Financial Stability - আরবিআই - Reserve Bank of India
Financial Stability
6.1 Globalisation, advances in information technology and deregulation of the financial sector in emerging market economies have brought the issue of financial stability to the forefront of public policy. Several episodes of financial fragility that have occurred in the latter half of the 1990s across the globe, which entailed enormous costs for the financial system of several countries, have further underlined the need for a safe and sound financial sector. Traditionally, it is believed that monetary stability leads to financial stability. While there are complementarities between these two objectives in the long run, the relationship can be very different in the short-run. In this regard, a stable macroeconomic environment can often downplay the risks posed to the financial system. Accordingly, episodes of financial instability often follow periods of protracted macroeconomic booms. 6.6 The importance of financial stability emanates from four major trends in the financial systems, which have become evident in recent years. These are: (i) an imbalance of growth between the financial sector and the real economy; (ii) a change in the mode of financial operations due to financial deepening (credit/debit cards, etc.); (iii) emergence of a globally integrated financial system; and (iv) an evolution of sophisticated financial instruments and attendant risks. Consequently, the sources of crises have multiplied, necessitating the coordination of a number of authorities, both within and outside the country (Box VI.1). 6.7 Central banks pursue a multifaceted approach for ensuring financial stability. This includes: (i) payments system oversight; Box VI.1: International Co-operation in Financial Stability among Regulators In order to preserve domestic financial stability, central banks co-operate with other government agencies, viz., banking and securities regulators, treasury department and other agencies, within a complex array of regulatory and supervisory arrangements. International attempts of ensuring financial stability may also be viewed as such. However, the role of other factors, especially that of private sector in providing impetus for international co-operation is of critical importance. In this regard, banks compliant with higher capital adequacy norms may seek to enforce international standards for capital adequacy to reduce competitive advantage gained out of regulatory arbitrage. International co-operation in such a context can be conceptualised as the product of power and purpose of bank supervisors to provide their home markets with greater financial stability while also addressing the competitive concerns of their domestic firms (Kapstein, 2006). It needs to be recognised, however, that the power of any single country or authority is limited in ensuring co-operation across countries. Such co-operation is attributed to two factors: (i) the desire of supervisors to provide public goods such as financial stability; and (ii) that financial supervisors act mainly at the behest of private interest. This model of co-operation can be viewed from two standpoints. First, regulators attempt to resolve conflicting public and private sector interests. Second, international co-operation among regulators can be seen as an attempt to chart the future course of international financial architecture. In the current context, some trends on international cooperation in financial stability are clearly discernible. Currently, the concerns of central bankers arise out of what has been described as stable disequilibrium where the perceived risks arise mainly out of global imbalances and outlook for oil prices, particularly in view of the current geo-political situation. The macro policies in emerging markets in particular have to factor in these risks while continuously balancing the objectives of reforms and financial stability. More importantly, monitoring the sources of risk by the regulators has become very difficult due to emergence of large financial conglomerates, sophisticated market instruments such as derivatives and presence of international players like hedge funds. There has, however, emerged greater international co-operation among central bankers to mitigate the impact of such risks with full involvement of national treasuries in the Financial Stability Forum of the BIS. Kapstein, E.V (2006): ëArchitects of Stability? International Co-operation among Financial Supervisorsí BIS Working Paper No. 199, February. (ii) contingency planning against market disruption; (iii) lender of last resort (LOLR); (iv) financial regulation; and (v) transparent analysis and communication policy aimed at minimising information asymmetry. In this context, Financial Stability Reports/Reviews (FSR) being prepared by central banks/supervisory authorities in several countries generate public awareness on various aspects of financial stability such as macroeconomic situation, the health of the financial system and the risks and vulnerabilities faced by the financial sector. The purpose of FSRs, in general, is to identify at an early stage any trends of vulnerability that could lead to a crisis in the financial system. While the Bank of England and the Sveriges Riksbank of Sweden started publishing FSR in 1997, many central banks, at present, regularly publish FSR with the European Central Bank being a recent addition. At the global level, IMF also publishes a bi-annual report on global financial stability and conducts the Financial Sector Assessment Programme (FSAP), which is jointly undertaken with the World Bank. 6.8 In emerging market economies such as India, while financial stability is crucial for achieving sustained economic growth, it cannot be achieved without reforming the financial system (Box VI.2). 6.9 In India too, financial stability has emerged as a key consideration in the conduct of monetary and financial policy in recent years. In the Indian context, financial stability implies (a) ensuring uninterrupted settlements of financial transactions (both internal and external); (b) maintenance of a level of confidence in the financial system amongst all the participants and stakeholders; and (c) absence of excess volatility that unduly and adversely affects real economic activity. The Reserve Bank has taken a three-pronged approach to maintain financial stability, viz., maintenance of overall macroeconomic balance; improvement in the macro-prudential functioning of institutions and markets; and strengthening of micro-prudential institutional soundness through regulation and supervision. Box VI.2: Financial Sector Reform and Financial Stability Central banks have tailored the design of financial sector reforms to country-specific situations, taking cognisance of the threats to financial stability. The relevant considerations are: (i) the recognition that there exist strong complementarities between financial stability and macroeconomic stability; (ii) the pace of reforms to be adopted, i.e., whether a shock therapy approach or a more cautious and gradualist strategy; (iii) deciding the optimal sequencing of reforms in case the gradualist approach is adopted; and (iv) the credibility of reforms. In this regard, the issue of credibility is inter-related with the choice of the pace of reform. A graduated pace wins credibility since it avoids disruptions and roll-backs in the short-run, while building a consensus in favour of continuing reforms in the medium to long-run. In emerging market economies, financial sector reforms have greatly helped in strengthening and reinforcing financial stability. It needs to be emphasised, however, that the existing international financial architecture is not adequate to prevent or mitigate the domestic and external effects of a financial crisis in large economies. The impact of instability in times of crisis appears largely to be borne by the domestic public sector rather than the global private sector. The issue of setting the pace of financial liberalisation is important in order to minimise the risks of instability. International experience shows that a faster pace of financial liberalisation was often followed by financial instability and crises. Therefore, in framing public policies, the approach to managing the financial sector, the choice of instruments and the timing and sequencing of policies are issues of crucial importance. The financial sector reforms in India were initiated early in the reform cycle. In this regard, while prudential regulation of banks was introduced in the early phase of reforms, independent regulatory framework for other entities has been a recent phenomenon where new regulatory bodies for securities markets and insurance sector have been set up. 6.10 Given the above backdrop, this Chapter reviews the stability of the financial system in India in terms of financial institutions, financial markets and financial infrastructure. Section 2 reviews key policy measures initiated with a view to strengthening the financial institutions (commercial and co-operative banks), financial institutions (FIs) and non-banking financial companies (NBFCs). Section 3 analyses the key developments in financial markets in recent years with a special focus on 2005-06 and 2006-07 (up to mid-October) from the perspective of financial stability. Major developments in the payment and settlement systems from the viewpoint of financial stability are set out in Section 4. Section 5 assesses the risks posed by global and domestic factors to financial stability in India. The last section presents an overall assessment of the Indian financial system over the short to medium-term from the point of view of financial stability. 6.11 The Indian financial system is a complex network of institutions having a variety of functions and governed by different regulations. Besides commercial banks, which are the predominant intermediaries of the financial system, there are co-operative banks, development finance institutions, non-banking financial companies, insurance companies, provident funds and mutual funds. The Reserve Bank exercises its supervisory role over the banking system encompassing commercial and co-operative banks (UCBs) by virtue of powers provided under the Banking Regulation Act, 1949 and the Reserve Bank of India Act, 1934. The Reserve Bank also regulates select all-India financial institutions under the Reserve Bank of India Act, 1934. Consequent upon amendments to the RBI Act in 1997, a comprehensive regulatory framework in respect of NBFCs was also introduced. In respect of State and district central co-operative banks, and regional rural banks, while the Reserve Bank is the regulator, the supervision is vested with the National Bank for Agriculture and Rural Development (NABARD). Insurance companies and mutual funds are regulated by the Insurance Regulatory and Development Authority (IRDA) and the Securities and Exchange Board of India (SEBI), respectively. 