87810 A WORLD BANK STUDY Macroprudential Policy Framework A PRACTICE GUIDE Damodaran Krishnamurti and Yejin Carol Lee Macroprudential Policy Framework A WORLD BANK STUDY Macroprudential Policy Framework A Practice Guide Damodaran Krishnamurti and Yejin Carol Lee Washington, D.C. © 2014 International Bank for Reconstruction and Development / The World Bank 1818 H Street NW, Washington DC 20433 Telephone: 202-473-1000; Internet: www.worldbank.org Some rights reserved 1 2 3 4 17 16 15 14 World Bank Studies are published to communicate the results of the Bank’s work to the development com- munity with the least possible delay. The manuscript of this paper therefore has not been prepared in accordance with the procedures appropriate to formally edited texts. This work is a product of the staff of The World Bank with external contributions. Note that The World Bank does not necessarily own each component of the content included in the work. 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Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Contents Acknowledgments vii Abbreviations ix Chapter 1 Introduction 1 Chapter 2 Macroprudential Approach to Supervision 3 The Term Macroprudential 3 Scope and Objective 5 Chapter 3 Institutional Framework 9 Mandate and Powers 9 Institutional Structure 10 Governance Arrangements 14 Notes 18 Chapter 4 Early Warning Systems 19 Perimeter of Surveillance 19 Early Detection of Systemic Risk 20 Early Warning Indicators 21 Thresholds and Triggers for Risk Indicators 26 Communication 27 Challenges to Successful Implementation of the Early Warning System 28 Chapter 5 Macroprudential Policy Options 31 Overview 31 Past Use of Macroprudential Instruments and Recent Trends 32 How to Use Macroprudential Policy Instruments 34 Challenges to Successful Implementation of Macroprudential Policy 36 Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6  v vi Contents Chapter 6 Conclusion 41 Appendix A Quick Reference Guide: For Implementation   of a Macroprudential Policy Framework 45 Appendix B Stability Indicators and Maps: Example from India 49 Appendix C Macroprudential Policy Instruments: A Toolkit 51 References and Further Reading 59 Boxes 2.1 Fallacy of Composition: How Individually Acceptable   Behavior Can Contribute to Macroprudential Concerns 6 3.1 Key Desirables for Macroprudential Policy Arrangements 17 4.1 Data and Information Gaps 29 5.1 Basel III: The Foundation for a Macroprudential Framework 33 6.1 Broad Principles for the Design and Operation of   Macroprudential Policy 41 Figures 3.1 Central Bank Board as Macroprudential Authority 13 3.2 Committee Structure as Macroprudential Authority 13 4.1 Example of a Heat Map at an Aggregate Level 27 Tables 2.1 The Macro- and Microprudential Perspectives Compared 5 3.1 Which Institution Has Been Given the Macroprudential Mandate? 12 4.1 A Menu of Early Warning Indicators 24 4.2 Possible Layout for a Risk Dashboard 26 5.1 Experience with Macroprudential Tools in Asia 32 5.2 Macroprudential Policy Instruments—Summary 35 5.3 How to Use Macroprudential Instruments—Some Considerations 37 Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Acknowledgments This World Bank study, Macroprudential Policy Framework, a Practice Guide, was written by Krishnamurti Damodaran (Lead Financial Sector Specialist, World Bank) and Yejin Carol Lee (Financial Sector Specialist, World Bank) and benefited from various reports that had been written on the topic already. The team benefited from discussions and insightful comments from Miquel Dijkman, Ji Hoon Jeong, Samuel Munzelle Maimbo, Claire McGuire, Cedric Mousset, David Scott, and James Seward that helped shape the Guide during the peer review process. The authors are especially grateful for the guidance provided by Abayomi Alawode, Mario Guadamillas, David Scott, and Tunc Tahsin Uyanik; for the editorial review by Carolyn Goldinger; for publishing support from Mary Fisk, Susan Graham, and Abdia Mohammed, and the invaluable support, during all stages, from Rajesh Dongol and Liudmila Uvarova. Any errors are the authors’. Comments and questions may be sent to kdamodaran1@worldbank.org and ylee5@worldbank.org. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 vii Abbreviations BIS Bank for International Settlements CCP central counterparty CDS credit default swaps CGFS Committee on Global Financial System CLI composite leading indicator DTI debt service-to-income EMDE emerging market and developing economies EME emerging market economies EWI early warning indicators EWS early warning system FDI foreign direct investments FMI financial market infrastructure FSB Financial Stability Board FSR financial stability report G-20 Group of Twenty Finance Ministers and Central Bank Governors GDP gross domestic product IMF International Monetary Fund LCR liquidity coverage ratio LI leading indicator LTD loan-to-deposit LGD loss given default LTV loan-to-value MOF ministry of finance MoU memorandum of understanding NOP net open currency position NPL nonperforming loan NSFR net stable funding ratio OTC over the counter PD probability of default RWA risk-weighted assets SIB systemically important banks SIFI systemically important financial institution Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 ix CHAPTER 1 Introduction This Practice Guide is primarily intended as a reference and guidance for emerging market economies in their migration to a formal macroprudential policy framework. It relies largely on the existing wisdom, knowledge, and expe- rience and was written with the intention of assisting policy makers (and the World Bank staff working with these authorities) in the implementation of mac- roprudential policy frameworks in jurisdictions with the following characteristics representative of a typical emerging market and developing economy (EMDE): • A simple and bank-dominated financial system where other financial sector segments are much smaller, but growing • Banking supervision function is within the central bank • Financial sector regulation/supervision is not integrated • Uncertain availability of quality data. While much of the text may be applicable to most economies, the above distinction is made in order to narrow the scope and address issues that are at the forefront for the target audience. A macroprudential policy framework is not a “silver bullet” for safeguarding financial stability. A key point to bear in mind from the outset may be that there are no formulaic macroprudential solutions that apply across jurisdictions, just as the challenges and degrees thereof vary significantly; thus, any guidance will need appropriate customization and nuancing to achieve the best results in each juris- diction where it is practiced. While implementing macroprudential policy, one also must take into account the institutional, policy, and legal frameworks in the respective jurisdiction. As such, the Practice Guide aspires to offer practical guid- ance while assuming a more humble tone with regard to some aspects by guiding the authorities to “ask the right questions” rather than trying to “answer the ques- tions that might be raised.” It is in this context that a Quick Reference Guide has been developed with a list of questions to guide the policy makers and the users of this guide to better understand the issues and customise implementation (appendix A). Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6  1 2 Introduction It is also useful to highlight that a macroprudential policy framework cannot take the place of other public policy frameworks. Authorities can view a macro- prudential policy framework as one more public policy option that is available to them in addition to monetary policy, fiscal policy, or regulatory policy. Similarly macroprudential policy does not come at the cost of ignoring microprudential supervision. A strong and robust microprudential supervisory framework is the foundation for effective conduct of macroprudential policy. While pursuing macroprudential policy to build a more resilient financial system, authorities should also take into consideration the significant financial development needs that may exist in their respective jurisdictions. In dealing with the challenges of striking a balance between financial stability and develop- ment objectives, jurisdictions frequently face a trade-off. The challenge is to properly calibrate these two competing needs. A well-designed macroprudential framework can make an important contribution by generating “warnings” of buildup of potential sources of systemic risk, including those that may arise on account of pursuit of development objectives. At the same time, care needs to be exercised so that the financial development objective does not divert attention from the macroprudential policy objective. This Practice Guide has been structured in a logical sequence that mirrors implementation. The second and third sections are laid out to clarify and provide some context to the concept of a macroprudential approach to supervision and discuss the institutional framework. The fourth and fifth sections deal with the operational aspects of macroprudential policy framework that are timely detec- tion of systemic risks using early warning systems and addressing the buildup of systemic risks with macroprudential policy instruments. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 CHAPTER 2 Macroprudential Approach to Supervision Policy responses to the 2007–08 global financial crisis have emphasised the importance of a macroprudential perspective to regulation and supervision. The regulatory failures in some jurisdictions had fueled the crisis, but it had also become clear that systemic vulnerabilities arising from excess liquidity, leverage, risk-taking, and risk concentrations across the financial system were at the root of the systemic crisis. While it was recognized that it is essential to improve microprudential regulation to promote the resilience of individual financial insti- tutions, it was also recognized that national regulatory frameworks should be reinforced with a systemwide approach to financial regulation and oversight, with a view to mitigate the buildup of excess risks across the system (G-20 Working Group 2009). Consequently, a significant part of the initiatives by the international bodies, coordinated by the G-20 and the FSB, has been devoted to the development of a macroprudential policy framework. Policy makers, standard setters, financial sector participants, academicians, practitioners, and observers have contributed to the ongoing debate and literature on macroprudential policy. A macroprudential poli- cy framework is seen as an appropriate policy response to changing global financial environment and is considered necessary to promote financial system stability. While there is a general perception of what a macroprudential policy frame- work is, several jurisdictions look for greater clarity on the design, architecture, mechanics, and ownership of such a framework. With the abundant literature on the topic, authorities in several jurisdictions are working toward, or are seri- ously contemplating, putting in place a macroprudential policy framework, but are still at some loss as to how they should go about this task. This Practice Guide makes a humble attempt to bridge this gap. The Term Macroprudential The term macroprudential has been in use for over four decades, but it has become quite prominent recently. While references are made to the first Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6  3 4 Macroprudential Approach to Supervision official use of the term in 1979, the first appearance of the term in a public document was in 1986, in the BIS Euro-currency Standing Committee (prede- cessor to the Committee on Global Financial System [CGFS]) report Recent Innovations on International Banking where it referred to the policy as one that promotes “the safety and soundness of the broad financial system and pay- ments mechanism” (Clement 2010). The term began to be used more widely in the wake of the 1997 Asian crisis with the development of “macroprudential indicators” to better evaluate financial system vulnerabilities. The meaning of macroprudential became clearer in 2000 when two distinguishing features of the macroprudential approach to supervision were outlined: first, a focus on the financial system as a whole; second, a recognition that aggregate risk was dependent on the collective behaviour of financial institutions (Crockett 2000). At the Bank for International Settlements (BIS), macroprudential policy refers to [the] use of prudential tools with the explicit objective of promoting the stability of the financial system as a whole, not necessarily of the individual institu- tions within it (Clement 2010). “Macroprudential policy” comprises three defining elements, namely its objec- tive, its scope, and its instruments (FSB-IMF-BIS 2011). Its objective is to limit systemic risk, which is the risk of widespread disruptions to the provision of financial services that have serious negative consequences for the economy at large. Its scope is the financial system as a whole (including the interactions between the financial and real sectors) as opposed to individual components (that take the rest of the system as given). It primarily uses prudential instruments cali- brated to target the sources of systemic risk. Any nonprudential instruments that are part of the toolkit (for example, financial market infrastructure policies) also need to clearly target systemic risk. Elucidation of the term macroprudential by Claudio Borio of the BIS is infor- mative (Borio 2010). He explains that macroprudential is an orientation or per- spective of regulatory and supervisory arrangements. It means • Calibrating regulation and supervision from a systemwide or systemic per- spective, rather than from that of the safety and soundness of individual insti- tutions on a stand-alone basis • Following a top-down approach, working out the desirable safety standard for the system as a whole, and, from there, deriving that of the individual institu- tions within it • Taking explicitly into account the fact that drivers of risk depend on the col- lective behavior of financial institutions (are endogenous), and are not some- thing outside their influence (exogenous). Asset prices and the macroeconomy are not a given, as they may appear to each individual firm; they reflect systematically each firm’s decisions along with those of its peers. The differences in perspectives of microprudential and macroprudential approaches are broadly understood. Macroprudential policy focuses on aggre- gate risk arising out of the interactions between financial institutions, markets, Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Macroprudential Approach to Supervision 5 infrastructure, and the wider economy. Microprudential policy focuses on the risks in individual entities, which tend to assume the financial system and the economy as given. These two dimensions of prudential policy are not intended to substitute sound risk management by the entities that should ideally inter- nalise the risk of potential losses (CGFS 2010). Table 2.1 clearly captures the differences in the two perspectives. Table 2.1  The Macro- and Microprudential Perspectives Compared Macroprudential Microprudential Proximate objective limit financial systemwide limit distress of individual distress institutions Ultimate objective avoid output (GDP) costs consumer (investor/depositor) protection Model of risk (in part) endogenous exogenous Correlations and common ex- important irrelevant posures across institutions Calibration of prudential in terms of systemwide distress; in terms of risks of individual controls top-down institutions; bottom-up Source: Borio 2003. Note: GDP = gross domestic product. Scope and Objective The objectives of macroprudential policy are to reduce the risk of episodes of financial system distress and to avoid or reduce the costs of such distress for the real economy. In simple terms, macroprudential policy aims to enhance the financial system’s resilience to shocks and to limit the buildup of risks in the financial system. Efforts are directed toward identification of systemic risks to financial markets that can have implications for the real economy, strengthening the resilience of the financial system to preserve financial stability, and avoiding, to the extent possible, a recurrence of another crisis. To meet these objectives the macroprudential framework will need to regularly monitor risks to financial sys- tem stability, analyze and assess the contributing factors, and determine the appropriate policy responses to address these risks and implement those policies. Macroprudential approach has two dimensions, a time dimension and a cross- sectional dimension (Borio 2010). The time dimension deals with how aggregate risk in the financial system evolves over time. The cross-sectional dimension deals with how risk is allocated across the financial system at a point in time. 1. In the time dimension, the source for systemwide distress is the procyclicality of the financial system, that is, those mechanisms that (1) operate within the financial system and between the financial system and the macroeconomy, and (2) can generate amplified financial cycles and business fluctuations. In the time dimension, the aim of macroprudential policy is to reduce procycli- cality in the financial system through prudential tools, which will calibrate with the stage of the economic cycle. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 6 Macroprudential Approach to Supervision 2. In the cross-sectional dimension, the source of systemic risk is the common exposures and interlinkages in the financial system that can result in joint failures of financial institutions by making them vulnerable to common sourc- es of risk. In the cross-sectional dimension, the aim is to capture the system- wide risk and to calibrate the prudential tools according to the individual institution’s contribution to systemic risk. Financial entities have a collective tendency to assume excessive risk in an upswing and become excessively risk-averse during the downswing. This ten- dency can, for example, manifest in procyclicality in leverage and maturity trans- formations of the financial system. It can lead to concentrations on the assets side to specific entities, sectors, or products or on the liabilities side to reliance on certain funding products or sources. These aggregate risk positions are not likely to be taken into consideration either by the individual banks in their risk manage- ment frameworks or by the regulators focusing on individual bank balance sheets. In these circumstances, a macroprudential approach to supervision will help in capturing the system-level risks. Individual financial entities are not likely to take into account the spillover effects of their actions on other participants in the financial system (network) and are also not likely to take on board the impact of others’ actions on their balance sheets. This leads to a situation where some risks in the financial system go unnoticed or unaddressed. This network risk is an externality in the system to the extent that no one single entity is likely to take action to address it, although it is borne by all. These network risks are often potent, operate across entities, and are likely to amplify over time, leading to situations of over leverage or evolution of too big to fail entities (box 2.1). Box 2.1  Fallacy of Composition: How Individually Acceptable Behavior Can Contribute to Macroprudential Concerns In trying to make themselves safer, banks and other highly leveraged financial intermediaries can behave in ways that collectively undermine the system. This is in essence what differenti- ates macroprudential from microprudential concerns. Here is an example of macroprudential concerns. Selling an asset when it appears to be risky may be considered a prudent response for an individual bank and is supported by much current regulation. But if many banks do this, the asset price will collapse, forcing risk-averse institutions to sell more and leading to general declines in asset prices, higher correlations and volatility across markets, spiraling losses, and collapsing liquidity. Microprudential be- havior can cause or worsen systemic risks. A macroprudential approach to an increase in risk is to consider systemic behavior in the management of that risk: who should hold it, and do they have the incentive to do so? If it is liquidity risk, is it in the interests of the system if all institutions, regardless of their liquidity conditions, sell the same asset at the same time? box continues next page Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Macroprudential Approach to Supervision 7 Box 2.1  Fallacy of Composition: How Individually Acceptable Behavior Can Contribute to Macroprudential Concerns (continued)   Risk in a financial system is more than an aggregation of risks in individual institutions; it is also about endogenous risks that arise as a result of the collective behavior of institutions…. …Through many avenues, some regulatory and some not, often in the name of prudence, transparency, and sensitivity to risk, the growing influence of current market prices has inten- sified homogeneous behavior in financial systems. These avenues include mark-to-market valuation of assets; regulator-mandated market-based measures of risk, such as the use of credit spreads in internal credit models or price volatility in market risk models; and the in- creasing use of credit ratings, where the signals are slower moving but positively correlated with financial markets. Where measured risk is based on market prices, or on variables corre- lated with market prices, it can contribute to systemic risk as market participants herd into areas that appear to be safe. And measured risk can be highly procyclical, because it falls in the buildup to booms and rises in volatile busts. Source: Excerpts from Persaud 2009. