supervision in the IIFS Monitoring liquidity risk management and liquidity position Supervision of liquidity risk in IIFS that are part of a group or Islamic operations of a conventional bank Need for supervisory regulation to the IIFS on liquidity risk management Compilation of information from the IIFS and from market sources Corrective action in case of need Home-host and cross-sector supervision Supervisors contingency planning for the IIFS and liaison with official sector bodies Areas of Supervisory Guidance to the IIFS Managing risks arising from unique nature of IIFS funding and financing/ investment structure Dealing with interaction between liquidity risk and other risks distinctive to IIFS Maintaining liquidity buffer and preparing Contingency Funding Plan Defining eligible collateral for seeking liquidity support from the regulator Conducting stress testing Decreasing risk concentrations especially real estate Maintaining statutory reserves Regulatory reporting & disclosure to stakeholders Source: IFSB Survey 2010 7

Liquidity Management in Islamic Windows Duration of liquidity stress faced by your institution, if any, during past three years? Duration of Stress Num % Full Fledged Subsidiary of Conventional Islamic banking unit/division Islamic investment bank None 73 66% 33 10 16 9 5 Less than 1 week 10 9% 4 2 2 1 1 1 to 2 weeks 7 6% 4 1 2 0 0 3 to 4 weeks 9 8% 4 2 3 0 0 More than 1 month 11 10% 4 2 0 3 2 TOTAL 110 100% 49 17 23 13 8 Others Contagion Conventional Bank Islamic Operations Commingling of funds issue Increasing size of Islamic operations within the bank Mechanism of liquidity support from conventional to Islamic operations Separate statutory liquidity reserves requirements Separate maturity mismatch limits for conventional and Islamic ops. Source: IFSB Survey 2010 8

Regulatory Response to Financial Crisis BASEL III Proposals and Current Practices Capital (changed) Leverage (new) Liquidity (new) 1a. Increased quantity Rise in the overall capital ratios Forward looking provisions Additional requirements for systemically important institutions 1c. Increased quality Tier 1: Tighter eligibility standards To be phased out: Capital instruments other than common equity Intangibles Deferred tax assets Other items Tier 2: Simplified Tier 3: Abolished 1b. Explicit capital buffer standards Capital conservation Procyclical adjustment 2. Enhanced risk coverage and new capital standards for counterparty credit risk Credit risk Market risk Higher capital requirements Trading book exposures Securitization exposures Resecuritization Counterparty credit risk Wrong way risk Move towards central counterparties 3. New global leverage ratio Leverage ratio Includes both on-balance sheet and adjusted offbalance sheet assets A minimum threshold of 3% Regulatory Approaches Qualitative Quantitative A combination of two Internal Methodologies 4. New global liquidity standard Liquidity coverage ratio High quality liquid assets to cover a 30 day stress scenario Net stable funding ratio Measure of structural liquidity Based on a long term (1 year) funding requirement Monitoring metrics Contractual maturity mismatch Concentration of funding Available unencumbered assets Market related monitoring tools Courtesy: E &Y 9

Issuance of Government/Central Bank Sukuk (1) Government Sukuk /Shari ah Compliant Securities Importance of Sovereign Sukuk for Islamic money market Prime securities for maintaining statutory liquidity requirements Can be used as collateral for regular or LOLR support readily acceptable in the local market help the IIFS to manage their liquidity more effectively a low risk investment avenue for the IIFS Provides the necessary benchmarks for trading Central Bank Sukuk Helps run the monetary policy Additional tool for investment and money market trading for the IIFS supplementary instrument for liquidity management issuance of a regular program of Sukuk in various maturities and using a range of Sharī`ah compliant structures 10

Issuance of Government/Central Bank Sukuk (2) Programme for Issuance of SC Securities by the Supervisors Yes No Num % Num % Total Our jurisdiction has a regular programme of issues of tradable Sukūk/ Shari ah compliant instruments (either by the central bank/supervisor or the government). here is no regular issuance of Sukūk/Shari ah compliant instruments, but such instruments are issued either by the central bank or the government from time to time, as per requirement. 4 33% 8 67% 12 2 15% 11 85% 13 Name of the Country Supervisor 1 Name of Sukūk/ securities Salam Securities/ Ijārah Sukuk issuer Central Bank Underlying Structure Commodity /Govt. Assets Currency Local Currency (LC) & US$ Frequency of issue Monthly/MOF Requirement Tenor 91 days, 182 days, 5 years, 6 years, 10 years Yield Various Supervisor 2 various Central Bank Supervisor 3 Supervisor 4 Supervisor 5 various securities government Ijārah Sukuk Various Sukuk National Government and CB Domestic Sukuk Company Ministry of Finance Ijārah Tradable and Non-Tradable Sukuk buy-back/murābahah LC & US$ 1-9 per year 2-9 year Various LC Weekly/As per issuance calendar Ijārah LC When needed Ijarah LC Shortterm/Long Term 3 year- 6 year Various Various Quarterly/As per Various11 policy Source: IFSB Survey 2010 11