6.12 With a view to promoting a safe and sound financial sector from financial stability perspective, the Reserve Bank has taken several initiatives to strengthen financial institutions under its purview. 6.13 The statutory pre-emptions on resources of banks in the form of cash reserve ratio (CRR) and the statutory liquidity ratio (SLR) have been substantially reduced. The SLR was reduced to its statutory minimum level of 25.0 per cent in 1997 from the peak of 38.5 per cent in 1992. The CRR was also reduced to 4.5 per cent by 2004 from 15.0 per cent in 1992. Although the medium-term objective is to bring down the CRR, in view of rising inflation, the CRR was increased by 0.5 percentage point to 5.0 per cent of the net demand and time liabilities (NDTL) during September-October 2004. The CRR has remained unchanged since then. 6.14 The amendments to Section 42 of the Reserve Bank of India Act, 1934 in June 2006, vests the Reserve Bank with the powers to prescribe CRR for scheduled banks without any floor rate or ceiling rate. Under the earlier provisions, the Reserve Bank could prescribe CRR for scheduled banks between 3.0 per cent and 20.0 per cent of their NDTL. The amendments remove the statutory minimum CRR of 3.0 per cent. In terms of the amended Act, the Reserve Bank also cannot pay interest on any portion of CRR balances of banks once the Act comes into force. Prior to the amendment of the Act, the Reserve Bank had been paying interest on scheduled banksí eligible cash balances, i.e., above the statutory minimum of 3.0 per cent and up to the prescribed level of 5.0 per cent at an interest rate determined by the Reserve Bank, which was set at 3.5 per cent with effect from September 18, 2004. 6.15 Before initiation of financial sector reforms in the early 1990s, the Indian financial system was characterised by financial repression as reflected in the administered interest rate structure, which thwarted the price discovery process in the absence of a well functioning market mechanism. After the initiation of reforms, both the lending and deposit rates were gradually deregulated. In order to foster greater transparency in lending rate determination, the benchmark prime lending rate (BPLR) was prescribed for scheduled commercial banks, which provided them the flexibility to offer floating rate products by using market benchmarks in a transparent manner. Since deregulation of interest rates exposed market participants to interest rate risk, instruments such as forward rate agreements (FRAs) and interest rate swaps (IRS) were introduced in 1999 to facilitate the hedging of interest rate risk in the balance sheet of banks. 6.17 Mergers and amalgamations are a common strategy adopted to restructure/strengthen banks internationally. Although the consolidation process through mergers and acquisitions of banks in India has been going on for several years, it gained momentum towards the late 1990s. Since 1999, there have been, in all, 12 mergers/ amalgamations. Of these, one bank was amalgamated in 2005-06 and two banks in 2006-07 (up to mid-October, 2006). The Bank of Punjab Ltd. was amalgamated with Centurion Bank Ltd. on October 01, 2005. The Centurion Bank Ltd. subsequently changed its name to Centurion Bank of Punjab Ltd. with effect from October 17, 2005. The Ganesh Bank of Kurundwad Ltd. was amalgamated with the Federal Bank Ltd. on September 2, 2006. On October 3, 2006, the United Western Bank Ltd. was amalgamated with Industrial Development Bank of India Ltd.. With increased liberalisation, globalisation and technological improvements, the consolidation process in the Indian banking sector is likely to intensify in the future, thereby imparting greater resilience to the financial system. 6.18 The primary objective of the policy of the Reserve Bank/Government is to ensure that merger is not detrimental to the public interest, banks concerned, their depositors or their controlling companies. The Reserve Bank and the Government have to keep in view that such mergers do not impinge on the stability of the financial system as a whole. The guidelines issued by the Reserve Bank on May 11, 2005, inter alia, laid down the process of merger and determination of the swap ratio. 6.19 The foreign investment limit from all the sources in private banks was raised from a maximum of 49 per cent to 74 per cent in March 2004. In consultation with the Government of India, the Reserve Bank released the roadmap on February 28, 2005, detailing the norms for the presence of foreign banks in India. At the same time, the Reserve Bank laid down a comprehensive policy framework on governance and ownership of private sector banks. These measures were intended to further enhance the efficiency of the banking system by increasing competition. 6.20 Corporate governance has assumed crucial significance for ensuring the stability and soundness of the financial system in recent years. In order to protect the interest of depositors and integrity of the financial system, it is necessary that owners and managers of banks are persons of sound integrity. Keeping these considerations in view, the Reserve Bank initiated several measures to enhance transparency and strengthen corporate governance practices in the financial sector in India. 6.22 The Basel Committee on Banking Supervision (BCBS) had issued the 'Amendment to the Capital Accord to Incorporate Market Risks' containing comprehensive guidelines to provide explicit capital charge for market risks in 1998. As an initial step towards prescribing capital charge for market risk, banks were advised in January 2002 to build up investment fluctuation reserve (IFR) up to a minimum of 5 per cent of investment in 'HFT' and 'AFS' categories in the investment portfolio. Subsequently, banks were advised in 2004 to maintain capital charge for market risk in a phased manner over a two year period ended March 31, 2006. Banks were allowed to treat the entire balance held in investment fluctuation reserve (IFR) as Tier I capital, provided they have maintained capital of at least 9 per cent of the risk weighted assets for both credit risk and capital charge for market risk as prescribed above. 6.25 The risk weight for credit risk on certain capital market exposures was also increased from 100 per cent to 125 per cent with effect from July 26, 2005. Capital market exposures subject to higher risk weights include: (i) direct investment by a bank in equity shares, convertible bonds and debentures and units of equity oriented mutual funds; (ii) advances against shares to individuals for investment in equity shares (including initial public offerings (IPOs)/employee stock option plans (ESOPs), bonds and debentures and units of equity oriented mutual funds; and (iii) secured and unsecured advances to stock brokers and guarantees issued on behalf of stock brokers and market makers. 6.26 The market for securitisation of standard assets has grown significantly in recent years. In order to ensure orderly development of the market, the Reserve Bank issued draft guidelines on securitisation of standard assets in April 2005. The final guidelines applicable from February 1, 2006 include, inter alia, the criteria for ëtrue saleí, the criteria that should be met by the special purpose vehicle (SPV) to enable the originator to avail off-balance sheet treatment for the assets securitised, policies on provision of credit enhancement/liquidity/underwriting facilities and services, prudential norms for investment in securities issued by SPV, and accounting treatment of the securitised transactions and disclosures. 6.27 Venture capital funds (VCFs) play an important role in encouraging entrepreneurship. While banksí involvement in financing venture capital funds is necessary, there is also a need to recognise the relatively higher risks inherent in such exposures. In the absence of adequate public disclosures with regard to performance/ asset quality of VCFs, prudence demands that the exposures to VCFs be treated as 'high risk'. Accordingly, in April 2006, it was decided that a bank's total exposure to venture capital funds will form a part of its capital market exposure. Accordingly, banks were required to assign a higher risk weight of 150 per cent to such exposures. 6.28 The Financial Intelligence Unit-India (FIU-IND) set up by the Government of India in November 2004 is the central, national agency responsible for disseminating information relating to suspect financial transactions to enforcement agencies in India and abroad. It is responsible for strengthening efforts of national and international agencies against money laundering and related crimes. It was set up to collect, compile, collate and analyse the cash and suspicious transactions reported by banks and financial institutions. In this context, the Reserve Bank advised banks that while Cash Transaction Report (CTR) for each month should be submitted to FIU-IND by the first fortnight of the succeeding month, the Suspicious Transaction Report (STR) should be furnished within 7 days of arriving at a conclusion that any transaction, whether cash or non-cash, is of suspicious nature. Cash transactions of Rs.10 lakh and above or a series of integrally connected transactions aggregate of which, in a month, exceed Rs.10 lakh are required to be reported in CTR. Individual cash transactions below Rs.50,000 have been excluded from the purview of reporting to FIU-IND. Banks have been advised to report all other cash transactions where forged or counterfeit bank notes have been used and any forgery of a valuable security has taken place. These measures would ensure the sanctity of banking transactions and make the banking system less vulnerable to frauds and money laundering. 6.29 In order to increase the options available to banks for resolving their non-performing assets and to develop a healthy secondary market for non-performing assets, where securitisation companies and reconstruction companies are not involved, the guidelines on sale/purchase of non-performing assets were issued to banks/FIs/ NBFCs in July 2005. 