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 CHAPTER 3 Institutional Framework Mandate and Powers Among the first questions that might come up for consideration while a jurisdic- tion is implementing a macroprudential policy framework is “whether a jurisdiction needs to designate an agency (which could include a committee or council of several agencies) as the macroprudential authority.1 Once a jurisdiction has decided to adopt a macroprudential approach, it will benefit by identifying or designating an agency as the macroprudential authority, because such designa- tion will be accompanied by clarity of roles and responsibilities of the several agencies operating in that jurisdiction with regard to macroprudential policy and will help in a comprehensive and meaningful implementation of macropruden- tial policy. Given the wide scope and challenging objective of macroprudential policy, and in the interest of efficiency and accountability, it will be useful to explicitly assign this mandate to a single lead agency or a body (perhaps a com- mittee or council) representing relevant agencies.2 To help in identifying or designating an agency, it is important to understand how a macroprudential authority is to be equipped. Some of the key elements that a macroprudential authority should be equipped with include the following: a clear mandate; independence; adequate resources; and powers to define the perimeter for macroprudential surveillance, to access information from all rele- vant entities and markets, and to operate or direct the operation of policy tools. These elements also need to be adequately balanced with appropriate gover- nance and accountability requirements. The macroprudential authority should have a clear mandate that will enable it to perform effectively. The authority should have a clear and unambiguous mandate for promoting financial stability. Care should be exercised to avoid any overlaps of mandates. Where already more than one agency has been assigned the financial stability mandate, there should be appropriate cooperation and coordination mechanisms and clarity on sharing of responsibilities. Care should also be exercised to avoid conflicts in mandate. For example, it can be tempting to take advantage of the macroprudential authority’s membership to vest the same authority with financial sector development objectives. However, doing so Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6  9 10 Institutional Framework can dilute its effectiveness as the development objective can conflict with the (primary) macroprudential objective. The macroprudential authority should have the power to define its oversight perimeter. As the authority needs to adopt a systemwide view, it should be empowered to extend the perimeter of its surveillance to unregulated (for example, state-owned financial entities, development finance institutions, finance companies, and hedge funds) and less-regulated entities (for example, credit unions, micro-finance institutions, cooperative banks, mutual funds, and pension funds).3 The authority should be able to extend the scope of regulation to include all financial markets, market infrastructures, and financial products. It should be empowered to access data and information pertaining to all relevant entities, either directly or indirectly through other agencies. The macroprudential authority should also have adequate powers to initiate or require policy responses when warranted. The authority should be able to either activate the requisite policy response or at least require that such policy response be activated by another agency, particularly when the power to use a policy tool is vested in another authority, such as the microprudential supervisor. Without clear and explicit powers the macroprudential authority may not be able to respond or require a response, leading to delays or gaps in the macroprudential policy framework. If the macroprudential authority acts without clear powers, such action may be deemed as intrusion of the authority of the other agency(ies). To achieve the macroprudential objectives, it may seem better to enshrine in legislation the macroprudential authority’s powers. When not explicit in law, the same outcome can be achieved when the relevant agencies have an arrangement (for example, through a memorandum of understanding [MoU]) that commits the relevant agencies to act as required by the macroprudential authority. The discussion so far seems to warrant a clear establishment in legislation of the mandates and powers of the macroprudential authority. However, one may ask whether it is a prerequisite that the macroprudential authority and the sup- porting framework be established in law before the authorities can practice a macroprudential approach to supervision. The experience in some jurisdictions, particularly where the central bank is also the prudential supervisor or where the jurisdiction decides to practice and learn before formalizing the framework in law, suggests that authorities can derive value in practising and learning while doing before they capture the frameworks in legislation. At the same time, in some jurisdictions, formalizing into law can become necessary before they can even practice. The need for explicit mention in law about the macroprudential author- ity’s mandate and powers will depend on the clarity of the mandates and powers of the constituent agencies as already stated in laws, and the effectiveness of the existing level of cooperation and coordination among the various stakeholders. Institutional Structure The institutional structure for macroprudential supervision should take into account the country-specific situation. One would hesitate to be prescriptive Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Institutional Framework 11 about the institutional structure for the macroprudential authority in a Guide such as this but taking into account the typical characteristics of emerging market and developing economies (EMDEs), this Guide suggests some options for con- sideration. The macroprudential authority can be located either within the cen- tral bank (a committee of its board) or outside (as a committee of representative agencies), but would typically include the central bank (in the lead), and the microprudential supervisors.4 The structure may include the deposit insurance agency or the bank resolution authority and the ministry of finance (MOF) depending on the extent of supervisory roles that they have been assigned. In the focus countries (EMDEs) with bank-dominated, simple financial sys- tems, two agencies may seem to be close contenders—the central bank and the supervisory authority. Traditionally, a central bank plays the following roles: is responsible for monetary policy; devotes considerable resources to analysis of macroeconomic and financial trends; is able to impact system level liquidity at very short notice; is the lender of last resort; oversees and ensures resilience of the payment and settlement systems; and oversees the key financial markets, namely, the overnight and term interbank markets and the foreign exchange markets. Central banks are also usually the ultimate guarantors of financial system stability. Hence, central banks may tend to be a natural choice for being the macropruden- tial authority or at least the lead agency within the macroprudential authority. The choice can become easier in jurisdictions where the central bank is also responsible for microprudential supervision.5 The experience in Asia has dem- onstrated that when the central banks are also responsible for bank supervision, they are prepared to be held responsible for using supervisory tools to maintain the stability of the financial system (Caruana 2010). Traditionally, central banks have been playing the role of macroprudential policy makers through imposition of liquidity requirements and being a repository of tools with clear prudential implications. The lessons learned from the crisis seem to suggest that central banks would be the ideal authority for handling macroprudential responsibilities for the EMDEs. Further, the complementarities among macroprudential policy, monetary policy, and bank supervision make central banks a prominent candi- date for assuming the macroprudential policy role. This should, however, come with the accompanying governance arrangements that are discussed in the next section. The results of an IMF survey in 2010 are quite illustrative of the preferences for institutional mandates (IMF 2011a). Of the 51 countries (including 28 emerging market economies [EMEs]) that responded to the survey, 22 countries (including 14 EMEs) indicated that an agency or body has been assigned a formal macroprudential policy mandate, and 15 (including eight EMEs) indicated hav- ing plans to do so in the next three years. Of the 22 countries with a formal mandate, the central bank has been assigned this mandate (either singly or with other agencies) in 19 countries (includes 13 EMEs). The MOF is a part of the macroprudential institutional structure in five of these countries. The details of the other agencies that have been assigned this mandate, in most cases jointly with the central bank, are presented in table 3.1. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 12 Institutional Framework Table 3.1  Which Institution Has Been Given the Macroprudential Mandate? EMEs Advanced Central banks 13 6 Financial stability council/committee 4 5 Ministry of finance 3 2 Banking regulator/supervisor 2 3 Insurance regulator/supervisor 2 1 Integrated financial regulator/supervisor 0 1 Securities regulator/supervisor 1 0 Deposit insurance agency 0 2 Other 2 0 Source: IMF 2011a. Note: EME = emerging market economy. In a jurisdiction where the central bank is assigned the mandate for macro- prudential policy and is also responsible for microprudential supervision, the structure of the macroprudential authority can be as presented in figure 3.1. As is the case in several emerging economies, where the central bank is also assigned the responsibilities for bank supervision and where banks are a dominant part of the financial system, the macroprudential role can be performed by a committee of the central bank board. In this structure, the central bank governor can chair the committee with the deputy governors responsible for monetary policy, finan- cial stability, and microprudential supervision as members. In jurisdictions that have already established financial stability committees or councils, it is likely that the financial stability committee of the central bank will have a similar composi- tion and hence can fulfill the macroprudential mandate. In these jurisdictions, authorities need to consider whether it is efficient to have a separate committee for macroprudential policy. The roles of the deposit insurer, the resolution authority and the MOF in the macroprudential authority will depend on the degree of their involvement in supervision. When the central bank is not the microprudential supervisor, implementation of macroprudential policy will require a great level of coordination and cooperation between the central bank and the prudential supervisor. Supervisory inputs and judgment, including full and free access to supervisory information on an individual legal entity basis (when required), and the powers to issue and ensure compliance with macroprudential measures are key to an effective macroprudential policy. One way in which the policy can be effective is the establishment of an interagency body. A typical generic institutional model in this situation is depicted in figure 3.2. When adopting a committee or council structure for the macroprudential authority, it is advisable to designate one of the constituent agencies as the lead macroprudential agency. Typically this responsibility will tend to fall on the central bank in light of its role in implementing monetary policy, operating a systemwide overview, its analytical skills, and its financial stability mandate. This agency will also be better placed to provide the secretariat to the macroprudential authority. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Institutional Framework 13 Figure 3.1  Central Bank Board as Macroprudential Authority Governor Deputy Deputy governor, governor, monetary financial stability stability A central bank board committee as the macroprudential authority Deputy Ministry of governor, finance banking supervision Independent members of the board Source: World Bank data. Figure 3.2  Committee Structure as Macroprudential Authority Central bank Capital Bank markets supervisor supervisor A committee of representatives as the Deposit macroprudential Insurance insurer/ authority and pensions resolution supervisor authority Other Ministry of financial finance sector supervisors Source: World Bank data. ­ hough one might consider constituting the macroprudential authority to include T all relevant agencies that can contribute to fulfilling the macroprudential mandate, one should ensure that this does not result in a suboptimal outcome. When the relevant agencies are several, one option that can be considered is inclusion of the Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 14 Institutional Framework material stakeholders as regular members of the macroprudential authority and the association of other stakeholders on an “as needed” basis as invitees for select issues or as nonvoting members. The importance of cooperation and coordination with the microprudential supervisor cannot be over emphasised even when supervision is either within or under the central bank. In addition to the supervisory inputs, judgment, and access to information and prudential powers, such cooperation and coordination promote better communication of the macroprudential concerns and help in achieving optimum outcomes of macroprudential policy initiatives. The role of the MOF in the macroprudential authority needs to be crafted carefully. The presence of the MOF in the macroprudential authority can help in promoting new legislation and amendments, as may be required for ensuring effective operation of macroprudential policies. Its presence can also be relevant where there is a need for an arbiter to promote effective cooperation and coor- dination among the constituent agencies due to overlaps or lack of clarity in their roles and responsibilities. The MOF’s presence can, however, give rise to conflict or dilute the effectiveness of the macroprudential authority, particularly when there is a need for triggering countercyclical measures during boom times. One concern arising from the presence of the MOF in the macroprudential authority is that countercyclical measures may be delayed or the choice of the macropru- dential tools can be suboptimal. This result can be why the MOF has not been assigned a macroprudential mandate in several jurisdictions. However, when the MOF is regulating or supervising a significant segment of the financial system, then it can participate in its capacity as a microprudential supervisor. Clarity about the difference in the roles of the macroprudential authority and national crisis management authority will help. There may be some commonal- ity in the membership of these two authorities in a given jurisdiction, but their objectives are different. The macroprudential authority plays a key role in pre- serving financial stability, reducing the probability of instability, and reducing the impact of potential instability, if it were to occur. The national crisis management authority’s active role becomes relevant when there is an impending financial instability. In this context, the MOF can have a more prominent role in the national crisis management authority, as infusion of public funds can be an important tool or measure to manage the crisis. Governance Arrangements The macroprudential authority will need to have independence from political and financial market influences to perform an effective role. The institutional structure will require the macroprudential authority to effectively cooperate and coordinate with the other supervisory agencies. The roles and responsibilities of the various agencies towards macroprudential policy should be so defined and the governance structure should be so designed as to ensure that the macropru- dential authority is able to discharge its responsibilities to fulfill its mandate in an independent and unbiased manner. