Supervisory relief measures have created capital space for banks to adopt tailor-made debt restructuring measures, says Supervisory Board Chair Andrea Enria. Acting early is good for banks and borrowers. If banks “wait and see” this could lead to bankruptcies at a later stage.
These are unprecedented times, for the European
banking sector as well. What uncertainties do you see? What are the key
risks and vulnerabilities?
Overall, since the outbreak of
the pandemic European banks have shown strong resilience. I see this as
the result of our long-standing efforts to strengthen banks’ capital,
asset quality and liquidity buffers. But it is also thanks to the
extraordinary support measures provided by central banks, governments
and supervisory authorities which, while supporting businesses and
households, have also cushioned an adverse shock to the banking sector.
Nevertheless,
European banks are still facing some challenges, particularly when it
comes to their asset quality and profitability outlook. The deepest
European recession in peacetime has not yet translated into a surge in
sour loans thanks to the exceptional support provided by public
policies. So far, banks have factored in only a limited increase in
credit risk, but when government support measures are withdrawn, some
households and businesses might struggle to honour their debts. This
could, in turn, have an adverse impact on bank balance sheets. Hence,
banks must manage credit risk proactively. Otherwise, they may face a
surge in unexpected losses at a later stage, which could hinder their
ability to support the recovery of businesses, households and the
economy at large.
Persistently low profitability reflects
structural weaknesses in our banking sector that pre-date the pandemic
shock. But the harsh recession has further limited the income-generating
capacity of banks and driven an increase in impairments, triggering a
substantial decrease in profitability. Return on equity in the banking
union was 1.5% in the fourth quarter of 2020, down from 5.2% in the same
period of 2019. Banks have to take measures to refocus their business
models and improve their cost efficiency, also by taking advantage of
digitalisation and considering consolidation options. As a supervisor, I
would like to see banks safeguard their profitability in the wake of
this shock by planning structural measures of this kind, instead of
relying on overly benign asset quality projections or engaging in highly
leveraged business.
The non-performing loans ratio has
declined during the pandemic. But how serious do you think the situation
could become once the support measures are lifted? What would be the
best course of action for banks? What role do you think the stress tests
run by the European Banking Authority (EBA) will play in addressing the
problems of the European banking sector?
It is true that
banks have continued to actively reduce the stock of legacy
non-performing loans (NPLs) during the pandemic. While macroeconomic
projections point to a sharp rebound of our economy in the second part
of this year, there is still a good deal of uncertainty on the likely
trajectory of banks’ asset quality. Clearly the flow of new NPLs will
accelerate once the government support measures expire. It is therefore
crucial that banks identify distressed debtors in a timely manner. They
need to assess debtors’ ability to pay beyond the moratoria and other
support measures and provision accordingly. And when banks see signs of
distress they must consider targeted forbearance and timely debt
restructuring solutions to maximise value recovery. As I have said on
several occasions, supervisory flexibility on capital buffers is still
fully available: no bank should delay early recognition of losses
because of concerns about supervisory reaction.
Currently,
the EBA is stress-testing 38 euro area banks as part of its EU-wide
stress test and we are conducting a parallel stress test for another 53
banks that we directly supervise but that are not included in the EBA
sample. The results of both stress tests will provide valuable insights
into the banks’ resilience and their capital adequacy.
Countries
hit hardest by the pandemic, like Spain, Italy, Greece and Portugal,
which depend heavily on tourism, see their banking sectors possibly
facing an even higher volume of NPLs. Are their banks strong enough to
cope with a new wave of NPLs?
Compared with the last
crisis, banks are better prepared to deal with an increase in distressed
debt. They have stronger capital positions and there has been
significant progress in cleaning balance sheets in those countries with
high levels of legacy non-performing assets from the last crisis. Yet,
there are sectors that were hit particularly hard by the crisis and
deserve careful attention in order to accurately assess credit risk. Our
supervisors are conducting very detailed analyses of credit risk
management practices for exposures to vulnerable sectors, starting with
the food and accommodation sector. Commercial real estate is another
sector requiring close attention, especially if remote working
arrangements are going to become standard practice in the future.
Experience suggests that a significant increase in NPLs as a result of
the pandemic could impair banks’ lending capacity at a delicate
juncture. We now have the
EU recovery and resilience fund, which aims to support a robust and
sustained rebound of our economy. But for that to succeed, the banking
sector’s intermediation capacity must be preserved, as a smooth
financing of the recovery is a task shared by both the private and the
public sector.
Regarding Greece, how do you assess the
measures taken by the banks to deal with the current crisis? What would
you recommend? Do you think that a bad bank is necessary? Do you think
that measures taken under the Hercules scheme are enough?
In
Greece, like in the other European countries, the banks and the
Government deployed a wide range of support measures, such as moratoria
and subsidies, to provide immediate relief to businesses and citizens
most affected by the crisis. At the same time, the ECB’s pandemic relief
measures eased banks’ liquidity strains through favourable funding
conditions. In addition, we allowed banks to temporarily make use of
their capital and liquidity buffers when needed to provide support to
the economy. In this context, banks have been encouraged to continue
funding the real economy, supporting both households and the corporate
sector to avoid further amplification of the economic shocks. And
indeed, according to data from the Bank of Greece, credit to
non-financial corporations increased substantially over the final months
of 2020, reaching growth rates not seen since before the great
financial crisis in 2007-08 – around 10% (year on year) in the last
quarter of 2020 and the first quarter of 2021.