6.30 A Special Group (Chairperson: Smt. S. Gopinath) was constituted in 2004 to undertake a review of the scheme on corporate debt restructuring (CDR). Based on the recommendations of the Group, guidelines were issued to all commercial banks/FIs (excluding RRBs) in November 2005. The salient features of the revised guidelines are: (i) the scheme has been extended to entities with outstanding exposure of Rs.10 crore or more; (ii) it is now required to have the support of 60 per cent of creditors by number in addition to the support of 75 per cent of creditors by value with a view to making the decision making more equitable; and (iii) the restoration of asset classification has been linked to the implementation of the CDR package. In order to improve flow of credit to small and medium enterprises, detailed guidelines were issued to banks to ensure restructuring of debt of all eligible small and medium enterprises at terms, which were, at least, as favourable as the existing corporate debt restructuring mechanism. These guidelines would further strengthen the process of credit delivery. 6.31 The guidelines relating to one-time settlement scheme for recovery of NPAs below Rs.10 crore for small and medium enterprises (SME) accounts issued to public sector banks were extended to FIs in November 2005. The Reserve Bank is also encouraging banks to set up an advisory mechanism for individuals in the form of credit counselling (Box VI.3). 6.32 Deposit insurance provides safety to small depositors and reduces the probability of bank runs and bank failures. Countries have several objectives in establishing the deposit insurance system, the principal reason being to protect small depositors and avoid systemic crises. However, full deposit insurance often conflicts with the need to develop a sound banking system in the long run. Therefore, it is essential to design an incentive compatible system that discourages moral hazard, adverse selection and agency problem. Several countries in recent years have switched to the differential premium system (Box VI.4). 6.33 The Reserve Bank of India (Amendment) Bill, 2006 was enacted to provide greater operational flexibility to the Reserve Bank in the conduct of monetary policy. The Act provides the Reserve Bank with greater autonomy in the use of policy instruments. Consequent upon the amendment, the Reserve Bank, with a view to securing monetary stability, can prescribe the cash reserve ratio (CRR) without any floor rate or ceiling rate. Further, the Reserve Bank cannot pay interest on CRR balances once the Act comes into force. The amendments also give legal sanctity to over-the-counter (OTC) derivatives, if at least one of the parties to the transaction is the Reserve Bank or any agency falling under its regulatory purview. Prior to the amendment, only exchange traded derivatives were deemed to be valid. Box VI.3: Credit Counselling The need for financial education is felt both in the developed and the developing countries. In the developed countries, the increasing number and complexity of financial products, the continuing shift in responsibility for providing social security from the Governments and financial institutions to individuals, and the growing importance of retirement planning by the individuals, make it imperative that financial education be provided to all. Similarly, in emerging economies, the increasing participation of a growing number of consumers in developing financial markets necessitates the promotion of financial education. With changing growth dynamics, certain segments of the population could become susceptible to excessive borrower optimism or even to vicissitudes in the economic environment. In such a scenario, it is necessary to establish credit counselling institutions for educating individuals to assess their credit demand and debt management in order to mitigate bankruptcy risk. Furthermore, credit counselling institutions can also remove asymmetric information in rural credit and can help individuals by guiding them to access credit from various available sources. From the perspective of a regulator, financial education delivered through credit counselling can empower the common person and, thus, reduce market failure attributable to information asymmetries. The first well known credit counselling agency was created in 1951 in the United States when credit agencies created the National Foundation for Credit Counselling (NFCC). Their stated objective was to promote financial literacy and help consumers to avoid bankruptcy. In 1993, the Association of Independent Consumer Credit Counselling Agencies (AICCCA) was founded in the United States, considering the need for industry-wide standards of excellence and ethical conduct. The concept caught the attention of other countries and over the last several years, a number of countries have undertaken significant initiatives towards credit counselling. The Consumer Credit Counselling Service (CCCS) in the UK, established in 1993, helps consumers with budgeting and better money management as also their debt repayment plans. In fact, the Banking Code in the UK provides that member banks shall discuss financial problems with customers and together evolve a plan for resolving these problems. Canada established a non-profit counselling organisation in 2000 called Credit Counselling Canada(CCC), which seeks to enhance the quality and availability of not-for-profit credit counselling for all its citizens. The Bank Negara Malaysia has established a Credit Counselling and Debt Management (CCDM) agency to provide advice to individuals on credit counselling and loan restructuring. The arrangement is expected to be a prompt and cost-effective means of debt settlement based on the repayment plan between creditors and the debtor without intervention of courts. In view of rising personal bankruptcies, primarily on unsecured debt, Credit Counselling of Singapore (CCS), established in 2003, is meant to assist financially distressed consumers. In India, Corporate Debt Restructuring (CDR) mechanism exists whereby large corporates in genuine cases of difficulty are provided the facility of restructuring the debt extended by banking and development finance institutions. A framework, for small and medium enterprises has also been evolved recently. In the case of agriculture loans and small borrowers, however, only broad guidelines have been issued to banks from time to time on parameters for restructuring. In this context, there are a number of issues that need to be recognised to initiate and popularise credit counselling for individual borrowers. These are: (i) combining credit counselling with some elements of financial literacy; (ii) credit counselling to be ex ante or only ex post or some combination of both; (iii) devising differential mechanisms to take into account different credit segments as well as different categories of individual borrowers; (iv) accrediting credit counsellors through industry associations; (v) providing a training and institutional framework to develop credit counsellors to make them effective; and (vi) examining the viability of non-governmental organisations and consumer organisations in order to expand the outreach of counselling practices. Risk Containment Measures 6.34 Although derivative instruments are used for hedging risks by banks and financial institutions, overexposure in derivatives and other off-balance sheet instruments could itself aggravate the risks posed to the balance sheet of banks (Box VI.5). Considering the inherent risks in the derivatives segment, the Reserve Bank advised market participants in 2005 to carry out due diligence regarding customer appropriateness and suitability of products, including verification of genuineness of underlying exposure. Market participants have been advised to have a proper risk management policy with regard to counterparty credit risks. As Indian derivatives market is predominantly over the counter (OTC), the use of risk mitigation techniques such as collaterals and netting is desirable for the purpose of not only reducing the counterparty credit risks but also for the purpose of reducing systemic risks. However, the use of collateral in Indian markets is not very common. As regards setting limits on market risks, participants were advised to use only domestic rupee benchmarks for rupee interest rate derivatives. Subsequently, market participants were advised in December 2005 that the gross present value of all non-option rupee derivative contracts should be within 0.25 per cent of the net worth of the bank as on the last day of the balance sheet from March 2006. Box VI.4: Differential Premium System ñ The International Scenario Policy makers have a choice between adopting a flat-rate premium system or a premium system that is differentiated on the basis of risk profiles of individual banks. The primary advantage of a flat rate premium system is the relative ease with which assessments can be calculated and administered. As flat-rate premiums do not reflect the level of risk that a bank poses to the deposit insurance system, it may be perceived as encouraging excessive risk taking by some banks. Risk-adjusted differential premium systems can mitigate such risks and develop more prudent risk-management practices by member banks. Many countries are considering modifications in their existing deposit insurance systems and have expressed interest in eventually transiting to differential premium systems. An important consideration in systems, which combine both quantitative and qualitative factors, is the relative weights assigned to these factors. In some systems [(for instance, the Federal Deposit Insurance Corporation (FDIC)], quantitative criteria receive an equal weight to a more subjective criteria such as examination ratings. In other countries such as Canada, qualitative criteria have lower weights than quantitative criteria. In general, there is a tendency to assign higher weights to quantitative elements than qualitative factors. Most newly established systems initially adopt a flat-rate system given the difficulties associated with designing and implementing a risk-adjusted differential premium system. It is difficult to (i) find appropriate and acceptable methods of differentiating risk; (ii) obtain reliable resources to administer the system; (iii) ensure consistent and timely flow of information; and (iv) ensure that the rating criteria are transparent. Therefore, before establishing a differential premium system, it is important to review the state of the economy, structure of the banking system, public attitudes and expectations, the strength of prudential regulation and supervision, the legal framework and the soundness of accounting and disclosure regimes.
