Master Circular - Capital Adequacy Standards and Risk Management Guidelines for standalone Primary Dealers - ఆర్బిఐ - Reserve Bank of India
Master Circular - Capital Adequacy Standards and Risk Management Guidelines for standalone Primary Dealers
RBI/2008-2009/71 July 1, 2008 All Primary Dealers in the Government Securities Market Dear Sir Master Circular on Capital Adequacy Standards and Risk As you are aware, the Reserve Bank of India has, from time to time, issued a number of guidelines on Capital Adequacy Standards and Risk Management for standalone Primary Dealers (PDs). To enable the PDs to have all the current instructions at one place, a Master Circular incorporating the guidelines on the subject is enclosed as an Appendix. 2. Banks undertaking PD activities departmentally may follow the extant guidelines applicable to banks in regards to their capital adequacy requirement and risk management. Yours faithfully (K.V.Rajan) APPENDIX RESERVE BANK OF INDIA (Ref: RBI/2008-09/71/ IDMD.PDRS. 02 /03.64.00/2008-09 dated July 1, 2008) General Guidelines 2.0 Capital Funds Capital Funds would include the following elements: 2.1 Tier-I Capital In case any PD is having substantial interest/ (as defined for NBFCs) exposure by way of loans and advances not related to business relationship in other Group companies, such amounts will be deducted from its Tier I capital. 2.2 Tier-II capital Tier II capital includes the following:- (i) Undisclosed reserves and cumulative preference shares other than those which are compulsorily convertible into equity. Cumulative Preferential shares should be fully paid-up and should not contain clauses which permit redemption by the holder. (ii) Revaluation reserves discounted at a rate of fifty five percent; (iii) General provisions and loss reserves to the extent these are not attributable to actual diminution in value or identifiable potential loss in any specific asset and are available to meet unexpected losses, up to the maximum of 1.25 percent of total risk weighted assets; a) To be eligible for inclusion in Tier II capital, the instrument should be fully paid-up, unsecured, subordinated to the claims of other creditors, free of restrictive clauses, and should not be redeemable at the initiative of the holder or without the consent of the Reserve Bank of India. It often carries a fixed maturity, and as it approaches maturity, it should be subjected to progressive discount, for inclusion in Tier II capital. Instruments with an initial maturity of less than 5 years or with a remaining maturity of one year should not be included as part of Tier II capital. Subordinated debt instruments eligible to be reckoned as Tier II capital will be limited to 50 percent of Tier I capital.
2.3 Tier – III Capital Tier III capital is the capital issued to meet solely the market risk capital charge in accordance with the criteria as laid down below. The principal form of eligible capital to cover market risk consists of shareholders' and retained earnings (Tier I Capital) and supplementary capital (Tier II Capital). But PDs may also employ a third tier of capital ("Tier III"), consisting of short-term subordinated debt, as defined below, for the sole purpose of meeting a portion of the capital requirements for market risks. For short-term subordinated debt to be eligible as Tier III Capital, it needs, if circumstances demand, to be capable of becoming part of PD's permanent capital and available to absorb losses in the event of insolvency. It must, therefore, at a minimum;
2.4 Guidelines on Subordinated Debt Instruments Guidelines relating to the issue of Subordinated Debt Instruments under Tier II and Tier III Capital are furnished below:
2.5 Minimum Requirement of Capital Funds In calculating eligible capital, it will be necessary first to calculate the PDs’ minimum capital requirement for credit risk, and thereafter its market risk requirement, to establish how much Tier I and Tier II capital is available to support market risk. Eligible capital will be the sum of the whole of the PDs’ Tier I capital, plus all of its Tier II capital under the limits imposed as summarized in Annex C. Tier III capital will be regarded as eligible only if it meets the criteria set out in para 2.3 above. 