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Institutional Framework 15 Regardless of the chosen institutional structure, mitigation measures against possible pitfalls should be put in place. The discussion suggesting a lead role for the central bank in a macroprudential authority should not be construed as a model that does not have pitfalls. In some jurisdictions, independence of the central bank is not a given, and the concentration of powers under one institution may require appropriate balancing mechanisms. Some of these measures can include requiring the macroprudential authority to consider the costs and bene- fits of policy actions; to provide for transparency and accountability arrange- ments that allow for scrutiny; and to have a committee approach to decision making (Nier et al. 2011). The difficulty, however, is to strike a careful balance without fostering inaction or undue delay in decision making. A key consideration while establishing the institutional structure is whether to allow the authority to conduct macroprudential policy in a discretionary manner or whether to subject the authority to a rules-based framework. Macroprudential supervision involves a considerable amount of analysis and expert judgment. It is likely that discretion, when allowed, may not be exercised when required, because of political economy considerations or because the design of the institutional structure allows a dominant political economy or private sector role. This might not be a desirable outcome and hence a rules- based framework may seem to be desirable. On the other hand, it is also likely that in the initial years, due to lack of an adequate supporting framework (like a robust early warning system [EWS], high-quality and granular data, and lack of adequate knowledge of transmission channels or market behavior) the mac- roprudential authority may need some leeway to apply discretion. Macroprudential policy is largely closer to an art than a science at this point in time, requiring exercise of judgment. The middle path therefore may be to allow the macroprudential authority some discretion but to hold it accountable for its operations. Conceding that having a framework of healthy autonomy is an ideal option, this goal can be achieved through an enhanced governance framework. The ele- ments of the governance framework may include the following: • Establish clearly in law the agency or authority that will be responsible for macroprudential policy. • Define clearly and explicitly the objectives of the macroprudential authority. • Set out the relationships between the macroprudential authority and the other domestic regulators. • Articulate the macroprudential authority’s independence and skills, and the related accountability and disclosure frameworks. • Clearly set out the decision-making framework. • Set out clear and detailed processes which will support decision making. • Clearly articulate the menu of macroprudential tools that may be deployed to address vulnerabilities. • Publicly communicate the macroprudential assessments, and policy decisions, including the bases and analyses of the factors underlying the decisions. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 16 Institutional Framework • Hold the macroprudential authority accountable for its decisions to the legislative bodies or the general public. As macroprudential policy decisions are important public policy choices, having to explain why certain policy actions were chosen and why others were not is expected to serve as a sub- stantial constraint on discretion. Accountability can also provide appropriate incentives to the macroprudential authority to avoid forbearance and to act promptly, when required. The designation of a group of agencies as a macroprudential authority with or without a lead macroprudential agency can raise several questions about mandates, expertise, tools, immunities, and governance structures. Some of the relevant questions that the authorities need to raise and seek answers to are listed below. Several of these questions may have been addressed when a central bank that is designated as the macroprudential agency is also the banking supervisor and has an explicit mandate to maintain financial stability. • Is there a clear legislative basis for the financial stability mandate or a clear public understanding of the responsibility to ensure financial stability? • Does the macroprudential authority have the requisite expertise and resources? • Does the macroprudential authority have access to all information and data that are relevant for fulfilling its mandate? Is there an operating framework for the individual agencies to share information with the macroprudential authority? • Will decision making in the macroprudential authority be by consensus or by vote? • Does the macroprudential authority have the requisite policy instruments in its toolkit? Is there an administrative or legal basis for new tools or whether this needs to be established? • Does the macroprudential authority have powers to activate and deactivate the macroprudential policy instruments, or can it only make recommenda- tions? If the latter, what recourse does it have if the individual implementing agencies do not deploy the macroprudential measures or deploy inadequate or inappropriate measures? • Is the macroprudential authority’s independence adequate for new responsi- bilities? Does it need an extension of its legal immunities? • Is there a scope for the macroprudential authority to make suboptimal choic- es because of the institutional structure, lack of independence or autonomy? • Does the macroprudential authority need changes to its governance arrange- ments? The necessary issues that are to be considered while establishing mandates, institutional structure, and governance arrangements of the macroprudential authority are summarized in box 3.1. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Institutional Framework 17 Box 3.1  Key Desirables for Macroprudential Policy Arrangements General 1. The central bank should play an important role in macroprudential policy making. 2. Complex and fragmented regulatory structures are unlikely to be conducive to success- ful mitigation of systemic risk and should therefore be avoided. 3. Participation of the treasury in the policy process is useful, but a leading role poses risks. 4.  Systemic risk prevention and crisis management are different policy functions that should be supported by separate organizational arrangements. 5. Macroprudential policy frameworks should not become a vehicle to compromise the autonomy of other established policies. 6. Arrangements need to take account of country-specific circumstances. Provide for effective identification, analysis, and monitoring of systemic risk 7.  Mechanisms for effective sharing of all information needed to assess systemic risks should be in place. 8. At least one institution involved in assessing systemic risk should have access to all rele- vant data and information. It should be the one that disposes of the best existing exper- tise to assess systemic risk. 9. Mechanisms are needed to challenge dominant views of one institution. Provide for timely and effective use of macroprudential policy tools 10.  Institutional mechanisms should support willingness to act against the buildup of sys- temic risk and reduce the risk of delay in policy actions. 11. A lead macroprudential authority should be identified and be provided with a clear mandate and powers, in a manner that harnesses incentives of existing institutions to mitigate systemic risk. 12. The mandate needs to be matched by sufficient powers, including to initiate the use of prudential tools to address systemic risk. Mechanisms should be established to expand powers when needed. 13. The mandate should give primacy to the mitigation of systemic risk, but include sec- ondary objectives to ensure that the policy maker takes into account costs and trade-offs. 14. To guard against overly restrictive or inadequate policy, proper accountability and transparency need to be put in place, without unduly compromising the effectiveness of macroprudential policy. Provide for effective coordination across policies to address systemic risk 15.  Institutional integration of financial regulatory functions within the central bank can support effective coordination of macroprudential policy with monetary as well as microprudential policy, but also requires safeguards. box continues next page Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 18 Institutional Framework Box 3.1  Key Desirables for Macroprudential Policy Arrangements (continued)    16.  Where institutional separation of policy decisions and control over policy tools cannot be avoided, the legal framework needs to assign formal powers to recommend or direct action of other policy makers. 17.  Where there is distributed decision making among several agencies, establishing a coordinating committee is useful, but may not necessarily be sufficient to overcome collective action and accountability problems. Source: (Nier et al. 2011). Notes 1. This chapter provides suggestions and ideas on the institutional design of the macro- prudential authority in a country that has consciously decided to adopt the macropru- dential policy approach to financial sector supervision. While there are benefits to be derived from adoption of a macroprudential approach to supervision and policy mak- ing, the authors are aware that in some jurisdictions they may have more urgent and fundamental issues that may warrant the authorities’ attention, ahead of establishing a macroprudential authority. 2. In this chapter, macroprudential authority refers to a group of agencies that are col- lectively assigned the mandate of macroprudential policy. 3. The examples of unregulated or less-regulated entities are only indicative. It is likely that in some jurisdictions some of the entities included under “less-regulated entities” may actually be unregulated or regulated on par with banks. Similarly, it is likely that the entities listed as “unregulated entities” are actually subjected to some form of regu- lation in some jurisdictions. 4. Clearly, other institutional structures exist and have been covered in other works. For example, see IMF SDN/11/18 “Institutional Models for Macroprudential Policy,” November 2011, and IMF Working Paper WP/12/183, “Building Blocks for Effective Macroprudential Policies in Latin America: Institutional Considerations,” July 2012. 5. The term microprudential supervisor is used consistently in this paper to refer to the supervisory authorities responsible for supervising banking, insurance, and capital market participants, and other financial entities. The use of this term does not in any way suggest that the microprudential authorities “do not” or “will not” have a macro- prudential dimension to their supervisory responsibilities. Taking into account the dominance of the banking systems in most of the World Bank member jurisdictions, reference to bank supervisors in the paper is intended to refer to supervisors respon- sible for material parts of the financial sector. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 CHAPTER 4 Early Warning Systems The macroprudential authority needs a mechanism to detect buildup of system- wide risks and threats to financial stability. This can be achieved by establishing an efficient early warning system (EWS) that is designed to accomplish the following: 1. Monitor—cross-sectional and systemwide buildup of risks over time 2. Analyze—the developments and pick up signals of risk buildup 3. Interpret—the signals to derive a more holistic view of evolving risks 4. Assess—the vulnerabilities in the system on the basis of the holistic view 5. Identify—a need for a policy response 6. Communicate—assessment and warnings for initiating appropriate follow up policy response. Perimeter of Surveillance As a starting point, from an EMDE perspective, the surveillance perimeter should include all deposit-taking entities and all financial markets. The macroprudential authority will need to decide whether to confine the perim- eter to deposit-taking entities or to extend it to include non–deposit-taking entities that engage in maturity transformations and/or leveraged finance. This decision will be largely guided by the share of financial activity that is handled by the non–deposit-taking financial entities and the intensity of their regulation and supervision, if any. A point that can come up for consideration is whether financial entities that do not accept deposits but are funded through commer- cial papers, or bonds, or loans raised from banks should also be included. A conservative approach would be to include them along with deposit-taking entities, for surveillance. The macroprudential authority should also consider another dimension, namely whether to confine the perimeter to regulated entities. The factors that need to be considered are the significance of the entities outside the regulatory perimeter and those that are subjected to light regulations and oversight. The issues Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6   19 20 Early Warning Systems that can come up when the perimeter is confined to well-regulated entities include the danger of being blind to the developments in less-regulated or unregulated entities. When the perimeter is extended to all entities, it may be viewed as a form of implicit regulation and therefore there is the risk of moral hazard if the entities in the extended perimeter are perceived as having access to the official safety net. The macroprudential authorities in EMDEs would do well to have under their surveillance a significant majority of financial entities, irrespective of whether they are deposit taking and whether they are regulated. The guiding principle here can be to include financial entities that are accepting deposits or raising borrowing (that is, are leveraged) and are engaging in maturity transfor- mation or currency conversion. The question of enhancing the intensity of regu- lations (for those that are not as well regulated as banks) and the question of bringing unregulated entities under a regulatory framework will be subsequent decisions that will be guided by the risks posed by these entities to financial stability, both directly and indirectly. These decisions can be part of the macro- prudential responses to evolving risks. Another question that can arise is whether the macroprudential authority should extend the perimeter to a financial market infrastructure (FMI) and financial products. One way of approaching this question can be by defining a “financial entity” to include those that constitute an FMI—for example, clearing- house and central counterparty. While it might appear that a credit information bureau or a trade repository of over-the-counter (OTC) transactions may not need ongoing surveillance, a point that may need consideration is the potential impact on markets or market participants if their operations were disrupted. On financial products, it would seem that the macroprudential authority might not ab-initio have a product approach to its surveillance, but should be able to reori- ent its surveillance to focus on financial products, if and when it perceives that a product is posing risks to financial stability. Early Detection of Systemic Risk A key component of a macroprudential policy framework is a mechanism for early detection of systemic risk. Systemic risk is the risk of disruptions to finan- cial services (including credit intermediation, risk management and payment services) that is caused by an impairment of all or parts of the financial system, and poses serious negative consequences for the real economy. Systemic risk is driven by economic and financial cycles over time, as well as by the degree of interconnectedness of financial institutions and markets. The term systemic risk is widely used but difficult to define and quantify. Systemic risk can manifest itself through individual institutions or a group of institutions. Individual institutions tend to manage the risks they face and ignore the risk they contribute to the system (externality). Aggregation of the risks posed by individual institutions, that are not managed by their respective risk management frameworks, contribute to systemic risk. Developments in individual institutions can also have systemic implications. Individual institutions assume Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Early Warning Systems 21 systemic proportions when their failure can cause significant disruption to the financial system and to the real economy. When the operations of a large institu- tion are disrupted or when the operations of a group of smaller financial institu- tions are disrupted at the same time, the disruptions can have a significant impact on the ability of the financial system to effectively intermediate financial flows to meet the demands of the real economy. Capacity to identify and assess systemic risk and the capacity to construct forward-looking models have improved over time. While there has been consid- erable progress in the development of skills (and tools) to assess and monitor systemic risk, there is still no established robust set of indicators for detecting systemic risks (IMF 2011b). It is to be noted that every measure of systemic risk has limitations to some degree, and indeed all models are by nature simplifica- tions of the complexity of the real world (IMF 2009). Consequently, the outputs of the models might not be able to predict a crisis but it can help in identifying the vulnerabilities in the system. Measurement of financial (in)stability is fundamentally “fuzzy” (Borio and Drehmann 2009). This reflects a number of factors: a lack of consensus on the most appropriate analytical framework, the infrequent incidence of episodes of financial distress, and limitations in the available measurement tools. These tools are not good at capturing the feedback effects that are at the heart of financial instability and that operate both within the financial system and between the financial system and the real economy. At their best, they can provide indications of the general buildup in risks. As a result, there is always a danger that policy makers may be lulled into a false sense of security when using these tools. Our understanding of systemic risk and of the fault lines in the structure of the financial system that makes it prone to instability or failure is incomplete (FSB-IMF-BIS 2011). Even in advanced economies, substantial work is underway to develop stronger analytical tools that can help to identify and measure sys- temic risk in a forward-looking way, and thus support improved policy judg- ments. A few other countries are also engaged in developing their own tools for assessing systemic risk. An example of a financial stability indicator and map as being practiced in India is presented in appendix B which provides a flavor of the complexity and challenges involved. The difficulties in developing a systemic risk measure should not be underestimated, and the task remains very much a work in progress. In addition, the analytical toolkits have important limitations; in par- ticular, they do not adequately link the real and the financial sectors, not to mention the likely significant data gaps. Early Warning Indicators In circumstances where a good and acceptable methodology for measurement of systemic risk is not present (and given the challenges in devising and main- taining the measurement systems) the macroprudential authority can settle for other alternatives that need not be complex. The next best alternative is to set up an EWS that includes a set of indicators of financial system performance or Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 22 Early Warning Systems health and their ongoing monitoring, providing opportunities for flagging of risks and issuing early warning signals. For establishing the EWS, the macroprudential authority could identify and monitor leading indicators of risk buildup. Each leading indicator (LI) may relate to key aspects of the economy (including, for example, fiscal and external sectors) or the financial sector, and cover components of risks specific to the relevant sectors. While identifying the LI, authorities should clearly define the purpose or role of each LI, be fully aware of the weakness of each, and clearly articulate the caveats attached to their interpretation. For example, the LIs for banking sector can include solvency risk, funding risk, currency risk, and so on. A leading indicator could be derived from a set of other indicators. For example, if funding risk is an LI for the banking sector, it could be derived from a set of other indicators that capture elements of funding risk. For reference and convenience, such indicators can be referred to as subindicators. The next step can be to develop a composite leading indicator (CLI). The CLIs would tend to be an aggregation of the Leading Indicators pertaining to the relevant sector or market. The CLIs should be carefully compiled to make sure that they reflect the risk buildup in the relevant sector (or subsector or market). Expert inputs and judgment are required for assigning appropriate weights to the LIs and for the aggregation of the LIs into the CLIs. The selected risk indicators should look beyond the banking system to cap- ture the risk buildup within and outside the financial system that can have implications for the financial system. This additional set of indicators can help in developing a better understanding of the risks in the system and their possible implications. The selected risk indicators can also include those related to the fiscal sector, the macroeconomy, the real sector, the external sector, products, markets, and SIFIs (systemically important financial institutions). For example, risk indicators can include indebtedness or leverage in the household and corpo- rate sectors, the mortgage market, the securitization market, the credit deriva- tives market, and the extent of unhedged foreign currency exposures outside the financial system. The additional set of indicators can also include certain institu- tion-level indicators that reflect risks in individual institutions that are of sys- temic relevance—for example, rating downgrades, borrowing costs, credit default swap spreads, and equity price performance. The macroprudential authority will also benefit from monitoring other devel- opments in the economy and the financial system. These developments can include financial innovations, new products, changes (or trends) in business mod- els, as well as financial models used by market participants and the potential for regulatory arbitrage. This can help the macroprudential authority, among others, in identifying and assessing convergence of business practices, migration of risk to less or unregulated market segment(s), effectiveness of risk transfer mechanisms, the ultimate holders of risk, and risk holders’ capacity to manage the risk. These inputs can help in identifying common exposures and interlinkages. They can be supplemented by market intelligence, including structured periodical interac- tions with market participants and economic groups. