..the safety and stability of the European banking sector remain of paramount importance to us. That is why in my remarks today I will discuss the challenges we currently face and how we are tackling them through our supervisory work.
Introduction
These are exceptional times. The ongoing
recovery from the COVID-19 pandemic and disruptions caused by the
Russian invasion of Ukraine make for an uncertain macroeconomic outlook.
Against this background, the safety and stability of the European
banking sector remain of paramount importance to us. That is why in my
remarks today I will discuss the challenges we currently face and how we
are tackling them through our supervisory work.
Banks’ profitability in an unpredictable environment
The
gradual increase in interest rates is beneficial for banks on the
whole. In the first quarter of 2022 increasing yields together with
continued lending growth supported positive levels of net interest
income. Moreover, net fee and commission income and trading results were
solid, leading to positive trends in net operating income, which
outpaced increasing expenses and led to improved cost efficiency.
As
a result, most banks have been posting profits and even the few banks
that have large direct exposures to Russia avoided making losses. In
addition, continued progress in resolving legacy non-performing loans
(NPLs) has helped improve banks’ resilience.
The current
environment, however, is marked by increased volatility and lower equity
valuations, as markets anticipate that the profitability and asset
quality of banks may be affected by adverse macroeconomic developments.
The June 2022 Eurosystem staff macroeconomic projections introduce for
the first time a downside scenario entailing a possible recession in
2023 as a result of disruptions to euro area energy supplies. Similarly,
we cannot rule out the possibility of more adverse growth and inflation
scenarios, with the introduction of new or more severe sanctions in the
energy and commodity sectors and possible retaliatory measures by
Russia.
Higher credit risks originating from some banks’ exposures
to Russia and to sectors hit hardest by the war, combined with
weakening growth prospects, have already led to an upwards revision in
loan loss provisions. Furthermore, the implications for asset quality of
a disorderly exit from low interest rates would offset the benefits
from rate increases, especially for residential mortgage lending, highly
leveraged segments and sectors particularly sensitive to energy and
commodity price inflation. According to preliminary data for the first
quarter of 2022, the aggregate NPL ratio continued on the downward trend
observed since 2014. However, this was driven by a reduction in NPLs by
a few banks with high NPL ratios. In the meantime, there have been
slight increases in the NPL ratios of several other banks. The share of
stage 2 loans, i.e. loans with an increased credit risk, rose slightly
both in the fourth quarter of 2021 and in the first quarter of 2022 and
default rates also grew somewhat for corporates and households at the
beginning of this year.
Supervisory priorities in times of uncertainty
In the current situation, the supervisory priorities we laid out last year are more relevant than ever.
One of our main priorities is to ensure banks emerge healthy from the
pandemic, focusing on their credit risk controls. One year later,
post-pandemic vulnerabilities as well as new challenges resulting from
the current events I just described are having an impact on banks’ asset
quality and require us to closely monitor the steps taken by banks to
identify and manage distressed debtors at an early stage. This is
especially relevant in sectors affected by the war through commodity and
energy prices, such as manufacturing, as well as sectors particularly
sensitive to increases in interest rates, such as residential real
estate.
Another priority is to monitor emerging risks, such as
banks’ growing exposure to leveraged lending, high yield segments and
non-bank financial institutions (NBFIs). In the current environment,
these can lead to disruptions with wider spillovers. We have therefore
stepped up our efforts to ensure that banks manage the corresponding
risks. In March of this year we issued a follow-up letter to our 2017
Guidance on leveraged transactions and asked banks to respond in detail
on their risk practices. As regards NBFIs, during the COVID-19 crisis we
conducted an initial review and in the spring of 2022 issued detailed
supervisory expectations on prime brokerage to the relevant banks. We
are also in the process of conducting a broader thematic review on
counterparty credit risk and will perform on-site inspections at a later
date focusing on this risk and covering prime brokerage and investment
fund activities.
The fallout from the war also reinforces the need
to speed up the green transition. There is a global consensus on the
urgent need to supervise climate risks. On 15 June 2022 the Basel
Committee on Banking Supervision (BCBS) published “Principles for the
effective management and supervision of climate-related financial
risks”, which are expected to be implemented in the near future. On our
side, on 8 July we will publish the results of our supervisory climate
stress test. Unlike the economy-wide stress test conducted by the ECB
last year, this supervisory climate stress test is not a top-down
exercise. Also, in contrast to our ordinary bottom-up supervisory stress
tests, the goal is not to assess banks’ capital adequacy but rather
their climate stress test capabilities. The results will focus on banks’
preparedness to measure and manage climate risk under different
scenarios and the sustainability of their income sources under a green
transition....
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