Liquidity Support/LOLR by Central Banks (1) Central Bank Liquidity Facilities for the IIFS Standing credit facilities by central banks for providing short-term liquidity at the initiative of the IIFS, signalling the general stance of monetary policy and limiting the volatility in overnight/short term interbank rates Prevent widespread panic withdrawals Protect depositors and IAH Reduces systemic risk Greater clarity of regulators role Include Islamic investment banks/companies Expand Eligible Sharia h Compliant Collateral 12

Liquidity Support/LOLR by Central Banks (2) Source: IFSB Survey 2010 13

Liquidity Support/LOLR by Central Banks (3) Supervisor S. No. Name of facility(ies) Underlying Structure Supervisor 1 1 Islamic Sukuk leasing instruments Sale and buyback of Ijārah Sukuk Tenor (short-term, overnight or intra-day) Overnight to longer period at discretion Currency Local Currency (LC) Supervisor 1 2 Intraday credit facility - Intra day LC Supervisor 2 1 Supervisor 2 2 Intra day liquidity Facility Short Term Liquidity Facility Collateral : Shari ah Central Bank Certificate (ju alah contract), and Government Sukuk (mudarabah & Ijārah contract) Collateral : Government Sukuk, Shari ah Central Bank Certificate, Corporate Sukuk with certain condition, Bank s Financing asset with certain condition (Mudarabah contract) 1 day LC 14 days and can be extended until 90 days Supervisor 3 1 F/X Swaps Exchange of Deposits O/N LC/USD Supervisor 3 2 Aware Facilities Reverse Commodities Murābahah 1W-1M-3M-6M and 1Y LC LC Supervisor 4 1 Money Market Tender Wada Wada Short-term LC Supervisor 4 2 Money Market Tender Murābahah Murābahah Short-term LC Supervisor 4 3 CB Monetary Notes- Islamic Murābahah Short- to long-term LC Supervisor 4 4 CB Sukuk Ijārah Ijārah Long-term LC Supervisor 5 1 Murābahah Murābahah Short- to long-term All Supervisor 5 2 Qard Hasan Qard Hasan Short- to long-term All Supervisor 6 1 Only short term deposits based on Mudarabah contract Mudarabah Short term LC Source: IFSB Survey 2010 14

Cross Sector and Home-Host Supervision Cross Sector Supervision IIFS offering restricted PSIA that are akin to fund management IIFS offering Islamic mutual funds IIFS offering Takaful Islamic investment banks as subsidiaries of IIFS Shari ah compliant products Nature and frequency of supervisory reporting Fit and proper criteria for Shari ah advisors Liquidity buffers, supervisory limits & CFP MOU Central Point of Contact Bilateral or Multi-party agreements Face to face meetings Supervisory College 15

Financial Sector Liquidity Contingency Plan & IIFS Macro Level Stress Testing Critical to identify potential emerging risks from the banking system, including IIFS, and formulate supervisory actions and policy responses timely Peculiar risks of the IIFS Growing IIFS Market Share IFSB Survey 57.14% (8 out of 14) respondents indicated that macro stress testing help them to identify particular IIFSs that are more sensitive to economic stress in their jurisdictions. 50% (7 out of 14) respondents revealed that they assessed the impact of adverse shocks on the financial system through utilising information on balance sheet exposures submitted by IIFS in their jurisdictions. Source: IFSB Survey 2010 16

IFSB Standards and Initiatives Addressing Liquidity Management in the IFSI Macroprudential Surveillance IFSB-1 (Risk Management Standard, December 2005) IFSB TN-1 (Technical Note on Islamic Money Markets, March 2008) IFSB GN-1 (Recognition of Ratings by ECAI, March 2008) IFSB-5 (TMD Standard, December 2007) IFSB-10 (Shari ah Governance Standard, December 2009) IFSI Strategic Direction IFSB-IRTI Ten-year Framework and Strategies for IFSI (May 2007) IFSB-IRTI-IDB Task Force Report on Islamic Finance and Global Financial Stability (April 2010) Infrastructure Initiatives Ongoing Work Setting up of High-Level Task Force on Liquidity Management (March 2009) Facilitating the Establishment of International Islamic Liquidity Management Corporation (October 2010) IFSB Guiding Principles on Liquidity Risk Management IFSB Guiding Principles on Stress Testing 17

Closing Remarks Concerted efforts by the standard setting bodies and supervisory authorities are required to provide robust infrastructure and effective guidelines for managing liquidity risk by the IIFS Crucial role of governments in providing facilitating environment and establishment of a regular program of Sukuk and aligning this program with public debt management strategy The industry players need further collaboration among themselves and should increase interaction with various stakeholders Given the constraints at the jurisdiction level, international collaboration is the key for further development of liquidity infrastructure for IFSI The IFSI needs to focus more on research which can lead to innovative products, solutions and institutions - while strictly ensuring Shari ah compliance 18

THANK YOU FOR YOUR ATTENTION Zahid ur Rehman zahid@ifsb.org www.ifsb.org 19