EBF publishes response to BCBS's consultative document, "Supervisory framework for measuring and controlling large exposures"

01 August 2013

EBF welcomed the fact that the BCBS had based its proposal to revise the supervisory framework for measuring and controlling large exposures on proven methods under the existing capital and large exposures regimes.

The EBF fully supports the effort of the BCBS to reuse existing exposure measures as much as possible, and would recommend applying the same exposure for the Large Exposure Regime (LER) as for Pillar 1 purposes everywhere, including for off-balance sheet items. However, the Committee’s preference for simple methods of calculating exposures is not justified, in EBF’sview. This approach would lead to a divergence between the capital and large exposure regimes. Instead, banks should be able to apply the same methods for both purposes and should continue to have the option of using more sophisticated methods, i.e. internal models, to determine exposure values. The main reasons for this are:

Furthermore, while the treatment of intra-group exposures is not covered in the consultation paper EBF would like to emphasise its position that the free flow of capital and liquidity must be guaranteed within a banking group. Any restriction would have an adverse effect on the group’s capital and liquidity management.

Full news


© EBF