Showing posts with label IIBF Risk Management. Show all posts
Showing posts with label IIBF Risk Management. Show all posts

Saturday, 6 February 2021

Risk Management and credit rating::

 Risk Management and credit rating::


The risk that the banking business faces, can be:

· Credit risk

· Market risk (resulting from adverse movement of prices of govt. securities, interest rates, forex etc.)

· Operational risk (resulting from staff errors, failure of internal processes, external events etc.)

Credit Risk : It refers to the possibility of loss that the bank or financial institution may suffer as a consequence of inability of

the counterparty (i.e. the borrower, who is operating in an environment having many uncertainties resulting in threat to the

viability and sustainability of the activity) to meet its repayment or other commitment/s as per agreed conditions and commit

default.

Reserve Bank of India states that the credit risk or default risk involves inability or unwillingness of a customer or counterparty to

meet commitment in relation to lending, trading, hedging, settlement and other financial transactions.

In terms of the guidelines issued by RBI, the credit risk is generally made up of (I) transaction risk or default risk and (2) portfolio

risk. The portfolio risk in turn comprises intrinsic and concentration risk.

· The transaction risk is the risk arising from an individual transaction or a counterparty or b orrower's default in meeting the

commitment.

· The intrinsic risk is the risk which is inherent in respect of an activity due to the operating environment. This is also termed as

industry or activity risk.

· The concentration risk refers to the risk which arises as a result of undertaking exposure in only few industries or activities or

lines of business or borrowers and borrowing groups without ensuring the diversification of the portfolio.

Why does credit risk arise ?

The credit risk arises due to operation of a number of external and internal factors.

The external factors are the state of the economy of the concerned country or state or even global economy, wide swings in the

prices of various commodities, foreign exchange rates, interest rates, trade restrictions, economic sanctions, Govt. policies, natural

calamities etc.

The internal factors are the factors which may be internal to the borrower or internal to the financing institution.

· The factors internal to the borrowing entity may be planning factors, execution factors, finance factors, marketing factors,

management factors etc.

· The factors internal to the financing banks or institutions relate to the deficiencies in loan policies/administration,

absence of prudential credit concentration limits, inadequately defined lending limits for loan officers/credit committee,

deficiencies in appraisal of borrowers' financial position, excessive dependence on collaterals and inadequate risk pricing,

absence of loan review mechanism and post sanction surveillance etc.

Steps for credit risk mitigation:

The objective of mitigation is the restrict the risk within an acceptable limit and it involves steps to be taken at (a) macro level in

the bank and (b) micro level in the bank.

At Macro Level:

i. Frequent review of norms and fixing internal limits for aggregate commitments to specific sectors of industry and business.

2. periodical review of loan policies.

3. classification of portfolio based on certain parameters of quality

At Micro Level:

i. framing of policy regarding credit appraisal standards, sanction and delivery process, monitoring and review of individual

borrowers, obtaining collaterals.

2. obtaining credit rating and their updation.

Credit rating

The credit risk differs for each project and each promoter. The appraisal of proposal done with a view to measure the risk involved

and its quantification by using a credit rating method, with following objectives:

i. to take a decision whether to accept or reject a proposal without or without modification

2. to determine the rate of interest (risk pricing)

3. to help in. macro evaluation of the total credit portfolio by classifying the individual loan account in a specific category,

depending up on the rating.

Rating Models:

The rating can be done by using internal rating model available with the bank. Most of the banks have their rating models.

The rating can also be got done by using service of external rating agencies such as CRISIL, SMERA, CARE, ICRA etc.


Credit rating methodology:


Banks the credit rating model, based on which they are able to place their borrower in a particular rating category. The broader

categories of risk area that the rating models take into account are:

1. Management related aspects

2. Security related aspects

3. Financial aspects on the basis of financial statements

4. Business risk

These ratings are required to be reviewed periodically, in view of dynamic nature of the business of the borrower.

Derivative instruments for Credit Risk Management

The derivative instruments are used to hedge the inherent credit risk without transferring the loan account. Simple techniques for

transferring credit risk are available with the banks for very long time which include guarantors, collateral securities, credit

insurance from agencies like DICGC, CGTMSE. In recent some new instruments have also been introduced that include (a) Credit

default swaps and (b) credit linked notes.

Credit default swaps (CDS) : It is a contract between the financing bank (risk seller) and protection seller, whereby the protection

seller provides protection against credit events (i.e. default). For this purpose, the risk seller makes payment of premium to the

protection seller. The credit events include bankruptcy, failure to pay, restructuring etc.

Credit linked notes (CLN): In this arrangement, the protection seller (normally a special purpose vehicle — SPV) issues notes linked

to underlying credit. These notes can be purchased by general public as investors and the SPV purchases high rated securities with

that amount. On maturity, these securities are sold and money is returned to investors, if there is no credit default. In case of

credit default, the funds are used to make payment to risk seller.

The risk seller makes regular payment of premium.

New Capital Accord (Basel 2) : Implications on Credit Risk

The Basel Committee on Banking Supervision has proposed 3 approaches, viz.,

1. Standardised and

2. Foundation Internal Rating Based Approach

3. Advanced Internal Rating Based Approach

In India, presently the Standardized approach has been implemented.

Under the standardised approach, preferential risk weights in the range of o%, 20%, 50%, 100% and 150% are assigned by RBI for

certain risk weighted assets and some discretion has been given to bank where they can allot risk weight on the basis of external

credit assessments.

Internal Rating Based Approach

There are two approaches — foundation and advanced - as an alternative to standardised approach for assigning preferential risk

weights. Under the foundation approach, banks, which comply with certain minimum requirements viz. comprehensive credit

rating system. The adoption of these approaches requires substantial upgradation of the existing credit risk management systems.

The time schedule fixed by RBI for migrating to Internal Rating Based approach is as under: The earliest date of making application by

banks to RBI — April 01, 2012 Likely date of approval by RBI — March 31, 2014.

The banks have been advised by RBI to undertake an internal assessment of their preparedness for migration to advanced approaches,

in the light of the criteria envisaged in the Basel II document, as per the aforesaid time schedule, and take a decision, with the approval

of their Boards, whether they would like to migrate to any of the advanced approaches. The banks deciding to migrate to the advanced

approaches should approach us for necessary approvals, in due course, as per the stipulated time schedule. If the result of a bank's

internal assessment indicates that it is not in a position to apply for implementation of advanced approach by the above mentioned

dates, it may choose a later date suitable to it based upon its preparation.

It may be noted that banks, at their discretion, would have the option of adopting the advanced approaches for one or more of the

risk categories, as per their preparedness, while continuing with the simpler approaches for other risk categories, and it would not

be necessary to adopt the advanced approaches for all the risk categories simultaneously. However, banks should invariably obtain

prior approval of the RBI for adopting any of the advanced approaches

Recollected Question on Risk Management Date 23.08.2020

 Recollected Question on Risk Management Date 23.08.2020

01 Case study on Duration, Modified duration,& convexity

02 Case Study on Haircut, hair cut formulas based question on collateral asset ,haircut in risk mitigation

03 Case study on Interest rate

04 Numerical on Value at Risk, Calculate Geometric mean, NIIcalculation ,RWA Numerical on Tier 1 and tier 2 Case Study on Risk Weight ration ( unrated corporate Company , RWA on venture capital, exposure to foreign banks,RWA value on commercial infrastructure company) Numerical on BPV

05 Mark to model definitions

06 Beta value on risk free asset

07 Credit risk mitigation purpose not included choose from options

08 LTV is part of which type of risk Management

9 translational level risk not included

10 Loan review mechanism is used for

11 Definition of YTM

12 staff irritation and loss of appeal of employer is failed in which conditions

13 Rate of inertest swap for PEF

14 PD,EAD,LGD

15 Call Options Definitions

16 Monte carlo simulation method definitions

17 Embedded option risk

18 counterparty risk,SPV,

Most of the question of one-liner type, ratio of numerical & theory is 40 and 60

Theory was easy. All the question from book. read the book carefully 2 time.