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Early Warning Systems 23 While the indicators are expected to be generally backward looking, the EWS will need to provide a forward-looking perspective to allow macroprudential policy to be effective. Toward this end, the EWS can use stress tests and scenario analyses to identify and assess vulnerabilities in the system. Taking into account the likely challenges to an EMDE for establishing a EWS, which includes a systemic risk model or a robust framework of LIs and CLIs, it may be adequate to begin with a simple set of early warning indicators. In many low-income economies, it is likely that basic data are not easily available in the required form, and when available the data are not reliable, or timely, or readily interpretable. The accounting and auditing standards can be weak; the supervi- sory capacity and enforcement of prudential regulations can be limited; coordi- nation across agencies may need improvement; and information systems may be underdeveloped. In such an environment, which calls into question the integrity of the inputs for EWS, the EWS can be a simple but necessary component of the macroprudential policy framework. This may be adequate for economies that are small, not highly diversified, and are dominated by a handful of large banks that do basic banking business. In these situations, the EWS can rely on a select few indicators that are appro- priate for the jurisdiction. Countries have collectively used a wide range of indicators to assess systemic risks, which are categorized in table 4.1. The table is neither a recommended list nor an exhaustive one. The macroprudential author- ity should exercise careful judgment in choosing the early warning indicators (EWIs) that it would like to track. A point to reflect on is whether the EWIs need to be numerous to make the EWS robust, and the answer to that will be no in the case of a majority of EMDEs. The factors that need to be considered while selecting the indicators and setting up the EWS would include the following: • Clarity on what risk (or element of risk) is proposed to be tracked • Whether the chosen indicators track this risk well • Whether the chosen indicators are influenced by other factors, and if so, whether there is a need to include other indicators to support those chosen • Whether the frequency and quality of data available for deriving or support- ing the indicator is adequate. Further, as the intention is to capture the risk in a particular segment, sector, or market, the indicators should be carefully chosen to ensure that they individu- ally reflect a particular risk or a dimension of risk, and that they collectively reflect the risks inherent in that particular segment or sector or market. In other words, one should avoid duplication and avoid tracking indicators that do not contribute much to the effectiveness of risk assessment. Identification and development of EWIs should take into account whether the skills to analyze and interpret them are available in the macroprudential author- ity. The experts should be able to understand clearly what each indicator reveals, how they interact with each other, and what these indicators reveal collectively. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 24 Early Warning Systems Table 4.1  A Menu of Early Warning Indicators To capture buildup of Category risks in Indicators Aggregate Financial system and GDP growth rate (%) indicators economy at large Trend in financial sector contribution to GDP Credit growth (%) Asset price growth (%) Inflation Current account deficit to GDP (%) Foreign currency reserves Fiscal deficit to GDP (%) Sovereign debt to GDP (%) Gross external debt to GDP (%) Short-term external debt to foreign currency reserves (%) Household: debt to GDP (%); leverage ratio; debt service-to-income ratio Corporate: debt to GDP (%); leverage ratio; debt service coverage ratio; ROE Indicators of Aggregate risk Credit to GDP ratio: deviation from long-term trend financial Solvency Capital adequacy ratio sector Tier 1 capital ratio conditions Core equity ratio Capital cushion (excess voluntarily maintained by banks above minimum requirement) Capital cushion after deducting NPLs Leverage Nonrisk adjusted leverage ratio, including off balance sheet items Liquidity (aggregate Liquid assets to short-term liabilities (%) and currencywise) Liquid assets to total assets (%) Liquidity and maturity mismatches (contractual and behavioral) Committed but undrawn liquidity facilities Cost of short-term market borrowing Turnover in the interbank market Average borrowing from the central bank’s standing liquidity facilities Funding pattern Reliance on wholesale funding Reliance on interbank market Loan to deposit “plus” capital (%) Cost of borrowing Maturity pattern Foreign currency component Undrawn funding facilities Concentration: counterparty, instrument, market Currency risk Net open positions to regulatory capital (%) Unhedged currency risk in corporate and household sectors Asset quality Nonperforming loans to total loans (aggregate, and by sector) (%) Provision coverage (%) Rescheduled or restructured loans Extent of delinquency within one year after sanction table continues next page Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Early Warning Systems 25 Table 4.1  A Menu of Early Warning Indicators (continued) To capture buildup of Category risks in Indicators Off-balance sheet Activity in nontraditional off-balance sheet items risks Shadow banking Significance of risks in unregulated (and lightly regulated) sectors/entities Extent of interlinkages between (a) banks and nonbanks; and (b) regulated and unregulated entities Profitability ROAs ROEs Share of noninterest income in total income Net interest margin Indicators of Developments in Market turnover (and liquidity) market financial markets Indicators of risk appetite (spreads and risk premia) conditions that may lead Rating migration to generalized Capital flows: portfolio and long-term investments distress Indicators of Real estate (can be Mortgage loan growth (%) asset separate for hous- Mortgage debt to GDP ratio (%) market ing and commer- LTV ratio (%) conditions cial real estate) Repayment term (maturity) (The EWS can also Proportion of variable rate mortgages include similar in- Real estate prices (commercial and residential); old and new properties dicators for other Price to rent ratio price sensitive asset classes, Rate of return vis-à-vis conventional financial savings e.g, stock market) Indicators of Cross-sectional Common exposures and interconnectedness among financial institutions concentra- ­dimension; (including nonbank financial institutions), sectors, markets. tion risk ­channels of - Aggregate exposure to top 25 counterparties contagion and - Aggregate bank exposure to nonbanks amplification - Aggregate bank exposure to unregulated financial entities - Aggregate exposure to sensitive sectors, asset classes, markets - Share of large exposures to total assets Common business models Common risk management models Common valuation models Common product structures or components Common risk mitigants (insurers, guarantors, collateral) Concentration of funding source: counterparty, market, instrument SIFIs; SIBs; market infrastructures (CCP; clearing houses; trade repositories) Systemically important instruments and markets Source: World Bank data. Note: CCP = central counterparty; EWS = early warning system; GDP = gross domestic product; LTV = loan-to-value; NPL = nonperform- ing loan; ROA = return on assets; ROE = return on equity; SIB = systemically important bank; SIFI = systemically important financial institution. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 26 Early Warning Systems Thresholds and Triggers for Risk Indicators To facilitate a quick analysis and interpretation of the risk indicators, authorities can consider establishing “warning” thresholds, which will suggest a risk buildup when the indicator is above the threshold (or below the threshold, as the case may be). While assessing risk buildup periodically, the EWIs can be compared against the thresholds to determine the extent of attention to be paid to a certain indicator, including digging deeper if considered necessary. In addition, the authorities may also consider subjecting a sector, product, or market under focus to a stress test to assess their vulnerabilities. The stress tests can help identify vulnerabilities that may not be readily observable while looking at individual institutions or while looking at past trends. The macroprudential authority can also consider putting in place “trigger” thresholds to activate the process for issuing macroprudential policy responses. These thresholds will normally be at a level different from the warning thresh- olds established for the EWIs, and their breach should trigger the activation of macroprudential policy responses. Given the uncertainties and challenges in measuring the indicators, the authorities could also consider establishing a range of values for each trigger, in which case the actual triggering of the response will be inherently discretionary. This discretion will come with its accompanying set of challenges and may suggest the need to consider putting in place appropriate checks and balances. The individual risk indicators could be presented in a more easily observable and comprehensive form of dashboards or heat maps as part of integrated moni- toring systems. An illustration of the dashboard and a system-level heat map pre- sented in table 4.2 and figure 4.1 can be customized to each jurisdiction to provide a more comprehensible picture of risks. The dashboards and heat maps can be at the level of a CLI or at the aggregate system level. They are intended to be comprehensive presentations, but they also need to be supported by a brief commentary to convey the picture fully. The LIs and the CLIs should be supported by a brief commentary Table 4.2  Possible Layout for a Risk Dashboard For each composite leading indicator, the dashboard may be completed with the following: Frequency Early warning Leading Trigger Warning of data indicator color ­indicator Description ­criteria level Trigger level ­availability Actual level (or grade) Explanation Description Descrip- Level at Level at How often Level at which Actual level of column of the­ tion of the which which some these data the indicator expressed in captions indicator criteria concern action is will be is currently color/grade, to is raised taken updated assessed feed into the heat map LI 1 LI 2 Source: APRA. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Early Warning Systems 27 Figure 4.1  Example of a Heat Map at an Aggregate Level CLI Leading indicators Sector Overall 1 2 3 4 5 6 7 8 9 10 External Fiscal Corporate Household Asset prices Financial markets SIFI Banking Nonbanking Source: World Bank data. Note: CLI = composite leading indicator; SIFI = systemically important financial institution. Heat map color range: red (trigger point reached) to green (current risk within acceptable levels). on the signal that is derived from them and whether there is a need for response. The key here is also to analyze and understand the signals that are thrown up by the LIs and the CLIs, individually and collectively. Communication Once the EWS has assessed the risks and identified the vulnerabilities, it should clearly articulate the observed risks, vulnerabilities, and implications. The EWS should be able to communicate the identified risks along with the supporting analyses and the implications for financial stability. The early warnings have to be clear and specific to enable the macroprudential authority to respond to the inher- ent and evolving risks appropriately. Issuance of vague warnings will not be adequate. The macroprudential authority should be able to use the outputs of the EWS as inputs for its decision making on the choice and calibration of the macroprudential tools. To improve the effectiveness of the macroprudential policy framework, the EWS will need to be (1) fairly specific about the buildup of risks and the vulnerabil- ity and (2) should be able to identify the vulnerability fairly early to allow adequate time for the macroprudential policy tools to take effect. The macroprudential authority will need to take a view on how it would like to publicly communicate the vulnerabilities identified by the EWS. While the internal communication of the EWS output will be detailed and comprehensive, a practical approach to external communication is to formulate a policy for such communication that can provide for its specified periodicity (time table), the mode (or form), and the extent of details that need to be put out in public domain. Some forms of external communication can be financial stability reports (FSRs), press releases, and speeches, and would normally be accompanied by a communication of the macroprudential authority’s responses to the identified Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 28 Early Warning Systems risks. Good practice will suggest that communication of the risk(s) identified and the policy measure(s) considered appropriate will help in promoting market discipline and in establishing the macroprudential authority’s credibility. Many countries are publishing financial stability reports to signal threats to systemic stability. However, it is noteworthy that publishing FSRs is not adequate: some economies effectively addressed macroprudential policy challenges even when not publishing FSRs, and some economies were publishing FSRs but did not identify the risks or did not address the identified risks. Therefore, macropruden- tial policy demands that authorities move beyond the publication of FSRs, which can be seen as a means of dissemination rather than action. An analysis suggests that the FSRs, despite some improvements in recent years, still tend to leave much to be desired in terms of their clarity, coverage of key risks, and consistency over time. As of 2011, approximately 80 central banks were issuing FSRs, with the aim of limiting financial instability by pointing out key risks and vulnerabilities to policy makers, market participants, and the public at large. A major drawback of a number of FSRs is the lack of a “forward-looking” element. Empirically, little evidence of a direct link between FSR publication and financial stability is observed, but higher-quality FSRs seem to be associated with stable financial environments (Čihák et al. 2011). Challenges to Successful Implementation of the Early Warning System There are several challenges to the effective operation of EWS. Systemic risk is a term that is widely used but difficult to define and quantify and therefore diffi- cult to observe. Once this hurdle is overcome and there is clarity about what is to be monitored or measured (for example, LIs and CLIs), often several formi- dable challenges are confronted. One significant challenge is the unavailability of timely, reliable, and per- suasive data and market information. Recommendations to address these data gaps, as identified by the Financial Stability Board-International Monetary Fund (FSB-IMF), are summarized in box 4.1. Further, there are barriers to access micro-level data because of confidentiality requirements. Even when the data are available and access is granted, the ability to identify a relevant indicator, the challenges of measuring interconnectedness, assessing convergence of busi- ness models, and identification of asset bubbles add to the list of challenges. Another key challenge to the success of EWS is the capacity to analyse and interpret the indicators, along with setting of thresholds for issuing early warn- ing signals and setting triggers for macroprudential responses. The monitoring mechanism will track the movement in several indicators, some of which will feed into LIs and further on into CLIs. The key contribution of the EWS will be to analyse and interpret these indicators correctly. This is expected to happen through a careful analysis of the direction, trajectory, severity of movement, implications of the indicators’ current levels and above all an assessment of the big picture, taking into account the combined outcome of these indicators. It will Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Early Warning Systems 29 Box 4.1 Data and Information Gaps Data gaps are an inevitable consequence of the ongoing development of markets and insti- tutions. As has been true of previous international financial crises, these gaps are highlighted when a lack of timely, accurate information hinders the ability of policy makers and market participants to develop effective responses. Indeed, the recent crisis has reaffirmed an old lesson—good data and good analysis are the lifeblood of effective surveillance and policy responses at both the national and international levels. Following widespread consultation with official users of economic and financial data in G-20 countries and at other international institutions, particularly those responsible for finan- cial stability analysis, a broad consensus has emerged over the information gaps that need to be filled. From this, the following key recommendations are made: Better capture the buildup of risk in the financial sector: • Strengthen the international reporting of indicators of current financial health and sound- ness of financial institutions, especially by expanding the number of reporting countries • Develop measures of aggregate leverage and maturity mismatches in the financial system • Improve coverage of risk transfer instruments, including data on the credit default swap markets. Improve data on international financial network connections: • Enhance information on the financial linkages of systemically important global financial institutions •  Strengthen data gathering initiatives on cross-border banking flows, investment posi- tions, exposures, in particular, to identify activities of nonbank financial institutions. Monitor the vulnerability of domestic economies to shocks: • Strengthen the sectoral coverage of national balance sheet and flow of funds data • Promote timely and cross-country standardized and comparable government finance statistics • Work to disseminate more comparable data on real estate prices. Communicate official statistics: • Improve the communication of official statistics, as in some instances users were not fully aware of the available data series to address critical policy issues. Source: FSB-IMF 2009. take some time and effort before the EWS stabilizes, including an understanding of the cause and effects of several indicators, both individually and collectively. This should not, however, deter the authorities from starting with a simple EWS. One other challenge that authorities are likely to face is the limitation in modeling the real economy and behavior of market participants, along with the subsequent discussion of “how robust is the model’s ability to predict.” In this Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 30 Early Warning Systems context, it is important to remember that even in some advanced economies developing a systemic risk model and macro stress testing is a work-in-progress. For an EMDE that can make a beginning with simple EWIs and EWS, challenges associated with the use of systemic risk models will not be relevant at this stage. Given the above challenges, the likelihood of the EWS flagging risks either too early or too late can be high. It is difficult to fully understand how certain elements will behave under different conditions, in particular the channel and the speed at which risk can spread through the system, implications of interlink- ages and market players’ conduct under various conditions. In these circum- stances expert (supervisory) inputs can be highly relevant to inform the analysis and identification of vulnerabilities. Yet, there can still be risk of early or delayed response. With continued implementation of the EWS and adoption of necessary refinements in the tools and methodologies, the chance of error can be reduced, over time. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 CHAPTER 5 Macroprudential Policy Options Overview Success of a macroprudential authority depends on the availability of an appro- priate and comprehensive range of policy instruments to address vulnerabilities arising from both time and cross-sectional dimensions. Success also depends on timely detection of threats—in other words, success of the early warning system (EWS)—and effective mitigation of the probability and the impact of instability through appropriate use of policy instruments. While activating or deactivating the policy tools, the issues that can come up for consideration include choice of tools, timing, and calibration. Macroprudential policy instruments are intended to reduce systemic risks, across both the time dimension and the cross-sectional dimension. A compila- tion of some central banks’ experiences with the use of macroprudential instruments and frameworks by the Committee on Global Financial System (CGFS 2010) and the International Monetary Fund (Lim et al. 2011) shows that the practical applications of macroprudential policy instruments can be wide ranging and effective. Choice of the instrument should be determined by country-specific factors to achieve the best results. The time dimension of systemic risk can be addressed through tools that can be varied according to the evolution of the cycle or have an inherent countercyclical bias. These tools will include the following: those that modulate capital, provisioning, liquidity, loan-to-deposit (LTD), loan-to- value (LTV), and debt service-to-income (DTI) ratios; limits on credit growth and lending to select sectors; capital controls; and margin requirements. These tools can be applied broadly across the board and some can be improvised to address risk buildup in specific sectors. The cross-sectional dimension of systemic risk can be addressed through tools that address the probability and impact of failure, including contagion and interconnectedness. These tools include limits on interbank exposures, limits on cross holding of equity among regulated entities, limits on exposures or transac- tions between the regulated and the unregulated sector or between banks and nonbanks, and improving market infrastructure to reduce interconnectedness and contagion (central counterparties, clearing houses, exposure netting Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6   31 32 Macroprudential Policy Options frameworks). Cross-sectional risk arising from SIFIs can be addressed through more conservative prudential requirements, enhanced intensity of supervision, and initiatives to ensure their resolvability, which can include the following: sub- sidiarization, recovery and resolution plans, improvement of capacity to resolve large and complex cross-border institutions, and restrictions or disincentives on their activities, locations, and institutional structure. Past Use of Macroprudential Instruments and Recent Trends In the past, authorities have addressed systemic risks with various instruments in their toolkit, of which macroprudential tools are a subset. These are mostly prudential instruments, but a few can be considered to belong to other public policies, including fiscal, monetary, foreign exchange, and administrative mea- sures (Lim et al. 2011, 8). There is an important distinction that is to be made between macroprudential tools—which are defined as prudential tools set up with a macro lens—and other macroeconomic tools that can support financial stability. The latter include monetary, fiscal, and capital control instruments. Macroprudential tools are an essential part of the solution, but they alone will not suffice to address systemic risk in all its complexity (CGFS 2010, 19). Asian central banks were seen to have taken the lead in implementing various macroprudential tools before and following the experience of the 1997 crisis. Hervé Hannoun observed that the knowledge of these tools was particularly rich in the Asian countries as compared to other regions, and their experience was seen as a source of interesting lessons for other countries (Hannoun 2010, 19). They used countercyclical provisioning, loan-to-value (LTV) ratios and direct controls on lending to specific sectors to manage procyclicality, and they addressed aggregate risk in the financial system through capital surcharges and liquidity requirements. Hannoun’s compilation of the macroprudential tools used by these countries is presented in table 5.1. Table 5.1  Experience with Macroprudential Tools in Asia Objective Tools Examples Manage aggregate Countercyclical capital buffers China risk over time linked to credit growth (procyclicality) Countercyclical provisioning China, India Loan-to-value ratios China; Hong Kong SAR, China; Republic of Korea; Singapore ­ Direct controls on lending to Republic of Korea, Malaysia, specific sectors ­Philippines, Singapore Manage aggregate risk Capital surcharges China, India, Philippines, Singapore at every point in time Liquidity requirements/funding Philippines, India, Republic of Korea, ­ (systemic oversight) Singapore Limits on currency mismatches India, Malaysia, Philippines Loan-to-deposits requirements China, Republic of Korea Source: World Bank data. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Macroprudential Policy Options 33 An IMF survey conducted in 2011 identified 10 instruments that have been most frequently used to achieve macroprudential objectives (Lim et al. 2011). These instruments have been broadly classified under three types: • Credit-related: caps on the loan-to-value (LTV) ratio, caps on the debt service- to-income (DTI) ratio, caps on foreign currency lending, and ceilings on credit or credit growth • Liquidity-related: limits on net open currency positions/currency mismatch (NOP), limits on maturity mismatch, and reserve requirements • Capital-related: countercyclical/time-varying capital requirements, time-varying/ dynamic provisioning, and restrictions on profit distribution. Picking up from the lessons learned during the recent crisis, the Basel Committee has improved the Basel II capital adequacy framework by introduc- ing a macroprudential overlay in the Basel III framework. Brief details of the macroprudential overlay are presented in box 5.1. These improvements will influ- ence jurisdictions to use macroprudential policy tools, though in a limited way. Box 5.1  Basel III: The Foundation for a Macroprudential Framework Taken together, three core elements of Basel III can be regarded as laying the foundation for a fully fledged macroprudential framework. First, the decision concerning banks’ capital (and liquidity) requirements was informed by a top-down assessment of the benefits and costs in terms of overall output. This, in turn, called for estimates of the impact of tougher standards on the probability and cost of bank- ing crises (benefits) and on the cost of financial intermediation (possible cost). The analysis seeks to establish an appropriate solvency (liquidity) standard for the system as a whole rath- er than one derived purely as the (residual) sum of standards appropriate for individual insti- tutions, considered on a stand-alone basis. Moreover, a similar macroeconomic analysis also informed the length of the implementation period. Second, the Basel Committee has introduced a countercyclical capital buffer, intended to limit the procyclicality of the financial system. Based on criteria set by the supervisors, the capital buffer is accumulated during periods of “excessive” credit expansion, which could sig- nal the buildup of systemic risks, and is released at times of incipient financial stress. The buildup and release can thus limit the amplitude of financial cycles. This buffer complements other measures aimed at limiting the procyclicality of minimum requirements, that is reduc- tions in required capital during booms and increases during busts. For example, the Committee has made some risk-weights less sensitive to the financial cycle, by shifting from point-in-time to stressed parameters, that is from parameters that reflect estimates of time- varying probabilities of default over short horizons based on available information at any given point in time to those based on estimates of losses only at times of financial stress or during recessions. box continues next page Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 34 Macroprudential Policy Options Box 5.1  Basel III: The Foundation for a Macroprudential Framework (continued)    Finally, the Committee, together with the Financial Stability Board (FSB), has adopted the general principle that prudential standards should in part reflect the systemic significance of financial institutions. Institutions whose failure imposes larger costs on the financial system should have tighter standards. Conceptually, this is equivalent to setting a lower probability of failure for them, all else equal. The Committee has developed a set of, admittedly coarse, indica- tors to establish the systemic significance of institutions, building on previous work by the FSB- IMF-BIS. This complements efforts under way to ensure the orderly wind down of systemically significant financial institutions (SIFIs), thereby reducing the costs of their failure and the im- plicit subsidies associated with the market’s expectations of official support (“moral hazard”). Source: Borio 2011. How to Use Macroprudential Policy Instruments The high-level factors that can generally influence the choice of instruments are, as mentioned earlier, country specific. In particular, the determinants can include the stage of economic development, financial sector development, the domi- nance of the banking system, independence of the macroprudential authority, its mandate, extent of openness of the economy, exchange rate regime, effectiveness of monetary policy tools, need for targeted measures, and the clarity of the signals thrown up by the EWS, which in turn is dependent on the availability and qual- ity of data. The operational factors that will primarily influence the choice of instruments will largely be the source of risk, the manifestation of the risk, and the availabil- ity of good-quality granular data. Generally, if the source of the risk is structural, cross-sectional instruments can be effective, and if it is arising because of the financial or economic cycle, then countercyclical instruments can be more effec- tive. If the source is liquidity or funding, then the authorities can consider liquidity-related instruments, and if the risk is manifesting itself in an asset boom, the authorities can opt for the instruments that are most effective to address these concerns. Some macroprudential instruments are designed to address the cross-section dimension and some are designed to address procyclicality, and there are a few that can be used flexibly to address both dimensions of risk. A summary com- pilation of the macroprudential policy instruments is presented in table 5.2. A more elaborate presentation of these tools, the situations where these can be applied, the issues that one needs to be aware of while using these tools, and their pros and cons are presented in appendix C. While these compilations will give a fairly useful overview of the macroprudential tools, there are several papers and other literature that provide additional background on how the tools operate and how they can be used, including extensive country experiences. Practitioners may wish to refer to all relevant literature on this topic. Works not already cited as sources are listed at the end of this paper. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Macroprudential Policy Options 35 Table 5.2  Macroprudential Policy Instruments—Summary Variants Cross-section Countercyclical Can be used for both Tool instrument instrument dimensions Capital Higher quality of capital Risk weights Restrictions on dividends Higher capital for SIFIs Countercyclical buffers Leverage ratio Conservation buffer Limits on cross holding of equity Provisioning Dynamic provisions Differential provision for high Standard asset provisions exposures Liquidity and Liquidity coverage ratio Liquid assets ratio funding Net stable funding ratio Reserve requirements Maturity mismatch limits Loan-to-deposit ratio Limits on foreign currency borrowing Net open position limits Levy on noncore funding Asset side Limits on lending to select sectors Limits on lending in foreign LTV/DTI/margins on currency to unhedged collateral borrowers Limits on credit growth Structural Limits on interbank exposure Capital controls Limits on exposures to nonbanks or unregulated financial entities Limits on exposure to group entities Limits on size, scope of activities, and group structure Subsidiarization Exposure netting framework OTC trade reporting CCPs and clearing houses Recovery plans and resolvability assessments Improved framework for resolution of large and complex institutions Margin requirements for secured financing Enhanced disclosures More stringent prudential require- ments for systemic entities More intensive supervision Source: World Bank data. Note: CCP = central counterparty; DTI = debt service-to-income; LTV = loan-to-value; OTC = over the counter; SIFI = systemically important financial institution. The determinants for the choice of the policy instrument can also include level of confidence in the chosen instrument bringing about the required out- come, awareness of the transmission channels, and interaction between the chosen instruments. Independence of the macroprudential authority and its abil- ity to pursue with the chosen instrument despite resistance from industry or Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 36 Macroprudential Policy Options political economy, conflict or support from other policy initiatives, and quality of regulation and effectiveness of supervision also have a bearing on the choice of the macroprudential policy instrument. One way of making the macroprudential policy option an effective counter- cyclical measure is to be open to using the tools in a time-varying manner. Countercyclicality can be effectively addressed by choosing the countercyclical tools and by introducing an element of countercyclicality in the microprudential tools, for example, through the use of stress probabilities of default (PDs) and stress loss given defaults (LGDs), and the use of Pillar 2 of the Basel II framework to modulate the microprudential requirements. A supplementary mode of achieving this is by actively modulating the prudential requirements in response to the cycle, for example by tightening the requirements during a boom phase and by unwinding the tightening during a downturn. While using macroprudential policy instruments the authorities have the option to apply it differently to achieve the best results relevant for the jurisdic- tion. The tools can be applied singly or in combination, as a fixed measure or as a varying measure, as a targeted measure or as a broad measure, and as a rule- based measure or as a discretionary measure. A summary of how macropruden- tial policy instruments can be used is presented in table 5.3. How macroprudential policy instruments can be applied is not strictly defined, and countries have found a variety of ways in which they can be applied. An IMF survey of the use of 10 selected macroprudential tools in 49 countries suggests the following: the jurisdictions were more comfortable using multiple tools simultaneously to achieve their aim; the tools were used to target a particu- lar economic sector or activity or a specific portfolio segment or asset class; these tools were used in coordination with other policy tools, such as monetary policy tools or fiscal tools; tools were used in a discretionary manner and were also ­ varied over time to address cyclicality. The survey also reveals that the same tools were used by different jurisdictions both as a broad measure and as a targeted measure, as a fixed measure and as a time-varying measure, and in coordination with other policy tools and independently. These macroprudential tools were, however, predominantly used in a discretionary manner and were not rules ­ driven. These findings clearly demonstrate that jurisdictions need not be con- strained by how a particular tool was used in another jurisdiction; instead, they need to be guided by expert judgment while choosing the option that best suits the country-specific circumstances. Challenges to Successful Implementation of Macroprudential Policy Although experience from the implementation of monetary policy may suggest that policy making works best when it is fairly predictable and transparent, the uncertainties and challenges of practicing macroprudential policy will support the use of discretion. It is true that when timely countercyclical action is impor- tant, the macroprudential authority can overcome political or institutional resis- tance when the policy response is rule based and guided by easily observable and Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Table 5.3  How to Use Macroprudential Instruments—Some Considerations Instrument How to use Pros Cons Dos and don’ts Single vs. Easier to calibrate, communicate, administer Insufficient for multiple sources of risk or Single Use when risk is well defined from a single source Multiple and assess effectiveness higher probability of circumvention Multiple Help tackle a risk from various angles Impose a higher cost on regulated institu- Do not overdo the use of multiple instruments and tions impose costs that are too high More effective for multiple sources of risk Targeted vs. Broad based Wider impact May have a higher cost or larger Use if granular data are not available and risks are Broad based ­distortions generalized Smaller scope for circumvention Targeted Achieve objective while minimizing cost or Granular data requirement Be ready to adjust fine tuning; anticipate channels potential distortions; avoid bluntness of for evasion; supplement with broader-based other policies measures to limit the scope for circumvention; avoid excessive complexity Higher administrative cost Higher probability of circumvention Fixed vs. Time Fixed Provide a minimum buffer May be ineffective in rapidly changing Adjust parameters with changing circumstances varying circumstances Low administrative cost Time varying Avoid timing the cycle Lean against the Ad hoc and frequent changes may be Design sound and transparent principles govern- wind, countercyclical disruptive ing the adjustment Hard to time the cycle Rules vs. Rules based Transparent, lower risk of inaction Susceptible to circumvention Use when risk of inaction is high and risk manage- Discretion ment and supervision capacity is weak Provide regulatory certainty Discretionary Flexible, take into account different situa- Changes to calibration may be necessary Reassess calibration periodically tions, types of risks and structural changes Less transparent Use when have deep structural changes and rapidly evolving risks No regulatory predictability: subject to Do not overdo, use constrained discretion regulatory capture Coordination Fiscal, Signals willingness to tackle the challenges Coordination challenges if multiple agen- Establish mechanisms to resolve conflict and clear with other ­monetary, cies are involved; slows decision making accountability and governance arrangements policies and process; accountability may not be clear ­prudential   37 Enhances policy effectiveness Source: (Lim et al. 2011). 