It is important to
recognise that Greek banks have continued their efforts to clean up
their balance sheets even during the pandemic, with some ranking among
the top sellers of NPLs in the European Union in 2020. They have
significantly reduced NPLs over the last few years. Between 2016 and
2020, NPLs were down by almost 50%, or €58 billion in absolute terms.
The Hercules Asset Protection Scheme, recently extended in its duration
and amount, has played a significant role in accelerating NPL disposals.
Additional deals of close to €40 billion have been announced by Greek
banks for the next 12 months under the Hercules scheme and will be duly
assessed by the ECB. We encourage banks to keep pursuing this objective
of further NPL reduction so that they can strengthen their balance
sheets and thus better serve their clients and finance the economy.
Also, banks should continue applying sound underwriting standards,
conducting thorough assessments of borrowers’ creditworthiness to
distinguish temporary financial difficulties from permanent ones.
Against
this background, all avenues for NPL reduction must be used and further
potential additions to the NPL resolution toolkit, such as the
establishment of a bad bank – or asset management company as I prefer to
call it – are worth exploring. In the past, asset management companies
have in some instances proved to be an effective tool to help countries
emerge from a financial crisis faster.
Do you think Greek
banks have sufficient capital? Are there any specific banks you are
worried about? This is particularly relevant as a wave of bankruptcies
is expected once the support measures are gradually withdrawn.
Greek
banks are making progress in their clean-up process through NPL
securitisation, sales and other structural measures. This is certainly a
positive development. We would encourage them to make use of the
flexibility on the temporary use of capital buffers to continue their
efforts in this area. In addition, recent market transactions, including
junior debt issuances and a share capital increase, which were largely
oversubscribed, are a positive sign of market confidence. The
participation of a wide range of international investors confirms
increasing interest in Greek banks and Greece. The ability to attract
fresh resources can help banks further speed up their efforts to reduce
the stock of non-performing assets.
As for bankruptcies, I would
say that, like in every euro area country, the economic implications of
the pandemic entail heightened risks for the banking system. Moratoria
and other support measures temporarily reduced the visibility of banks’
losses. So far, payment behaviour following the expiration of moratoria
that were in place in Greece until the end of 2020 has been positive,
which has translated into a lower-than-expected need for restructuring
solutions. However, there is still a risk that this trend may reverse
and new NPLs may materialise. Therefore, to strengthen banks’ financing
capacity, reducing NPLs further and enhancing their ability to absorb
losses remains the key priority. In this regard, the Greek authorities’
decision to lift the suspension of debt enforcement measures, including
for e-auctions, is crucial. Ensuring a timely and effective
implementation of the new insolvency code, stepping up the pay-out of
called state guarantees to banks, and a successful relaunching of the
debt enforcement process are important steps forward. They should all
further strengthen the payment culture and the ability of banks to fuel
the recovery of the Greek economy.
Is there a risk of a
new financial crisis following the pandemic? Do you think that the
return to normality could or should include the cancellation of private
debts?
The massive monetary, fiscal and supervisory
policy response has reduced the risks to financial stability. It remains
important to avoid a premature and blanket withdrawal of the support
measures, which would risk delaying the recovery and amplifying the
longer-term scarring effects. Thus, the measures must be phased out with
caution.
The far-reaching relaxation of financing conditions
triggered by monetary policy accommodation and government-guaranteed
loans has already significantly reduced the burden of debt for private
borrowers. The capital space created by supervisory relief measures
enables banks to adopt tailor-made forbearance and debt restructuring
measures. We know from experience that early restructuring of distressed
debt benefits banks and borrowers alike, whereas “wait and see”
attitudes are likely to lead to a larger wave of bankruptcies at a later
stage. I think targeted forbearance and restructuring is the right way
forward, rather than outright and undifferentiated forgiveness of
private debts.
There are also risks linked to climate change. What are the priorities here?
We
are well aware that climate risk represents a major challenge and
requires banks’ close and immediate attention. Last year we published
the ECB Guide on climate-related and environmental risks, which outlines
our supervisory expectations for how climate and environmental risks
should be embedded in all relevant bank processes, including reporting
and disclosures. We found that banks do not yet comprehensively disclose
their climate-related and environmental risk profile and that
significant efforts are needed to promote transparency on the exposure
to these risks in the financial markets.
We are now assessing how banks are taking account of these risks in their processes and practices. In January, we asked banks
to conduct a self-assessment against the supervisory expectations
outlined in our Guide and draw up action plans for aligning their
practices with those expectations. We are in the process of reviewing
the banks’ submissions. As we have already said, this year the outcomes
of these assessments are generally not expected to be taken into account
when determining capital requirements, but we may impose qualitative or
quantitative requirements on a case-by-case basis. Hopefully, the work
that we are doing now will help us – and the banks – to prepare for the
full review and the stress test of climate-related and environmental
risks that will be part of the supervisory cycle in 2022.
SSM
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