Good luck.


Monday, 2 November 2020

Risk management recollected questions on 01.11.2020

 Risk Management/Risk in financial services - Level -1

===============


Date : 01.11.2020


Questions were straight forward . Major questions from credit and market risk. (Module B and Module D).


Numericals: 

1. Case study on Measurement of duration ,modified duration ,convexity 

(Face value =3000

Coupon rate = 8% qrty 

Yield = 8%)

2. Case study for measurement of charge capital of market risk

3. Case study on Calculation on MCLR ,it was out of the syllabus 😋

4. Case study on Liquidity /maturity 

5. Case study on BPV 

6. Case study on FX and related calculation

7. Calculation of volatility ,VAR and sensitivity

Sunday, 27 September 2020

Risk in financial services recollected questions Sep 2020

 

Risk in financial services recollected questions Sep 2020


1.BPV and duration easy questions

2.Risk definition

3.Some questions related to which kind of risk occurs in the said event like settlement risk,counterparty risk,liquidity,basis etc...

4.Avoid,Share,Mitigation,Retention question with example

5.This time problems were mostly asked from foreign exchange ...spot,options ,futures

 6.Collar qn

7.Corporate governance

I personally feel that you have to completely go through the textbook rather than short notes or shortcuts..each and every minute parts are important...

Sunday, 22 March 2020

New All IIBF Certifications PDFs in single link 2020-2021

All IIBF Certification PDFs in single link 2020-2021

Read corresponding  IIBF books .. Macmillan / Taxmann.

These all materials are extra information to get knowledge.

All the best


Face book:

https://www.facebook.com/groups/543054539662893/

Certified credit officer/Professionals 2020

https://drive.google.com/file/d/1lUW00Y-qnVzH9R9QB4ZjGqeShYDATS-e/view?usp=sharing

CAIIB ABM 2020

https://drive.google.com/file/d/10AkzgCtLyYexdKulaYY3B1ljHRJPGuLu/view?usp=sharing


MSME 2020

https://drive.google.com/file/d/1m1qF2hh9D0hpVvFTlNCR2rvpYAiEQTD8/view?usp=sharing


KYC AML:2020

https://drive.google.com/file/d/1T__7x42LV1HaG9YBQuMkAIPvS9GAHeL8/view?usp=sharing


BCSBI:2020

https://drive.google.com/file/d/1lSOKtV5OrThXmCwiB4TGVyOjZVVtjThd/view?usp=sharing


CAIIB IT:2020

https://drive.google.com/file/d/1t7Ein_FE5YMruvDQPOG4Z3Z-TE-Xmp_1/view?usp=sharing


Certified Treasury Professionals:2020
https://drive.google.com/file/d/1lVvYYtYC797vn1DKuSAsCxJhkv3E1JxK/view?usp=sharing


Digital banking 2020
https://drive.google.com/file/d/1lckjesn0gs0kiOZID1aBubb4tiHvbzPE/view?usp=sharing


Forex Individual 2020

https://drive.google.com/file/d/1lf3o8SRqy2_aRJulq9qf2q0krHmFlKok/view?usp=sharing


Forex Operations 2020
https://drive.google.com/file/d/1lnPrVdXPVsc3sve8OwsjE87OEgsxsAVb/view?usp=sharing



Cyber Crime and fraud management 2020

https://drive.google.com/file/d/1m2y5bwuUa1vKkBjx5DjwH17dNf8BP-xu/view?usp=sharing


Information System for Bankers 2020
https://drive.google.com/file/d/1lt0r7cRzJHTmBXsmF9xvEYFzaaxHCxTI/view?usp=sharing


International Trade Finance  2020
https://drive.google.com/file/d/1lxS3FGgdzI5Q-rJFPufnVUSA69TpVjT3/view?usp=sharing


IT SECURITY 2020
https://drive.google.com/file/d/1ly9nfxTpucTPKB6kuV-mIod4pTc97ceg/view?usp=sharing


Micro finance 2020

https://drive.google.com/file/d/1lzMSuWctOJUrKnNP_FfRlQL9ngs1U6aS/view?usp=sharing

Risk In financial services 2020
https://drive.google.com/file/d/1m7eITlMDdKTnc1FU1sSIKJtP8IcrZrG1/view?usp=sharing


Certified Audit  Professionals:
https://drive.google.com/file/d/1m8aQcdD4qr7R4QzUEgiN1Paw_rWhKWsm/view?usp=sharing

https://drive.google.com/file/d/1zoloZKNR2-UsBGIf0gw1ErhD0F2Y9mHW/view?usp=sharing



Telegram:

https://t.me/joinchat/KP68xFdZGztM7iDAuS4ueg














Saturday, 28 December 2019

Certified Risk management recollected questions on 28.12.2019


Certified Risk  management  recollected questions on 28.12.2019


1. Calculate geometric mean, harmonic mean.
2. Question on probability related to card.
3. Calculation of duration, mod duration and convexity.
4. Problems on forex. Spot rate given , buy and sell problem
5. Theoretical questions were also many
6. Gap calculation regard to net interest income.
7. Risk weight assets given. Calculation of cet 1, tier 2 and at 1. Tier 1 along with ccb.
8. Calculation of vertical disallowance, horizontal disallowance and capital charge of market risk.

Sunday, 28 April 2019

All IIBF Certifications PDFs in single link Updated on April 2019

All IIBF Certifications PDFs in single link

Read corresponding  IIBF book 1st Macmillan / Taxmann.

These all materials are extra information to get knowledge.

All the best

Certified credit officer/Professionals
https://drive.google.com/file/d/1UuxDdXjdmPYiMa05SPgXQe1ZjuQ4e8bh/view?usp=sharing

MSME
https://drive.google.com/file/d/10zBkmliUC7170ZzgceaslAHeGXQd1-vF/view?usp=sharing

KYC AML:
https://drive.google.com/file/d/10mB6kpvV3CZ7UhUvXKnbFs2z_KUJu2IT/view?usp=sharing

BCSBI
https://drive.google.com/file/d/1Bdlk9P7in93ua_xusXgtwj0-USU3ALRV/view?usp=sharing

CAIIB ABM
https://drive.google.com/file/d/1NXM9K5pNJps-euhZR0TbV6Zz87zFK8gA/view?usp=sharing

CAIIB IT
https://drive.google.com/file/d/1Pj5vev_yk78BvAM6PTr-2wiRRXUDeiXH/view?usp=sharing

Certified Treasury Professionals:
https://drive.google.com/file/d/1Ojzmwijq9oqLoWWba0uWhzMzZwYdlYws/view?usp=sharing

Digital banking
https://drive.google.com/file/d/1EYj0XBI3-7_P9zq24WgPSFNkU6uJsEDz/view?usp=sharing

Forex Individual
https://drive.google.com/file/d/1jiyi1IiOI1W0r9u1aIFw0RH1U3jAOxNE/view?usp=sharing

Forex Operations
https://drive.google.com/file/d/1-ToWV33bJ4mKv20nNkQoLNw7z8bHwpuU/view?usp=sharing

Cyber Crime and fraud management
https://drive.google.com/file/d/16pwzqhxEBDYGq1SgUlXExhYXmWzCujmm/view?usp=sharing

Information System for Bankers
https://drive.google.com/file/d/1Xs8ywGhueRM4RToIRehfB5Od3YC0m7yM/view?usp=sharing

