aligning financial supervisory structures with country needs: making the structural decision – the...
TRANSCRIPT
ALIGNING FINANCIAL SUPERVISORY STRUCTURES WITH COUNTRY NEEDS:
MAKING THE STRUCTURAL DECISION – THE SOUTH AFRICAN EXPERIENCE
World Bank Conference4 December 2003
Gill MarcusDeputy Governor
South African Reserve Bank
Making the structural decision -The South African experience
Overview
• Introduction to the South African financial environment
• History of process to review the regulatory environment
• SA country specific considerations
• Rationale for a functional approach
• Transitional and other issues
South Africa at a glance
Population - 45 million. Much diversity
Rich in minerals
New political dispensation
Sophisticated infrastructure
Key issues: Unemployment /crime
Low savings
HIV/AIDS
Regional issues
(3)
Some economic indicators
GDP USD150bn; per capita USD3300 Deficit before borrowing 2,4% Inflation (CPIX): 5.4% (was 15% in early 1990s) Interest rates: Prime 12%, Repo 8.5%, 3m NCD 8.25% Government debt : GDP ratio - 41% Growth: 2% in 2003? Gross gold & foreign reserves - USD 20bn Rand volatility: - 34% in 2001
+ 26% in 2002
+ 16% in 2003 Unemployment : 32%
The South African financial system
JSE Securities Exchange - South Africa 16th largest exchange in the world 450 companies listed, market capitalisation USD250 bn
SA Futures Exchange (integrated into the JSE) Modern, offering trading in most risk
management instruments The Bond Exchange South Africa (BESA)
Turnover of USD8.5bn a day; 27% of traded volumes done by non-residents
Sophisticated banking and insurance sectors
The SA banking system
Number of banks 25 (big 4 = 80%)
Number of mutual banks 2
Local branches of foreign banks 14
Rep offices of foreign banks 48
Total balance sheets $ 200 billion
Capital adequacy % 12,4 %
Liquid assets as % of requirement 115%
Return on equity 14%
Return on assets 1,2%
Operating expenses as % of income 60%
Loans overdue as % of total L&A 2,6%
(7)
Dual character of the SA financial system
Highly developed financial sector Sophisticated, liquid forex and capital markets Investment grade rating Strong banking system Generally sound fundamentals
Emerging market Unemployment, poverty, crime Low savings Limited access to basic financial services High HIV/Aids infection rate Currency volatility
Strengths
Strong banking system Sound laws and regulations Sound monetary, fiscal, and exchange rate
policies High growth potential Real-time gross payment and settlement
system
Minister of Finance
Department of
Trade
and Industry
Financial Services Board
Advisory bodies
SA Reserve Bank
Office of the Registrar of Companies
Office of the Executive
Officer
Standing Committee for Revision of Banks Act
Appeal boards
Office of the Registrar of
Banks
- Insurers
- Pension funds
- Friendly societies
Regulated financial markets
- JSE
-SAFEX
-BESA
- Unit trust
- Participation bond
managers
- Portfolio
managers
- Banks
Indicates advisory functions
indicates executive functions
The current financial regulatory framework
Advisory Committees:
•Financial Markets
•Pension Funds
•Unit Trusts
•Long- term insurance
•Short-term insurance
Insider Trading Directorate
Parliament
Process to review the regulatory environment
• Parties involved
- SARB, BSD, MoF, NT, FSB, PCOF, Banking Council,
international consultants
• History of the process
• Current status?
- Uncertainty!
Process to review the regulatory environment
• Apr 1999: Regulation Round-Table
• Feb 2000: MoF announces possibility of single regulator
• Dec 2000: Multi-lateral workshop of Policy Board
“Alternative Financial Regulatory Architectures for SA” • Mar 2001: Second Multi-lateral workshop
“Financial Stability and the Regulatory Architecture” • May 2001: Policy Board recommendations to MOF
• Feb 2002: MoF re-affirms intentions
• Aug 2002: Governor’s Address expresses concerns
History – salient events
Process to review the regulatory environment
• Objectives of regulation:– Maintain confidence– Ensure fair treatment– Promote efficiency of financial system– Facilitate broad access to financial services– Promote public awareness and understanding– Reduce financial crime
• Provisos:– Promote system stability– Enhance transparency– Fix responsibility – Free exit– Appropriate regulatory burden
Regulation Round–Table
Process to review the regulatory environment
• Systemic regulation: – SARB is best placed to carry out
• Prudential regulation:– Banks and non-bank financial institutions supervised through
a unified prudential regulatory agency
• Conduct regulation:– Market conduct and prudential regulation as distinct
operations within the same institution
Round–Table consensus?
Process to review the regulatory environment
• Systemic regulation:
“The SARB is without question the institution best placed to carry out the important function of safeguarding systemic stability. Its responsibility for monetary policy, the payments system, its lender of last resort role and its operational capability in money and forex markets means that it is uniquely positioned to detect and respond to systemic risks.”
- Summary report of the regulation Round-Table, 16 April 1999
Round–Table consensus?
Process to review the regulatory environment
• Prudential regulation:“These considerations led to broad consensus at the Round Table that prudential regulation of banks and non-bank financial institutions can most effectively be carried out through a unified prudential regulatory agency.”
• Conduct regulation“. . degree of agreement that it may prove most appropriate to have market conduct and prudential regulation as distinct operations within the same institution”
- Summary report of the regulation Round-Table, 16 April 1999
Round–Table consensus?
