“The Commission’s NPL action plan launched today is an unambitious review of its 2017 proposals. It doesn’t take into consideration that today we are facing a NPL crisis caused by an exceptional economic downturn resulting from the Covid-19 pandemic....
Following today’s publication of the European Commission’s renewed
action plan for non-performing loans (NPLs) in the aftermath of Covid
19, Michael Lever, AFME’s Managing Director, Prudential, said:
“The Commission’s NPL action plan launched today is an unambitious
review of its 2017 proposals. It doesn’t take into consideration that
today we are facing a NPL crisis caused by an exceptional economic
downturn resulting from the Covid-19 pandemic.
“While we welcome a renewed commitment to finalising the secondary
markets directive and agree on the benefits from a more harmonised
insolvency framework, neither of these things will be sufficient to
address the post Covid-19 build-up of NPLs.
“We have also noted the Commission’s proposals on asset management
companies as a means to facilitate a reduction in NPLs. While asset
management companies may have a role to play in managing homogeneous
portfolios of non-performing loans, we believe that in most cases banks
are more likely to maximise returns from their NPLs by retaining
management control of these assets, while at the same time remaining
connected to their impacted clients.
“Only specific measures to help banks better manage NPLs, such as an
improved NPL securitisation framework, will be able to move the needle
in this area. Although the changes in the securitisation capital markets
recovery package agreed earlier this month provide some improvements on
the current treatment of NPL securitisation, they fall short on
delivering a framework that fully caters for European needs and
specificities.
“We are also calling on the Commission to re-examine the Pillar 1
backstop that came into force last year to ensure is fit for purpose.
Elsewhere, restructuring by dedicated internal bank workout units can
provide a particularly effective tool for NPL management, especially for
more heterogenous portfolios. The Commission should also revisit the
adjustment of LGDs for massive disposals of NPLs which only runs until
June 2022 – clearly the length of this derogation needs to reflect the
impact arising from the current circumstances.”
AFME
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