"..banks have proven to be resilient so far. They have robust capital positions and their profitability recovered in the second half of 2020 and the first quarter of 2021. However, there is still some uncertainty about how the pandemic will evolve..."
The response to the COVID-19 crisis
I am delighted to be with
you again this morning. I will start with our most pressing supervisory
focus, which is to ensure that banks can effectively manage the fallout
from the crisis. For this reason, credit risk continues to be a
priority, as it has been since the start of the pandemic in early 2020.
The latest economic data are encouraging and consistent with our
expectation that economic activity will accelerate in the second half of
the year. And banks have proven to be resilient so far. They have
robust capital positions and their profitability recovered in the second
half of 2020 and the first quarter of 2021. However, there is still
some uncertainty about how the pandemic will evolve. Moreover, the
recovery, and thus the economic impact of the pandemic, may be uneven
across sectors and countries. This could have consequences for bank
balance sheets.
Therefore, our main goal as supervisor is still to
ensure that banks are able to identify and manage any credit risks on
the horizon at an early stage. We want banks to remain vigilant and
tackle credit risk proactively.
As a follow-up to the letter
we sent to banks last December on the identification and measurement of
credit risk, we assessed banks’ compliance with our supervisory
expectations. While most banks are fully or broadly in line with our
expectations, certain banks, including some that now have fairly low
levels of credit risk, need to address significant gaps in their risk
control frameworks, which are the most important safeguard against a
significant deterioration in asset quality in the future. The main areas
of attention are the classification of loans, especially when there is a
significant increase in credit risk (Stage 2 under IFRS), the proper
flagging of forbearance measures and the timely and adequate assessment
of borrowers’ unlikeliness to pay. The Joint Supervisory Teams have
shared the findings with the banks and asked for remediation plans. The
findings have also been fully integrated into this year’s Supervisory
Review and Evaluation Process (SREP).
We note that some banks
started to reduce provisions in the first quarter of this year,
something which in past cycles happened close to the peak in
bankruptcies, a point that we surely have not reached yet. We have also
seen some banks taking on more risks by increasing their leveraged
lending activities. While the leveraged loan market came to a standstill
in March 2020, it quickly recovered to reach record levels. In fact,
investors’ current search for yield has pushed spreads below the levels
seen before the pandemic. The very low credit quality leaves the market
vulnerable to further shocks, including sudden asset repricing. These
are areas of potential concern and we are considering possible
supervisory measures to ensure that banks take a prudent approach.
Finding a path to normality
At
the same time, we need to be prepared to return to normality, as our
relief measures were designed to be temporary to mitigate the immediate
impact of the pandemic. This also applies to the recommendation on
dividends. We have been pleased to see that banks broadly adhered to the
recommendation.
On the basis of the latest macroeconomic
projections and our supervisory work on capital strength, we find banks’
capital projections to be more reliable, allowing us to assess their
payment plans on an individual basis. Therefore, in the absence of
materially adverse developments, we plan to repeal our recommendation as
of the end of the third quarter of 2021 and return to reviewing
dividends and share buybacks as part of our normal supervisory process,
based on a careful forward-looking assessment of each bank’s individual
capital planning. We expect distribution plans to remain prudent and
commensurate with banks’ internal capital generation capacity and with
the potential impact of a deterioration in the quality of exposures,
also under adverse scenarios.
We allowed banks to make use of
their capital and liquidity buffers to mitigate the impact of the
pandemic. As already communicated last summer, we will allow banks to
operate below Pillar 2 Guidance and the combined buffer requirement
until at least the end of 2022. We are monitoring developments in banks’
asset quality very closely. If we identify a surge in distressed loans
on bank balance sheets as a consequence of public support measures being
phased out, we are ready to extend our timeline. The process of
rebuilding bank buffers should not hamper efforts by the banking sector
to respond quickly to the expected materialisation of credit risk from
the pandemic.