International Trade Finance
https://drive.google.com/file/d/11yfB3mpE51VPViNvOGcbDVIA3_i8r4wq/view?usp=sharing

IT SECURITY
https://drive.google.com/file/d/1plGml38MO1MBebPdTpC5pGEvh7rdqDfe/view?usp=sharing

Microfinace
https://drive.google.com/file/d/1mo-Pz-zoylEUKG21eKhRFJMcrbwv3RNb/view?usp=sharing

Risk In financial services
https://drive.google.com/file/d/1TdRYKQ34PGLtcnmnF83brpVHp2kEHUT9/view?usp=sharing

Certified Audit  Professionals:

https://drive.google.com/file/d/1gzaqFOz97-yNdL-COsYUkka0MTTaB9xF/view?usp=sharing








Sunday, 16 December 2018

Caiib Risk management recollected questions on 16.12.2018

Caiib Risk management recollected


Chief risk officer duty,reporting,appointmemt
Leverage ratio numerical
Operational risk
Pcr
Firb credit risk
Rsca operstional risk
Pilar 3 disclosure norms period
Rwas calculation

Numerical from BVP was also there,
Ques Obejective from PD ,EAD ,LGD
Market credit and operational risk theory based,


Which method we use for calculation of capital for credit operational and market risk
Case beta factor for agency services,
Icaap come under which piller,
CRO function
Reputation risk systematic risk come under

Saturday, 27 October 2018

Risk management recollected today exam

 risk management

Case study: 1 case study on forex option
1 case study spot forward rate
Case study of YTM
Case study maculary duration modified duration
Case study on stress testing
Case study on exposure norms using tier 1 tier 2 capital reference
Basic indicator approach, standardised approach case study
Var calculation
Daily volatility 2 qstn

Sunday, 14 October 2018

Risk management important terms

Risk management very Important Terms

Capital Funds

Equity contribution of owners. The basic approach of capital adequacy framework is that a bank should have sufficient capital to provide a stable resource to absorb any losses arising from the risks in its business. Capital is divided into different tiers according to the characteristics / qualities of each qualifying instrument. For supervisory purposes capital is split into two categories: Tier I and Tier II.

Tier I Capital

A term used to refer to one of the components of regulatory capital. It consists mainly of share capital and disclosed reserves (minus goodwill, if any). Tier I items are deemed to be of the highest quality because they are fully available to cover losses Hence it is also termed as core capital.

Tier II Capital

Refers to one of the components of regulatory capital. Also known as supplementary capital, it consists of certain reserves and certain types of subordinated debt. Tier II items qualify as regulatory capital to the extent that they can be used to absorb losses arising from a bank's activities. Tier II's capital loss absorption capacity is lower than that of Tier I capital.

Revaluation reserves

Revaluation reserves are a part of Tier-II capital. These reserves arise from revaluation of assets that are undervalued on the bank's books, typically bank premises and marketable securities. The extent to which the revaluation reserves can be relied upon as a cushion for unexpected losses depends mainly upon the level of certainty that can be placed on estimates of the market values of the relevant assets and the subsequent deterioration in values under difficult market conditions or in a forced sale.

Leverage

Ratio of assets to capital.

Capital reserves

That portion of a company's profits not paid out as dividends to shareholders. They are also known as undistributable reserves and are ploughed back into the business.

Deferred Tax Assets

Unabsorbed depreciation and carry forward of losses which can be set-off against future taxable income which is considered as timing differences result in deferred tax assets. The deferred Tax Assets are accounted as per the Accounting Standard 22.

Deferred Tax Liabilities

Deferred tax liabilities have an effect of increasing future year's income tax payments, which indicates that they are accrued income taxes and meet definition of liabilities.

Subordinated debt

Refers to the status of the debt. In the event of the bankruptcy or liquidation of the debtor, subordinated debt only has a secondary claim on repayments, after other debt has been repaid.

Hybrid debt capital instruments

In this category, fall a number of capital instruments, which combine certain characteristics of equity and certain characteristics of debt. Each has a particular feature, which can be considered to affect its quality as capital. Where these instruments have close similarities to equity, in particular when they are able to support losses on an ongoing basis without triggering liquidation, they may be included in Tier II capital.

BASEL Committee on Banking Supervision

The BASEL Committee is a committee of bank supervisors consisting of members from each of the G10 countries. The Committee is a forum for discussion on the handling of specific supervisory problems. It coordinates the sharing of supervisory responsibilities among national authorities in respect of banks' foreign establishments with the aim of ensuring effective supervision of banks' activities worldwide.

BASEL Capital accord

The BASEL Capital Accord is an Agreement concluded among country representatives in 1988 to develop standardised risk-based capital requirements for banks across countries. The Accord was replaced with a new capital adequacy framework (BASEL II), published in June 2004. BASEL II is based on three mutually reinforcing pillars hat allow banks and supervisors to evaluate properly the various risks that banks face. These three pillars are:

Minimum capital requirements, which seek to refine the present measurement framework

supervisory review of an institution's capital adequacy and internal assessment process;

market discipline through effective disclosure to encourage safe and sound banking practices

Risk Weighted Asset

The notional amount of the asset is multiplied by the risk weight assigned to the asset to arrive at the risk weighted asset number. Risk weight for different assets vary e.g. 0% on a Government Dated Security and 20% on a AAA rated foreign bank etc.

CRAR(Capital to Risk Weighted Assets Ratio)

Capital to risk weighted assets ratio is arrived at by dividing the capital of the bank with aggregated risk weighted assets for credit risk, market risk and operational risk. The higher the CRAR of a bank the better capitalized it is.

Credit Risk

The risk that a party to a contractual agreement or transaction will be unable to meet its obligations or will default on commitments. Credit risk can be associated with almost any financial transaction. BASEL-II provides two options for measurement of capital charge for credit risk

1.standardised approach (SA) - Under the SA, the banks use a risk-weighting schedule for measuring the credit risk of its assets by assigning risk weights based on the rating assigned by the external credit rating agencies.

2. Internal rating based approach (IRB) - The IRB approach, on the other hand, allows banks to use their own internal ratings of counterparties and exposures, which permit a finer differentiation of risk for various exposures and hence delivers capital requirements that are better aligned to the degree of risks. The IRB approaches are of two types:

a) Foundation IRB (FIRB):The bank estimates the Probability of Default (PD) associated with each borrower, and the supervisor supplies other inputs such as Loss Given Default (LGD) and Exposure At Default (EAD).

b) Advanced IRB (AIRB):In addition to Probability of Default (PD), the bank estimates other inputs such as EAD and LGD. The requirements for this approach are more exacting. The adoption of advanced approaches would require the banks to meet minimum requirements relating to internal ratings at the outset and on an ongoing basis such as those relating to the design of the rating system, operations, controls, corporate governance, and estimation and validation of credit risk components, viz., PD for both FIRB and AIRB and LGD and EAD for AIRB. The banks should have, at the minimum, PD data for five years and LGD and EAD data for seven years. In India, banks have been advised to compute capital requirements for credit risk adopting the SA.

Market risk

Market risk is defined as the risk of loss arising from movements in market prices or rates away from the rates or prices set out in a transaction or agreement. The capital charge for market risk was introduced by the BASEL Committee on Banking Supervision through the Market Risk Amendment of January 1996 to the capital accord of 1988 (BASEL I Framework). There are two methodologies available to estimate the capital requirement to cover market risks:

1) The Standardised Measurement Method: This method, currently implemented by the Reserve Bank, adopts a 'building block' approach for interest-rate related and equity instruments which differentiate capital requirements for 'specific risk' from those of 'general market risk'. The 'specific risk charge' is designed to protect against an adverse movement in the price of an individual security due to factors related to the individual issuer. The 'general market risk charge' is designed to protect against the interest rate risk in the portfolio.