A well-managed transition process should, inter alia, include (i) a clear plan setting out the transitioning objectives, responsibilities, resource requirements, time table and deliverables; and (ii) communication of the transition plan to all interested parties and provision for a consultative process to accompany changes to the policy or legislative framework affecting the scheme. Canada introduced a transitional mechanism for the first two years of the scheme. Financial Stability Forum, (2001) ëGuidance for Developing Effective Deposit Insurance Systemsí, Final Report of the Working Group on Deposit Insurance, Bank for International Settlements, Basel. Box VI.5: Trends in Off-Balance Sheet Exposures of Banks Off-balance sheet (OBS) exposures of the financial system across the globe have recorded a significant increase in recent years. Global over-the-counter derivative products doubled from a notional outstanding of US$ 142 trillion in December 2002 to US$ 285 trillion in December 2005 (BIS, 2006). Similarly, total notional principal amount of OBS exposures in India increased from Rs.8,41,884 crore at end-March 2002 to Rs.43,99,908 crore at end-March 2006. As a percentage of total on-balance sheet assets, total OBS exposure, which accounted for 57 per cent at end-March-2002, shot up to 163 per cent at end-March 2006. Greater need for risk management, deregulation of interest rates, squeeze on margin on conventional balance sheet items, greater competition, and new opportunities arising out of technological advancements have contributed towards the phenomenal growth in OBS exposures, especially derivatives. OBS exposures essentially take the form of contingent liabilities and derivatives. Contingent liabilities are the more traditional off-balance-sheet exposures, while derivatives, except for traditional forward exchange contracts, have come into prominence recently. The growth in OBS exposures in India has been fuelled by the phenomenal increase in the derivative segment. Between end-March 2002 and end-March 2006, contingent liabilities of the banking system recorded an annual compound growth rate of 23.6 per cent, while contracts and derivatives increased at an annual compound growth rate of 55.5 per cent. Consequently, the share of contracts and derivatives (notional principal) in total OBS exposures of the banking system increased from 82.5 per cent to 92.7 per cent during the same period. While the notional amount of OBS exposures, including derivatives has grown exponentially, the number of banks which are actively involved in these activities in India are only 15, most of which are foreign banks. The combined share of these 15 banks in total off-balance sheet exposures steadily increased from 73.8 per cent in March 2002 to 82.3 per cent in March 2006. Supervisory Measures 6.35 The macro approach to financial supervision has helped the Reserve Bank to refine its regulatory as well as monetary policy stance so as to achieve the fine balance between growth and financial stability. 6.36 Several initiatives have been taken for a gradual roll out of the risk based supervision (RBS) process since the announcement made in the Monetary and Credit Policy of April 2000. On-site pilot study (third in series) was taken up in four banks in 2005-06 under the revised RBS framework. On the basis of three rounds of pilot run of RBS covering public sector, private sector and foreign banks, the templates have been revised to assess for five business risks and two control risks. The new methodology for risk assessment being formulated would enable the supervisors to separately assess the risk for inherent/control risk areas and domestic/overseas operations in respect of all the business risk areas. This would facilitate area-specific supervisory action. The revised risk-rating framework is number driven. It provides granularity to the supervisory risk-rating process (i.e., assessing degrees of risk and whether the risk is in the upper band or lower band), enabling preparation of specific supervisory programme/action for individual banks which strengthens the supervisory system. Box VI.6: Financial Stability and Stress Testing Stress testing to adverse macroeconomic shocks is an important tool in assessing financial stability. A stress test is performed to measure the sensitivity of the portfolio of assets and liabilities of an individual institution or a financial system to changes in one of the risk factors such as interest rate or exchange rate. It provides an estimate of the change in the value of the portfolio due to a sudden change in the risk factors. The stability of a financial system depends on a large number of factors. The first step in a stress testing process is to identify the important risk factors and understand what is a ìnormalî state for the financial system. After identifying the potential shocks to the financial system, the next step is to develop a macro econometric model that can be used to understand the behaviour of the system with respect to the main vulnerabilities. Once the model is developed, the idea is to decide upon the time horizon for measuring the shock, the variables subjected to the shock and the size of the shock. Finally, the shocks need to be mapped into their impact on the balance sheet of financial institutions. The key indicator used for measuring the interest rate risk is duration. Duration is a measure of the percentage change in the value of the portfolio for a unit change in the interest rate and is a good measure only for small changes in the interest rate. Stress testing normally involves large changes in interest rates. Therefore, in addition to duration, convexity should also be included in the calculations. In practice, often ìmaturity gap analysisî, which is a simplified measure of interest rate sensitivity, is used by banks in place of duration analysis. Exchange rate risk is the impact of changes in exchange rate on the value of assets and liabilities of financial institutions. The change in net open position due to a change in exchange rate can help determine the sensitivity of the position to exchange rate risk. The net open foreign exchange position is relatively easy to measure and, therefore, banks may be in a position to manage the exchange rate risk to a great extent. Credit risk is the risk that counterparties will default on their contractual obligations. The data that are required for credit risk stress testing relate to different categories of performing loans and non-performing loans (sub-standard, doubtful and loss). A set of different types of variables can be used for stress testing of credit risk like changes in the price of collateral, increase in non-performing loans (NPLs) and increase in provisioning ratio. 6.40 With a view to maintaining the integrity of the financial sector and enhancing public confidence in the financial system, the Reserve Bank prepared a draft scheme called ëProtected Disclosures Scheme for Private Sector and Foreign Banksí on the lines of Government of India resolution in January 2006. The public sector banks are already covered under a similar scheme. The scheme provides a mechanism for lodging complaints against corruption, misuse of offices and suspected/actual frauds in private sector and foreign banks. 6.41 It is imperative for banks to prepare for business disruptions and system failures and ensure continuity of operations. Such plans would provide resilience to banks to tide over natural calamitites. The unprecedented floods in recent times in a few cities and the resultant reports of electronic delivery channels of some of the banks being affected has further reinforced the need for robust business continuity plan (BCP) in banks. In recognition of such eventualities, detailed guidelines were issued by the Reserve Bank in April 2005 requiring commercial banks to put in place business continuity measures within a fixed time frame. 6.42 In view of increasing globalisation and integration of global markets, conflict of interest within the financial sector can have a negative impact on investor confidence, efficacy of the regulatory framework and, above all, the credibility of the financial service providers. The Reserve Bank had constituted a Working Group on Conflicts of Interest in the Indian Financial Services Sector (Chairman: Shri D. M. Satwalekar) in September 2004 to identify the sources and nature of potential conflicts of interest in the financial sector and possible measures/actions to be taken in this regard for mitigating them (Box VI.7). The Report submitted by the Group examined the various situations of conflicts of interest, both nationally and internationally, and attempted to provide an integrated framework of forward-looking measures to mitigate/prevent such situations. Box VI.7: Conflicts of Interest in the Financial Sector The Working Group (Chairman: Shri D. M. Satwalekar) suggested that in the case of Public Sector Enterprises (PSEs), improvement in governance mechanism could be brought about by transferring the actual governance functions from the concerned administrative ministries to the boards, specialised agencies (trusts, SPVs, etc.) formed for the purpose, professionalising and streamlining the appointment process of directors, besides suitably revamping the compensation and remuneration structures. In the case of private sector, control structures and disclosure practices should be so devised as to be consistent with the interests of all stakeholders, keeping in view the fact that control is often exercised through a complex pattern of cross holdings involving subsidiaries. It also suggested that a Conflict Management Policy (CMP) for managing conflicts should be developed by each institution/profession, by which a commensurate premium/ discount is placed on the ethical/unethical behaviour of individuals or the institutions. The Group observed that the Government has an important role in ensuring that the politico-judicial reforms are calibrated to meet the enhanced needs of an increasingly complex financial sector. Stating that defining financial crime and crafting technology neutral laws are the imperatives, the Group, pointed out that financial services is too crucial an industry in a countryís economy to be left solely in the hands of the institutions and the regulators. In the Groupís view, an enlightened public, who are aware of their rights and obligations, are the best safeguard for ensuring non-exploitation of conflicts of interest by the financial intermediaries. In the Indian conditions, the Government and the regulators have an important role in enlightening the public of their rights and obligations. The society at large should send a strong message through all possible means available that pro-consumer behaviour would be rewarded, while anti-consumer behaviour would be appropriately punished. While pointing out that it is tempting to prescribe more detailed ëRules of the Roadí to mitigate the myriad varieties of conflicts of interest, the Group opined that the principles/ rules enunciated are by no means substitutes for the overriding importance of the time-honoured basics of managerial competence, sound judgement, common sense and presence of a highly disciplined system of corporate governance, of which mitigation of conflicts of interests is an integral part. Regulatory environment should be based on principles rather than rules and should actively promote transparency, market discipline, public awareness and education. Other Financial Institutions 6.44 Several measures were initiated by the Reserve Bank during 2005-06 to strengthen other financial institutions such as regional rural banks (RRBs), co-operative banks, financial institutions (FIs) and non-banking financial companies (NBFCs). Regional Rural Banks and Rural Co-operative Banks 6.45 The regional rural banks (RRBs) have been playing an important role in purveying rural credit. With a view to strengthening them, banks were encouraged to amalgamate State-wise, the RRBs sponsored by them. In this context, the Government of India, after consultation with NABARD, the concerned State Governments and sponsor banks initiated the process of amalgamation of RRBs in September 2005. As a result of this initiative, 137 RRBs were amalgamated till October 31, 2006 to form 43 new RRBs (sponsored by 18 banks in 15 States). This has brought down the total number of RRBs from 196 to 102. Some more amalgamation proposals are under consideration of the Government of India. This process would result in further consolidation of RRBs, thereby strengthening the rural credit sector. 