3.0 Measurement of Risk Weighted Assets: The details of credit risk weights for the various on-balance sheet items and off-balance sheet items based on the degree of credit risk and methodology of computing the risk weighted assets for the credit risk are listed in Annex A. The procedure for calculating capital charge for market risk is detailed in Annex B. In order to ensure consistency in the calculation of the capital requirements for credit and market risks, an explicit numerical link will be created by multiplying the measure of market risk by 6.67 (i.e., the reciprocal of the credit risk ratio of 15%) and adding the resulting figure to the sum of risk-weighted assets compiled for credit risk purposes. The ratio will then be calculated in relation to the sum of the two, using as the numerator only eligible capital as given in Annex C. 4.0 Regulatory reporting of Capital adequacy: All PDs should report the position of their capital adequacy in PDR III return on a quarterly basis. The PDR III statement is given in Annex D. Apart from the Appendices I to V which are to be submitted alongwith PDR III, PDs should also take into consideration the criteria for use of internal model to measure market risk capital charge (as given in Annex E) alongwith the "Back Testing" mechanism (detailed in Annex F) 5.0 Diversification of PD Activities 5.2 The capital charge for market risk (Value-at-Risk calculated at 99 per cent confidence interval, 15-day holding period, with multiplier of 3.3) for the activities defined below should not be more than 20 per cent of the NOF as per the last audited balance sheet:
5.3 PDs may calculate the capital charge for market risk on the stock positions / underlying stock positions/ units of equity oriented mutual funds using Internal Models (Value-at-Risk based) based on the guidelines prescribed in Appendix III of Annex D. PDs may continue to provide for credit risk arising out of equity, equity derivatives and equity oriented mutual funds as prescribed Annex A. 6.0 Risk reporting of derivatives business CAPITAL ADEQUACY FOR CREDIT RISK Risk weights for calculation of CRAR (a) On-Balance Sheet assets All the on-balance sheet items are assigned percentage weights as per degree of credit risk. The value of each asset/item is to be multiplied by the relevant risk weight to arrive at risk adjusted value of the asset, as detailed below. The aggregate of the Risk Weighted Assets will be taken into account for reckoning the minimum capital ratio.
(b) Off-Balance Sheet items The credit risk exposure attached to off-Balance Sheet items has to be first calculated by multiplying the face value of each of the off-Balance Sheet items by ‘credit conversion factor’ as indicated in the table below. This will then have to be again multiplied by the weights attributable to the relevant counter-party as specified above under balance sheet items.
* For guidelines on calculation of notional positions underlying the equity derivatives, please refer to section A.2, Annex B (Measurement of Market Risk) Note: Cash margins/deposits shall be deducted before applying the Conversion Factor. (c) Interest Rate Contracts Step 1
Step 2:
This will then have to be again multiplied by the weights attributable to the relevant counter-party as specified above. Foreign exchange contracts with an original maturity of 14 calendar days or less, irrespective of the counterparty, may be assigned "zero" risk weight as per international practice. MEASUREMENT OF MARKET RISK Market risk may be defined as the possibility of loss caused by change in market variables. The objective in introducing the capital adequacy for market risk is to provide an explicit capital cushion for the price risk to which the PDs are especially exposed in their portfolio. The methods for working out the capital charge for market risks are the standardised model and the internal risk management framework based model. PDs would continue to calculate capital charges based on the standardised method as also under the internal risk management framework based (VaR) model and maintain the higher of the two requirements. However, where price data is not available for specific category of assets, then PDs may follow the standardised method for computation of market risk. In such a situation, PDs shall disclose to Reserve Bank of India, details of such assets and ensure that consistency of approach is followed. PDs should obtain Reserve Bank of India’s permission before excluding any category of asset for calculations of market risk. The Bank would normally consider the instruments of the nature of fixed deposits, commercial bills etc., for this purpose. Such items will be held in the books till maturity and any diminution in the value will have to be provided for in the books. Note: In case of underwriting commitments, following points should be adhered to: a. In case of devolvement of underwriting commitment for government securities, 100% of the devolved amount would qualify for the measurement of market risk. b. In case of underwriting under merchant banking issues (other than G-secs), where price has been committed/frozen at the time of underwriting, the commitment is to be treated as a contingent liability and 50% of the commitment should be included in the position for market risk. However, 100% of devolved