2) The Internal Models Approach (IMA): This method enables banks to use their proprietary in-house method which must meet the qualitative and quantitative criteria set out by the BCBS and is subject to the explicit approval of the supervisory authority.

Operational Risk

The revised BASEL II framework offers the following three approaches for estimating capital charges for operational risk:

1) The Basic Indicator Approach (BIA): This approach sets a charge for operational risk as a fixed percentage ("alpha factor") of a single indicator, which serves as a proxy for the bank's risk exposure.

2) The Standardised Approach (SA): This approach requires that the institution separate its operations into eight standard business lines, and the capital charge for each business line is calculated by multiplying gross income of that business line by a factor (denoted beta) assigned to that business line.

3) Advanced Measurement Approach (AMA): Under this approach, the regulatory capital requirement will equal the risk measure generated by the banks' internal operational risk measurement system. In India, the banks have been advised to adopt the BIA to estimate the capital charge for operational risk and 15% of average gross income of last three years is taken for calculating capital charge for operational risk.

Internal Capital Adequacy Assessment Process (ICAAP)

In terms of the guidelines on BASEL II, the banks are required to have a board-approved policy on internal capital adequacy assessment process (ICAAP) to assess the capital requirement as per ICAAP at the solo as well as consolidated level. The ICAAP is required to form an integral part of the management and decision-making culture of a bank. ICAAP document is required to clearly demarcate the quantifiable and qualitatively assessed risks. The ICAAP is also required to include stress tests and scenario analyses, to be conducted periodically, particularly in respect of the bank's material risk exposures, in order to evaluate the potential vulnerability of the bank to some unlikely but plausible events or movements in the market conditions that could have an adverse impact on the bank's capital.

Supervisory Review Process (SRP)

Supervisory review process envisages the establishment of suitable risk management systems in banks and their review by the supervisory authority. The objective of the SRP is to ensure that the banks have adequate capital to support all the risks in their business as also to encourage them to develop and use better risk management techniques for monitoring and managing their risks.

Market Discipline

Market Discipline seeks to achieve increased transparency through expanded disclosure requirements for banks.

Credit risk mitigation

Techniques used to mitigate the credit risks through exposure being collateralised in whole or in part with cash or securities or guaranteed by a third party.

Mortgage Back Security

A bond-type security in which the collateral is provided by a pool of mortgages. Income from the underlying mortgages is used to meet interest and principal repayments.

Derivative

A derivative instrument derives its value from an underlying product. There are basically three derivatives

a) Forward Contract- A forward contract is an agreement between two parties to buy or sell an agreed amount of a commodity or financial instrument at an agreed price, for delivery on an agreed future date. Future Contract- Is a standardized exchange tradable forward contract executed at an exchange. In contrast to a futures contract, a forward contract is not transferable or exchange tradable, its terms are not standardized and no margin is exchanged. The buyer of the forward contract is said to be long on the contract and the seller is said to be short on the contract.

b) Options- An option is a contract which grants the buyer the right, but not the obligation, to buy (call option) or sell (put option) an asset, commodity, currency or financial instrument at an agreed rate (exercise price) on or before an agreed date (expiry or settlement date). The buyer pays the seller an amount called the premium in exchange for this right. This premium is the price of the option.

c) Swaps- Is an agreement to exchange future cash flow at pre-specified Intervals. Typically one cash flow is based on a variable price and other on affixed one.

Duration

Duration (Macaulay duration) measures the price volatility of fixed income securities. It is often used in the comparison of interest rate risk between securities with different coupons and different maturities. It is defined as the weighted average time to cash flows of a bond where the weights are nothing but the present value of the cash flows themselves. It is expressed in years. The duration of a fixed income security is always shorter than its term to maturity, except in the case of zero coupon securities where they are the same.

Modified Duration

Modified Duration = Macaulay Duration/ (1+y/m), where 'y' is the yield (%), 'm' is the number of times compounding occurs in a year. For example if interest is paid twice a year m=2. Modified Duration is a measure of the percentage change in price of a bond for a 1% change in yield.

Non Performing Assets (NPA)

An asset, including a leased asset, becomes non performing when it ceases to generate income for the bank.

Net NPA

Gross NPA - (Balance in Interest Suspense account + DICGC/ECGC claims received and held pending adjustment + Part payment received and kept in suspense account + Total provisions held).

Coverage Ratio

Equity minus net NPA divided by total assets minus intangible assets.

Slippage Ratio

(Fresh accretion of NPAs during the year/Total standard assets at the beginning of the year)*100

Restructuring

A restructured account is one where the bank, grants to the borrower concessions that the bank would not otherwise consider. Restructuring would normally involve modification of terms of the advances/securities, which would generally include, among others, alteration of repayment period/ repayable amount/ the amount of installments and rate of interest. It is a mechanism to nurture an otherwise viable unit, which has been adversely impacted, back to health.

Substandard Assets

A substandard asset would be one, which has remained NPA for a period less than or equal to 12 months. Such an asset will have well defined credit weaknesses that jeopardize the liquidation of the debt and are characterised by the distinct possibility that the banks will sustain some loss, if deficiencies are not corrected.

Doubtful Asset

An asset would be classified as doubtful if it has remained in the substandard category for a period of 12 months. A loan classified as doubtful has all the weaknesses inherent in assets that were classified as substandard, with the added characteristic that the weaknesses make collection or liquidation in full, - on the basis of currently known facts, conditions and values - highly questionable and improbable.

Loss Asset

A loss asset is one where loss has been identified by the bank or internal or external auditors or the RBI inspection but the amount has not been written off wholly. In other words, such an asset is considered uncollectible and of such little value that its continuance as a bankable asset is not warranted although there may be some salvage or recovery value.

Off Balance Sheet Exposure

Off-Balance Sheet exposures refer to the business activities of a bank that generally do not involve booking assets (loans) and taking deposits. Off-balance sheet activities normally generate fees, but produce liabilities or assets that are deferred or contingent and thus, do not appear on the institution's balance sheet until and unless they become actual assets or liabilities.

Current Exposure Method

The credit equivalent amount of a market related off-balance sheet transaction is calculated using the current exposure method by adding the current credit exposure to the potential future credit exposure of these contracts. Current credit exposure is defined as the sum of the positive mark to market value of a contract. The Current Exposure Method requires periodical calculation of the current credit exposure by marking the contracts to market, thus capturing the current credit exposure. Potential future credit exposure is determined by multiplying the notional principal amount of each of these contracts irrespective of whether the contract has a zero, positive or negative mark-to-market value by the relevant add-on factor prescribed by RBI, according to the nature and residual maturity of the instrument.

Risk management important article

Risk Management ::( Very important content read everyone)

The growing sophistication in banking operations, online electronic banking,

improvements in information technology etc, have led to increased diversity and

complexity of risks being encountered by banks. These risks can be broadly grouped

into Credit Risk, Market Risk and Operational Risk. These risks are

interdependent and events that affect one area of risk can have ramifications for a

range of other risk categories.

Basel-I Accord: It was introduced in the year 2002-03, which covered capital

requirements for Credit Risk. The Accord prescribed CRAR of 8%, however, RBI

stipulated 9% CRAR. Subsequently, Banks were advised to maintain capital charge

for Market Risk also.

Basel-II New Capital Accord: Under this, banks have to maintain capital for Credit

Risk, Market Risk and Operational Risk w.e.f 31.03.2007. The New Capital Accord

rests on three pillars viz., Minimum Capital Requirements, Supervisory Review

Process & Market Discipline. The implementation of the capital charge for various risk

categories are Credit Risk, Market Risk and Operational Risk. Analysis of the bank’s

CRAR under should be reported to the Board at quarterly intervals.

