View original document

The full text on this page is automatically extracted from the file linked above and may contain errors and inconsistencies.

Before the The Bond Market Association, New York, New York
October 28, 1999

Financial Market Lessons for Bankers and Bank Supervisors
Good afternoon. I am delighted to be with you today to offer some remarks about financial
markets and about how financial innovation and business practices are affecting the
supervision and regulation of banks. As a result of the "opportunities" many of you and your
colleagues have provided, we have learned much in recent years about risk management
practices and about market dynamics during periods of stress.
Today I would like to discuss three elements of risk management in banks, and more broadly,
in financial services. These topics might be of interest to you because, I believe, many of
you play an important role in the risk measurement, management and mitigation activities in
your firms. In addition, as barriers between financial firms dissolve, either because of market
action or, as now seems likely, legislative mandate, we should all learn the risk management
techniques that are current in other segments of the financial services market. Bankers can
and will learn from securities dealers and traders and vice versa. The topics that I would like
to cover are lessons from last year's turmoil, approaches banks take in measuring market and
credit risk, and proposed changes in regulatory oversight.
Lessons from Last Year's Turmoil
I would like to begin this afternoon by reviewing some of the central findings of a study
issued this month by the Bank for International Settlements dealing with market events in
the autumn of last year and then turn to bank supervisory matters. These findings offer
important lessons for all of us who are interested in maintaining efficient financial markets
that are undisturbed by systemic risks. I would note that the full report, entitled A Review of
Financial Market Events in Autumn 1998, is available on the BIS website, www.bis.org.
A central point in the paper is that banks and many other market participants are leveraged
institutions. As a consequence, they are vulnerable when things go wrong. And so are their
creditors, and then their creditors, too. This use of leverage allows financial institutions to
employ capital in the most efficient and effective ways so as to provide maximum benefits to
our society. When it comes to banks in particular, the key question is to what degree they
should be leveraged, and that, in turn, depends largely on how they manage risk. Risk
management practices used by both banking and nonbank organizations have improved
significantly in recent years. Nevertheless, some of these new, innovative techniques, or at
least their application in many firms, were an element of some of the problems we saw last
year.
In particular, "relative value arbitrage" techniques--in which approximately offsetting
positions are taken in similar, but not identical, financial instruments--played an important
role. Had the instruments been identical and simply traded in different markets, the

technique would have been one of classic arbitrage and virtually risk-free. In fact, these
positions were not. They were taken--and taken on an increasingly large scale--because risk
managers were confident that they could measure risks to their satisfaction using improved
techniques and historical data sources. They were taken with the view that different prices
for similar instruments would eventually converge, providing the holder with a profit. For a
long period of time, the practice worked remarkably well.
Another important factor was "proxy hedging," in which traders took positions in larger,
more liquid markets to offset exposures in more thinly traded markets. Hedging Russian
securities with Hungarian or even Brazilian debt was an example. This risk management
practice enabled traders to conduct more transactions than otherwise possible, but by its
nature, it also tightened links across markets and altered price dynamics.
The consequences, of course, are widely known. On the heels of earlier problems in
Thailand, Indonesia, and other Asian countries, Russia's default in August of last year caused
investors worldwide to reassess risks and their views about conditions in emerging markets.
A so-called "flight to quality" ensued, leaving still more turmoil in its wake.
What can we learn, then, from this experience in terms of risk management practices and in
supervising and regulating banks? For one, the world's a dangerous place. That's hardly
news. In terms of financial markets, though, the experience illustrated quite vividly how
closely linked world markets are today and the types of issues market participants and policy
makers need to consider. Problems in Russia left their imprint on countries seemingly far
removed, including Brazil. They also brought significant changes at a highly regarded U.S.
firm that was managed, in part, by leading financial market theorists and practitioners. It was
a humbling and enlightening experience for us all. It should cause all of us to reassess our
practices and our views about the underlying nature of market risks. As the BIS report
makes clear, there are also more detailed lessons to learn. The report discusses nine lessons;
I will pick three:
First, the inadequate assessment of counterparty risk, a task fundamental to lending
and investment decisions, was in many ways at the core of the problem. Key market
participants were allowed to grow through greater leverage and alter market terms in
crucial ways, largely unchecked by traditional disciplines. Commercial banks, for
whom judging credit risk is their life blood, were as guilty as any other institutions.
Traditional practices of creditors of covering their exposures by requiring collateral
that was marked-to-market proved insufficient as market values fell, creating a
circular and expanding effect.
Second, market participants shared an insufficient recognition of the role of market
liquidity in risk management. An important point here is the link between credit and
market risk, and the fact that market prices can change sharply when key market
participants pull out. In the proverbial "race for the door," nearly everyone gets
trampled.
The last point I will note relates to the over-reliance by practitioners on quantitative
tools. Sophisticated measurement techniques can help greatly in providing insights
about the dimensions of risk and sources of possible problems. But, like chains,
models are only as strong as their weakest links. Every model has assumptions that
must be tested, and its limitations must be understood. During periods of market stress
nearly "all bets are off". Business practices change, otherwise stable and expected

