The desks-mapping review is part of the supervisory work... that third-country subsidiaries have adequate governance and risk management capabilities and do not operate as empty shells.
On 1 January 2021 the United Kingdom left the
single European market. From the perspective of the European Union, the
United Kingdom is now a third country. UK-based banks wishing to provide
services in the EU can no longer do so via passporting, i.e. the right
of a bank to serve customers across the EU from one EU Member State,
either through the free provision of (cross-border) services or by
establishing local branches under preferential terms.
Several
international banks decided to relocate business from London to
subsidiaries in the euro area – standalone EU legal entities subject to
supervision under the Single Supervisory Mechanism (SSM entities). The
alternative option of relying on third-country branches operating under
national supervisory regimes has been less used, as such entities cannot
provide services to customers across the whole of the EU. These firms
are operating a global business model across multiple jurisdictions and
need to satisfy both their home and their host supervisors.
The
desks-mapping review, i.e. the review of booking and risk management
practices across trading desks active in market-making activities,
treasury and derivative valuation adjustments, is part of the
supervisory work aimed at ensuring that third-country subsidiaries have
adequate governance and risk management capabilities and do not operate
as empty shells. It was launched as ECB Banking Supervision assessed (i)
that banks had not made sufficient progress in ensuring adequate local
trading presence and risk management capabilities in their newly
established entities in the euro area; and (ii) that banks need clear
instructions for appropriately implementing the target operating models
previously agreed with their Joint Supervisory Team. In this work we
engage with our European, UK and international counterparts to make sure
that the rationale behind our supervisory policies is duly understood
by all parties involved.
The booking model of a banking group
defines how and where the group books its transactions for specific
products and clients and how and where the resulting risks are booked
and managed within the group. In its 2018 supervisory expectations on booking models,
the ECB clarified the need for banks to retain demonstrable control and
oversight of balance sheet risk assumed in the euro area. Banks not
only need to ensure adequate levels of local capital and liquidity, they
also need adequate local risk management staff in terms of quantity and
quality as well as appropriate local internal governance, IT and
reporting infrastructures.
But why does the ECB care about this?
As the supervisor for the euro area, it is our duty to protect the
depositors and other creditors of the local legal entity, prevent the
disruption of banking services and safeguard broader financial stability
in our area of jurisdiction. In this context, empty shell structures –
legal entities located in the euro area that book exposures remotely
with their parent company or book them locally but rely fully on risk
management hubs and financial infrastructures located in third
countries, often by means of back-to-back mirror transactions and hedges
transferring the risk to their parent entity – are a very real concern.
First, these structures are exposed to heightened operational
and counterparty risk vis-à-vis their parent affiliate. In the event of
financial stress or default at the level of the parent entity, the local
entity can be left with large unhedged positions and little to no
access to the staff and infrastructure needed to wind them down
smoothly. This, in turn, undermines both the local entity’s recovery
capacity during severe stress and, where applicable, its resolvability.
This is particularly relevant under a third-country framework where,
during episodes of financial stress, the diverging interests of the
numerous entities and stakeholders involved may lead to retrenchment and
ring-fencing. Second, even during normal times, having risk management
resources and infrastructure located offshore can hinder a bank’s
ability to identify, measure and monitor risk and can make governance
and decision-making less transparent. Third, reallocating risk and
revenue to third-country affiliates can worsen the incentive structure
for local bank management.
The first phase of
the desks mapping review, which was launched in spring 2020 and focused
on 264 trading desks across seven institutions and affiliated
investment firms,
found that the incoming banks do not yet retain full control of their
balance sheets, as prescribed in the ECB’s 2018 expectations. Some 70%
of the desks assessed still implemented a back-to-back booking model and
around 20% were organised as split desks, whereby a duplicate version
of the primary trading desk located offshore is established within the
euro area legal entity to manage the part of the risk originated there.
Our
supervisory scrutiny in response to these findings was purely
risk-based and took a proportionate approach based on materiality. Based
on a quantitative assessment of the materiality of the prudential risks
originated by the SSM entities’ trading desks, the ECB concluded that
21% of the 264 desks assessed during the first phase warranted targeted
supervisory action. This represents around 46% of the risk-weighted
exposure amount (RWEA) of the incoming banks’ trading desks. Considering
the trading desks whose current set-up already provides for local risk
management in the euro area, the implementation of the desks mapping
review is expected to lead to up to 67% of the RWEA of these seven
incoming banks’ trading desks being managed in accordance with our
expectations. To ensure our supervisory actions are consistent and
comparable, the 56 trading desks warranting supervisory action were
determined based on a common set of risk indicators. Absolute and
relative (to other desks in the same institution) risk indicators were
constructed for each trading desk based on (i) total capital market
RWEA, to capture the risk generated by each desk; (ii) total net trading
income, to gauge the relevance of revenues shifted offshore by each
desk; (iii) traded notional amount, to have an absolute indication of
volumes processed; and (iv) ticket count, to assess the materiality from
an operational perspective.
For the desks identified as
material, we will issue individual binding decisions to the incoming
banks. These decisions may require the bank to (i) appoint a head of
desk within the euro area legal entity with clearly defined reporting
lines and a compensation structure linked to the performance of that
entity; (ii) ensure the desk has the adequate infrastructure and number
and seniority of traders to manage risk locally; (iii) establish a solid
governance and internal control framework of remote booking practices
with parent affiliates; and (iv) ensure limited reliance on intragroup
hedging.
The ECB is navigating uncharted waters. No major
supervisor has ever had to assume, over a short period of time, the
integration of a significant number of incoming institutions with global
market activities belonging to groups headquartered in third countries
in its supervisory remit. The ECB is not setting specific targets for
the relocation of banking business to the euro area. Instead, we want to
ensure that incoming legal entities have onshore governance and risk
management arrangements that are commensurate, from a prudential
perspective, with the risk they originate. The extent of the actual
relocation and specific booking configuration will depend on the current
set-up of each bank and how it decides to implement the supervisory
expectations. The ECB is mindful that its expectations may lead to
changes to the current set-up of some banking groups and intends to
apply its policy in a proportionate manner. For instance, we are aware
that the risk arising from some foreign exchange products may be more
efficiently managed in accordance with a centralised group-wide set-up.
Furthermore, the ECB is also taking into account in its assessment the
complexity of some products, for which the convenience of having a
centralised management could be considered.
The review of trading
desks and their associated risks does not mark the end of the ECB’s
supervisory scrutiny of incoming banks’ post-Brexit operating models.
Investigations into credit risk-shifting techniques, the reliance on
parent entities for liquidity and funding, and internal model approvals
are still ongoing. This work has a key overarching objective: to ensure
that all SSM entities have prudentially sound risk management
arrangements and a local presence which enables effective supervision
and is commensurate with the risks they originate.
SSM
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