Internal Ratings Based (IRB) Approach: Under this approach, banks must

categorise the exposures into broad classes of assets as Corporate, Sovereign, Bank,

Retail and Equity. The risk components include the measures of the Probability of

Default (PD), Loss Given Default (LGD), Exposure at Default (EAD) and Effective

Maturity (M). There are two variants i.e Foundation IRB (FIRB) and Advanced IRB.

Under FIRB, banks have to provide their own estimates of PD and to rely on

supervisory estimates for other risk components (like LGD, EAD) while under

Advanced IRB; banks have to provide their own estimates of all the risk components.

It is based on the measures of Expected Losses (EL) and Unexpected Losses (UL).

Expected Losses are to be taken care of by way of pricing and provisioning while the

risk weight function produces the capital requirements for Unexpected Losses.

Market Risk: It is a risk pertaining to the interest rate related instruments and

equities in the Trading Book i.e AFS (Available For Sale) and HFT (Held for Trading)

positions and Foreign Exchange Risk throughout the bank (both banking & trading

books). There are two approaches for measuring market risk viz., Standardized

Duration Approach & Internal Models Approach.

Operational Risk: Banks have to maintain capital charge for operational risk under

the new framework and the approaches suggested for calculation of the same are –

Basic Indicator Approach and The Standardized Approach. Under the first approach,

banks must hold capital equal to 15% of the previous three years average positive

gross annual income as a point of entry for capital calculation. The second approach

suggests dividing the bank’s business into eight lines and separate weights are

assigned to each segment. The total capital charge is calculated as the three year

average of the simple summation of the regulatory capital charges across each of the

business lines in each year.

Advanced Measurement Approach (AMA): Under this, the regulatory capital

requirement will equal the risk measure generated by the bank’s internal operational

risk measurement system using certain quantitative and qualitative criteria. Tracking

of internal loss event data is essential for adopting this approach. When a bank first

moves to AMA, a three-year historical loss data window is acceptable.

Pillar 2 – Internal Capital Adequacy Assessment Process (ICAAP): Under this,

the regulator is cast with the responsibility of ensuring that banks maintain sufficient

capital to meet all the risks and operate above the minimum regulatory capital

ratios. RBI also has to ensure that the banks maintain adequate capital to withstandthe risks such as Interest Rate Risk in Banking Book, Business Cycles Risk, and

Credit Concentration Risk etc. For Interest Rate Risk in Banking Book, the regulator

may ensure that the banks are holding sufficient capital to withstand a standardized

Interest Rate shock of 2%. Banks whose capital funds would decline by 20% when

the shock is applied are treated as ‘Outlier Banks’. The assessment is reviewed at

quarterly intervals.

Pillar 3 – Disclosure Requirements: It is aimed to encourage market discipline by

developing a set of disclosure requirements which will allow market participants to

assess the key pieces of information on the capital, risk exposures, risk assessment

processes and hence the capital adequacy of the institution. Banks may make their

annual disclosures both in their Annual Reports as well as their respective websites.

Banks with capital funds of `500 crore or more, and their significant bank

subsidiaries, must disclose their Tier-I Capital, Total Capital, total required capital

and Tier-I ratio and total capital adequacy ratio, on a quarterly basis on their

respective websites. The disclosures are broadly classified into Quantitative and

Qualitative disclosures and classified into the following areas:

Area Coverage

Capital Capital structure & Capital adequacy

Risk Exposures &

Assessments

Qualitative disclosures for Credit, Market, Operational,

Banking Book interest rate risk, equity risk etc.

Credit Risk General disclosures for all banks.

Disclosures for Standardised & IRB approaches.

Credit Risk Mitigation Disclosures for Standardised and IRB approaches.

Securitisation Disclosures for Standardised and IRB approaches.

Market Risk Disclosures for the Standardised & Internal Models

Approaches.

Operational Risk The approach followed for capital assessment.

Equities Disclosures for banking book positions

Interest Rate Risk in

the Banking Book

(IRRBB)

Nature of IRRBB with key assumptions. The increase /

decrease in earnings / economic value for upward /

downward rate shocks.

The Basel-II norms are much better than Basel-I since it covers operational risk.

However, risks such as Reputation Risk, Systemic Risk and Strategic Risk (the risk of

losses or reduced earnings due to failures in implementing strategy) are not covered

and exposing the banks to financial shocks. As per Basel all corporate loans attracts

8 percent capital allocation where as it is in the range of 1 to 30 percent in case of

individuals depending on the estimated risk. Further, group loans attract very low

internal capital charge and the bank has a strong incentive to undertake regulatory

capital arbitrage to structure the risk position to lower regulatory risk category.

Regulatory capital arbitrage acts as a safety valve for attenuating the adverse effects

of those regulatory capital requirements that activity’s underlying economic risk.

Absence of such arbitrage, a regulatory capital requirement that is inappropriately

high for the economic risk of a particular activity could cause a bank to exit that

relatively low-risk business by preventing the bank from earning an acceptable rate

of return on its capital.

Nominally high regulatory capital ratios can be used to mask the true level of

insolvency probability. For example – Bank maintains 12% capital as per the norms

risk analysis calls for 15% capital. In a regulatory sense the bank is well capitalized

but it is to be treated as undercapitalized from risk perspective.

Basel-III is a comprehensive set of reform measures developed to strengthen the

regulation, supervision and risk management of the banking sector. The new

standards will considerably strengthen the reserve requirements, both by increasing

the reserve ratios and by tightening the definition of what constitutes capital. The

new norms will be made effective in a phased manner from 1st July 2013 and

implemented fully by 31st March 2019 and banks should maintain minimum 5.5% in

common equity (as against 3.6% now) by 31st March 2015 and create a Capital

Conservation Buffer (CCB) of 2.5% by 31st March 2019. Further, banks should

maintain a minimum overall capital adequacy of 11.5% by 31st March 2019 and

supplement risk based capital ratios by maintaining a leverage ratio of 4.5%. These

measures will ensure well capitalization of banks to manage all kinds of risks besides

to bring in more clarity by clearly defining different kinds of capital.

Counter Cyclical Capital Buffer (CCCB): The objective of CCCB is twofold viz., it

requires banks to build up a buffer of capital in good times which may be used to

maintain flow of credit to the real sector in difficult times and also to achieve the

broader macro-prudential goal of restricting the banking sector from indiscriminate

lending in the periods of excess credit growth that have often been associated with

the building up of system-wide risk. It may be maintained in the form of Common

Equity Tier-1 capital or other fully loss absorbing capital only and the amount of the

CCCB may vary from 0 to 2.5% of total risk weighted assets of the banks. RBI

intends banks to have a sustainable funding structure. This would reduce the

possibility of banks’ liquidity position eroding due to disruptions in their regular

sources of funding thus increasing the risk of failure leading to broader systemic

stress. The Basel committee on banking supervision framed two ratios viz., Liquidity

Coverage Ratio (LCR) and Net Stable Funding Ratio (NSFR) as part of global

regulatory standards on liquidity to be implemented from 1st January 2018.

i) Liquidity Coverage Ratio (LCR): In order to promote short-term resilience of

the liquidity risk profile of banks, RBI has introduced LCR in a phased manner,

starting with a minimum requirement of 60% from 1st January 2015, and reaching a

maximum of 100% by 1st January 2019. The LCR will ensure that banks have an

adequate stock of unencumbered high-quality liquid assets that can be converted

easily and immediately in private markets into cash to meet their liquidity needs for

a 30-calendar day liquidity stress scenario.

 ii) Net Stable Funding Ratio (NSFR): The ratio seeks to ensure that banks

maintain stable source of funding with respect to the profile of their assets (loans

and investments) and off-balance sheet activities such as extending asset

management and brokerage services to the clients. The NSFR should be 100% on an

ongoing basis. It limits over reliance on short-term wholesale funding, encourages

better assessment of funding risks across all assets and off-balance sheet items and

promotes funding stability.