correlations in market rates and prices disappear, and sometimes panic ensues. Well
thought out and designed contingency plans and scenario analysis tailored to specific
strategies and portfolios are necessary to prepare for these events and to evaluate an
institution's risks. That point was brought home last year.
Measuring Market and Credit Risk in Banks
Fortunately, progress is being made as banking organizations--typically the largest U.S. and
foreign institutions--find better ways to quantify their risks. With market risk--the "easy"
one--the Federal Reserve and other regulators built on industry practices for measuring a
bank's "value at risk" when implementing a new regulatory capital standard for the banking
system last year. Basing capital requirements on a bank's internal calculations of its largest
expected daily trading loss at a 99 percent confidence level was an important step, we
thought. It produced a standard far more sensitive to changing levels of risk than was the
earlier approach. It provided a reasonably consistent standard among banks and also was
compatible with current management practice of the world's more progressive banks. Last
year's events have not changed our view about the merits of this approach.
In creating the standard, though, we tried to recognize the measure's limitations and to
incorporate sufficient buffers. Everyone recognized the possibility of large, statistically
improbable losses, and that the measures commonly used underestimated the likelihood of
those events. (We just didn't realize that such extreme outcomes would occur so soon.) So
we required an assumed 10-day holding period, rather than the conventional single day, in
order to account for illiquid markets, and we multiplied the capital that would result from
that adjustment by three. We also added a charge for "specific risk" to address issuer
defaults and other matters. And finally, we required a management process that included
crucial checks and balances and further work by banks toward stress testing, including
testing involving scenario analysis. These were the "qualitative" aspects of the standard.
Results of stress tests, for example, were to be consider subjectively by management in
evaluating a bank's market risks and overall capital adequacy.
At the time, many of these elements were criticized as excessive, producing much too large
capital requirements. The jury on that point may still be out, but at least the standard
performed well last year. None of the U.S. and foreign banks last year that were subject to
this internal models approach incurred losses exceeding its capital requirements for market
risk, although a few came relatively close. On the other hand, some banks had trading losses
that occasionally exceeded their daily value-at-risk calculations during the volatile fourth
quarter. My point is not that we were so smart in constructing the standard, but rather that
we all still have much to learn. Risk measurement practices are advancing, and they need to.
With credit risk, we are all feeling our way, again with the assistance of many large banks.
Supervisors report that these institutions are making progress in measuring credit risk and are
devoting increased attention and resources to the task. In my view, continued progress in this
area is fundamentally important on many fronts. Continually declining costs in collecting,
storing, and analyzing historical loss data; innovative ways to identify default risks, including
the use of equity prices; and greater efforts by banks to build greater risk differentiation into
their internal credit rating processes have been of great help. As a result, banks are
developing better tools to price credit risk, and they are providing clearer, more accurate
signals and incentives to personnel engaged in managing and controlling the risk.
Through the Basel Committee on Banking Supervision, the Federal Reserve and other U.S.
and foreign bank supervisory agencies are working actively to design a more accurate, risk

sensitive capital standard for credit risk than the one we have now. Full credit risk modeling
seems currently beyond our reach, since industry practices have not sufficiently evolved.
The Basel Committee expects, though, next year to propose an approach built on internal
credit risk ratings of banks. Such a new standard would be a major step for bank supervision
and regulation and will also have major implications for banks around the world. It is also a
necessary step, we believe, if we are to keep pace with market practices and address
developments that undermine current standards.
Let me emphasize that the new credit risk approaches being contemplated will be applicable
only to the larger, more sophisticated and complicated organizations. The vast majority of
banks need not have their capital requirements modified in significant ways as we move
away from a one-size-fits-all structure.
In order to spur industry efforts in measuring risk, the Federal Reserve this past summer
issued a new supervisory policy directing examiners to review the internal credit risk rating
systems of large banks. That statement emphasized the need for banking organizations to
ensure their capital was not only adequate in meeting regulatory standards, but also that it
was sufficient to support all underlying risks. We issued the guidance recognizing the need to
make clear progress in developing new capital standards and also with the view that the
industry has important steps to take. Our earlier discussions with major institutions about
their own processes for judging their capital adequacy supported that view. Too often they
rely on the regulatory measure, itself, and on those calculations for their peers. The role of
internal measures of economic risks in evaluating the level of firm-wide capital seemed
generally weak and unclear. The need for a stronger connection between economic risks and
capital is particularly great at institutions actively involved in complex securitizations and in
other complex transfers of risk. We do not expect immediate results for most organizations,
but we want to see clear and steady progress made by them.
The Other "Pillars"
Regulatory capital standards are important, but they are only part of a complete oversight
process. To that point, the Basel Committee is building its approach on three so-called
pillars: capital standards, supervision, and market discipline. Each pillar is important and
connected with one another. Given the pace of transactions and the complexity of banking
products, the Federal Reserve and other authorities need to rely increasingly on internal risk
measures, information systems, and internal controls of banks. As I mentioned above, strong,
more risk-sensitive capital requirements built on a bank's internal model must also be
reviewed periodically for their rigor and effectiveness. With the varying and somewhat
subjective nature of internal measures, the matter of consistency among banks becomes
important, both to banks and their supervisors. Additional public disclosures by banks and
market discipline can help in that respect.
Bank Supervision. In supervising banks, U.S. regulators have recognized the need for an
on-going, more risk-focused approach, particularly for large, complex, and internationally
active banks. We constantly need to stay abreast of the nature of their activities and of their
management and control processes. For these institutions, point-in-time examinations no
longer suffice, and they have not sufficed for some time. We need assurance that these
institutions will handle routine and non-routine transactions properly long after examiners
leave the bank. We also need to tailor our on-site reviews to the circumstances and activities
at each institution, so that our time is well spent understanding the bank's management
process and identifying weaknesses in key systems and controls. Nevertheless, the process
still entails a certain amount of transaction testing.