6.49 As UCBs are subject to dual control by the Reserve Bank and the State Governments, continuous efforts are being made to harmonise the regulation and supervision over UCBs to facilitate their orderly development. In order to address issues/difficulties relating to dual control within the existing legal framework, a working arrangement in the form of Memorandum of Understanding (MoU) has been evolved. Accordingly, the Reserve Bank has so far signed MoUs with eight State Governments, viz., Andhra Pradesh, Gujarat, Karnataka, Madhya Pradesh, Uttaranchal, Rajasthan, Chhattisgarh and Goa. Other States with a sizeable presence of UCBs have also been approached for entering into a MoU. 6.50 In order to facilitate emergence of strong entities and also provide an avenue for non-disruptive exit of unviable entities, the Reserve Bank issued guidelines on merger/amalgamation of UCBs in February 2005. General permission was given to the acquirer UCB to amortise the losses taken over from the acquired UCB over a period of not more than five years, including the year of merger. The Reserve Bank has since indicated its concurrence to 17 merger proposals of which, 14 mergers have already taken effect. This would result in further consolidation of the UCBs. 6.51 In order to revitalise and rehabilitate the scheduled UCBs with negative net worth, the Reserve Bank began a consultative process with the concerned State Governments and banks. The emphasis is on a time bound programme for restructuring of such UCBs by demarcating the contours of their rehabilitation plan and setting up monitorable milestones. During the year, 10 scheduled UCBs were placed under the restructuring plan. The Reserve Bank has been closely monitoring their progress with a view to protecting depositorsí interest and avoiding systemic problems. 6.52 In the case of urban co-operative banks, share capital can be withdrawn. Therefore, the share capital of UCBs does not have all the characteristics of equity. Co-operative banks are also not permitted to issue shares at a premium. In order to explore various options for raising capital, a Working Group (Chairman: Shri N.S. Vishwanathan) was constituted in September 2005 comprising representatives of the Reserve Bank, the State Governments and the UCBs to examine the issue of share capital of UCBs and identify alternate instruments/avenues for augmenting the capital funds of UCBs. The Working Group is expected to submit its Report in November 2006. 6.53 The Reserve Bank, in April 2006, permitted UCBs in States where MoU have been signed and those registered under the Multi-State Co-operative Societies Act to offer mutual fund products, as agents to their customers, subject to certain conditions. The Reserve Bank also allowed well-managed UCBs ñ both scheduled and non-scheduled - to open select off-site/on-site ATMs, thereby facilitating banking transactions. 6.54 The Vision Document for UCBs highlighted the heterogeneity of the UCB sector in terms of their geographical spread, size, strength, levels of professionalism and performance. Application of uniform regulatory standards affected the performance of several UCBs, especially the smaller ones which operated more closely on co-operative principles. Steps have been†initiated to†rationalise†the†íone size fits allî †approach to regulation and supervision of UCBs keeping in view the heterogeneous character of the group. 6.55 As a part of the announcement made by the Union Finance Minister for improving the flow of credit to small and medium enterprises, certain guidelines were issued for restructuring of debt of SMEs. UCBs were advised to formulate the debt restructuring scheme with the approval of concerned State/Central Registrar of Co-operative Societies and give adequate publicity to the scheme among the customers for greater customer awareness. 6.57 Financial Institutions (FIs) in India have traditionally been the major source of medium and long-term funds. In recent years, however, the role of FIs has diminished with the conversion of two major FIs into banks. In this regard, an Internal Working Group on Future Role of Financial Institutions (Chairman: Shri P. Vijay Bhaskar) was constituted in the Reserve Bank. The report of the Group is being finalised and is expected to be submitted in October 2006. 6.59 The Reserve Bank continued its efforts to strengthen the non-banking financial companies. The periodicity of returns on important financial parameters of NBFCs not accepting/holding public deposits and having an asset size of Rs.500 crore or above was changed in September 2005 from quarterly to monthly to facilitate a macro level assessment of large non-deposit taking companies at more frequent intervals. The threshold asset size of such companies was also reduced from ëRs.500 crore and aboveí to ëRs.100 crore and aboveí to widen the coverage. Further, the reporting format was amended to incorporate additional information relating to capital market exposure covering financing of IPOs, gross sales and purchases in various segments and guarantees issued on behalf of share brokers. 6.60 In order to protect the depositorsí interest and to enhance transparency in their operations, all deposit-taking NBFCs were advised in October 2005 to put in place a system to ensure that agents/brokers authorised by them to collect deposits are properly identifiable and their books of accounts are available for audit and inspection. Earlier in December 2004, the residuary non-banking companies (RNBCs) were advised to put in place such system in respect of their agents/brokers. 6.61 All deposit taking NBFCs/RNBCs were advised in October 2005 that all individual cases of frauds involving Rs.1 lakh and above have to be reported to the Reserve Bank. 6.62 In order to protect depositorsí interest, RNBCs were advised in June 2004 that from April 2006, no discretionary investments would be permitted. However, on a review, the Reserve Bank subsequently decided to modify the pattern of their investments. Accordingly, RNBCs were advised that effective April 1, 2006 they should invest not less than 95 per cent of their aggregate liabilities to the depositor (ALD) as on December 31, 2005 and 100 per cent of the incremental deposits (accrued after December 31, 2005) in the prescribed manner. It was also advised that on and from April 1, 2007, the entire amount of ALD would be invested in directed investments only and no discretionary investments would be allowed to be made by RNBCs. 6.63 A stable financial system requires sound financial institutions, well-functioning financial markets and robust financial infrastructure. Operations and performance of commercial banks, co-operative banks and non-banking financial institutions during 2005-06 have been detailed in Chapter 3, 4 and 5, respectively. This and the following section analyse the developments in the financial markets and the payment and settlement systems in India during 2005-06 from the point of view of financial stability. 6.64 Financial markets play an important role in allocating resources in an efficient manner. They also facilitate the price discovery process in financial instruments and are the conduit of transmitting policy signals to the real economy. Financial markets offer a mechanism of diversifying risk within the financial system. Volatile movements in financial markets have serious implications for macroeconomic performance. Hence, stability in the financial markets is an important pre-requisite for the stability of the financial system. 6.69 The money market provides a focal point for the central bankís operations in influencing liquidity and thereby transmitting monetary policy impulses. The broad policy objectives being pursued for the development of the money market are ensuring stability/avoiding volatility, minimising default risk and achieving a balanced development of various segments. The Reserve Bank has been playing a proactive role in developing the money market through introduction of new instruments, broadening of participantsí base and strengthening of institutional infrastructure. In recent years, the focus of the Reserve Bankís efforts has been onimplementation of many of the recommendations of the Technical Group on Money Market (May 2005). Non-banks have been phased out of the uncollateralised call money market. The policy thrust given to the growth of the collateralised segment has improved options for liquidity management while reducing risks. Associated developments in institutional and technological infrastructure have also helped in improving transparency, facilitating price discovery process and providing avenues for better liquidity and risk management. 6.70 Following the Annual Policy Statement for 2005-06, a screen-based negotiated quote-driven system for dealings in the call/notice and the term money markets (NDS-CALL) has been developed by the Clearing Corporation of India Ltd. (CCIL). The introduction of NDS-CALL will make the deals transparent, enable better price discovery and improve the market microstructure. The system was launched in September 2006 with participation by market constituents on a voluntary basis. 6.71 Various reform measures initiated since the early 1990s have resulted in more orderly conditions and increased liquidity in the money market, which are important from financial stability perspective. The call/notice money market remained orderly during the 1990s, barring a few episodes of volatility (May 1992, November 1995 and January 1998). The decline in volatility was particularly noticeable from May 2001 following the introduction of the second stage of the Liquidity Adjustment Facility (Chart VI.1). 6.72 Money market conditions remained largely comfortable during 2005-06, except the period from mid-December 2005 to end-February 2006. Monthly average call rates, which were at 4.77 per cent in April 2005, inched upwards thereafter steadily to reach 5.79 per cent in November 2005. In December 2005, the call rate increased further to 6.00 per cent on account of India Millennium Deposits (IMD) redemption. It reached a peak of 6.93 per cent in February 2006, before softening to 6.58 per cent in March 2006. Between April and July 2006, call rates hovered below 6.00 per cent but subsequently firmed up to above 6.00 per cent during August and September 2006 (Chart VI.2). 6.73 During the first half of 2005-06, call money rates were closer to the reverse repo rate, the lower bound of the liquidity adjustment facility (LAF) corridor, reflecting comfortable liquidity conditions. Average daily call money borrowing rates hovered around the reverse repo rate for a major part of the period. With the increase in the fixed reverse repo rate by 25 basis points on April 29, 2005, call rates also edged up by a similar magnitude. Towards the end of June 2005, call rates rose above the reverse repo rate under liquidity pressures on account of advance tax payments and scheduled Treasury Bills auctions. Call rates, however, edged lower towards the reverse repo rate by mid-July 2005 as liquidity conditions improved due to cancellation of some scheduled Treasury Bills auctions, return of advance tax payments to the banking system and large foreign currency purchases from the authorised dealers during July-August 2005. Call rates remained broadly stable between August 2005 and October 2005, except for transitory mild pressure during the second half of September 2005. During November 2005, call money rate remained generally above the reverse repo rate. On a few occasions, call rate exceeded the repo rate, reflecting liquidity pressures emanating from sustained credit demand, festival demand for currency and scheduled auctions (Chart VI.3). The Reserve Bank, therefore, injected liquidity into the system through LAF repos on seven occasions during the month. The notified amount of Treasury Bills auctions under the MSS was also cancelled from November 9, 2005. To fine-tune the management of liquidity and in response to suggestions from the market participants, the Reserve Bank introduced a Second Liquidity Adjustment Facility (SLAF), with effect from November 28, 2005. Beginning with the second half of December 2005, call money rates again edged up and remained generally above the repo rate, reflecting frictional liquidity pressures emanating from IMD redemptions amidst sustained large credit offtake and quarter-end advance tax payments. The Reserve Bank, accordingly, injected liquidity through LAF operations, unwinding of MSS, purchase of foreign currency and daily refinance window. Call rates eased during the second half of March 2006, reflecting improvement in liquidity conditions. 