Process to review the regulatory environment
• No single correct model• Integration likely to benefit conglomerate supervision and
perceived public accountability• But with probable reduced effectiveness of banking supervision
and increased systemic risk• So: Need certainty of a clear decision• Recommend establishment of a task team with focus on:
– Institutional capacity building– Formal coordination mechanisms
Presumption?: Single regulator would be a new institution outside of the SARB
Policy Board recommendations
Process to review the regulatory environment
• “With the recent liquidity problems of some small banks, it was again evident that the least-cost resolution of a banking crisis would always depend on a special collegial interaction between the RoB and at least four other departments in the Bank. The policy formulation, decision-making, coordination and rapid execution of the many interventions that were necessary would have been almost inconceivable in a situation where the supervision of banks was not part of the Bank.”
• “. . .the capacity to perform effective banking supervision is crucial to price and financial stability. After careful consideration of the issues, I am therefore convinced that it is in the best interests of the South African economy that banking supervision should remain in the Bank.”
- Governor’s address – 27 August 2002
SARB position post-Saambou?
Key issues and considerations
• Market developments
• Regulatory effectiveness
• Political accountability
• Country-specific issues
Key issues and considerations
• Technical/product innovations
• Deregulation/liberalisation
• Internationalisation
• Conglomeration
• Complexity of risk management
• Cost pressures
Market developments
Key issues and considerations
• Objectives:
– Securing systemic stability in the financial system
– Ensuring institutional safety and soundness
– Promoting consumer protection
• Regulatory arbitrage
• Adding other public-policy objectives
– Facilitate broad access to financial services
– Promote public awareness and education
– Reduce financial crime
Regulatory effectiveness
SA Country-specifics
• Openness of the economy and the degree of
discretion of the SARB
• Concentration of banking
• Quality of settlement systems and time to react
• The safety net and deposit insurance
• Existence of complex financial groups
• The role of state- and foreign-owned banks
SA Country-specifics
• Open economy
• Exchange control in place
• Large degree of independent discretion
• Monetary policy executed through banks as agents
• SARB is banker of banks
• Link between price and financial system stability
• Bank supervision more than just a convenience for SARB
Openness of the economy and the degree of discretion of the SARB
SA Country-specifics
• 80% of banking assets concentrated in big four
• Border between micro- and macro-prudential issues becomes
fuzzy
• Distinction between systemic and prudential regulation fades
• In extreme case, every bank problem is systemic in nature
• SARB likely to want to retain oversight of banks
• Acclaimed effectiveness of banking supervision
Concentration of banking
SA Country-specifics
• Highly sophisticated real-time gross payment and settlement system
• High percentage of inter-bank transactions flow through SARB settlement system
• In crisis, massive funds can be switched from a bank in distress
• Intimate knowledge of prudential standards of banks is crucial
• Real-time risk information is useless if time to react is slow – hence SARB needs extremely close link with BSD
Quality of settlement system and time to react
SA Country-specifics
• SARB will remain the lender of last resort (LOLR)
• Natural tendency to want effective oversight of banks
• Proximity of supervision helps with rapid decision-making so
crucial in a crisis – Saambou was a case in point
• An effective DIS would enhance supervision and increase crisis
resolution options
• Without proper DIS it would be difficult for SARB to part with
supervision function
The safety-net and deposit insurance
SA Country-specifics
• Integrated financial conglomerates not prevalent
• Little evidence of regulatory arbitrage
• But: Insurance companies tend to control the banks
• If conglomerates increase, this will be a compelling argument to unify prudential supervision
• But: The other country specifics dictate that the single prudential regulator should be in the SARB
(as in Bank of Ireland and Monetary Authority of Singapore)
Existence of complex financial groups
SA Country-specifics
• State-owned banks not a feature
• Role of foreign-owned banks is small
• Hence, relatively more power for supervisor
• Increases risk of removing supervision from SARB
• Scarce regulatory resources
• Political and bureaucratic tensions
The role of state and foreign-owned banks
Rationale for a functional approach
Alternative approaches
• Current environment:- Systemic: SARB/FinStab- Prudential: SARB/BSD for banks, FSB for rest- Conduct: FSB
• Single regulator environment:- Systemic: SARB/FinStab- Prudential: SFSR for all - Conduct: SFSR for all
• Possible alternative:- Systemic: SARB/FinStab- Prudential: SARB/BSD for all - Conduct: FSB for all
Rationale for a functional approach
Merits at a glance
• Single regulator:– Potentially more effective conglomerate supervision– Less regulatory arbitrage– Politically expedient/more suited to transformation?– Perceived as more modern and accountable
• Functional split:– More effective for stability objectives
– Less risk in a crisis
– Less cost of duplication
– Superior integration of monetary and regulatory objectives
Rationale for a functional approach
• Any model can work in good times
• However, in a crisis
– Availability of ready information
– Depth of knowledge, intimate understanding of nuances
• Cooperation is key
– Formal arrangements
– Relationships and goodwill
• Single regulator only one part of safety net
Transitional and other pragmatic issues
• How to select the best structure
– Remove emotive issues and biases
• Split the decision into components:
– Integrate or separate?
– Placement?
• How to manage the transition
– Big bang vs gradual
– Policy clarity vs planned and phased implementation
• Need for certainty
Conclusion
• SA on the international radar screen
• Complicated by need to maintain systemic stability yet ensure broader delivery of services
• Functional split seems best but single peak model can work
• Form not so important as the substance of:– Cooperation
– Change management
• A common (NT and SARB) position paper is required