38 Macroprudential Policy Options reliable indicators. Yet, because each new financial cycle is not likely to have exactly the same characteristics as previous ones, there can still be room for dis- cretion, which will rely on qualitative factors and expert judgment. Discretion will be relevant for deciding the timing and modulating the intensity of the macroprudential policy measure. The macroprudential authority will also need to exercise discretion when the analyses reveal that the risk buildup is on account of policy distortion in other areas (for example, fiscal or tax), in which case a more appropriate policy response would aim to address the distortion rather than opt for a macroprudential response. Activating countercyclical policy measures can pose its own set of challenges, including the challenges in identifying the cycle, the deviation from a normal trend, and establishing the basis for calibration of the macroprudential policy measures. The challenges arise from the difficulty in detecting the deviation from the normal fundamentals-driven levels or trends. Thereafter, when the macropru- dential authority is able to decide on the policy tool to be used, the authority also needs to decide on the calibration of the chosen tool to make sure that the response is effective. In the absence of adequate empirical studies, however, cali- bration can pose a significant challenge. The choice of activating the macroprudential policy measure at a system level (as a broad measure) or at a disaggregate level (as a targeted measure) can be difficult. While contemplating the choice of an appropriate macroprudential policy measure, the macroprudential authority will tend to look at risks both at aggregate and disaggregate levels. When imbalances are noticeable at the disag- gregated level, they may not reflect in a system-level imbalance to warrant a systemwide response. In that situation, the macroprudential authority may not initiate any response. Alternatively, the authority can choose to initiate targeted measures to address disaggregate level imbalances. In view of the several challenges in operating an effective macroprudential policy framework, it is likely that the policy choices and the implementation may be less than optimum. On the one hand, the pressure on the macroprudential authority to take timely action can bring about an early intervention, whereas on the other, the tendency to look for evidence of overheating or irrational exuber- ance can delay an intervention; both increase the chances of error. It is also likely that the measures can be too stringent or too light. Such measures can impose costs or distort efficient allocation of resources by the financial system. However, over time and with experience, the macroprudential authority will be able to considerably optimize the policy choices. Although macroprudential instruments have been used to address risks arising during growth phases, there is very little evidence of the effectiveness of these instruments during contraction phases. In Charles Goodhart’s view a severe downturn raises risk aversion and perceptions of risk (Goodhart 2010). Even if the regulators should reduce the required ratios at such a moment, Goodhart asks whether the market, the credit rating agencies, and others will be willing to allow banks taking advantage of the lower ratios. For example, in India, countercyclical policies were able to dampen exuberant Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Macroprudential Policy Options 39 credit growth in the targeted sectors, but their effect was asymmetrical during a downturn, despite an aggressive easing of monetary and prudential policy measures. The continued slowdown in credit growth was due to, among other reasons, subdued credit demand and risk aversion among the market partici- pants (Sinha 2011). Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 CHAPTER 6 Conclusion Establishing and operating a macroprudential policy framework is not an easy task but most jurisdictions may already have in place some of the components. Regardless of what stage these jurisdictions currently are and what these compo- nents may be called in a jurisdiction, bringing them together as a “macropruden- tial” framework can be a challenge. A list of seven broad principles for the design and operation of macroprudential policy prepared by the Committee on Global Financial System (CGFS) is presented in box 6.1. Implementation of macropru- dential policy is accompanied by its set of challenges. Though some of the chal- lenges specific to the main components have been mentioned in the relevant chapters, a few overarching challenges are discussed here. Box 6.1  Broad Principles for the Design and Operation of Macroprudential Policy Principle 1: Systemic risk diagnosis should integrate supervisory information, market intelli- gence, and aggregate indicator data. Principle 2: Interlinkages between financial institutions and markets, including cross-border exposures and associated hedging markets, must be monitored and understood. Principle 3: Macroprudential authorities should at the outset develop instruments and policy for the financial infrastructure that fit the particular risks or imbalances diagnosed. Instruments could be based on fixed or variable capital and liquidity requirements, which are familiar from traditional microprudential policy, but also be restrictions on particular types of risk-seeking, or new, tools. Principle 4: Intensive international information sharing is likely to be needed. Principle 5: Macroprudential policy should be the responsibility of an independent central agency, formal committee arrangement or similar institutional framework. It should be conducted either as part of the central bank or as involving the central bank in a key role, appropriately reflecting national circumstances. box continues next page Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6   41 42 Conclusion Box 6.1  Broad Principles for the Design and Operation of Macroprudential Policy (continued)    Principle 6: Macroprudential authorities should be charged with a clear mandate and objec- tives and given adequate powers, matched with strong accountability. Principle 7: Macroprudential policy communications strategies need to convey financial stability assessments clearly, link them logically to policy decisions, and manage public expectations about what can be achieved with macroprudential policy. Source: CGFS 2012. Establishing the success and credibility of macroprudential policy is impor- tant but difficult. While the macroprudential authority is expected to take timely action to prevent a systemic crisis, the authority may find it difficult to collect and present persuasive evidence of buildup of systemic risks to justify a macro- prudential policy response. This challenge of producing convincing evidence ex- ante is further compounded by the inability to provide this evidence even on an ex-post basis. The main reason is that a crisis that is avoided by timely policy intervention is not “observed.” The current understanding of the behavior of the financial system and how it interacts with the macroeconomy remains incomplete. This gap also has impli- cations for a good understanding of how the macroprudential measures will transmit and influence the behavior and interaction in the financial system. With financial evolution, the transmission mechanisms might themselves undergo a change in response to the macroprudential policy initiatives. The possibilities for circumvention, international leakages, and migration of activities or risks to unregulated entities pose additional challenges to the effectiveness of macropru- dential policy. Addressing regulatory arbitrage and cross-border leakages is important for the effectiveness of macroprudential policy. While activating a macroprudential policy response, the authorities need to keep an eye on the scope for circumven- tion or regulatory arbitrage. Such oversight can necessitate an extension of the perimeter of surveillance or regulation. Although the domestic leakages can be addressed through a clear articulation of the scope and application of the macro- prudential policy measure, it can be difficult for the macroprudential authority to address cross-border leakages. These leakages can occur, for example, through operation of branches of foreign financial institutions that are not subject to the host jurisdiction’s regulations and supervision, and through cross-border opera- tions of foreign financial institutions. Managing expectations is important while adopting and implementing mac- roprudential policy framework. Macroprudential policy framework can still be considered as being in the development stage, and it is certainly much less devel- oped than other public policy frameworks. The other policy frameworks (for example, fiscal and monetary) will continue to have a relevant role in managing systemic risks. Risk management by the private sector will also remain important. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Conclusion 43 Macroprudential policy should, therefore, be presented as one of the policy frameworks available to address systemic risks. It is important to ensure that the authorities do not create expectations that cannot be fulfilled through macropru- dential policy. This theme can be reflected at the time of framing the mandate and defining the powers of the macroprudential authority, and reinforced when the systemic risk assessments and the policy responses are communicated peri- odically by the macroprudential authority to the stakeholders. Success of the macroprudential policy frameworks greatly depends on the quality and effectiveness of coordination with other public policies. For example, monetary and fiscal policies can have an impact on systemic risk, and the con- verse, namely, macroprudential policy interventions can have implications for the macroeconomy. In light of these dependencies, effective macroprudential frame- works should be tailored to provide for an open and frank discussions among policymakers on policy choices that impact systemic risk, resolve conflicts among policy objectives and instruments, and activate the right instruments to limit systemic risk. From an EMDE perspective, an issue that can come up for consideration is whether a macroprudential policy framework will or should take precedence over development of good monetary, fiscal, and regulatory frameworks. As some of these frameworks in the EMDEs can be in need of greater attention, and since a macroprudential policy framework should not be seen as a substitute for the other policy frameworks, the authorities should continue to pay atten- tion to the other public policy frameworks. Because this paper is intended to assist the authorities in emerging markets and developing economies (EMDEs) that are contemplating adoption of a mac- roprudential policy framework, a Quick Reference has been provided in ­appendix  A. This appendix has been designed as a set of questions that the authorities are encouraged to ask while implementing a macroprudential policy framework in their respective jurisdictions. It also provides a reference to the relevant parts of this Practice Guide, which can help answer some of these questions. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 APPENDIX A Quick Reference Guide For Implementation of a Macroprudential Policy Framework Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6   45 46 Key steps Key questions Page(s) Short answer Introduction Understand the objective and What is macroprudential policy? 3–4 the scope of macroprudential policy What are the main differences between microprudential and macroprudential approach to 4 supervision? Is macroprudential supervision more important than microprudential approach to supervision? 4–5 No, both are important In brief, what does a macroprudential policy framework do and how? 5–6 What are the building blocks for implementing a macroprudential policy framework? First column of this table How individual acceptable behavior can box 2.1 contribute to macro concerns? Institutional structure What should be the mandate for the macroprudential authority? 9–10 - Designate the macroprudential Is there a clear legislative basis for the financial stability mandate or a clear public understanding authority of the responsibility to ensure financial stability? - Define the governance What powers should a macroprudential authority have? 10 ­arrangements Should the macroprudential authority (including mandate and powers) be established in law? 10 Yes, if current framework is - Equip the authority with not adequate the mandate, powers, and What is the macroprudential authority’s oversight perimeter? 10 resources Which agency can be the macroprudential authority? 10–14 - Establish information sharing, Which agencies will constitute a 12–14 cooperation and coordination macroprudential authority? arrangements Should the macroprudential authority have full or limited autonomy? 10–18 Balanced autonomy Is the macroprudential authority’s independence adequate for new responsibilities? Does it need an extension of its legal immunities? Does the macroprudential authority have access to all information and data that are relevant for fulfilling its mandate? Is there an operating framework for the individual agencies to share information with the macroprudential authority? Will decision making in the macroprudential authority be by consensus or by vote? Does the macroprudential authority have the requisite policy instruments in its toolkit? Is there an administrative or legal basis for new tools or whether these need to be established? table continues next page Key steps Key questions Page(s) Short answer Does the macroprudential authority have powers to activate and deactivate the macroprudential policy instruments, or can it only make recommendations? If the latter, what recourse does it have if the individual implementing agencies do not deploy the macroprudential measures or deploy inadequate or inappropriate measures? Is there a scope for the macroprudential authority to make suboptimal choices because of the institutional structure, lack of independence or autonomy? Does the macroprudential authority need changes to its governance arrangements? May the macroprudential authority also perform the role of a crisis management authority? 14 Preferably no What are the key desirable for macroprudential policy arrangements? box 3.1 Early warning systems What is systemic risk? 20–21 (EWS) Is it necessary to have an early warning system for practicing macroprudential policy? 21–22 Yes - Establish the perimeter of What should an EWS aim to accomplish? 19 surveillance How does one establish an EWS? 20–27 - Identify the early warning Is it necessary to have systemic risk model to practice macroprudential policy? 20–21 No indicators Should macroprudential surveillance be confined to regulated entities or deposit taking entities? 19–20 Much wider; within finan- - Establish systems to collect cial sector aim to cover relevant data and informa- a significant majority tion, and their analyses of financial entities and activity - Establish warning thresholds Should the EWS be a complex matrix or can it be a simple set of indicators, to begin with? 26–27 It can be simple and trigger thresholds - Identify the risks and threats Which indicators should be tracked for implementing macroprudential policy? 23 and table 4.1 to financial stability - Present results of the Is tracking the indicators enough? 26–28 No, analyses and presen- analyses tation of finding are important How to communicate the EWS finding? 27–28 - Communicate clearly the May one implement macroprudential policy only after all elements are well established—like 30 No, can begin but remain assessment and recom- good-quality granular data, early warning thresholds, early warning triggers? aware of shortcomings mendations to work on Can good-quality data, granular data, and data history help in improving the quality of 28–29 Yes macroprudential policy implementation? Which points should one focus on to improve the effectiveness of an EWS? 28–30 47 table continues next page 48 Key steps Key questions Page(s) Short answer Macroprudential policy Is it good to have a rule-based system or a discretionary system for implementing macroprudential 34–39 Allow flexibility; instruments policy? ­constrained discretion - Prepare menu of macropru- dential policy instruments Can a tool be used as a cross-section tool and as a countercyclical tool? 34; table 5.2 and Some can be used flexibly appendix C - Identify cross-section instru- Who should activate the macroprudential policy tool? The macroprudential ments authority or one of the - Identify countercyclical constituent agencies, instruments at the direction of - Identify hybrid instruments the macroprudential - Identify source and manifes- authority tation of risk How does one choose the appropriate macroprudential tools? table 5.2, table 5.3, - Decide choice of and appendix C instrument(s) How does one use macroprudential tools? 34–36 and table 5.3 - Decide timing of activation (or deactivation) Should macroprudential policy tools be used singly or collectively with other macroprudential 34–36 and table 5.3 - Decide calibration policy tools? - Monitor outcome of the measures taken - Review and change or alter the instrument(s), if not effective When should one activate and deactivate a specific macroprudential policy tool? How does one get Can be achieved over time, the timing right? with improved data, analyses and under- standing of transmission channels Which challenges should one be aware of while using macroprudential policy instruments? 