Criteria for Proportionality as Key Benchmark for EBA Technical Standards and Guidelines

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Criteria for Proportionality as Key Benchmark for EBA Technical Standards and Guidelines EBA Proportionality Workshop London,, Banking and Financial Supervision Department

Contents Criteria for Proportionality as Key Benchmark for EBA Technical Standards and Guidelines Introduction Balancing Harmonisation and Proportionality Existing Proportionality: O-SII Guidelines Extending Proportionality to LSIs: Challenges Extending Proportionality to LSIs: Criteria and Instruments Conclusion Page 2

The Right Balance Between Harmonisation and Proportionality Balancing Harmonisation and Proportionality Economic Prosperity and Financial Stability Harmonisation Proportionality Aim Single, integrated market Level playing field Instruments Single Rulebook Harmonised supervisory standards Same business, same risks, same rules Aim Diversified market Differentiated, resilient system Instruments Less Significant (smaller) Institutions essential for a diversified and resilient market Proportional rules for different business Striking the right balance between harmonisation and a differentiated financial system Harmonised rules need to provide room for differentiation Page 3

EBA GL on O-SII Assessment Accommodate Proportionality Existing Proportionality: Guidelines on O-SII assessment (EBA/GL/2014/10) Scoring Category (weight) Size (25%) Importance (25%) Complexity (25%) Interconnectedness (25%) Mandatory indicators (e.g.) Total assets Value of dom. payment transact. Cross-jurisdictional liabilities Intra-financial system liabilities Optional indicators (e.g.) Market capitalisation Number of retail customers Securitised debt Connectivity to / from foreign NBs 1st step 350 BP (± 75 BP) Assessment and identification O-SII 2nd step 4.5 349 (274 / 424) Potential O-SII Supervisory judgement < 4.5 BP No O-SII Possible exemption (if <0.02% of total assets) Page 4

Proportionality Could Be Further Strenghtened Extending Proportionality to LSIs: Challenges Issue area Potential for Proportionality SREP GL Omit disproportionate elements from the supervisory review of LSIs (e.g. evaluation of intraday liquidity for very small banks) Remuneration Minimum level for variable remuneration which should be exempted from strict requirements Internal Governance Mortgage Lending Value Requirements for management bodies of smaller banks should be less strict (e.g. education/experience, time commitment, diversity) Threshold for mortgage lending exposures, i.e. exposures below a specified threshold could have lower requirements regarding employee qualifications, governance stipulations etc. Page 5

Criteria for Applying and Extending Proportionality Extending Proportionality to LSIs: Criteria General criteria (to be adapted and specified in context of specific TS/GL)* Scale of institution (e. g. total assets, own funds, risk weighted assets) specific exposure class (e. g. retail portfolio) single exposure Nature, i.e. business model (e. g. trading book vs. non-trading book institutions; mutuals, cooperatives and savings banks; investment firms that cannot deal on their own accounts) Complexity and cross-border activity (e. g. ratio cross-jurisdictional assets to total assets, value of OTC derivatives, domestic-only institutes; number and complexity of business lines) Interconnectedness (e.g. intra-financial system liabilities/assets) Riskiness of an institution s business activities (e.g. internal capital adequacy; risk profile) * An extensive list of available indicators is contained in the GL on O-SII Assessment (EBA/GL/2014/10) Page 6

Instruments to Make Requirements Proportional Extending Proportionality to LSIs: Instruments Instruments to achieve proportionality in TS/GL Exclusion of institution (e. g. an entire TS/GL or elements thereof do not apply to a very small LSI or non-trading book institutions) specific exposure class (e. g. retail portfolio is exempted) single exposure (small exposures below a certain threshold have to comply with less stringent governance requirements) Reduced requirements for internal risk management, governance, supervisory reporting Reduced frequency and/or simpler requirements for reporting/disclosure and internal calculations (e.g. liquidity requirements) Level of compliance at consolidated level only Simpler approaches (e.g. for standardised approaches) Discretionary room for (N)CA decision making (e.g. granularity factor of retail exposure class) Page 7

General Criteria and Their Adaptation in Specific Areas Extending Proportionality to LSIs: Criteria Aim (1) Differentiate the application of RTS/ITS/GL such that requirements can be adapted or reduced for smaller institutions, where sensible (condition: no prudential concerns) (2) Clear procedural stipulations for the consideration of proportionality in the development of TS/GL Approach (1) General criteria to be considered when developing TS/GL (2) Process definition of how to evaluate proportionality concerns when developing TS/GL (3) Criteria adaption in the context of specific TS/GL in working groups Page 8

Contact Details E-mail: erich.loeper@bundesbank.de Tel: +49 69 95662151 Deutsche Bundesbank Wilhelm-Epstein-Strasse 14 60431 Frankfurt am Main Page 9