IRRBB Consultation Document Published by Basel Committee on Banking Supervision

The Basel Committee at the Bank for International Settlements has just published (8th June 2015) its consultation document on a review of the regulatory treatment of interest rate risk in the banking book (IRRBB).

The BIS wants to strengthen the treatment of IRRBB to ensure that banks have appropriate capital to cover potential losses from their risks to changes in interest rates. Also, to limit any capital arbitrage between the trading book and the banking book, as well as between banking book portfolios that are subject to different accounting treatments.

The BIS is seeking comments on two options for the capital treatment of interest rate risk in the banking book:

  • a uniformly applied Pillar 1 measure for calculating minimum capital requirements, to promote greater consistency, transparency and comparability, thereby promoting market confidence in banks’ capital adequacy and a level playing field internationally;
  • a Pillar 2 option, which includes quantitative disclosure of interest rate risk in the banking book based upon the proposed Pillar 1 approach, which would better accommodate differing market conditions and risk management practices across jurisdictions.

The outcome of this consultation may be expected to feed through – in due course – into amended EU capital rules and will therefore, impact all UK Banks and Building Societies. ALMIS® International are at the forefront of providing a dedicated solution to IRRBB through its market risk module. Banks are invited to make comment before 11th September 2015.

For more information, contact Jenna Haston on 0131 452 8898 or email [email protected]

PRA Publish Policy Statement and Supervisory Statement on Liquidity

The PRA has today (8th June 2015) issued a brief policy and supervisory statement.

Some concessions to proportionality, particularly in reporting, have been made. The documents do however, set out more clearly how firms are expected to manage liquidity under CRD IV.

Key to this, is a requirement for daily reporting for firms with assets greater than £5bn for:

  1. COREP LCR (C 72.00 – C 76.00)
  2. Contractual maturity ladder (AMM C 66.00)
  3. Rollover (AMM C 70.00)

Additionally, firms are expected to continue to strengthen stress testing and incorporate liquidity costs into fund transfer pricing more fully.

ALMIS® International are experts in helping firms implement and integrate solutions in all three of these areas (liquidity reporting, stress testing and funds transfer pricing from one system).

Policy statement CRD IV: Liquidity – PS11/15

The PRA’s Approach to Supervising Liquidity and Funding Risks – SS24/15

For more information on the ALMIS® solution, contact Jenna Haston on 0131 452 8898 or email [email protected]

Scottish Business Pledge

scottish business pledge

ALMIS® International are delighted to make the commitment to the Scottish Business Pledge.
The Scottish Business Pledge is a values-led partnership between the government and business. It is a shared ambition of boosting productivity, competitiveness, sustainable employment, and workforce engagement and development.

It is built on:

  • a commitment from the Scottish Government, and its partners to support sustainable business growth in Scotland
  • a voluntary code of business practice which you can use to guide and boost the future development of your company
  • a mutual pledge to ensure that prosperity, innovation, fairness and opportunity develop hand in hand in Scotland

Look out for more updates in the coming months around how ALMIS® International pledge to deliver on all nine components of the Scottish Business Pledge.

To find out more, please visit Scottish Business Pledge