position should be subjected to market risk measurement. The methodology for working out the capital charges for market risk on the portfolio is explained below: A: Standardised Method: Capital charge under standardized method will be the measures of risk arrived at in terms of paragraphs A.1-3 below summed arithmetically. A1. For fixed income instruments Under standardized method, duration method would continue to apply as hitherto. Under this, the price sensitivity of all interest rate positions viz., Dated securities, Treasury bills, Bills purchased/Discounted, Commercial papers, PSU/FI/Corporate Bonds, Special Bonds, Mutual fund units and derivative instruments like IRS, FRAs, Interest Rate Futures etc., including underwriting commitments/devolvement and other contingent liabilities having interest rate/equity risk will be captured. In duration method, the capital charge is the sum of four components given below: a) the net short or long position in the whole trading book; c) a larger proportion of the matched positions across different time-bands (the “horizontal disallowance’’) ; d) a net charge for positions in options, where appropriate Note : Since blank short selling in the cash position is not allowed, netting as indicated at (a) and the system of `disallowances’ as at (b) and (c) above are applicable currently only to the PDs entering into FRAs/ IRSs/ exchange traded derivatives. However, under the duration method, PDs with the necessary capability may, with Reserve Bank of India’s permission use a more accurate method of measuring all of their general market risks by calculating the price sensitivity of each position separately. PDs must select and use the method on a consistent basis and the system adopted will be subjected to monitoring by Reserve Bank of India. The mechanics of this method are as follows:
Note : Points iii and iv above are applicable only where opposite positions exist as explained at Note above.
The gross positions in each time-band will be subject to risk weighting as per the assumed change in yield set out in Table 1, with no further offsets. A1.1. Capital charge for interest rate derivatives: The measurement system should include all interest rate derivatives and off balance-sheet instruments in the trading book which react to changes in interest rates, (e.g. forward rate agreements (FRAs), other forward contracts, bond futures, interest rate positions). A1.2. Calculation of positions The derivatives should be converted into positions in the relevant underlying and become subject to market risk charges as described above. In order to calculate the market risk as per the standardized method described above, the amounts reported should be the market value of the principal amount of the underlying or of the notional underlying. These instruments are treated as a combination of a long and a short position in a notional government security. The maturity of a future or a FRA will be the period until delivery or exercise of the contract, plus - where applicable - the life of the underlying instrument. For example, a long position in a June three-month interest rate future taken in April is to be reported as a long position in a government security with a maturity of five months and a short position in a government security with a maturity of two months. Where a range of deliverable instruments may be delivered to fulfill the contract, the PD has flexibility to elect which deliverable security goes into the maturity or duration ladder but should take account of any conversion factor defined by the exchange. In the case of a future on a corporate bond index, positions will be included at the market value of the notional underlying portfolio of securities. A1.4. Swaps Swaps will be treated as two notional positions in government securities with relevant maturities. For example, an interest rate swap under which a PD is receiving floating rate interest and paying fixed will be treated as a long position in a floating rate instrument of maturity equivalent to the period until the next interest fixing and a short position in a fixed-rate instrument of maturity equivalent to the residual life of the swap. For swaps that pay or receive a fixed or floating interest rate against some other reference price, e.g. a stock index, the interest rate component should be slotted into the appropriate repricing maturity category, with the equity component being included in the equity framework. A1.5. Calculation of capital charges (a) Allowable offsetting of matched positionsPDs may exclude from the interest rate maturity framework altogether (long and short positions (both actual and notional) in identical instruments with exactly the same issuer, coupon and maturity. A matched position in a future or forward and