36–37 Can macroprudential policy replace monetary policy, fiscal policy, and exchange rate policy? Is there 32 and 43 a need for coordination among monetary policy, fiscal policy, exchange rate policy, micropruden- tial policy, and macroprudential policy? To save on time, labor, and costs, can one jurisdiction use the systems (structure, thresholds, trigger, No, these should be and tools) that are similar to those used in a neighboring country? customized for each jurisdiction By implementing Basel III, can a jurisdiction claim that it is implementing macroprudential policy? Not entirely, only some elements APPENDIX B Stability Indicators and Maps: Example from India Stability indicators and maps represent coincident indicators of systemic stress in the finan- cial system. They are constructed by aggregating information from different segments of the overall financial system and encapsulating the information in a single statistic which mea- sures the current state of instability in the financial system. The Financial Stability Map and Indicator in India depict the overall stability condition in the Indian financial system. The Financial Stability Indicator is based on the three major seg- mental indicators, namely, the Macro Stability Indicator, the Financial Markets Stability Indicator, and the Banking Stability Indicator. Each of these indicators is in turn based on contemporaneous developments in a number of risk factors relevant to the respective seg- ments. The Financial Stability Indicator is derived using a simple average of macro, financial markets and banking stability indicators. Recognizing the importance of fiscal health for financial stability, separate Fiscal Vulnerability and Fiscal Stress Indices have been developed to respectively assess inter-tem- poral changes in the vulnerabilities arising from the fiscal conditions and to indicate the like- lihood of crisis-like events. A Systemic Liquidity Indicator attempts to gauge the degree of stress in domestic liquidity conditions and to establish time frames for potential extreme events. Banking Stability Measures and Expected Shortfall Banking stability measures, a cross-sectional econometric framework, capture the distress dependence among financial firms in a system using stock price data and thereby estimate the extent to which individual financial institutions contribute to overall systemic risk. These measures have been used in the Reserve Bank to measure the systemic importance of our banks through three different, yet, complementary perspectives; viz., (1) common distress of the financial institutions in a system, (2) distress between specific institutions, and (3) distress in the system associated by distress in a specific institution. A Banking Stability Index (BSI) is calculated, which captures the expected number of banks to become distressed, given that at least one bank has become distressed. Separate Toxicity and Vulnerability Indices capture box continues next page Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6   49 50 Appendix B Stability Indicators and Maps: Example from India (continued)    distress between specific institutions while the Cascade Effect attempts to measure the dis- tress in the system associated with the distress of a specific institutions. This method is also being used for estimation of Expected Shortfall of assets of banking system, in a bid to assess what would happen to a bank in an environment of a large negative shock. Network Analysis The intertwined nature of modern financial systems was amply revealed by the recent finan- cial crisis. Such interconnected and complex financial systems make it particularly hard to predict the manner in which the cookie will crumble when distress situations emerge. Network models attempt to capture the intricate structure of linkages between financial in- stitutions by depicting the causal chains between nodes. The contractual obligations be- tween financial institutions comprise the bilateral flows of payoffs and determine the extant network structures. An actual crisis with default of counterparties engenders system wide feedback loops and can trigger further contingent claims such as on derivatives obligations and also large losses at default due to collapse in asset markets. The techniques of network modelling have been used to develop a bespoke financial net- work analysis and contagion stress testing platform for the Indian financial system. The analy- sis primarily looks into the interconnections that exists between different institutions in the financial system and tries to identify buildup of systemic risk. Graphical network representa- tions have been developed which are being used to assess the degree of system-level inter- connectedness and the stability of the system. A contagion simulator helps in assessing the possible loss of capital to the financial system due to a random failure of one or more financial institutions. Macro Financial Stress Tests During the recent financial crisis, macrofinancial stress tests were used by some central banks as a policy tool to restore market confidence and improve market functioning. Such stress testing addresses the need to assess the impact of the systemwide nature of risk drivers. Macrofinancial stress testing quantifies the link between macroeconomic variables and the health of financial institutions and the financial system, to measure the resilience of the finan- cial system to various stress factors. In India, we conduct two sets of macro stress testing ex- ercises at regular periodicities. The first set of stress testing exercises use multivariate regression tools to evaluate the impact of a particular macroeconomic variable on the asset quality of banks and its capital adequacy ratio. The second set is based on a vector autore- gressive (VAR) model which assesses the impact of the overall economic stress situation on the asset quality and capital adequacy of the banking system taking into account the feed- back effect of the macroeconomic performance of the economy on banks’ stability. Source: Chakrabarty 2012. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 APPENDIX C Macroprudential Policy Instruments: A Toolkit Option Target/objective Issues Pros Cons CAPITAL Higher capi- SIFIs: to address Identification of SIFIs Higher shock Can introduce uneven tal (capital cross-section risk How to assess their contri- absorbing capac- playing field surcharge in due to exter- bution to risk ity for systemic Can prove to be a moral proportion to nalities; mitigate Whether can give rise to entities hazard—induce further contribution to structural vulner- Can promote risk taking by SIFIs moral hazard risk) abilities, and limit responsible be- Can induce SIFI to make systemic spillovers havior by SIFIs structural changes to cir- during stress times cumvent the regulation Higher-quality All banksa to address Whether to confine to Improves resilience Can incentivize migration capital cross-section common equity or to shocks of business to nonbank risk; to enhance allow other instruments sector; resilience against Capacity of local markets shocks to support high-quality capital mobilization Countercyclical All banks: to address Timing of activation or Can help in mod- Whether effective in the capital buffer procyclicality; deactivation erating growth downturn threats to financial Calibration of the size of through the cycle Will become effective stability from buffer Enhances loss ab- with a time lag excessive credit ex- sorbing capacity International leakages pansion and asset Simplicity—easy to can undermine effec- boom; maintain communicate tiveness credit flow during Crude tool if rapid growth downturn by run- is sectoral ning down buffer Conservation All banks: cross- Whether by formula or Improves banking Can be ineffective if buffer section; to build discretion system resilience breach is allowed for up a prudential Calibration of the size of Can operate flexibly extended period cushion to absorb buffer without trigger- impact of market How much tolerance ing supervisory volatility response should be extended for breach or noncompli- Allows lead time ance for supervisory response table continues next page Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6   51 52 Appendix C Option Target/objective Issues Pros Cons Leverage All banks: cross-   Whether to be fixed or  Inherently   Can promote adverse ratio (nonrisk section; back-stop time varying ­countercyclical selection of risk, if not weighted) to risk-based   Whether to be Tier 1 or   Can be more effec- used with risk-based measure; control core equity capital tively countercy- capital on balance sheet   Whether apply Basel clical if applied   Can be a disincentive for growth in a time-varying better risk management conversion factors or more conservative manner   May lead to migration of   Less susceptible to business to nonbank arbitrage sector Risk-weight All banks; counter-   How to justify higher/   Can address rapid   Need granular data adjustments cyclical; specific lower requirements credit growth   May lead to migration of sectors/category until higher/lower risk in the targeted business to nonbank of counterparties is demonstrated sectors sector   To influence loan   Whether this can distort   Can focus on sec-   May lead to circumven- growth the markets; tors contributing tion of regulations   To discourage   Timing of activation or to risk   Can distort risk pricing if banks from fund- deactivation   Can have an im- applied retrospectively ing specific sec-   How to calibrate mediate impact particularly when banks tors contributing   Can be used as an cannot reprice their   Whether to apply to systemic risk effective counter- past loans prospectively (flow) or   To address threats retrospectively (stock) cyclical tool   Higher costs of compliance to financial stabil-   Ensures capital   May be seen as intrusive ity from excessive is sensitive to credit allocation— credit expansion risk buildup in when targeted and asset boom specific sectors Dividend All banks: cross-sec-   Whether to limit   Can also be used   Can be a disincentive for restrictions tion; to build up dividends or to ban as countercyclical further capital infusion capital cushion dividends measure from existing equity   Basis on which dividends holders can be limited   Can be seen as a penalty for healthy banks   Can lead to deleverag- ing if linked to capital adequacy ratio PROVISIONING Dynamic provi- All banks: counter-   Can conflict with ac-   Helps to improve   Requires granular data sioning cyclical; adopts counting standards resilience to sus-   May lead to over or through the cycle   Whether formula driven tain asset quality under provisioning approach for losses; or discretionary downturn depending upon to address threats   How to calibrate   Smooths provi- calibration to financial stabil- sioning over the   Overlaps with ity from excessive credit cycle ­countercyclical capital credit expansion buffer and variable risk and asset boom weights Standard asset All banks; counter-   How to justify higher/   Can address rapid   May lead to migration of provisions cyclical; specific lower requirements credit growth business to nonbank sectors/category until higher/lower risk   Can be used to sector of counterparties is demonstrated target specific   May be circumvented if   To address credit   Timing of activation or sectors target sector is not well quality; to influ- deactivation defined ence loan growth table continues next page Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Appendix C 53 Option Target/objective Issues Pros Cons   To discourage   How to calibrate   Can also be viewed   Can distort risk pricing banks from   Whether to apply as a cross section if applied retrospec- funding specific prospectively (flow) or tool when the tively particularly when sectors, adding retrospectively (stock) minimum rate banks cannot reprice to systemic risk also is set at a high their past loans (when targeted) level.   May be seen as intrusive   To address threats   Can have immedi- credit allocation— to financial stabil- ate impact when targeted ity from excessive credit expansion and asset boom Differential All banks; cross-   Will be relevant for juris-   Can help in modu-   Can lead to circumvention regulatory section; loans to dictions that follow a lating regula- through wrong clas- provisions for specific sectors/ regulatory provisioning tory provision sification of exposure or high-risk category of coun- requirement requirements when sector/category is ­exposures terparties   How to calibrate the pro- for high-risk not well defined   To encourage banks vision requirement for exposures   Higher cost of compli- to recognize the specified exposures ance and administration higher risk of loss   Whether to apply   Will need periodic in lending to spe- prospectively (flow) or review and revision of cific sectors or to retrospectively (stock) provisioning rates specific category also   Can be seen as intrusive of counterparty   Timing—whether after credit allocation   To enhance banks’ losses are evident or in   Can distort risk pricing resilience to anticipation of losses if applied retrospec- downturns or tively particularly when stress banks cannot reprice their past loans   Will be data intensive LIQUIDITY & FUNDING Liquidity cover- All banks; cross-   Definition of liquid assets   Enhances liquidity   May be difficult to age ratio (LCR) section; improved   Whether assets will position operate in a jurisdiction resilience to remain liquid during   Can curb lending where liquid assets are short-term shocks stress periods (indirectly) limited or where market to funding liquidity can be an issue   Whether apply Basel runoff rates or more   If not well defined, liquid conservative assets may not be liquid during a stress period   Determination of appro- priate runoff rates   Need granular data   Whether can be used as a   Higher compliance and time-varying measure administration costs   May affect market liquid- ity as banks will be incentivized to hold on to liquid assets Net stable All banks; cross-   Whether to apply Basel   Reduces funding   Need granular data funding ratio section; improved runoff rates or be more risk (NSFR) stable funding; conservative   Determination of appro- priate runoff rates table continues next page Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 54 Appendix C Option Target/objective Issues Pros Cons   Whether can be used as a   Addresses matu-   Higher compliance and time varying measure rity mismatches administration costs indirectly and broadly Loan-to-deposit All banks: cross-sec-   Whether can be coun- Can be used as   If ratio not well defined ratio tion dimension; to terproductive in a ju- countercycli- and articulated, can address funding risdiction where either cal measure: to promote circumven- risks there is low domestic address credit tion savings or low financial growth   May lead to migration of inclusion   Reduces tendency business to nonbank   Whether can also use as to rely on short- sector a countercyclical mea- term or unstable sure—how to calibrate funding markets to support lend- ing growth Liquidity All banks; cross-   Need to use caution in   Can address   May be difficult to ratios (total section dimen- defining liquid assets contagion and operate in a jurisdic- ratio; ­foreign sion; to improve   Whether can also use as network risks tion with limited liquid ­currency liquidity position countercyclical mea-   Can be used in assets or where market liquidity ratio) sure—how to calibrate a discrimina- liquidity can be an tory manner, for issue   How to treat contingent liquidity claims and example, higher   May affect market liquid- OBS commitments ratio for foreign ity since entities may currency; tend to hold onto the   Can be used as liquid assets countercyclical measure Liquidity reserve All banks: cross-sec-   How to treat contingent   Builds up useful   If remunerated below requirements tion dimension; liquidity claims and liquidity buffer in market rates or not (with central improved liquidity off-balance sheet com- banks and in the remunerated, can act banks) position mitments system as tax and increase   Whether can be used   Can be effective lending cost as a countercyclical immediately   Can incentivize business measure   Can work well with migrating to nonbanks   Whether to require other macropru-   Enforcement can be bur- liquidity reserve in dential tools densome, if complex foreign currency also   Can be used as a   Can restrict credit avail- countercyclical ability measure Maturity All banks; cross-sec-   How to treat contingent   Can promote   May be seen as intrusive ­ ismatch m tion dimension; liquidity claims and better liquidity or micro-management limits major currencies OBS commitments management   Behavioral mismatch   Determining maturity in banks, both may not be a reliable (contractual or behav- overall and cur- indicator during stress ioral) rencywise periods   Whether to confine to short-term liquidity— How to define short term   How to treat items with- out explicit maturity table continues next page Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Appendix C 55 Option Target/objective Issues Pros Cons Limits on foreign All banks; cross-   Whether to discriminate   Can help in ensur-   May not help in curbing currency section and between head-office ing robust fund- credit growth if main ­borrowing countercyclical funding and market ing model source of funding is Levy on noncore   To ensure a more funding   Can help in ad- domestic borrowing funding stable and sus-   Whether to discriminate dressing credit   May not improve fund- tainable funding between short-term growth funded ing model if substi-   To address credit and long-term funding by external tuted by domestic growth funded sources borrowing by cross-border   Can improve   May encourage migra- foreign currency resilience to sud- tion of business to funding den withdrawal nonbanks of funding from some sources Net open All banks; cross-sec-   How to compute open   Can help in con-   Can promote lending positions tion; to limit ex- positions trolling foreign in foreign currency to posure to foreign currency risk unhedged borrowers exchange risk   Can be used as a to help in complying countercyclical with the limits measure also   Can help in ad- dressing funding risk ASSET SIDE Margin require- All market par-   Whether can be used   Enhances resil-   Inherent procyclicality, ments for ticipants; cross- as a countercyclical ience of funding unless modulated over secured section risk and measure also markets the cycle ­financing contagion   Can limit leverage   Can encourage risk transactions Discourages under- through market taking to earn more to pricing of system- financing offset higher costs ic risks created by   Can be counter­   May be prone to leakage secured lending cyclical also and arbitrage with low haircuts or margins Reduces risk of sharp contraction in supply of funding if risk perceptions about collat- eral quality are abruptly revised Foreign currency All banks: cross-   How to avoid negative   Can help address   May encourage migra- lending norms section dimension; impact on economic credit risk of tion of business to Limits on lend- addresses foreign activity unhedged nonbanks ing in foreign currency risk- foreign currency   May promote circum- currency to induced systemic borrowers vention (to foreign cur- unhedged risk; addresses risk   Easy to implement rency indexed loans) ­borrowers in household sector   Also indirectly   May encourage corpo- addresses banks’ rates to borrow directly dependence on in foreign markets external funding   Encourages local currency lending table continues next page Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 56 Appendix C Option Target/objective Issues Pros Cons Loan-to-value