Tier – I capital consists of Paid up Equity Capital + Free Reserves + Balance in

Share Premium Account + Capital Reserves (surplus) arising out of sale proceeds of

assets but not created by revaluation of assets MINUS Accumulated loss + Book

value of Intangible Assets + Equity Investment in Subsidiaries+ Innovative Perpetual

Debt instruments.

Tier – II consists of Cumulative perpetual preferential shares & other Hybrid debt

capital instruments + Revaluation reserves + General Provisions + Loss Reserves

(up to maximum 1.25% of weighted risk assets) + Undisclosed Reserves +

Subordinated Debt + Upper Tier-II instruments. Subordinated Debts are unsecured

and subordinated to the claims of all the creditors. To be eligible for Tier-II capital

the instruments should be fully paid, free from restrictive clauses and should not be

redeemable at the instance of holder or without the consent of the Bank supervisory

authorities. Subordinated debt usually carries a fixed maturity and they will have to

be limited to 50% of Tier-I capital.

However, due to the stress on account of rollover of demonetization and GST, the

implementation of Basel-III norms may slightly be delayed and the regulator likely to

inform the timeframe shortly.

Economic Capital (EC) is a measure of risk expressed in terms of capital. A bank

may, for instance, wonder what level of capital is needed in order to remain solvent

at a certain level of confidence and time horizon. In other words, EC may be

considered as the amount of risk capital from the banks’ perspective; therefore,

it differs from Regulatory Capital (RC) requirement measures. It primarily aims to

support business decisions, while RC aims to set minimum capital requirements

against all risks in a bank under a range of regulatory rules and guidance. So far, EC

is rather a bank-specific or internal measure of available capital and there is no

common domestic or global definition of EC. The estimates of EC can be covered by

elements of Tier-1, 2 & 3, or definitions used by rating agencies and/or other types

of capital, such as planned earning, unrealized profit or implicit government

guarantee. EC is highly relevant because it can provide key answers to specific

business decisions or for evaluating the different business units of a bank.

Dynamic Provisioning: At present, banks generally make two types of provisions

viz., general provisions on standard assets and specific provisions on non-performing

assets (NPAs). The present provisioning framework does not have countercyclical or

cycle smoothening elements. Though the RBI has been following a policy of

countercyclical variation of standard asset provisioning rates, the methodology has

been largely based on current available data and judgment, rather than on an

analysis of credit cycles and loss history. Since the level of NPAs varies through the

economic cycle, the resultant level of specific provisions also behaves cyclically.

Consequently, lower provisioning during upturns, and higher provisioning during

downturns have pro-cyclical effect on the real economy. However, few banks have

started making floating provisions without any predetermined rules; many banks are

away from the concept which has become difficult for inter-bank comparison. In the

above backdrop, RBI introduced dynamic provisioning framework for Indian banks to

address pro-cyclicality of capital and provisioning to meet the international

standards. Recently, RBI has allowed banks to recognize some of their assets like

real estate, foreign currency and deferred tax, reducing the extra capital needs of

state-owned banks by 15 per cent. The move is aimed to align the regulatory capital

of banks with the Basel-III standards.

Leverage Ratio: It is the tier-1 capital divided by the sum of on-balance sheet

exposures, derivative exposures, securities financing transaction exposures and off-

balance sheet items. This ratio is calibrated to act as a credible supplementary

measure to the risk based capital requirements with the objective to constrain the

build-up of leverage in the banking sector to avert destabilizing deleveraging

processes for the sound financial economy and to reinforce the risk based

requirements with a simple, non-risk based “backstop” measure. The desirable

exposure should be within 25 times of tier-1 capital.

Banks in India need substantial capital funds in the ensuing years mainly to fund the

credit growth which is likely to grow at around 15% to 20% p.a. and banks are

required to set aside a portion of capital for the said purpose. Banks also need

additional capital to write off bad loans as well as to meet the operational risks on

account of weaker implementation of systems and procedures. More importantly, the

implementation of Basel-III norms warrants pumping of substantial capital funds.

Raising these funds, though, will require several steps, apart from legislative

changes as Public Sector Banks can not dilute its equity below 51%. Attracting

private capital warrants minimum governance and structural reforms. It is also

proposed to create an independent Bank Holding Company to invite private capital

without diluting the equity to address the issue.


Risk management

Risk management ::

Risk management is the process of identifying, assessing and controlling threats to an organization's capital and earnings. These threats, or risks, could stem from a wide variety of sources, including financial uncertainty, legal liabilities, strategic management errors, accidents and natural disasters. IT security threats and data-related risks, and the risk management strategies to alleviate them, have become a top priority for digitized companies. As a result, a risk management plan increasingly includes companies' processes for identifying and controlling threats to its digital assets, including proprietary corporate data, a customer's personally identifiable information and intellectual property

Risk management standards

Since the early 2000s, several industry and government bodies have expanded regulatory compliance rules that scrutinize companies' risk management plans, policies and procedures. In an increasing number of industries, boards of directors are required to review and report on the adequacy of enterprise risk management processes. As a result, risk analysis, internal audits and other means of risk assessment have become major components of business strategy.

Risk management standards have been developed by several organizations, including the National Institute of Standards and Technology and the ISO. These standards are designed to help organizations identify specific threats, assess unique vulnerabilities to determine their risk, identify ways to reduce these risks and then implement risk reduction efforts according to organizational strategy.

The ISO 31000 principles, for example, provide frameworks for risk management process improvements that can be used by companies, regardless of the organization's size or target sector. The ISO 31000 is designed to "increase the likelihood of achieving objectives, improve the identification of opportunities and threats, and effectively allocate and use resources for risk treatment," according to the ISO website. Although ISO 31000 cannot be used for certification purposes, it can help provide guidance for internal or external risk audit, and it allows organizations to compare their risk management practices with the internationally recognized benchmarks.

The ISO recommended the following target areas, or principles, should be part of the overall risk management process:

The process should create value for the organization.

It should be an integral part of the overall organizational process.

It should factor into the company's overall decision-making process.

It must explicitly address any uncertainty.

It should be systematic and structured.

It should be based on the best available information.

It should be tailored to the project.

It must take into account human factors, including potential errors.

It should be transparent and all-inclusive.

It should be adaptable to change.

It should be continuously monitored and improved upon.

The ISO standards and others like it have been developed worldwide to help organizations systematically implement risk management best practices. The ultimate goal for these standards is to establish common frameworks and processes to effectively implement risk management strategies.

These standards are often recognized by international regulatory bodies, or by target industry groups. They are also regularly supplemented and updated to reflect rapidly changing sources of business risk. Although following these standards is usually voluntary, adherence may be required by industry regulators or through business contracts.

Risk management strategies and processes

All risk management plans follow the same steps that combine to make up the overall risk management process:

Risk identification. The company identifies and defines potential risks that may negatively influence a specific company process or project.

Risk analysis. Once specific types of risk are identified, the company then determines the odds of it occurring, as well as its consequences. The goal of the analysis is to further understand each specific instance of risk, and how it could influence the company's projects and objectives.

Risk assessment and evaluation. The risk is then further evaluated after determining the risk's overall likelihood of occurrence combined with its overall consequence. The company can then make decisions on whether the risk is acceptable and whether the company is willing to take it on based on its risk appetite.