its corresponding underlying may also be fully offset, and thus excluded from the calculation. When the future or the forward comprises a range of deliverable instruments, offsetting of positions in the future or forward contract and its underlying is only permissible in cases where there is a readily identifiable underlying security which is most profitable for the trader with a short position to deliver. The leg representing the time to expiry of the future should, however, be reported. Security, sometimes called the "cheapest-to-deliver", and the price of the future or forward contract should in such cases move in close alignment. In addition, opposite positions in the same category of instruments can in certain circumstances be regarded as matched and allowed to offset fully. To qualify for this treatment the positions must relate to the same underlying instruments can be of the same nominal value. In addition: (i) for futures: offsetting positions in the notional or underlying instruments to which the futures contract relates must be for identical products and mature within seven days of each other; (ii) for swaps and FRAs: the reference rate (for floating rate positions) must be identical and the coupon closely matched (i.e. within 15 basis points); and (iii) for swaps, FRAs and forwards: the next interest fixing date or, for fixed coupon positions or forwards, the residual maturity must correspond within the following limits:
PDs with large swap books may use alternative formulae for these swaps to calculate the positions to be included in the duration ladder. One method would be to first convert the payments required by the swap into their present values. For that purpose, each payment should be discounted using zero coupon yields, and a single net figure for the present value of the cash flows entered into the appropriate time-band using procedures that apply to zero (or low) coupon bonds; these figures should be slotted into the general market risk framework as set out earlier. An alternative method would be to calculate the sensitivity of the net present value implied by the change in yield used in the duration method and allocate these sensitivities into the time-bands set out in Table 1. Other methods which produce similar results could also be used. Such alternative treatments will, however, only be allowed if:
General market risk applies to positions in all derivative products in the same manner as for cash positions, subject only to an exemption for fully or very closely-matched positions in identical instruments as defined in above paragraphs. The various categories of instruments should be slotted into the maturity ladder and treated according to the rules identified earlier. A 2. Capital charge for equity positions: A2.1. Equity positions This section sets out a minimum capital standard to cover the risk of holding or taking positions in equities by the PDs. It applies to long and short positions in all instruments that exhibit market behavior similar to equities, but not to non-convertible preference shares (which will be covered by the interest rate risk requirements). Long and short positions in the same issue may be reported on a net basis. The instruments covered include equity shares, convertible securities that behave like equities, i.e., units of MF and commitments to buy or sell equity securities. The equity or equity like positions including those arrived out in relation to equity /index derivatives as described below may be included in the duration ladder below one month. A2.2. Equity derivatives Equity derivatives and off balance-sheet positions which are affected by changes in equity prices should be included in the measurement system. This includes futures and swaps on both individual equities and on stock indices. The derivatives are to be converted into positions in the relevant underlying. A2.3. Calculation of positions In order to calculate the market risk as per the standardized method for credit and market risk, positions in derivatives should be converted into notional equity positions:
Note:As per the circular IDMD. PDRS./26/03.64.00/2006-07 dated July 4, 2006 on "Diversification of PD Activities", PDs have been allowed to calculate the capital charge for market risk on equity and equity derivatives using the Internal Models approach only. A.3 Capital Charge for Foreign Exchange Position (if permitted): PDs normally would not be dealing in foreign exchange transactions. However, by virtue of they having been permitted to raise resources under FCNR(B) loans route, subject to prescribed guidelines, may end up holding open foreign exchange position. This open position in equivalent rupees arrived at by marking to market at FEDAI rates will be subject to a flat market risk charge of 15%.
