EBF: Interest Rate Risk in the Banking Book guidelines review

31 January 2018

EBF in its reaction to the EBA discussion paper summed up that the EBA should not front run the European process, that some components of the draft Guidelines are irrelevant, should be clarified or should be simplified

While EBF agrees that qualitative aspects of the Basel Committee on Banking Supervision (BCBS) Standards n°368 on Interest Rate Risk in the Banking Book (IRRBB) could be factored in EBA Guidelines, EBF believes such Guidelines should not factor in any quantitative components while they are being discussed by the European legislators. EBF strongly recommends EBA to wait and not front run the ongoing European legislation process for the adoption of the level 1 text (Capital Requirement Directive #5 and Capital Requirement Regulation #2).

EBF urges EBA to launch QIS’s to consider whether the envisaged new requirement should apply to consolidated level only, or, in addition, to individual European Union (EU) Credit Institutions not subject to capital derogations as defined in Article 7 of Capital Requirement Regulation (EU) n° 575/2013.

EBF recommends the introduction of any new requirements as contingent on similar implementations in major supervisory jurisdictions.

The Credit Spread Risk in the Banking Book (CSRBB) is not only vaguely defined as ‘any kind of spread risk of interest rate sensitive instruments that is not IRRBB or credit risk’, but it simply does not relate to IRRBB. For both reasons, EBF urges to delete reference to CSRBB on IRRBB Guidelines.

The draft Guidelines should distinguish the recommendations that apply to ‘IRRBB considered in isolation’ from those that apply to ‘IRRBB as contribution to a broader framework’ - As for internal capital for IRRBB, EBF welcomes the clarification that there is a need to hold internal capital for IRRBB to the extent that there is a risk of loss (§30(c)&(e)).This would be even clearer if this was described as a general principle, and explicitly mentioned in the economic value component.

Some components of the draft Guidelines should be simplified:

Banks will need a year to implement the Guidelines after the release of the final version.

Full response


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