In some cases, this balance isn’t quite right, and further work is needed to fine-tune the rules. The treatment of equity investments in funds (EIIF) under the revised market risk capital framework is one such area.
Setting risk-based capital requirements for banks is a fine balancing
act. The level of capital must adequately cover the risk posed by a
particular asset without being excessively conservative, which could
threaten the ability of banks to participate in that market. The
methodologies used for calculating capital must also be sophisticated
enough to accurately measure risk, but not so operationally complex and
impractical that banks can’t implement them.
The Fundamental Review of the Trading Book (FRTB) sets several
methodologies for calculating capital for EIIFs under either an internal
models-based or standardized approach, but these methodologies are
extremely computationally intensive and not viable in several cases.
Earlier this month, ISDA published a paper
together with the Global Financial Markets Association (GFMA) and the
Institute of International Finance (IIF) that explores the challenges
and proposes alternative methods.
This is an important issue because funds provide significant economic
and social benefits to investors. By enabling access to a diversified
portfolio of managed assets at a lower cost than investing in individual
stocks in isolation, funds remove the barriers to entry faced by many
small investors. Global assets under management have grown significantly
in recent years and had exceeded $100 trillion by the end of 2020,
according to data from the Boston Consulting Group.
Banks play a key role in facilitating indirect investment in funds
for their clients, offering hedging solutions for their customers and
creating an effective, liquid market. If implemented without
recalibration, the capital treatment of EIIFs under the FRTB could
constrain their ability to participate in this market.
As they stand, the rules introduce an onerous methodology under the
internal models approach, known as the look-through approach, which
requires banks to have the capability to analyze the individual
components of a fund on a regular basis. Given the reluctance of some
asset managers to disclose this information and delays in the
publication of data, it can be very difficult to apply in practice.
Under the standardized approach, other methodologies are available,
including an index-based approach and a mandate-based approach, but
these are also computationally complex and will be difficult for many
banks to deploy. A fallback approach that allows banks to treat EIIFs as
unrated equity exposure is less computationally intensive but imposes a
punitive risk weight that doesn’t allow for any diversification
benefit.
An industry survey conducted during the development of the paper
found that most banks plan to calculate capital for EIIFs using the
fallback approach, despite its conservatism. As a result, 70% of banks
that will use the fallback approach expect their capital to increase by
six times on average. This is not a good outcome, and risks constraining
banks’ ability to support investment in funds. We believe the
calculation methodologies should be modified to make them simpler and
more accessible to market participants.
Now is the time to revisit the rules and make the necessary changes.
In October 2021, the European Commission published legislative proposals
to implement the final parts of Basel III, and other jurisdictions are
expected to issue their own proposals in the months ahead. This will set
the framework for risk-based capital requirements for decades to come,
so it is critical that the standards are appropriately calibrated to
preserve the accessibility of funds for retail investors.
Capitalization of Equity Investments in Funds Under the FRTB
ISDA
© ISDA - International Swaps and Derivatives Association
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