Follow Us

Follow us on Twitter  Follow us on LinkedIn
 

21 July 2016

EBA consults on the minimum requirement for own funds and eligible liabilities (MREL)


Default: Change to:


The interim report is addressed to the European Commission, and it will inform a future legislative proposal on the implementation of the Financial Stability Board's "total loss-absorbing capacity" (TLAC) standard in the EU and the review of MREL.


The interim report contains a number of provisional recommendations, in particular:

  • changing the reference base of the MREL requirement from total liabilities and own funds to risk-weighted assets with, in time, a leverage exposure backstop;
  • preventing CET1 instruments from counting both towards capital buffers and minimum requirement for own funds and eligible liabilities (MREL), while considering the implications on "maximum distributable amounts" (MDA) triggers;
  • extending and enhancing the existing powers available to address breaches of MREL;
  • in calibrating MREL, specific business models may be worth considering to the extent that they lead to differences in resolution strategies. Calibration should in all cases be closely linked to and justified by the institution-specific resolution strategy;
  • introducing mandatory subordination for at least some banks, while more generally enhancing transparency and disclosure for all creditors on the creditor hierarchy; and
  • streamlining the requirement to include international recognition clauses in contracts giving rise to "bail-inable" liabilities.

Preliminary quantitative findings on the financing capacity and needs of EU banking groups are also available in the interim report. These findings are however subject to several methodological caveats and should be read in their context. In the absence of MREL decisions for institutions to date, and given the limited information related to the resolution authorities' MREL policy approach, the European Banking Authority (EBA) was required to make assumptions on the likely scope and calibration of MREL. These assumptions are by definition different from the actual levels of MREL which will ultimately be determined by resolution authorities in relation to each institution and group.

Stakeholders are invited to send their answers to the questions included in the interim report by Tuesday 30 August 2016.

Press release

EBA_Interim report on MREL



© EBA


< Next Previous >
Key
 Hover over the blue highlighted text to view the acronym meaning
Hover over these icons for more information



Add new comment