EBF response to DG FISMA consultation paper on further considerations for the implementation of the NSFR in the EU

27 June 2016

The EBF supports a Net Stable Funding Ratio (NSFR) as a structural liquidity risk metric but advocates that the ASF and RSF factors in the NSFR should reflect a sustainable business-as-usual approach that is consistent with the role of the banking industry in liquidity maturity transformation.

European Banking Federation (EBF) supports a Net Stable Funding Ratio (NSFR) as a structural liquidity risk metric based on sustainable business-as-usual assumptions in the long term, to complement the short term stressed Liquidity Coverage Ratio (LCR).

The Basel NSFR however would be highly detrimental to CMU as the Basel assumptions that apply on capital market activities are overly penalising.

The application of the NSFR derivatives rules as envisaged within the BCBS standard would be extremely detrimental for the functioning of the European derivatives markets, and ultimately, for the European end users such as SMEs, larger corporates, pension funds and other client serving entities who require the ability to hedge away risk:

Secured funding is an important component of strengthening the disintermediation of financing in Europe, even more so as Europe does not have agencies that exist in other jurisdiction (e.g. the US). The NSFR treatment of encumbered loans act as a deterrent to secured funding and would act as a brake on the financing capacity.

For short term loans activities, such as Trade and Export Finance (lending under officially supported export credit insurances/ECAs) or Factoring, which are and will most probably remain bank-intermediated, the BCBS NSFR would make those activities more expensive for customers. This could in turn lead to banks abandoning this business.

The NSFR should generally be fulfilled on either a consolidated or individual basis, accordingly with each banking group liquidity structure and existing derogations/waivers. Should the NSFR be required on an individual sub group basis for banks which manage their liquidity centrally we consider that there is room to make the NSFR requirements more fit for purpose through the application of intragroup preferential treatments.

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