Risk mitigation. During this step, companies assess their highest-ranked risks and develop a plan to alleviate them using specific risk controls. These plans include risk mitigation processes, risk prevention tactics and contingency plans in the event the risk comes to fruition.

Risk monitoring. Part of the mitigation plan includes following up on both the risks and the overall plan to continuously monitor and track new and existing risks. The overall risk management process should also be reviewed and updated accordingly.

Risk management approaches

After the company's specific risks are identified and the risk management process has been implemented, there are several different strategies companies can take in regard to different types of risk:

Risk avoidance. While the complete elimination of all risk is rarely possible, a risk avoidance strategy is designed to deflect as many threats as possible in order to avoid the costly and disruptive consequences of a damaging event.

Risk reduction. Companies are sometimes able to reduce the amount of effect certain risks can have on company processes. This is achieved by adjusting certain aspects of an overall project plan or company process, or by reducing its scope.

Risk sharing. Sometimes, the consequences of a risk is shared, or distributed among several of the project's participants or business departments. The risk could also be shared with a third party, such as a vendor or business partner.

Risk retaining. Sometimes, companies decide a risk is worth it from a business standpoint, and decide to retain the risk and deal with any potential fallout. Companies will often retain a certain level of risk a project's anticipated profit is greater than the costs of its potential risk.

https://iibfadda.blogspot.com/2018/09/risk-management.html?m=1

Treasury management

Treasury Management ::
 (Read nice article)
Banks not only lend money to customers but also invest in securities such as Bonds and
Debentures of Government as well as Corporates. These instruments are easily tradable
in the capital and money market. The tradability of securities makes investments an
attractive option for banks for deployment of their funds. Further, banks buy securities
not only to trade but also to hold them till maturity to take advantage of the attractive
returns with relatively lower risk. Banks are allowed to invest in shares of companies.
However, the volumes are low due to associated high risk besides regulatory restrictions.
The investment portfolio of the banks broadly divided into three groups viz.,
Trading Book – Securities purchased with the intention of selling them within 90 days
are held in the trading book. Trading opportunities arise in the market on account of
fluctuation in interest rates and arbitrage opportunities.
Available for Sale (AFS) – Securities which are bought with the intention of selling
them but not necessarily within 90 days is considered to be AFS securities. They are also
part of the trading portfolio of the bank but only the time frame is different. Both the
trading and AFS securities have to be “Marked to Market” every quarter while finalization
of quarterly results.
Held to Maturity (HTM) – These securities are meant to be held till their date of
maturity and the purpose investing in them is to earn reasonable steady income. These
securities are carried in the books at cost or purchase price till maturity. Hence, HTM
securities need not be “Marked to Market” as the bank is certain of receiving the
maturity value on the specified date. Banks are not allowed to shift securities freely from
trading and AFS to the HTM book as this may lead to overstating of profit figures.
However, banks can opt for shifting only once in a year to adjust their overall portfolio.
Banks are permitted to exceed the limit of 25% of total investments under HTM category
provided (a) the excess comprises of only of SLR securities and (b) the total SLR
securities held in the HTM category is not more than 23% by March 2014.
Call Money Markets: Call and notice money market refers to the market for short term
funds ranging from overnight funds to funds for a maximum tenor of 14 days. Under Call
money market, funds are transacted on overnight basis where as in case of notice
money market; funds are transacted for the period of 2 days to 14 days.
Coupon Rate: It is a rate at which interest is paid, and is usually represented as a
percentage of the par value of a bond. It refers to the periodic interest payments that
are made by the borrower (who is also the issuer of the bond) to the lender (the
subscriber of the bond) and the coupons are stated upfront either directly specifying the
number (e.g.8%) or indirectly tying with a benchmark rate (e.g. MIBOR+0.5%).
Zero Coupon Bond / Deep Discount Bond: The bond is issued at a discount to its
face value, at which it will be redeemed. When such a bond is issued for a very long
tenor, the issue price is at a steep discount to the redemption value. The effective
interest earned by the buyer is the difference between the face value and the discounted
price at which the bond is bought. The essential feature of this type of bonds is the
absence of intermittent cash flows.
Commercial Paper (CP): It is a short-term instrument to enable non-banking
companies to borrow short-term funds through liquid money market instruments. CPs is
therefore part of the working capital limits as set by the maximum permissible bank
finance (MPBF). CP issues are regulated by RBI Guidelines issued from time to time
stipulating term, eligibility, limits and amount and method of issuance. CP can be issued
for maturities between a minimum of 7 days and a maximum up to one year from the
date of issue. The maturity date of the CP should not go beyond the date up to which the
credit rating of the issuer is valid. CP can be issued in denominations of `5 lakh and
multiples thereof. It is mandatory that CPs should be rated by credit rating agencies. In
a bid to make CPs attractive, the RBI has allowed issuers to buyback these instruments
through the secondary market before maturity. It attracts stamp duty.
Certificates of Deposits (CDs): It is a negotiable money market instrument and
issued in dematerialized form or as a Usance Promissory Note, for funds, deposited at a
bank or other eligible financial institutions to raise short-term resources within the
umbrella limit fixed by RBI. CDs may be issued at a discount on face value. CDs differ
from term deposit as they involve the creation of paper, and hence have the facility for
transfer and multiple ownerships before maturity. Banks use the CDs for borrowing
during a credit pickup, to the extent of shortage in incremental deposits. Minimum
amount of a CD should be one lakh and in multiples thereof. The maturity period of CDs
should be not less than 7 days and not more than one year. However FIs are allowed to
issue CDs not exceeding 3 years from the date of issue. Banks have to maintain the
appropriate reserve requirements (CRR/SLR) on the issue price of the CDs. It attracts
stamp duty. Banks/Fis cannot grant loans against CDs.
Mumbai Inter Bank Offered Rate (MIBOR) - Currently there are two calculating
agents for the benchmark viz., Reuters and the National Stock Exchange (NSE). The NSE
MIBOR benchmark is the more popular of the two and is based on rates polled by NSE
from a representative panel of 31 Banks / Institutions / Primary Dealers. It is used by
different Indian banks either for interbank lending of the surplus funds or for interbank
borrowing for meeting their short term liquidity requirements. MIBOR has been in use as
a reference/benchmark rate by the financial institutions for deciding interest rates for
the different financial instruments like Interest Rate Swaps, Forward Rate Agreements,
Floating Rate Debentures and Term Deposits, Loans of different maturities and
mortgages, etc. It is also the benchmark for the Call Money Market Rates.
Securitization is an effective tool to reduce the mismatches in the maturities of assets
and liabilities. It is a financing technique that involves pooling and re-packing of illiquid
financial assets in to marketable securities. There are six players viz., Borrowers,
Lending Banker (who becomes an originator for the Securitization transaction), Special
Purpose Vehicle (SPV), Credit Rating Agency, Investors and Service Providers. The
process of securitization involves identification of financial assets, rating of these assets
by the rating agency, creation of a SPV for handling the securitization transaction,
assignment of future receivables in favour of the SPV, issuance of marketable securities
based on these underlying financial assets and selling the same to the investors. The
service providers recover the amount periodically and remit to the SPV and who in turn
pass the benefit to the investors.
Asset and Liability Management – RBI Guidelines: Of late, it is observed that PSBs
have been accepting Bulk Deposits/Certificate of Deposits route to increase balance
sheet size at very high interest rates, adversely affecting the profitability besides
exposing the banks to ALM Risk. RBI directed banks not to accept Bulk Deposits beyond
10% of the total deposits and the total of Bulk Deposits & Certificates of Deposits should
not exceed 15% of total deposits of the bank at any given point of time. An appropriate
time-bound strategy for reduction of such existing bulk deposits should be put in place.
Adjusted Net Bank Credit (ANBC) denotes Net Bank Credit plus investments made
by banks in non-SLR bonds held in HTM category. However, investments made by banks
in the Recapitalization Bonds and Inter-bank exposures will not be taken into account for
the purpose of priority sector lending targets/sub-targets.
Subordinate Debt is a debt owed to an unsecured creditor that in the event of
liquidation can only be paid after the claims of secured creditors have been met.
Normally, subordinate debt ranks below other secured loans with regard to claims on
assets or earnings.