6.74 During 2006-07, call rates initially eased up from the rate prevailing at end-March 2006 and remained close to the reverse repo rate, reflecting comfortable liquidity conditions. The call money rate, however, hardened during August-September 2006 on account of transient liquidity pressures emanating from advance tax outflow amidst sustained credit demand and festival season currency demand. Call rates remained within the informal corridor in the second week of October 2006. 6.75 In pursuance of the recommendations of the Committee on Banking Sector Reforms (Chairman: Shri M. Narasimham) (1998), the process of transforming the call/notice money market into a pure inter-bank market was completed in August 2005. Scheduled commercial banks, co-operative banks and primary dealers (PDs) now participate in the uncollateralised call/ notice money market in accordance with prudential limits placed on their borrowings and lendings. In the collateralised segment of the overnight market, eligible non-bank entities also participate. With the imposition of prudential limits on the borrowings and lending of banks and PDs in the uncollateralised segment, the risks in the money market have been mitigated to a large extent. 6.76 A noteworthy development during the year from the financial stability perspective was the substantial migration of money market activity from the uncollateralised call money segment to the collateralised market repo and CBLO (Chart VI.4). This migration of activity has been largely the result of the policy of phasing out non-bank participants from the call money market. Volumes in the market repo (outside the Reserve Bank LAF) more than doubled from Rs.12,174 crore in April 2005 to Rs.31,964 crore in March 2006, while those in the CBLO market more than trebled from Rs.10,370 crore to Rs.35,775 crore, resulting in a decline in the share of the uncollateralised call market to the total overnight market transactions in March 2006. The increase in volumes in the collateralised segment is important from the point of view of financial stability as it reduces the risk exposure of market participants. The CBLO market has been gradually becoming more significant. By March 2006, 152 members with 79 active members had registered in the CBLO segment. Initially, only one insurance company and a few co-operative banks supplied funds in this segment, but now mutual funds have emerged as the largest suppliers of funds. For the borrowing banks, the CBLO is attractive since it offers anonymity and provides funds at lower costs. However, the structure of the segment is undergoing a change with corporates becoming more significant borrowers in the CBLO segment. 6.77 A sharp increase was also observed in volumes in the FRAs/IRS market. The notional principal amount under FRA/IRS contracts moved up to Rs.21,94,637 crore in March 2006 from Rs.13,58,487 crore in April 2005. 6.78 With the gradual opening of current and capital account transactions in the 1990s, capital flows have had a direct bearing on the stability of the exchange rate. There have been intermittent periods of excessive inflows, followed by episodes of drying up of capital flows. On the whole, the foreign exchange market witnessed fairly stable conditions during the 1990s, especially from 2000-01 onwards, barring some occasions when the market came under pressure. Effective policy responses, however, were able to quickly restore the orderly conditions in the market. The coefficient of variation of the Indian Rupee against the US dollar, which is a measure of volatility, moved in a narrow range, except on a few occasions, i.e., between September 1995-February 1996 and again in mid-October 1997 to April 1998 (Chart VI.5). 6.79 The Indian rupee exhibited a two-way movement vis-‡-vis the US dollar in a range of Rs.43.30ñ46.33 per US dollar during 2005-06 (Chart VI.6). The rupee, which remained range-bound during the first quarter of 2005-06, appreciated somewhat following the revaluation of the Chinese renminbi on July 21, 2005 and moved up to Rs.43.56 per US dollar on August 18, 2005. The rupee, however, came under pressure from end-August 2005 under the impact of rise in oil prices, sharp increase in the current account deficit and strong US dollar. As a result, the exchange rate depreciated to Rs.46.33 per US dollar on December 8, 2005. With the revival of FII inflows and weakening of the US dollar in the international markets, the rupee strengthened from the second half of December 2005, despite IMD redemptions. 6.80 The exchange rate was Rs.44.61 per US dollar as on March 31, 2006 at which level it was lower by 1.9 per cent over the level as on March 31, 2005. On an annual average basis, the rupee, however, appreciated by 1.5 per cent against the US dollar. Based on daily data, the standard deviation of rupee-dollar exchange rate declined from 1.03 during 2004-05 to 0.79 during 2005-06, reflecting relatively stable conditions in the forex market from financial stability perspective. In this regard, the Reserve Bankís exchange rate policy continues to be guided by the broad principles of careful monitoring and management of exchange rates with flexibility, without a fixed target or a pre-announced target or a band, coupled with the ability to intervene, if and when necessary. Reflecting cross-currency movements, the rupee appreciated by 4.4 per cent against the Euro, 5.5 per cent against the Pound sterling and 7.3 per cent against the Japanese yen between end-March 2005 and end-March 2006. On an annual average basis, the rupee appreciated by 5.0 per cent each against the Pound sterling and the euro and by 6.8 per cent against the Japanese yen. 6.81 The turnover in the inter-bank as well as merchant segments of the foreign exchange market increased sharply during 2005-06, reflecting strong growth in underlying transactions relating to current and capital account of balance of payments. The turnover in both the segments nearly doubled. While inter-bank turnover increased from US $ 237 billion during March 2005 to US $ 405 billion in March 2006, the merchant turnover increased from US $ 89 billion to US $ 141 billion. The ratio of inter-bank to merchant turnover ranged between 2.3-3.1 during 2005-06 (Chart VI.7). The ratio suggests low speculative activity in the foreign exchange market.
gilt-edged market has gradually widened with the participation of several non-bank players. Presently, apart from banks and insurance companies, investor base includes the private corporate sector, mutual funds, finance companies as also individuals. Introduction of Order Matching segment on NDS (NDS-OM) gave a further impetus to the development of the government securities market. Currently, 134 members operate on NDS-OM. In order to increase the number of participants in NDS-OM, access has been allowed to insurance companies, mutual funds and pension and provident funds. Further, extending indirect access to all ìgilt accountî holders to NDS-OM through constituent subsidiary general ledger (CSGL) option is under active consideration. 6.84 The FRBM Act prohibits the Reserve Bank from participating in the primary auctions of Government securities from April 1, 2006. Although this is a positive development, it could have some adverse impact on the market in the short run. The Reserve Bank, therefore, took several structural and developmental measures for the Government securities market. These included: (i) phased introduction of short sale to increase turnover and improve liquidity in the secondary market; (ii) phased introduction of trading in ëWhen Issuedí market in respect of Central Government dated securities for better price discovery in the primary market; (iii) revised scheme for underwriting of Central Government securities auctions requiring 100 per cent underwriting by PDs accompanied by performance based liquidity support to PDs; (iv) allowing stand alone PDs to diversify their business to mitigate risk arising from concentration of business in one activity; and (v) allowing banks to conduct PD business departmentally by merging their respective PD subsidiaries that would serve to mitigate the business risks of stand alone PDs. These measures would make the Government securities market more vibrant and thereby help in strengthening financial stability. 6.85 The Reserve Bankís absorption of primary issues declined sharply in 2005-06 as compared with the previous year. The increased depth and liquidity of the Government securities market has enabled the Reserve Bank to pursue its monetary policy through market-based instruments. During 2005-06, outright transactions in the Government securities market declined sharply in an environment of rising interest rates (Table VI.1). Total turnover (outright and repo), which increased marginally during 2004-05, declined during 2005-06. The decline in turnover could adversely affect liquidity in certain segments of the yield curve and impact the process of efficient price discovery. Average daily turnover declined from Rs.4,826 crore during 2004-05 to Rs.3,643 crore during 2005-06. The ratio of turnover to outstanding stock of Government securities also declined from 2.0 to 1.5. It is observed that the markets remain active and liquid when the rates are falling, but turn lacklustre and illiquid when the rates rise as market players, governed by strong risk averse behaviour, prefer not to take a view on interest rates. As low volumes render markets shallow and prone to price manipulations, a number of measures, such as permitting short selling, have been taken to enable participants to manage their interest rate risk more efficiently and also to impart liquidity to the markets, even in a rising interest rate scenario.
to 8.54 per cent by end-September 2006. The yield spread between 5-year triple-A rated corporate bond and 5-year Government security also widened significantly between December 2005 and March 2006 (Chart VI.11).
6.98 The Reserve Bank closely monitored the developments when the stock markets declined sharply. The Reserve Bank got in touch with major settlement banks and stock exchanges and intervened in the forex market to assuage market sentiments. It also announced its readiness to provide sufficient liquidity to banks to enable them to meet their payment obligations and intra-day requirements so that the payment transactions were carried out smoothly. 4. Payment and Settlement Systems (iv) setting up of an umbrella organisation for all retail payment systems in the country; (v) finalising the Payment and Settlement Systems Bill; and (vi) preparing the Electronic Funds Transfer Regulations under the Reserve Bank of India Act. 6.102 With introduction of RTGS, whereby a final settlement of individual inter-bank fund transfers is effected on a gross real time basis during the processing day, a major source of systemic risk in the financial system has been reduced substantially. RTGS transactions, both in terms of volume and value, have increased sharply in a short span of its operation (Table VI.4).