Supervisory work in other risk areas
While
we are paying close attention to credit risk, we are also making
progress on other topics. I would like to highlight three areas where we
are continuing to harmonise the supervisory approach at the European
level.
First, we have continued our work to harmonise the way in
which options and discretions available in Union law are exercised by
European supervisors. We published a first set of policies in 2016 and
2017. We now cover an additional set of options and discretions
introduced primarily by the “CRR II‑CRD V package” and launched another public consultation on 29 June.
Second,
in mid-June we launched a public consultation on our draft revised
Guide to fit and proper assessments and the new Fit and proper
questionnaire. The revised guide aims to increase the consistency of fit
and proper assessments across the banking union, recommends early
engagement with supervisors also in cases where national legislation
envisages ex post assessments and seeks to ensure more diversity within
bank boards. At the same time, our assessments are still subject to
national laws, and a true single rulebook with fully harmonised
provisions is key to levelling the playing field and preventing
loopholes in this area of supervision.
Third, we are currently
benchmarking banks’ self-assessments against our supervisory
expectations on climate-related and environmental risks. We have already
started to work on incorporating these risks into our SREP methodology.
Although this year’s findings will not be reflected in bank-specific
capital requirements, we may need to impose qualitative or quantitative
requirements in some specific cases. A full supervisory review (as well
as a specific stress test focusing on climate risk) will then follow in
2022. Our most recent assessment shows that banks have started adapting
their practices but still have a long way to go to be fully aligned with
our supervisory expectations, and there is considerable heterogeneity
across banks. All banks need to step up their efforts now, as climate
risk is already here and will soon be an integral part of our regulatory
and supervisory framework.
The importance of completing the banking union
While
we are continuing to improve and further harmonise European banking
supervision, the completion of the banking union via a clear path
towards the introduction of a fully fledged European deposit insurance
scheme remains vital. There is agreement that further progress needs to
be made to strengthen the crisis management framework. We have already
contributed to the Commission’s recent public consultation on the review
of the crisis management and deposit insurance framework and stand
ready to actively participate in this important review.
Let me
stress that completing the banking union is not an end in itself, but a
necessary condition for reaping the maximum benefits of a fully
integrated banking market. This is essential to ensure that European
banks can play their role in an interconnected and digital European
economy and can compete at the same level as their global peers. This is
all the more important in the European context, as around two-thirds of
credit intermediation from the financial sector to non-financial
corporates is performed by the banking sector in the euro area.
This is a much higher percentage than in the United States. The
remaining segmentation of our banking markets, which is to a large
extent driven by legislative constraints reflecting the national nature
of deposit insurance schemes, is an important inefficiency that ends up
being paid for by bank customers and makes our economy less dynamic.
I
would also like to point out that the new legislative cycle could
provide an opportunity to review the treatment of European branches of
third-country banking groups. These branches are currently subject to
national supervision based on national requirements. Even if
third-country groups must set up an intermediate parent undertaking in
the EU, individual branches belonging to a third-country banking group
will only be subject to national supervision. Specific booking models
allow third-country groups to transfer assets and risks within the
group, which means that it may be extremely difficult for ECB Banking
Supervision to gain a comprehensive European overview of the risks these
groups are taking in the EU and of the effectiveness of their risk
management arrangements. While third-country banking groups should be
free to choose to enter specific markets within the EU via branches or
subsidiaries, greater harmonisation of the regulatory and supervisory
framework is warranted, also to ensure a firm-wide view of risks and
risk management and a level playing field within the banking union.
Conclusion
While
we now seem to be on a path to normality, the ECB will maintain its
strong focus on mitigating credit risk. At the same time, the ECB is
making progress in other risk areas.
We hope that tangible
progress on strengthening and completing the banking union can be made
in the near future, to provide the same level of protection to the
deposits of all European citizens and foster a genuine integration of
markets within the banking union, to the benefit of European households,
small and medium enterprises and corporates. I am pleased to be here
today to discuss these issues with you. I now look forward to your
questions.
ECB
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