(II) the average of the daily value-at-risk measures on each of the preceding sixty business days, multiplied by a multiplication factor prescribed by Reserve Bank of India ( 3.3 presently). SUMMATION OF CAPITAL ADEQUACY REQUIREMENTS The capital adequacy requirements for the PDs will comprise
PDR III Return Statement of Capital Adequacy - Quarter ended -
Criteria for use of internal model to measure market risk capital charge A. General criteria 1. In order that the internal model is effective, it should be ensured that :
B.1 Qualitative standards The extent to which PDs meet the qualitative criteria contained herein will influence the level at which the RBI will ultimately set the multiplication factor referred to in Section B.3 (b) below, for the PD. Only those PDs, whose models are in full compliance with the qualitative criteria, will be eligible for use of the minimum multiplication factor. The qualitative criteria include:
B.2 Specification of market risk factors The risk measurement system should model the yield curve using one of a number of generally accepted approaches, for example, by estimating forward rates of zero coupon yields. The yield curve should be divided into various maturity segments in order to capture variation in the volatility of rates along the yield curve. For material exposures to interest rate movements in the major instruments, PDs must model the yield curve using all material risk factors, driven by the nature of the PD’s trading strategies. For instance, a PD with a portfolio of various types of securities across many points of the yield curve and that engages in complex arbitrage strategies, would require a greater number of risk factors to capture interest rate risk accurately. B.3. Quantitative standards a. PDs should update their data sets at least once every three months and should also reassess them whenever market prices are subject to material changes. Reserve Bank of India may also require a PD to calculate their value-at-risk using a shorter observation period if, in it’s judgement, this is justified by a significant upsurge in price volatility. b. The multiplication factor will be set by Reserve Bank of India on the basis of the assessment of the quality of the PD’s risk management system, as also the back testing framework and results, subject to an absolute minimum of 3. The document `Back testing’ mechanism to be used in conjunction with the internal risk based model for market risk capital charge’, enclosed as Annex-F, presents in detail the back testing mechanism. PDs will have flexibility in devising the precise nature of their models, but the parameters indicated at Annex-E are the minimum which the PDs need to fulfill for acceptance of the model for the purpose of calculating their capital charge. Reserve Bank of India will have the discretion to apply stricter standards. B.4 Stress testing 1. PDs that use the internal models approach for meeting market risk capital requirements must have in place a rigorous and comprehensive stress testing program to identify events or influences that could greatly impact them. 2. PD’s stress scenarios need to cover a range of factors than can create extraordinary losses or gain in trading portfolios, or make the control of risk in those portfolios very difficult. These factors include low-probability events in all major types of risks, including the various components of market, credit and operational risks.3. PD’s stress test should be both of a quantitative and qualitative nature, incorporating both market risk and liquidity aspects of market disturbances. Quantitative criteria should identify plausible stress scenarios to which PDs could be exposed. Qualitative criteria should emphasize that two major goals of stress testing are to evaluate the capacity of the PD’s capital to absorb potential large losses and to identify steps the PD can take to reduce its risk and conserve capital. This assessment is integral to setting and evaluating the PD’s management strategy and the results of stress testing should be regularly communicated to senior management and, periodically, to the PD’s Board of Directors. 4. PDs should combine the standard stress scenarios with stress tests developed by PDs themselves to reflect their specific risk characteristics. Specifically, Reserve Bank of India may ask PDs to provide information on stress testing in three broad areas, which are discussed below. (a) Scenarios requiring no simulations by the PD (b) Scenarios requiring a simulation by the PD PDs should subject their portfolios to a series of simulated stress scenarios and provide Reserve Bank of India with the results. These scenarios could include testing the current portfolio against past periods of significant disturbance, incorporating both the large price movements and the sharp reduction in liquidity associated with these events. A second type of scenario would evaluate the sensitivity of the PD’s market risk exposure to changes in the assumptions about volatilities and correlations. Applying this test would require an evaluation of the historical range of variation for volatilities and correlations and evaluation of the PD’s current positions against the extreme values of the historical range. Due consideration should be given to the sharp variation that at times has occurred in a matter of days in periods of significant market disturbance. (c) Scenarios developed by the PD itself to capture the specific characteristics of its portfolio In addition to the scenarios prescribed by Reserve Bank of India under (a) and (b) above, a PD should also develop its own stress tests which it identified as most adverse based on the characteristics of its portfolio. PDs should provide Reserve Bank of India with a description of the methodology used to identify and carry out stress testing under the scenarios, as well as with a description of the results derived from these scenarios. The results should be reviewed periodically by senior management and should be reflected in the policies and limits set by management and the Board of Directors. Moreover, if the testing reveals particular vulnerability to a given set of circumstances, Reserve Bank of India would expect the PD to take prompt steps to manage those risks appropriately (e.g. by reducing the size of its exposures). B.5 External Validation PDs should get the internal model’s accuracy validated by external auditors, including at a minimum, the following:
