In light of the Covid-19 pandemic and its effects on the economy and financial markets, supervisors and policy makers at the international level are concerned that banks could refrain from using its capital buffers to support lending due to pay-out restrictions following the breach of the combined buffer requirement (CBR).
In this note we analyze potential impediments to buffer usability
by banks. In particular, possible stigma effects arising from
additional tier 1 (AT1) coupon restrictions are discussed as a crucial
obstacle to buffer usability leading to a negative spill over effect on
the overall bank funding cost and finally to a significant decline in
credit supply. We run a series of empirical tests to asses the effects
of a shrinking distance to the maximum distributable amount (MDA)
threshold which reject the hypothesis that stigma effects are
significant. Based on our findings, we reflect on the suggested ways to
redesign the capital buffer framework to address possible shortcomings.
In this regard, we provide a preliminary assessment of potential policy
options, also given that the Basel Committee as part of its longer-term
evaluation of the Basel III reforms will review the effectiveness of the
buffer framework and in light of the macroprudential review of the
European Commission.
1. Introduction
The covid-19 pandemic has led to
unprecendented challenges. Its overall impact on the economies and on
financial markets is far from being known. Recent developments due to
second covid-19 waves have darkened the economic outlook, but signs of a
sooner recovery are looming given the recent breakthrough in the
research of Covid vaccines. Banks have been able to weather the effects
of the covid-19 pandemic so far. Higher regulatory capital ratios which
were introduced after the great financial crises have been successful in
mitigating systemic risks and in strengthening the resilience of the
banking sector.
But, the financial stability environment
remains challenging, since losses have not fully materialized yet due
to unprecedented government measures. It is expected that the
phasing-out of support measures will force down banks’s capital ratios
in the near future. In this regard, buffer usability will be crucial to
avoid unintended deleveraging effects and a credit crunch to the
economy.
Concerns at international level exist
that banks are not willing to draw on their capital and to dip into
their buffers due to possible stigma effects. In this note stigma
effects are associated with higher funding costs for banks given an
increase in the probability of pay-out restrictions due to shrinking
distances to the maximum distributable amount (MDA) threshold.
Falling below the MDA threshold and
hence, a breach of the combined buffer requirement (CBR) instead
automatically leads to proportional restrictions of profit distributions
for dividends/share buybacks, AT1 coupons and bonuses as well as the
requirement by banks to establish a capital conservation plan. In the
case of losses, it may even result in a de facto restriction of
pay-outs, thus preserving capital in the ailing bank. To that effect,
capital buffer requirements differ legally from Pillar 1 and Pillar 2
requirements as a breach of the CBR does not require supervisory action.2
In addition, the different nature of the capital conservation buffer,
the global and other systemically important institutions buffer, the
systemic risk buffer and the countercyclical capital buffer allows
designated authorities to address systemic risks effectively.3
The framework, which was put in place in
2014, is now well established and understood by investors. Its
consequences are transparent and predictable and they are priced in AT1
instruments and other affected/relevant financial instruments.
Although the legal consequences of an
MDA breach are not severe, potential stigma effects are cosidered as
possible impediment to buffer usability. Higher funding costs due to
stigma effects would ultimately lead to a decline in credit supply with
unintended negative repercussions on the real economy.
2. Negative impact of potential stigma effects of using capital buffers are overstated
To assess whether stigma effects of
using capital buffers exist and whether these effects are significant,
in the first place, we consider recent examples of AT1 coupon
cancellations or non-call events and their implications on AT1 fundings
costs as well as on banks’ weighted average cost of capital (WACC). In
the second place, we run a series of empirical tests to check the
hypothesis whether stigma effects are significant.
2.1 Higher funding costs of AT1 have little impact on bank funding costs and on loan pricing
Banks’ decision to grant loans crucially
depends on funding costs. Regarding the current regulation of the
buffer framework AT1 coupon restrictions are discussed as one crucial
obstacle to buffer usability. Given that additional tier 1 (AT1) is the
second highest quality of regulatory capital, it bears risks by
discretionary coupon cancellations and by restrictions on distrubutions
in case of an MDA breach. On the one hand, coupon cancellations support
banks’ common equity tier 1 (CET1) capital ratio, on the other hand,
banks may be reluctant to cancel AT1 coupons to preserve both investor
confidence and access to funding.
To date, AT1 investors have only
suffered a very limited number lossess involving low amounts. This
limits the size of our sample. It consists of five AT1 extension events
and two other cases. The latter referes to Banco Popular’s capital
securities (AT1 and Tier 2), which were written down on June 6, 2017,
and Bremer Landesbank’s AT1 coupon cancellation on June 23, 2017. Chart 1
shows that the cancellation of the AT1 coupons by Bremer Landesbank did
not lead to significant negative price effects of its outstanding AT1
instruments.4
The ask-price of its AT1 instrument with a 7.78% coupon (left-hand
panel of chart 1) recovers within 2 months. The ask-price of the bank’s
AT1 instrument with a 9.5% coupon takes four months to recover. The blue
lines in chart 1 refer to the price of the bank’s 10-year unsecured
senior benchmark bond. It remained stable when the coupons were
cancelled.
Chart 1: No significant impact of the coupon cancellation of Bremer Landesbank on the price of its AT1 instruments5 (orange line) or that of its senior unsecured debt instruments (blue line)
According to the sceptics of buffer
usability, both events should have also led to disruptions of the EUR
AT1 market, but this market proved resilient. The blue line in chart 3
shows that the broader market even increased in the face of the two
events (the two left red vertical lines). According to Fitch, the
market’s resilience was due to the more stable and mature market, which
had been aided in part by regulatory developments (especially by the
increasing macroprudential buffer requirements since 2014), and adequate
CET1 ratios at most issuing banks in Europe.6
As AT1 instruments are perpetual bonds
in Europe, refinancing needs tend to be limited and largely endogenous
to the decision of the bank. However, investors expect banks to call at
the earliest possible point in time.7
In 2019 Santander (February 12) and in 2020 Deutsche Bank (March 11),
Aareal Bank (March 20) and Lloyds (May 22) extended AT1 bonds. Still,
the market impact of these AT1 extensions was very limited, with short
term price losses of the extended bonds and rather quick price
recoveries (see charts in the annex). Santander’s AT1 price (orange line
in the left-hand panel of chart 2) remained stable in the face of the
extension of the instrument. The price of Lloyds’ AT1 instrument even
increased slightly and for a short period after the extension. Also, its
5-year CDS spread decreased after the event. The price reactions for
Deutsche Bank (right-hand panel) and Aareal Bank were more pronounced.
Since prices have also been affected by the Covid-19 pandemic, it is
difficult to determine the exact impact of the extension events. This
notwithstanding, both AT1 prices recovered within three months. The CDS
spread of Deutsche Bank recovered fully within three months; that of
Aareal Bank remained stable. The events did not have a negative impact
on the EUR AT1 market (chart 3).
The charts also show that the banks’
unsecured funding costs (proxied by their CDS spreads for their
five-year unsecured senior bonds) fell significantly after the banks’
failure to call their AT1 instruments. It seems that the markets think
that such action strengthens the respective bank and reduces the
probability of default. Holders of AT1 instruments may have lost out but
unsecured bond holders benefited.
SUERF
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