he European Banking Federation notes the publication this week by the European Banking Authority (EBA) of its updated assessment[1] of the impact of the forthcoming Basel III agreement implementation on the capital requirements of Europe’s banks.
The EBA study shows that the impact on banks’ balance sheets remains
very significant (+ 18.5%, and even more for Europe’s largest banks
which account for most of the region’s assets: + 22.4%). The assessment
still amounts to a capital shortfall of between €33 billion and €52.2
billion, most of it in large banks. Important is to note that the EBA’s
analysis does not consider any detailed quantification of the financial
impact from the Covid-19 pandemic, although its simulations suggest
further material increases in capital shortfalls.
Contrary to the study[2]
published by Copenhagen Economics, the EBA study still does not take
into account the current capital ratios of banks. Banks indeed typically
operate with capital buffers, e.g., as capital ratios fluctuate as part
of the daily business and due to expectations from supervisors as well
as investors. The current crisis has laid bare the importance of the
management buffers. Thanks to the management buffer European banks have
been able to withstand a major economic shock and keep up the level of
lending. Therefore, the EBF reiterates that the EBA should use as main
reference the sheer amount of capital needed to restore the current
capital ratios.
It appears therefore essential that the European Commission implement
the Basel IV framework at the European level with no significant
adverse impact on any jurisdiction while respecting the international
level playing field in banking and taking into consideration the
European specificities.
The EBF believes that appropriate implementation of Basel IV is even
more important in the context of the recovery from the COVID-19 crisis
for banks to be able to continue providing
the very much needed financing for corporates, SMEs, and households.
Doing it diffidently would put at risk the chance of a sustainable
recovery in Europe.
To mitigate this adverse impact, the EBF has identified a number of
concrete implementational options to make the package more suited to the
European specificities, including the possibility to implement the
output floor as a separate capital requirement where only
internationally agreed capital buffers are applied (the so-called
parallel stack approach), solutions to avoid penalising unrated
corporates which form the vast majority of companies in Europe, a cap to
the operational risk requirement in line with other jurisdictions, as
well as maintaining the options already enacted in European legislation
(CVA, SME supporting factor, etc.).
[1] https://eba.europa.eu/sites/default/documents/files/document_library/Publications/Reports/2020/961423/Basel%20III%20reforms%20-%202019Q4%20update%20and%20Covid%20impact.pdf
[2] https://www.copenhageneconomics.com/publications/publication/eu-implementation-of-the-final-basel-iii-framework#:~:text=In%20December%202017%2C%20the%20Basel,for%20different%20types%20of%20portfolios.
EBF
© EBF
Key
Hover over the blue highlighted
text to view the acronym meaning
Hover
over these icons for more information
Comments:
No Comments for this Article