“BACK TESTING” mechanism to be used in conjunction with the internal risk based model for market risk capital charge The following are the parameters of the back testing framework for incorporating into the internal models approach to market risk capital requirements. Primary Dealers that have adopted an internal model-based approach to market risk measurement are required routinely to compare daily profits and losses with model-generated risk measures to gauge the quality and accuracy of their risk measurement systems. This process is known as "back testing". The objective of the back testing efforts is the comparison of actual trading results with model-generated risk measures. If the comparison uncovers sufficient differences, problems almost certainly must exist, either with the model or with the assumptions of the back test. Description of the back testing framework Under the Value-at-Risk framework, the risk measure is an estimate of the amount that could be lost on a set of positions due to general market movements over a given holding period, measured using a specified confidence level. The back tests to be applied compare whether the observed percentage of outcomes covered by the risk measure is consistent with a 99% level of confidence. That is, they attempt to determine if a PD’s 99th percentile risk measures truly cover 99% of the firm’s trading outcomes. i) Significant changes in portfolio composition relative to the initial positions are common at trading day end. For this reason, the back testing framework suggested involves the use of risk measures calibrated to a one-day holding period. A more sophisticated approach would involve a detailed attribution of income by source, including fees, spreads, market movements, and intra-day trading results. Primary Dealers should perform back tests based on the hypothetical changes in portfolio value that would occur were end-of-day positions to remain unchanged. Primary Dealers should perform back tests using both hypothetical and actual trading outcomes. The steps involve calculation of the number of times that the trading outcomes are not covered by the risk measures (“exceptions”). For example, over 200 trading days, a 99% daily risk measure should cover, on average, 198 of the 200 trading outcomes, leaving two exceptions. The back testing framework to be applied entails a formal testing and accounting of exceptions on a quarterly basis using the most recent twelve months of date. Primary Dealers may however base the back test on as many observations as possible. Nevertheless, the most recent 250 trading days' observations should be used for the purposes of back testing. The usage of the number of exceptions as the primary reference point in the back testing process is the simplicity and straightforwardness of this approach. Normally, in view of the 99% confidence level adopted, a level of 4 exceptions in the observation period of 250 days would be acceptable to consider the model as accurate. Exceptions above this, would invite supervisory actions. Depending on the number of exceptions generated by the Primary Dealer’s back testing model, both actual as well as hypothetical, Reserve Bank of India may initiate a dialogue regarding the Primary Dealer’s model, enhance the multiplication factor, may impose an increase in the capital requirement or disallow use of the model as indicated above depending on the number of exceptions. In case large number of exceptions are being noticed, it may be useful for the PDs to dis-aggregate their activities into sub sectors in order to identify the large exceptions on their own. The reasons could be of the following categories : Basic integrity of the model 1. The PD’s systems simply are not capturing the risk of the positions themselves (e.g. the positions of an office are being reported incorrectly). 2. Model volatilities and/or correlations were calculated incorrectly (e.g. the computer is dividing by 250 when it should be dividing by 225). Model’s accuracy could be improved 3. The risk measurement model is not assessing the risk of some instruments with sufficient precision (e.g. too few maturity buckets or an omitted spread).Bad luck or markets moved in fashion unanticipated by the model 4. Random chance (a very low probability event). 5. Markets moved by more than the model predicted was likely (i.e. volatility was significantly higher than expected). 6. Markets did not move together as expected (i.e. correlations were significantly different than what was assumed by the model). Intra-day trading 7. There was a large (and money-losing) change in the PD’s positions or some other income event between the end of the first day (when the risk estimate was calculated) and the end of the second day (when trading results were tabulated).
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