1 / 23

IMF/Bank of Israel Financial Sector Conference

IMF/Bank of Israel Financial Sector Conference. ISRAEL’S CAPITAL MARKET REFORMS: SUPERVISORY APPROACHES AND MANAGING CHANGE Presentation on Approaches in: Canada, Singapore & Australia By John Palmer Chairman of the Toronto International Leadership Centre for Financial Sector Supervision.

tabib
Download Presentation

IMF/Bank of Israel Financial Sector Conference

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. IMF/Bank of IsraelFinancial Sector Conference ISRAEL’S CAPITAL MARKET REFORMS: SUPERVISORY APPROACHES AND MANAGING CHANGE Presentation on Approaches in: Canada, Singapore & Australia By John Palmer Chairman of the Toronto International Leadership Centre for Financial Sector Supervision

  2. Supervisory Approaches in Canada, Singapore & Australia Issues to explore: • How financial supervision has been integrated • Relationship with Central Bank

  3. Advantages of Integrated Financial Supervision • Better overview/understanding of financial system and system-wide risks • Cross-fertilization of knowledge • More efficient use of scarce functional specialist resources/technical experts

  4. Advantages of Integrated Financial Supervision (2) • Economies of scale in: • Training • Research • Technology • Methodological development • Corporate services • Greater critical mass and authority

  5. Disadvantages of Integrated Financial Supervision • Potential down-grading of industry expertise • Tendency for banking supervisors to dominate • May become too powerful (a bully) • May affect quality of cooperation with solo regulators

  6. Separating Integrated Supervisor from Central Bank • Most integrated supervisors have been separated from central bank • Reason is to separate regulation/supervision from financial support and avoid moral hazard • Danger is that it may weaken ability of central bank to maintain financial stability

  7. Separating Integrated Supervisor from Central Bank (2) • If separated from Central Bank, surveillance of financial sector could weaken • Jury still out on effectiveness of Integrated Regulator/Central Bank information-sharing mechanisms

  8. Models of Integrated Financial Supervision:OSFI • OSFI separate from Central Bank • Coordination mechanism (FISC) • Supports Bank’s macro-economic surveillance • Responsible for prudential supervision/regulation • Market conduct supervision a provincial responsibility

  9. Models of Integrated Financial Supervision:OSFI (2) Supervises: • All Banks • National (federal) deposit-taking institutions • National Insurance companies (life and general) • National private pension funds Does not supervise: • Securities firms • Financial markets • Financial intermediaries • Provincial entities

  10. Evaluation of the OSFI Model Advantages • Gained most of the advantages of integration (scale, understanding, specialisation, cross-fertilisation) • Avoided conflicts between prudential and market conduct supervision (transparency issue) • Mechanism for ensuring coordination with Central Bank works well

  11. Evaluation of the OSFI Model (2) Disadvantages/Caveats • Most disadvantages avoided because integration has not been excessive (industry expertise retained) • Balkanised securities supervision a major problem in Canada, but a larger issue • Success of Central Bank coordination mechanism partially dependent on relationships

  12. Models of Integrated Financial Supervision: MAS • Supervision part of Central Bank • Participates in macro-economic surveillance • Responsible for prudential and marketconduct regulation

  13. Models of Integrated FinancialSupervision: MAS (2) Supervises: • Banks and finance companies • Insurance companies • Securities firms • Financial markets • Financial intermediaries

  14. Evaluation of the MAS Model Advantages • Gained most of the advantages of integration (scale, understanding, specialisation) • Found some synergies between prudential and market conduct supervision • Also some synergies between Central Bank’s presence in the market and supervision • Integrated approach to macro-prudential surveillance works reasonably well

  15. Evaluation of the MAS Model (2) Disadvantages • Most disadvantages avoided because integration has been cautious (industry expertise retained) • Potential conflict between prudential and market conduct regulation has created some tensions but manageable • Potential moral hazard issue between prudential supervision and Central Bank LOLR function has not been a problem but not tested

  16. Models of Integrated Financial Supervision: APRA Supervision in Australia divided on functional lines: • Prudential supervision • Market conduct regulation

  17. Models of Integrated Financial Supervision: APRA (2) APRA responsible for prudentialsupervision; includes: • Banks and deposit-taking institutions • Insurance Companies • Superannuation (pension) funds

  18. Models of Integrated Financial Supervision: APRA (3) ASIC responsible for marketconductregulation; includes: • Securities firms • Markets • Financial advisors • Unit trusts • Market conduct issues affecting all institutions

  19. Models of Integrated Financial Supervision: APRA (4) • Both regulators (APRA & ASIC) separate from Central Bank • Mechanisms in place to ensure information-sharing/cooperation: - RBA Governor sits on both boards - APRA & ASIC have reciprocal board representation

  20. Evaluation of the APRA Model Advantages • Gained many of the benefits of integration (scale, specialisation, understanding) • Lack of full independence from Treasury has limited benefits (salaries, supervisory action) • Separation of securities supervision has avoided conflicts but created tensions

  21. Evaluation of the APRA Model (2) Disadvantages: • Some down-grading of industry expertise due to ambitious integration approach • Effectiveness of Central Bank information-sharing mechanisms still untested

  22. Integrating Supervisory Functions: Thoughts on Process Based on Experiences of Canada, Singapore and Australia • Create a new organisation • Keep your eye on the ball (supervision) • Move quickly but not too quickly • Be careful of how far you integrate (functional vs industry structures)

  23. Some Tentative Conclusions, Based on OSFI, MAS & APRA • Integrated regulation has worked well in Singapore and Canada (but note different approaches) • Some transitional issues in Australia • No model is ideal; each has strengths and weaknesses • In small countries, integrated financial supervision merits attention (resources issue) • Central bank linkage an unresolved issue

More Related