All banks; counter-   How to treat other   Allows targeting of   Requires granular data (LTV) ratio cyclical sources of funds while specific risks   Higher compliance and Margin on   To address threats computing the ratio   Can have immedi- administration costs ­collaterals to financial stabil-   How to assess value ate effect   May need recalibration ity from excessive   Calibration over at different points in credit growth and the cycle makes the cycle asset boom it a potent   Can be circumvented   To limit exposure to ­countercyclical by borrowing from property market tool nonregulated sector downturn   Can limit risky   Can be seen as intrusive   To discourage lending credit allocation highly leveraged   Can enhance property invest- resilience ment Debt service-to- All banks; counter­   Works well as a   Requires granular data income (DTI) cyclical; to macroprudential   Higher compliance and ratio address risk in tool when used administration costs household sector in conjunction   Can be circumvented   To address threats with LTV by borrowing from to financial stabil-   Can be a counter­ nonregulated sector ity from excessive cyclical tool   Can be seen as intrusive credit growth and when ­calibrated credit allocation asset boom over the cycle   To limit leverage in   Can limit chances household sector of borrower   To discourage highly default leveraged property investment Limits on credit All banks; counter­   Whether to apply at   Can help address   Can affect credit flow to growth cyclical; total credit level or at asset price needy sectors, if ap-   To address threats sectoral level bubbles in plied across the board to financial stabil-   How to calibrate the specific sectors, when concerns are ity from excessive limits but needs to only in select sectors credit growth and be a targeted asset boom measure   Easy to implement Cap on lending All banks; counter-   How to define thresholds   Can be a targeted   Can be circumvented to specific cyclical and cross- for intervention response without if sectors are not well sectors sectional; for adversely affect- defined lending to specific ing needy sectors sectors   To address credit   How to decide the level   Can improve re-   Is a targeted measure quality; to influ- of cap silience to shock and can promote ineffi- ence loan growth to or from that ciencies if the limits are and asset boom sector not calibrated correctly   Can lead to migration of business to unregulat- ed entities or nonbanks table continues next page Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Appendix C 57 Option Target/objective Issues Pros Cons STRUCTURAL Capital controls: All banks; counter-   How to define thresholds   Quality of flows   Significant trade-offs cyclical; foreign for intervention can improve   Can cause distortions transaction tax;   How to calibrate the   Exchange rate and impair financial incentives to policy response volatility can be development promote FDI, addressed disincentive for   Capital inflows can short-term exter- be reduced nal borrowing   Credit booms can   To address depen- be addressed dence on capital flows for funding business growth Limits on in­ All banks: cross-sec-   Whether to apply only   Reduce intercon-   Can lead to growth of terbank tion dimension to short-term or nectedness in nonbank segment ­exposures long-term lending and the banking   Can lead to intercon- Limits on funding system nectedness with non- exposures to   Whether this will cover banks and unregulated nonbanks and other market transac- sector unregulated tions such as hedging   Can lead to circumven- entities of risks, sale of securi- tion without effectively ties, and so on reducing interbank linkages Limits on All banking groups;   Whether to confine to   Can reduce risk   If applied only on asset ­exposure to cross-sectional financial entities or to from group side, will still expose group entities nonfinancial entities entities banks to contagion also   Can help in resolv- through funding risk   How to determine limit ability of banking   May not be effective if   Whether can be used as a groups not extended to all countercyclical tool financial transactions Limits on size, All banking groups;   How to determine limit   Can reduce risk   Can promote innova- scope of activi- cross-sectional   Whether to apply to all from group tive restructuring of ties, and group banking groups or only entities group entities to avoid structure “large” groups   Can help in resolv- regulation. Subsidiarization   Whether to apply to for- ability of banking eign financial entities groups Recovery and SIFIs; cross-section;   How effective this can be   Can help in reduc-   Issues in dealing with resolution Mitigate structural when involving cross- ing the impact of cross-border presence plans; Living vulnerabilities border issues failure of SIFIs/   The issues and process- wills and limit systemic   How effective this can SIBs, thereby re- es can be burdensome spillovers during be in practice for large ducing systemic   Much need for legal/ stress times financial and mixed risk regulatory changes conglomerates •  High degree of coop-   Need thorough review eration and coordina- mechanisms to assure tion among domestic feasibility and foreign agencies needed table continues next page Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 58 Appendix C Option Target/objective Issues Pros Cons Financial market Financial markets;   Whether some of these   Reduces intercon-   Increases systematic infrastructures cross-section risk options can themselves nection and importance of market and contagion; become a source of contagion infrastructure reduce systemic systemic risk   Centralizes risk   Can promote avoidance risk and intercon-   Need to find solutions management through market in- nectedness for dealing with the novations and moving   Improves transpar- Payment and settle- resultant systemic risk ency activities overseas to ment systems; issues other group entities central counter- parties; trade repositories; standardization of OTC contracts; trading and settle- ment infrastruc- tures Improved Cross-section;   Whether to confine to   Authorities will be   Need considerable framework for reduce the impact banks or extend to all better equipped efforts and resources resolution of of failure of sys- financial institutions in to handle failure to resolve large institu- large com- temic institutions the group; of systemic tions operating in plex financial   Whether to extend to entities several jurisdictions ­institutions nonfinancial institu-   Can help in finding tions in the banking private sector group; solutions and   Whether to have a spe- avoiding or re- cial resolution regime ducing the need for SIFIs for deployment of public funds during stress Greater All market par-   Whether to apply to   Can reduce risk   Some disclosures can ­disclosure ticipants; all participants and of information adversely affect market requirements cross-section risk markets or to confine contagion sentiment and contagion; to systemic entities   Improves market   Can be ineffective common expo- discipline or counterproduc- sures; common tive if not correctly risk factors and understood by market interconnection participants Mitigate structural vulnerabilities and limit systemic spillovers during stress times Source: World Bank data. Note: DTI = debt service-to-income; FDI = foreign direct investments; LCR = liquidity coverage ratio; NSFR = net stable funding ratio; OTC = over the counter; SIB =systemically important bank; SIFI = systemically important financial institution. a. “All banks” in this table refers to all significant parts of the financial system in terms of level of business, number of entities, and type of activity, as determined by the macroprudential authority. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 References and Further Reading Agur, Itai, and Sunil Sharma. 2013. “Rules, Discretion, and Macro-Prudential Policy.” WP/13/65, International Monetary Fund, Washington, DC, March. Arregui, Nicolas, Jaromír Beneš, Ivo Krznar, Srobona Mitra, and Andre O. Santos. 2013 “Evaluating the Net Benefits of Macroprudential Policy: A Cookbook.” Working Paper WP/13/167, International Monetary Fund, Washington, DC, July. Bank of England. 2009. “The Role of Macroprudential Policy: A Discussions Paper.” Bank of England, London, November. ———. 2011. “Instruments of Macroprudential Policy: A Discussions Paper.” Bank of England, London, December. BIS (Bank of International Settlements). 2010. “Macroprudenital Policy and Addressing Procyclicality.” 80th Annual Report, Basel, Switzerland. Blanchard, Olivier, Giovanni Dell’Ariccia, and Paolo Mauro. 2013. “Rethinking Macro Policy II: Getting Granular” SDN/13/03, International Monetary Fund, Washington, DC, April. Borio, Claudio. 2003. “Towards a Macroprudential Framework for Financial Supervision and Regulation?” BIS Working Paper 128, Basel, Switzerland, February. ———. 2010. “Implementing a Macroprudential Framework: Blending Boldness and Realism.” Bank of International Settlements, Basel, Switzerland, July. ———. 2011. “Rediscovering the Macroeconomic Roots of Financial Stability: Journey, Challenges and a Way Forward.” BIS Working Paper 354, Basel, Switzerland, September. Borio, Claudio, and Mathias Drehmann. 2009. “Towards an Operational Framework for Financial Stability: ‘Fuzzy’ Measurement and its Consequences.” BIS Working Paper 284, Basel, Switzerland, June. Canuto, Otaviano, and Matheus Cavari. 2013. “Monetary Policy and Macroprudential Regulation: Whither Emerging Markets” World Bank Policy Research Working Paper 6310, World Bank, Washington, DC, January. Caruana, Jaime. 2010. “Macroprudential Policy: What We Have Learned and Where We Are Going.” Speech at the Second Financial Stability Conference of the International Journal of Central Banking, Bank of Spain, Madrid, June 17. CGFS (Committee on the Global Financial System). 2010. “Macroprudential Instruments and Frameworks: A Stocktaking of Issues and Experiences.” CGFS Paper 38, Bank for International Settlements, Basel, May. ———. 2012. “Operationalising the Selection and Application of Macroprudential Instruments.” CGFS Paper 48, Bank for International Settlements, Basel, December. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6   59 60 References and Further Reading Chakrabarty, K. C. 2012. “Systemic Risk Assessment—the Cornerstone for the Pursuit of Financial Stability.” Speech at the Seminar on Operationalising Tools for Macro- surveillance: Country Experiences, Mumbai, April 3. Chang, Soon-taek. 2010. “Mortgage Lending in Korea: An Example of a Countercyclical Macroprudential Approach.” World Bank Policy Research Working Paper 5505, World Bank, Washington, DC, December. Čihák, Martin, Sònia Muñoz, Shakira Teh Sharifuddin, and Kalin Tintchev. 2012. “Financial Stability Reports: What Are They Good For?” IMF Working Paper, Washington, DC, January. Clement, Piet. 2010. “The Term ‘Macroprudential’: Origins and Evolution.” BIS Quarterly Review, March. Crockett, Andrew. 2000. “Marrying the Micro- and Macro-prudential Dimensions of Financial Stability.” Speech at the 11th International Conference of Banking Supervisors, Basel, Switzerland, September 21. de la Torre, Augusto, Alain Ize, and Sergio L. Schmukler. 2012. Financial Development in Latin America and the Caribbean: The Road Ahead. Washington, DC: World Bank. de la Torre, Augusto and Alain Ize. 2013. “The Foundations of Macroprudential Regulation: A Conceptual Roadmap” World Bank Policy Research Working Paper 6575, World Bank, Washington, DC, August. de la Torre, Augusto and Alain Ize. 2013. “The Rhyme and Reason for Macroprudential Policy: Four Guideposts to Find Your Bearings” World Bank Policy Research Working Paper 6576, World Bank, Washington, DC, August. de Nicolò, Gianni, Giovanni Favara, and Lev Ratnovski. 2012. “Externalities and Macroprudential Policy.” SND/12/05, International Monetary Fund, Washington, DC, June. Dijkman, Miquel. 2010. “A Framework for Assessing Systemic Risk.” World Bank Policy Research Working Paper 5282, World Bank, Washington, DC, June. Frait, Jan, and Zlatuse Komárková. 2010/2011. “Financial Stability, Systemic Risk and Macroprudential Policy.” Financial Stability Report, Czech National Bank. FSB-IMF (Financial Stability Board-International Monetary Fund). 2009. “The Financial Crisis and Information Gaps.” Report to the G-20 Finance Ministers and Central Bank Governors, October. FSB-IMF (Financial Stability Board-International Monetary Fund). 2012. “The Financial Crisis and Information Gaps. Progress Report on the G-20 Data Gaps Initiative: Status, Action Plans, and Time Tables.” September. FSB-IMF-BIS (Financial Stability Board-International Monetary Fund-Bank for International Settlements). 2011. “Progress Report to G20 on ‘Macroprudential Policy Tools and Frameworks.’” October. G-20 Working Group 1. 2009. “Report on Enhancing Sound Regulation and Strengthening Transparency.” March. Goodhart, Charles. 2010. “The Role of Macro-Prudential Supervision.” Paper presented at the Federal Reserve Bank of Atlanta 2010 Financial Markets Conference, “Up from the Ashes: The Financial System after the Crisis,” Atlanta, Georgia, May 12. Group of Thirty. 2010. Enhancing Financial Stability and Resilience: Macro Prudential Policy, Tools, and Systems for the Future. Washington, DC: Group of Thirty. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 References and Further Reading 61 Hannoun, Hervé. 2010. “Towards a Global Financial Stability Framework.” Speech deliv- ered at the 45th SEACEN Governors’ Conference, Siem Reap province, Cambodia, February 26–27. IMF (International Monetary Fund). 2009. “Global Financial Stability Report.” Chapter 3, International Monetary Fund, Washington, DC, April. ———. 2011a. “Macroprudential Policy: An Organizing Framework.” Background Paper, International Monetary Fund, Washington, DC, March. ———. 2011b. “Global Financial Stability Report.” Chapter 3, International Monetary Fund, Washington, DC, September. Ingves, Stefan, and Members of the Study Group. 2011. Central Bank Governance and Financial Stability. Basel, Switzerland: Bank of International Settlements, May. Jácome, Lius I., Erlend W. Nier, and Patrick Imam. 2012. “Building Blocks for Effective Macroprudential Policies in Latin America: Institutional Considerations,” Working Paper WP/12/183, International Monetary Fund, Washington, DC. July. Lim, Cheng Hoon, Ivo Krznar, Fabian Lipinsky, Akira Otani, and Xiaoyong Wu. 2013. “The Macroprudential Framework: Policy Responsiveness and Institutional Arrangements.” Working Paper WP/13/166, International Monetary Fund, Washington, DC, July. Lim, Cheng Hoon, Rishi Ramchand, Hong Wang, and Xiaoyong Wu. 2013. “Institutional Arrangements for Macroprudential Policy in Asia.” Working Paper WP/13/165, International Monetary Fund, Washington, DC, July. Lim, C., F. Columba, A. Costa, P. Kongsamut, A. Otani, M. Saiyid, T. Wezel, and X. Wu. 2011. “Macroprudential Policy: What Instruments and How to Use Them?: Lessons from Country Experiences.” IMF Working Paper 11/238, International Monetary Fund, Washington, DC, October. Moreno, Ramon. 2011. “Policymaking from a ‘Macroprudential’ Perspective in Emerging Market Economies.” BIS Working Paper 336, Basel, Switzerland, January. Nier, Erlend W. 2011. “Macroprudential Policy—Taxonomy and Challenges.” Journal of the National Institute of Economic and Social Research 216 (1): R1, April. ´ski, Luis I. Jácome, and Pamela Madrid. 2011. “Institutional Nier, Erlend W., Jacek Osin Models for Macroprudential Policy.” Staff Discussion Note 11/18, International Monetary Fund, Washington, DC, November. Osinski, Jacek, Katharine Seal, and Lex Hoogduin. 2013. “Macroprudential and Microprudential Policies: Toward Cohabitation” SDN/13/05. International Monetary Fund, Washington, DC, June. Persaud, Avinash. 2009. “Macro-prudential Regulation.” ECMI (European Capital Markets Institute) Commentary No. 25/4, August. Ren, Haocong. “Countercyclical Financial Regulation.” World Bank Policy Research Working Paper 5823, World Bank, Washington, DC, October. Sinha, Anand. 2011. “Macroprudential Policies—Indian Experience.” Speech delivered at the Eleventh Annual International Seminar on Policy Challenges for the Financial Sector, “Seeing Both the Forest and the Trees—Supervising Systemic Risk,” Washington, DC, June 2. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 Environmental Benefits Statement The World Bank is committed to reducing its environmental footprint. In support of this commitment, the Publishing and Knowledge Division leverages electronic publishing options and print-on-demand technology, which is located in regional hubs worldwide. Together, these initiatives enable print runs to be lowered and shipping distances decreased, resulting in reduced paper consumption, chemical use, greenhouse gas emissions, and waste. The Publishing and Knowledge Division follows the recommended standards for paper use set by the Green Press Initiative. Whenever possible, books are printed on 50% to 100% postconsumer recycled paper, and at least 50% of the fiber in our book paper is either unbleached or bleached using Totally Chlorine free (TCF), Processed Chlorine Free (PCF), or Enhanced Elemental Chlorine Free (EECF) processes. More information about the Bank’s environmental philosophy can be found at http://crinfo.worldbank.org/wbcrinfo/node/4. Macroprudential Policy Framework  •  http://dx.doi.org/10.1596/978-1-4648-0085-6 M acroprudential Policy Framework: A Practice Guide is part of the World Bank Studies series. These papers are published to communicate the results of the Bank’s ongoing research and to stimulate public discussion. T he recent global financial crisis and consequent ongoing financial sector reforms have under- scored the essential role of macroprudential policy in promoting financial system stability and complementing monetary and microprudential policies. The Macroprudential Policy Framework: A Practice Guide provides guidance for establishing and operating such a framework. Although the elements discussed can be relevant for several jurisdic- tions, this work primarily addresses the needs of policy makers in emerging market and developing economies with the following characteristics: • A simple bank-dominated system where other financial sector segments are small but growing • Banks supervised by the central bank • Financial sector regulation and supervision not fully integrated • The availability and quality of data not assured. The authors introduce the concepts and challenges of a macroprudential approach to policy and supervision; and they discuss the available options for institutional frameworks, including appropri- ate mandate, powers, structures, and governance arrangements. Next, they explain the components and objectives of early warning systems, how these can be designed, and what makes them effective. They also analyze the available range of macroprudential policy instruments, the risks or stresses that they can address, and how these can be deployed. Throughout, the authors flag the challenges that the policy makers are likely to encounter while establishing and operating macroprudential policy framework and components. As unique combinations of institutional, policy, and legal frameworks in each jurisdiction make it difficult to apply across-the-board macroprudential policy solutions, any guidance will need appropri- ate customization to achieve the best results in each jurisdiction. Accordingly, rather than trying to answer all questions that might be raised, the authors encourage the respective authorities to ask the right questions. World Bank Studies are available individually or on standing order. This World Bank Studies series is also available online through the World bank e-library (www.worldbank.org/elibrary). ISBN 978-1-4648-0085-6 SKU 210085