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Regulatory Framework for Secondary Mortgage Markets. Britt Gwinner The World Bank March 10-13, 2003. Outline. Motivations to regulate Areas of regulation Which regulator Basel II as a framework, its impact on capital requirements International accounting standards. Why Regulate?.
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Regulatory Framework for Secondary Mortgage Markets Britt Gwinner The World Bank March 10-13, 2003
Outline • Motivations to regulate • Areas of regulation • Which regulator • Basel II as a framework, its impact on capital requirements • International accounting standards
Why Regulate? • Establish trust in the mortgage finance market • Protect consumers – good disclosures, fair loan terms • Protect & inform investors – against issuer bankruptcy, conflict of interest, fraud • Facilitate transactions and pricing with information • Preserve integrity of the financial system • Reduce transaction costs by establishing standards, disclosures
Clear, Detailed Disclosures • Consistent format – facilitate comparisons • To borrowers – to understand the loan commitment, closing costs, prepayment fees • To investors – Distinctions from traditional bonds – uncertainties of collateral cash flows – expected default and prepayment rates • About the issuer – Complete financial statements, loan & bond servicing capacity
Financial Regulations • Capital, liquidity, insider lending, underwriting quality, financial controls, servicing operation • Trade-offs • Between simple capital rules and adequate reflection of risk • Between simple and complex stress testing • Simple and complex accounting disclosures
Which Regulator? • Banking regulator, central bank, securities regulator • Prevent regulatory arbitrage – i.e., tailoring charter or activities to seek looser rules • Regardless of whether institution takes deposits • Consistent rules for capital, liquidity, disclosures, insider lending • Focus on integrity of financial system, not just safety of deposit holders
Basel Accord as a Framework • Internationally-agreed guidance for bank supervisors: • Capital adequacy, supervision, financial disclosures • Focus primarily on internationally active banks • Provide a standard for all credit institutions
Basel II - Three Pillars • Minimum capital requirement • Improved link to specific risks • Supervisory review process • Sound internal processes, risk assessments • Market discipline • Enhanced disclosures by banks
Basel II Minimum Capital Approaches – Credit Risk • Standardized – Percentage risk weights, more categories than Basel I, may refer to external ratings – easiest to apply in new mortgage markets • Internal Ratings Based (IRB) – Banks may use own credit assessments, subject to methodological and disclosure standards • Requires substantial data and analytic capabilities
Standardized Approach-Retained Mortgages • Retained residential mortgages carry a 40 percent risk weight • For example, • 30 million mortgage portfolio • Capital Required = 0.96m = 30m * 0.40 * 0.08 Or, 3.2 percent of total portfolio
Internal Ratings Based (IRB) Approach - Retained Mortgages • Originator estimates Probability of Default (PD), Loss Given Default (LGD), Exposure at Default (EAD) • Minimum standards for data history, system quality, estimation models – non-existent in new mortgage markets • An incentive to develop risk management - can substantially reduce capital requirement vis-à-vis standardized approach
Securitization Simplified Individual Mortgages Credit Allocation (Also vertical slicing for maturity) Pooled, Sold to SPV AAA Sold to Pension Funds, Insurance Companies A Retained by Issuer Unrated
Perennial Questions -Securitization • How does issuer produce earnings? • In each securitization, how has issuer added value, where does the value appear? • Should not see undue gains on sale of ‘A’ class, nor on retained tranches • Value can be accurately reflected in accounting, capital requirements
Securitization Risks • Credit, Liquidity, Operational, Legal, Reputational; more leverage than appearances might imply • Complex issues – recently revised capital treatment under Basel II, IAS rules for disclosures • Transparency is critical to credibility
Issuer Responsibilities • Identify, measure, monitor, control the risks of the business – disclose clearly to outsiders • Minimum capital requirements assume that management does their job correctly • Examinations and disclosures prove that management is sound • Problem circumstances lead to supervisory actions, additional capital
Taxation • Ensure that SPV is not taxable, not considered to earn income – the true owners of the assets are the investors, assure that interest is taxed no more than once • Eliminate fees/stamp duties on securitization process, documents • Treat mortgage securities on even footing with other fixed income securities
Basel II on Securitization - Standardized Approach • Investment grade securitized exposures receive risk weight by rating • Requires trusted, independent rating agencies • Another regulatory issue
Internal Ratings Based (IRB) Approach • IRB incorporates more information on nature of collateral pool and security structure • Highly granular collateral requires less capital – highly granular means a relatively large number of small loans – N > 100 • Thick exposures require less capital – thickness means relatively large and senior
Accounting Issues • Reporting literature complex • Some areas of “emerging practice” exist • Key is clear disclosure of assumptions, risks to values and earnings as reported
International Accounting Standards (IAS) • IAS 39 • Prescribes fair value treatment for many financial instruments and derivatives – but still calls for mixed attribute in some cases – historical cost plus fair value • Applicable for reporting periods starting 1/1/01 • Weaker standard for sale v. financing than Basel II
U.S. Securitization Shipwrecks – Superior Bank – August, 2001 • Cost to U.S. government: estimated USD 500 million – big hit to deposit insurance fund • Bought high credit risk mortgages, securitized, retained subordinated and I/O tranches • Half of the bank’s assets were subordinated tranches or I/O strips • Defaults and prepayments rose, I/O strips evaporated
Superior Bank (continued) • Sophisticated investors, Board • Ignored the importance of underwriting • Debate over accounting standards – an emerging practice area in U.S. GAAP & International Accounting Standards • Auditors, regulator, rating agencies were all late in realizing the scope of the problem
Concluding Remarks • Mortgage finance requires robust requirements for disclosures and risk management • In emerging markets, data restrictions and rating agency limits likely to affect the use of more risk-sensitive capital measures such as IRB • Regulators have their work cut out for them to tailor Basel II and IAS rules to their markets
References Papers “The New Basel Capital Accord: An Explanatory Note”, Basel Committee on Banking Supervision, Bank for International Settlements, January, 2001 “Consultative Document; The New Basel Capital Accord”, Basel Committee on Banking Supervision, Bank for International Settlements, January, 2001 “Second Working Paper on Securitization”, Basel Committee on Banking Supervision, Bank for International Settlements, October, 2002 “Quantitative Impact Study 3 , Technical Guidance”, Basel Committee on Banking Supervision, Bank for International Settlements, October, 2002 “The New Basel Capital Accord – Quantitative Impact Study 3 and Working Paper 2”, comments by the European Securitisation Forum, the American Securitization Forum, The International Swaps and Derivatives Association, the International Association of Credit Portfolio Managers, January 13, 2003 Web Sites Bank for International Settlements: www.bis.org U.S. Federal Reserve: www.federalreserve.gov British Bankers Association: www.bba.org.uk European Securitisation Forum: www.europeansecuritisation.com