6.104 The operationalisation of the NEFT in November 2005 was a major step in the direction of operating/achieving payment systems at the national level. The NEFT is a secured network, which uses the SFMS messaging format with public key infrastructure (PKI) enabled digital signatures having a nation-wide network. All the SEFT clearing banks were advised to migrate to NEFT system by December 15, 2005. With the implementation of NEFT, the SEFT system was discontinued from February 2006. The Reserve Bank has also advised banks to adopt the centralised funds management system (CFMS), which enables banks to transfer funds across its accounts with various offices of the Reserve Bank. At present, the system is available at six centres with two more centres likely to be included in the near future. 6.108 The Clearing Corporation of India Limited (CCIL) set up by banks is the central counter party (CCP) for the clearing of transactions in Government securities and foreign exchange. The CCIL operates the G-Sec clearing, while the settlement for both the securities and funds takes place in the Reserve Bank. The CCIL acts as the CCP for all the transactions and guarantees both the securities and funds legs of the transaction. Another large value segment operated by the CCIL is the forex clearing. The settlement through CCIL has reduced the gross US dollar requirement by more than 90 per cent. Furthermore, the rise in domestic cost of production would also have an adverse impact on the domestic terms of trade, thereby affecting export performance. The increase in domestic food prices, occurring in an environment in which international food prices were also hardening, was another significant factor. 6.118 From the point of view of financial stability, the main cause for concern for rapid increase in interest rates is that it renders a large number of markets more vulnerable to risk reappraisal and abrupt asset price adjustments. Mature markets have so far proved resilient. However, in the period ahead, asset valuations could be vulnerable to drying up of global liquidity conditions. It could bring about significant portfolio losses for banks and non-bank financial firms. For financial markets, large and potentially correlated asset price adjustments could cause liquidity to dry up and undermine the hedging of financial risks. 6.119 The tightening of interest rates could have significant implications for credit markets the world over, which are currently witnessing an unprecedented boom. One of the issues that has drawn considerable attention is the surge in credit offtake, both in developed and emerging market economies. There were a number of episodes in the last century when many developed countries had also experienced rapid growth in credit (and booming asset prices) resulting in a surge in aggregate demand as in the last two years. Such credit and asset market booms then were a precursor to financial instability (Box VI.8). These conditions were sharply reversed later as the growth in credit decelerated causing meltdown of asset prices and low economic activity. 6.120 The rising interest rates could bring about a downturn in the corporate credit cycle. The credit cycle refers to fluctuations in the financial health or the balance sheet quality of the corporate sector that affects firmsí access to and cost of credit. In this regard, the turning of the credit cycle brings about an increase in non-systematic risk reflected in the widening of credit spreads. The use of credit derivatives has facilitated the distribution of credit risk across a broader group of investors, which is believed to enhance financial stability (Box VI.9). Box VI.8: Are Bank Credit Booms Indicators of Financial Instability? In bank-based financial systems such as India, bank credit plays a critical role in facilitating the growth process; hence credit booms are often positively correlated with a high-growth phase of the economy. Credit booms are often followed by dilution of risk assessment criteria by banks and financial institutions, which may trigger episodes of financial instability. In this regard, financial instability that might result from credit booms, can, in fact, threaten price stability (White, 2006). Therefore, credit booms need to be carefully monitored by the policy makers. The 1990s was a decade of generally low and stable interest rates in many countries. Accommodating credit and accelerating productivity growth fuelled increases in property prices and encouraged rapid increase in securities prices. It is, now, conventional wisdom that the East Asian crisis was due to an inefficient banking system that failed to set adequate risk management standards during the credit boom, which was directed for speculative investments in real estate ventures. These factors heighten the vulnerability of financial systems and economies to a sudden reversal of sentiment and engender financial instability. Empirical evidence suggests that credit booms turn out to be the best predictor of future banking crises, a key indicator of financial instability. While banking crises vis-‡-vis currency crises are more difficult to forecast, the adverse impact of banking crises on economic activity is more enduring (Goldstein, Kaminsky and Reinhart, 2000). Among the consequences of credit booms resulting in financial instability, there has been a renewed interest in the role of credit dynamics in post-World War I cyclical developments. The consequences then, as in the 1990s, included property booms, increasing consumer debt, surging investment and rising securities prices. They fuelled concern about the stability of financial institutions and markets and culminated in the global financial meltdown during the Great Depression. This characterisation of the Great Depression as a credit boom having gone wrong has many lessons for policy makers, particularly in the context of large and rapid capital flows. The failure of domestic monetary authorities to quickly install stable policy rules is an important reason for explaining the fragilities that set the stage for the Great Depression (Eichengreen and Mitchener, 2003). The credit boom view suggests that the inter-war gold standard also played a role in the expansion phase, when credit was allowed to expand more rapidly. In addition, focusing on the role of credit conditions in the expansion of the 1920s and slump of the 1930s directs attention to two factors: the structure of domestic financial systems and the interplay of finance and innovation. It was precisely the experience of the 1920s and the 1930s that provided the backdrop for Schumpeterís characterisation of the cyclical aspect of capitalism as ìinnovation financed by credit.î The present surge in global credit is reminiscent of the development and effects of credit conditions in the 1920s and the fact that the interaction of credit with innovation may generate business cycles (Eichengreen and Mitchener, 2003). One possible implication is that policy makers should act pre-emptively to prevent the growth of unsustainable credit booms that might have adverse macroeconomic and financial consequences later. It is, however, felt that monetary policy measures are inadequate in containing credit booms and may actually trigger a recession in the economy. The growing consensus seems to be that financial market regulators should resort to increases in capital requirements to prevent the credit boom from being unsustainable. inflationary pressures receding, the chances of significant further tightening of global liquidity in normal circumstances have receded. However, should there be a sharp tightening of liquidity for unforeseen reasons, such as an abrupt unwinding of global financial imbalances, it would have certain implications for the Indian financial system as detailed subsequently. 6.123 Large and growing global financial imbalances have generally been perceived as constituting a significant threat to global financial system stability. The most fundamental imbalance in the world economy relates to the saving propensities among the major countries. On the one extreme, the United States has a very low savings rate, which is about 10 per cent of GDP in 2005, on the other extreme stands China with a very high savings rate reaching about 50 per cent of its GDP. Hence, with such diversity among national savings rates, the current accounts of the various countries reveal a high degree of imbalance. The financing of the US current account deficit of around 6.5-7.0 per cent has been facilitated by large surplus savings in many Asian countries. In this regard, the significant capital inflows needed to finance US current account deficits have emanated from such surplus economies, especially China and Japan, and, more recently, by several oil-exporting countries, which have benefited from revenue windfalls due to a surge in international oil prices. 6.124 Globally integrated financial markets are becoming increasingly apprehensive about the risks of a disorderly adjustment of the widening global imbalances. Adverse expectations of markets were evident during mid-2006 when equity indices declined sharply across the globe. The main source of vulnerability from a financial stability perspective continues to be the possibility of an abrupt asset portfolio adjustment, or of a sudden deterioration in the risk appetite of global investors for accumulating US securities. While the likelihood of an abrupt unwinding of these imbalances appears to be low, such an event could nevertheless entail sudden and destabilising changes in global capital flow patterns. This could bring with it the possibility of a considerable downward pressure on the US dollar, which could then exert significant upward pressure on US long-term interest rates. In addition, given the increasing integration of world markets, this would directly impact other financial assets across the financial markets of most economies. Highly correlated asset price movements could, together with spikes in market volatility, impair market liquidity and undermine the hedging of financial risks (ECB, 2006)3. 6.125 India, like many other emerging market economies, could be adversely affected by the sudden unwinding of global financial imbalances. However, the impact could be different on different sectors such as the government, the corporate sector and the banking system. 6.126 First, the Government of India does not raise resources from the international capital markets to finance its fiscal deficit. The Government could, however, be affected indirectly through the spill-over impact of external developments on domestic interest rates. To the extent there is a rise in domestic interest rates, there could be an increase in the cost of borrowings undertaken by the Government. However, since most of the outstanding debt is at fixed rates and not on floating rates, the rise in the borrowing cost of the Government will be incremental and, therefore, will not have a significant impact on the interest burden. 6.127 Second, as a result of deterioration in global financial market conditions, spreads on corporate debt might widen suddenly due to a shift in investor confidence in the global financial markets. Indian corporates also raise resources from the international capital markets. Corporates would, therefore, be affected to the extent interest rates firm up in the domestic market, depending on their exposure to debt relative to other liabilities. 6.128 Third, the unwinding of global imbalances may impact banksí balance sheet, through their investment portfolio. Banks in India hold substantial investments in Government and other fixed income securities. To the extent a rise in international interest rates impacts the domestic interest rates, it would entail marked-to-market losses on the investment portfolio of banks. The banking sector in India, however, has acquired some added strength to absorb such probable shocks, largely aided by regulatory actions. The banking sector, on the whole, is comfortably placed with CRAR of 12 per cent. 78 out of 84 banks have CRAR above 10 per cent. Thus, banks in India, in general, have the resilience to withstand some rise in interest rates. 