Friday, 7 September 2018

Risk management

Risk management is the process of identifying, assessing and controlling threats to an organization's capital and earnings. These threats, or risks, could stem from a wide variety of sources, including financial uncertainty, legal liabilities, strategic management errors, accidents and natural disasters. IT security threats and data-related risks, and the risk management strategies to alleviate them, have become a top priority for digitized companies. As a result, a risk management plan increasingly includes companies' processes for identifying and controlling threats to its digital assets, including proprietary corporate data, a customer's personally identifiable information and intellectual property

Risk management standards
Since the early 2000s, several industry and government bodies have expanded regulatory compliance rules that scrutinize companies' risk management plans, policies and procedures. In an increasing number of industries, boards of directors are required to review and report on the adequacy of enterprise risk management processes. As a result, risk analysis, internal audits and other means of risk assessment have become major components of business strategy.

Risk management standards have been developed by several organizations, including the National Institute of Standards and Technology and the ISO. These standards are designed to help organizations identify specific threats, assess unique vulnerabilities to determine their risk, identify ways to reduce these risks and then implement risk reduction efforts according to organizational strategy.

The ISO 31000 principles, for example, provide frameworks for risk management process improvements that can be used by companies, regardless of the organization's size or target sector. The ISO 31000 is designed to "increase the likelihood of achieving objectives, improve the identification of opportunities and threats, and effectively allocate and use resources for risk treatment," according to the ISO website. Although ISO 31000 cannot be used for certification purposes, it can help provide guidance for internal or external risk audit, and it allows organizations to compare their risk management practices with the internationally recognized benchmarks.

The ISO recommended the following target areas, or principles, should be part of the overall risk management process:

The process should create value for the organization.
It should be an integral part of the overall organizational process.
It should factor into the company's overall decision-making process.
It must explicitly address any uncertainty.
It should be systematic and structured.
It should be based on the best available information.
It should be tailored to the project.
It must take into account human factors, including potential errors.
It should be transparent and all-inclusive.
It should be adaptable to change.
It should be continuously monitored and improved upon.
The ISO standards and others like it have been developed worldwide to help organizations systematically implement risk management best practices. The ultimate goal for these standards is to establish common frameworks and processes to effectively implement risk management strategies.

These standards are often recognized by international regulatory bodies, or by target industry groups. They are also regularly supplemented and updated to reflect rapidly changing sources of business risk. Although following these standards is usually voluntary, adherence may be required by industry regulators or through business contracts.

Risk management strategies and processes
All risk management plans follow the same steps that combine to make up the overall risk management process:

Risk identification. The company identifies and defines potential risks that may negatively influence a specific company process or project.
Risk analysis. Once specific types of risk are identified, the company then determines the odds of it occurring, as well as its consequences. The goal of the analysis is to further understand each specific instance of risk, and how it could influence the company's projects and objectives.
Risk assessment and evaluation. The risk is then further evaluated after determining the risk's overall likelihood of occurrence combined with its overall consequence. The company can then make decisions on whether the risk is acceptable and whether the company is willing to take it on based on its risk appetite.
Risk mitigation. During this step, companies assess their highest-ranked risks and develop a plan to alleviate them using specific risk controls. These plans include risk mitigation processes, risk prevention tactics and contingency plans in the event the risk comes to fruition.
Risk monitoring. Part of the mitigation plan includes following up on both the risks and the overall plan to continuously monitor and track new and existing risks. The overall risk management process should also be reviewed and updated accordingly.
Risk management approaches
After the company's specific risks are identified and the risk management process has been implemented, there are several different strategies companies can take in regard to different types of risk:

Risk avoidance. While the complete elimination of all risk is rarely possible, a risk avoidance strategy is designed to deflect as many threats as possible in order to avoid the costly and disruptive consequences of a damaging event.
Risk reduction. Companies are sometimes able to reduce the amount of effect certain risks can have on company processes. This is achieved by adjusting certain aspects of an overall project plan or company process, or by reducing its scope.
Risk sharing. Sometimes, the consequences of a risk is shared, or distributed among several of the project's participants or business departments. The risk could also be shared with a third party, such as a vendor or business partner.
Risk retaining. Sometimes, companies decide a risk is worth it from a business standpoint, and decide to retain the risk and deal with any potential fallout. Companies will often retain a certain level of risk a project's anticipated profit is greater than the costs of its potential risk.

Tuesday, 28 August 2018

RISK BASED supervision abbrevetions

ADF
Automated Data Flow
ARIMA
Autoregressive Integrated Moving Average
BC
Business Correspondents
BFS
Board for Financial Supervision
BI
Business Intelligence
BIS
Bank for International Settlements
BO
Business Objects
BSR
Basic Statistical Returns
CBS
Core Banking Solution
CDS
Credit Default Swap
CGM
Chief General Manager
CIO
Chief Information Officer
CISO
Chief Information Security Officer
CSO
Central Statistics Office
CTO
Chief Technology Officer
DBIE
Database of Indian Economy
DBOD
Department of Banking Operations and Development
DBS
Department of Banking Supervision
DEPR
Department of Economic and Policy Research
DFMS
Data Flow Monitoring System
DGI
Data Gap Initiative
DIT
Department of Information Technology
DNBS
Department of Non-Banking Supervision
DSB
DSIM
Department of Supervision- Banking
Department of Statistics and Information Management
DW
Data Warehouse
ECB
European Central Bank
EDW
Enterprise Data Warehouse
ETL
Extraction, Transformation and Loading
FI
Financial Inclusion
FID
Financial Institutions Division
FSI
Financial Soundness Indicator
HSUI
Housing Start-Up Index
IDRBT
Institute for Development & Research in Banking Technology
IFC
Irving Fisher Committee (on Central Bank Statistics at BIS)
IIT
Indian Institute of Technology
IMF
International Monetary Fund
IRISc
Integrated Risk and Impact Scoring (Model)
ISI
Indian Statistical Institute
IT
Information Technology
MIS
Management Information System
MOF
Master Office File
NBFCs
Non-Banking Financial Companies
NBFCs-D
NBFCs - Deposit taking
NBFCs-ND
NBFCs - Non-deposit taking
NBFCs-ND-SI
NBFCs- Non-Deposit taking  - Systemically Important
NBS
Non-Banking Supervision
NCB
National Central Bank
OECD
Organisation for Economic Co-operation and Development
OEM
Original Equipment Manufacturer
OLAP
On-line Analytical Processing
ORFS
Online Returns Filing System
PCGM
Principal Chief General Manager
RBI
Reserve Bank of India
RBS
Risk-Based Supervision
RDBMS
Relational Database Management System
RPCD
Rural Planning and Credit Department
RRB
Regional Rural Bank
RTGS
Real Time Gross Settlement
SCB
Scheduled Commercial Bank
SDDS
Special Data Dissemination Standard
SDMX
Statistical Data and Metadata Exchange
SFTP
Secure File Transfer Protocol
SSM
Senior Supervisory Manager
StCB
State Co-operative Bank
UBD
Urban Banks Department
UCB
Urban Co-operative Bank
XBRL
eXtensible Business Reporting Language
XSD
XML Schema Definition