To accommodate this process, the Federal Reserve has established a separate supervisory
program for large, complex banking organizations, or LCBOs. We believe theses institutions
require more specialized, ongoing oversight because of the size and dynamic nature of their
activities. The program is more, though, than simply enhanced supervision of individual
institutions. It involves a broader understanding of the potential systemic risk represented by
this group of institutions. Currently, there are about thirty institutions in the group, although
the figure can change. They are typically both major competitors and counterparties of one
another and, combined, account for a substantial share of the systemic risk inherent in the
U.S. banking system.
Management of this process revolves around a supervisory officer, designated as a "Central
Point of Contact," and a team of experienced staff members with skills suited to the business
activities and risk profile of each institution. In large part, they will focus on internal
management information systems and procedures for identifying and controlling risk. They
will need to understand the risk management process as each institution implements it--by
major business line, by type of risk, and so forth--in reaching overall judgments about
corporate-wide risks. We believe this approach will best help supervisors keep abreast of
risks and events and that it will also help us identify and strengthen weak areas within banks.
The principal risk in banking relates, of course, to credit risk arising from lending. For most
of this decade loan portfolios and bank earnings have been strong, helped largely by
persistently strong economic growth. That performance has strengthened the industry's
financial statements and substantially improved its image with investors. As time has passed,
however, it also may have allowed banks to let underwriting standards slip in the face of
competitive pressures and the view that times will remain good. We know from history that
they won't. Indeed, recent industry figures suggest the condition of loan portfolios may be
declining as delinquencies build from admittedly low levels. Through supervisory actions and
guidance, we try to maintain prudent standards throughout the business cycle.
Market Discipline. Market discipline has, in my view, two key purposes. The first is to link
banks' funding costs--both debt and equity--more closely to their risk-taking. This linkage
has been more or less weakened by the safety net. Of course, a significant and growing
proportion of the liabilities of large banks is in an uninsured or not fully insured form, so that
linkage can be reestablished. The cost of these funds, as well as the banks' cost of equity
capital, would clearly be affected by more disclosure of the risks in their portfolios. While
banks already disclose considerable information, the balance between quantity and quality
can be improved. Doing so should reduce the need for supervisors to intrude and should also
affect a bank's willingness to take risks, as its funding costs change.
The second purpose of market discipline is to provide a supplementary source of information
to the examination process. I have been impressed during my service on the Board as to the
wide range of intelligence that our examination process now creates. But as banking
organizations become more complex we are going to need all the help we can get, especially
if we wish to avoid killing the goose that laid the golden egg through more intrusive
supervision.
Market discipline has some risks. It cannot be turned off once begun and could present its
own problems during periods of generalized stress by creating additional pressures that
authorities would prefer to avoid. In short, it can be a mixed blessing. As policymakers, we
need to balance the risk it presents with the benefits it can provide in curbing excessive risk

taking and preventing problems altogether.
Conclusion
In closing, we have seen important gains in risk management throughout this decade and
substantial innovation in financial markets and products. These changes bode well, I believe,
for distributing risks more efficiently and producing further gains in economic growth in the
years to come. They may also, though, produce greater market volatility, as more
sophisticated techniques for valuing financial assets identify the winners and losers with
greater speed. We also learned that some of these techniques, until refined with experience,
might also mislead their users.
All of this presents continued challenges for central banks and financial supervisors. The
best approach, I believe, is to move with the industry and conform oversight functions more
closely to business practice. Supervisors can do much in this way to promote sound risk
management around the globe and to provide banks with stronger incentives to manage and
control their risks. It will require functional regulators to work together and with market
participants, too. It will also require regulators to rely more on market discipline and to
ensure that investors and others have meaningful information about the level and nature of
financial risk. By providing leadership in reaching agreements about useful disclosures, we
also can help there.
Heavier supervision and regulation of banks and other financial firms is not a solution,
despite the size of some institutions today and their potential for contributing to systemic
risk. Increased oversight can undermine market discipline and contribute to moral hazard.
Less reliance on governments and more on market forces is the key to preparing the
financial system for the next millennium.
Thank you.

Return to top
1999 Speeches
Home | News and events
Accessibility | Contact Us
Last update: October 28, 1999, 3:15 PM