6.129 Fourth, banks in India have also been extending credit for investment in the asset market. Like many other economies, asset prices in India have also risen sharply in recent years. The possibility of a sharp decline in asset price exposes banksí balance sheets to credit risk. There is a risk that increase in interest rates in general could impact housing prices and expose the balance sheet of the households to interest rate risk, leading to some loan losses for banks. The overall banking sectorís exposure to housing loans, at present, is relatively small and may not have serious systemic implications. As a result, the impact on banksí balance sheets might be muted, given their relatively moderate exposure to the asset market. 6.131 Finally, the unwinding of global financial imbalances may lead to readjustment of currencies, which would also have implications for the real sector. Significant readjustment of the currencies and rise in interest rates could deflate spending in advanced economies, which, in turn, could slow down global growth. This would entail a reduction in export opportunities and reduction in investment demand for India. While readjustment of the currencies may have some impact, the Indian economy is largely domestic demand driven. Also, Indiaís export basket is fairly well diversified. As such, the overall impact on the Indian economy may not be significant. 6.132 The economic impact of the epidemic Severe Acute Respiratory Syndrome (SARS) during 2002-03 in East Asia was estimated at around US$ 18 billion or around 0.6 per cent of their total GDP. The later outbreak of the Avian Influenza (H5N1), popularly known as Avian Flu, which started in late 2003, has raised concerns about a new global pandemic as the H5N1 virus strain will mutate just enough to allow it to pass easily from person to person, potentially causing a catastrophic pandemic as humans lack immunity to it. According to experts, the Avian Flu is more lethal than SARS. While SARS had a mortality rate of around 15 per cent, Avian Flu, which has now spread from Asia to Europe, can kill up to a third of the infected people. 6.133 There is a substantial uncertainty about the potential economic impact of Avian Flu. It is estimated that a modest pandemic lasting over one year might cause a loss as high as 3 per cent of Asian GDP and 0.5 per cent of world GDP, equivalent to about US$ 150-200 billion (WHO, 2006)4. The financial impact may cost the global economy about 3.1 per cent of world gross domestic product (World Bank, 2006)5. 6.134 Though the possible impact of Avian Flu is yet to be fully comprehended and assessed, there are certain apparent risks and challenges which a severe pandemic could pose to domestic as well as the global financial system. International attention has focused on the need for all countries to be better prepared, in order to reduce the potential death, illness, social and economic consequences of a pandemic. An important implication of the Avian Flu pandemic could be for the insurance sector. As emphasised by the Financial Stability Forum, a flood of claims might strain the capacity of the global insurance and reinsurance sectors. A mild pandemic could lead to a loss of US $15-20 billion, while a more severe event might total up to US $200 billion (Standard and Poor, 2005)6. 6.135 A pandemic like the Avian Flu would pose important risks to the global financial system, particularly the economies of Asia in which the outbreak of the pandemic was first detected. The IMF is encouraging countries to prepare for a possible pandemic and is facilitating cooperation across countries in preparing contingency plans, particularly in the financial sector (IMF, 2006)7. In order to restore macroeconomic stability and fiscal sustainability, central banks in many countries may have to adjust monetary policy to prevent a sustained increase in inflation. If required, central banks may have to prepare themselves to act as lenders of last resort. A financial institutionís risk assessment and management plans may have to be expanded to cover the possibility of widespread economic disruptions and their impact on loan performance and other assets. 6.136 From the Indian perspective, the first case of bird flu was announced on February 18, 2006 in Maharashtra. Initially, the virus infected 52 poultry farms in northern part of Maharashtra and such reports put authorities in other States on high alert as such a contagious disease could be a source of concern for the Indian economy in general and poultry industry in particular. India is the fifth largest producer of eggs and the livestock and poultry sector is one of the fastest growing sectors in India. It may be noted that outbreak of Avian Flu in Maharashtra was a localised one, which has been contained effectively. The major poultry exporting States are located at a considerable distance from Maharashtra. According to the Ministry of Agriculture, Government of India, the export of poultry/poultry products from these States is absolutely safe as the samples tested are negative. 6. Overall Assessment 6.140 The financial system in India has become robust over the last few years. This has been the result of calibrated and well-sequenced measures. The banking framework is now more or less aligned with the international best practices. Financial markets are becoming increasingly deep and liquid. The increasing use of the RTGS system has reduced a major source of systemic risk in the payments and settlement system of the country. 6.141 The profitability of the banking sector has remained stable over the years, despite upturn in interest rate cycle in the last 2 years. A significant development during the year was decline in net NPA ratio to below 2 per cent, which is now more or less comparable with international standards. The recovery of NPAs during the year was more than the fresh slippages. The capital position of the banking sector, as a percentage of the risk-weighted assets, continues to be significantly above the stipulated norm of 9 per cent, which itself is above the international norm of 8 per cent. Apart from the credit risk, banks now maintain capital charge for market risk as per Basel I framework (capital charge for market risk has not been modified under Basel II framework). The quantitative impact study QIS 5 reveals that on implementation of Basel II, the capital adequacy ratio of banks, which participated in the excercise, would decline by one per cent, which banks should be able to manage given that 78 of 84 banks have CRAR more than 10 per cent. 6.142 The profitability and asset quality of cooperative banks improved significantly during the year, even as the issue of dual control of this sector remains to be addressed. The regional rural banks are in the process of consolidation. Profitability and asset quality of FIs and NBFCs, in general, also improved. The capital adequacy ratio of most of FIs and NBFCs continued to be well above the stipulated prescription. On the whole, strong balance sheets and comfortable capital position have significantly improved the resilience of the financial system. 6.143 There are, however, some short to medium-term risks to which banks are exposed. Banks face two major risks, viz., credit risk and market risk. While the credit risk environment is expected to be benign over the short-term, banks do face some degree of market risk, although the extent of banking systemís exposure to such risk has declined significantly in comparision with the previous year as detailed in the following paragraphs. 6.144 It is expected that the credit risk environment would continue to be favourable in the near-term. Macroeconomic fundamentals of the economy continue to be robust. The economy grew at an average annual rate of over 8.0 per cent during last three years and is also expected to grow at a high rate of around 8.0 per cent during 2006-07. The growth rate of 8.9 in Q1 of 2006-07 was indeed impressive. The industrial sector, in particular, is performing very well and is expected to maintain the growth momentum in the near future. Inflation rate continues to be low in the range of 5.0-5.5 per cent, despite revision in domestic oil prices. Although the absence of complete pass-through was a cause of concern from the future inflation point of view, the recent easing of international oil prices should provide the much needed relief. Indiaís external sector has been a source of major strength. Capital inflows continue despite rise in interest rates by major central banks the world over. There was some upward movement in yield on corporate bonds during the year. The spread between AAA bonds and the sovereign bonds also widened, reflecting some uncertainty. However, the financing conditions remain comfortable. Corporates are also able to raise resources from the international capital market. The profitability of the corporate sector continues to be strong, notwithstanding some slowdown. The deleveraging of the corporatesí balance sheets through issuance of equity and internal generation of funds in the past has held them in good stead in a rising interest rate scenario. 6.145 The credit offtake increased sharply in the last two years. However, the credit growth continues to be broad-based. Although banksí exposure to certain sectors, especially the housing sector has been increasing rather rapidly, such exposure in relation to the total loan portfolio remains small and there have not been any major defaults, despite rise in interest rates. With the overall economy doing well, banks are not expected to face a major problem on such exposures. Also, such exposures are small and spread over a large number of borrowers. As such, the credit risk environment, on the whole, is expected to be benign in the near-term. 6.146 Banks, however, are exposed to some degree of market risk in the near-term. The major source of such risk is the continuing large global financial imbalances. Should there be an abrupt asset portfolio reallocation, there is a risk of sharp currency readjustments which could cause heightened volatility in the financial markets through changes in exchange rate and interest rate. In the event of a sharp rise in interest rate, banks may suffer significant marked to market losses on their investment portfolio. Having said that, investment portfolio of banks has declined significantly in comparison with the last year. The decline, in fact, is more significant in relative terms as share of such investments in total assets declined sharply to 31.1 per cent from 36.9 per cent in the last year. 6.147 In case of a rise in interest rates, banks may also face increased risks on account of their exposure to the asset market. Banks have been extending credit for investment in the asset market. There is a risk that rise in interest rates, in general, could impact the housing prices and expose the balance sheets of households to interest rate risk. This, in turn, could impact banksí balance sheets through increase in loan losses. Reversal of capital flows could impact the equity market and some of the advances extended for investments in the equity market might be impaired. Some banks also have a direct exposure to the equity market. Although decline in asset prices could cause loan losses and capital losses, they may not have any significant impact on the banksí balance sheets, given their limited exposures to the asset markets. 6.148 To sum up, the macroeconomic environment continues to be quite favourable, which augurs well for credit risk environment. Although the financial system is facing certain degree of market risk, it is resilient enough to withstand such risk should it materialise. Banks have sufficient cushion in the form of strong capital position. While disruptions in global financial markets might have some impact, it is the domestic conditions which impact banking operations the most. In this context, strong growth prospects would continue to have a positive impact on the balance sheets of the corporate sector and households. As such, the banking system should be able to cope with the situation emerging out of any adverse global development. 1 Frenkel, J.A., (2006): Concluding remarks on the Symposium ëProductivity, Competitiveness and Globalisationí Financial Stability Review No.8, Banque de France, May. 2 Mishkin, F. S., 2006: ëMonetary Policy Strategy: How Did We Get Here?í NBER Working Paper No.12515, NBER, September. 3 European Central Bank, (2006), Financial Stability Review, Frankfurt, June. 4 World Health Organisation (2006), ëRegional Influenza Pandemic Preparedness Plan (2006-2008)í, Regional Office for SouthEast Asia, New Delhi. 6 Standard and Poorís (2005), ëDetermining the Insurance Ramifications of a Possible Pandemic,í Ratings Direct, November. |