ESBG welcomes the EBA initiative to revise and re-centre the EU-wide Stress Testing framework... discussion paper that tackles future changes to the EU-wide stress test. ESBG said it hopes that any changes to the framework will result in increased transparency and simplicity of the overall process.
Changing
the current framework as described in the EBA discussion paper may
however not bring additional benefits and risks reducing some of the
advantages of the existing process. The different results of the
supervisory and bank legs, as proposed in the EBA discussion paper,
would in all probability increase costs, complexity and quality
assurance requirements. ESBG would therefore encourage the EBA to
continue future stress tests with only a single-leg. The current
approach has its merits, as banks are tested against a common
methodology and, as stated in the discussion paper, the main benefit of
undertaking stress tests in such a coordinated fashion is the production
of transparent and comparable outcomes. This would also allow to focus
on improving the existing methodology and removing or relaxing
constraints that do not have sensible impacts. To mitigate costs and
increase benefits from future EU-wide stress tests, ESBG says the EBA
should preferably consider improvements to the existing and
already-known processes of the established stress test governance,
procedure and methodology.
Think about costs
ESBG
says EBA should considered costs for developing a two-leg stress test
approach,. The balance between relevance on the one hand and
cost-efficiency on the other, in fact, do not appear to be well balanced
within the proposed two legs exercise. To mitigate costs and increase
benefits from future EU-wide stress tests, the EBA should rather
consider improvements to the existing and already-known processes of the
established stress test governance, procedure and methodology. Place
particular focus on improving process efficiency.
Communication of test results and disclosure: need simplified rules
On
communication of stress test results and disclosure, we believe
granularity of disclosures too high. The current disclosures for the EBA
stress test deem to be sufficient and also acknowledged by all relevant
stakeholders next to competent authorities and banks such as analysts,
investment banks and rating agencies. In case the bank leg will be
implemented, this introduces the risk that relevant stakeholders might
misinterpret the results publication and much more Q&A and
explanation work will be needed from both banks and regulators. The
level of detail of the transparency templates also too high, it should
be reduced. Along with maintaining a single-leg stress test, the
regulatory authorities should rather implement simplified rules on
banks' communication of results and improvements to the existing
methodology. Allowing banks to communicate concerns regarding top-down
methodologies and constraints along with supplementary information where
the banks deem necessary.
Furthermore,
supervisory involvement in the bank leg would lead to a duplication of
the efforts. Any deviation of the starting points will be enforced via
market discipline in the publication, with explanations required by
market analysts. Explaining deviations from the proscribed methodology
will require clear and concise communication by the banks when
publishing the bank leg. This will also mean that banks being required
to comment on the results of the supervisory leg, which poses a
challenge due to the limited disclosure of supervisory models.
Pillar 2 Guidance disclosure: Perhaps counterproductive to market valuations
Pillar
2 Guidance (P2G) is a recommendation made by the supervisor in a case
by case basis with no need to publish it since it lacks being a
requirement. If P2G is published, analysts may consider it as a
requirement and push banks to comply with it earlier than expected. It
would have therefore a counterproductive effect from the point of view
of market valuations, particularly towards listed banks. Before
considering P2G publication, it should be made clear to banks and to the
market how the stress-test outcome feeds into P2G. Then, it will be
necessary to ensure that the market has a full understanding that P2G is
not a requirement and that its use does not result in a trigger of any
Minimum Distributable Amounts (MDA) restrictions.
Management actions: voluntary publication
In
ESBG's view, communication of management actions on the capital
position are rather critical as they might be perceived as
credit-negative by analysts and rating agencies. Especially if such
actions do not fully reflect external stakeholders' expectations. Public
communication of such actions should be done on a voluntary,
case-by-case basis.
Single, well-calibrated scenarios can fulfil the purposes of two separated scenarios
Finally,
regarding the feasibility of introducing changes to the scenarios'
design, ESBG sees limited benefits and many costs when implementing two
adverse scenarios. Performing two adverse stress test calculations would
lead to material increase in efforts both for the banks and for
supervisors during the Quality Assurance (QA) process. Changing to two
scenarios would also broaden the complexity of communication to explain
the results towards external stakeholders. Having two adverse scenarios
will still not be sufficient to fully cover the risk profiles of all the
EU banks due their heterogeneity of business models, clients and
geographies. Single, well-calibrated scenarios can fulfil the purposes
of two separated scenarios, therefore we would suggest keeping one
scenario only.
About the discussion paper
The
discussion paper aims to present the EBA vision of the future for
EU-wide stress test and to collect comments and feedback from the
different users. The EBA proposal envisages two components owned by
supervisors and banks respectively: the supervisory leg and the bank
leg. The supervisory leg serves as the starting point for supervisory
decisions and would be directly linked to the setting of P2G. The bank
leg, on the other hand, allows banks to communicate their own assessment
of risks in an adverse scenario.
ESBG response to EBA discussion paper">
>> Read ESBG response to EBA discussion paper
>> See EBA consultation webpage (off-site)
© ESBG
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