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- Basel 3.1 15
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- Regulatory reporting automation 2
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- Regulatory updates 29
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- Risk management framework 7
- Small Domestic Deposit Takers (SDDT) 2
- Solvent Exit Plan 1
- Stress testing 2
- Supervisory Statement 3
- k-ALM 4
Solvent exit planning for non-systemic banks (SS2/24)
PRA in the supervisory statement SS2/24 outlines requirements around solvent exit planning and execution. This article summarises the requirements and provides specific action points that small- and medium-sized banks can consider to implement these requirements.
Join us at the webinar on 21-Mar-2024 at 10.00 am hosted by UK Finance
In this webinar, we will provide an overview of the key requirements banks must take account of with respect to their current or planned future relationships with deposit aggregators. Specifically, this will include: Prudential risk: liquidity risk management and liquidity stress testing implications; Liquidity regulatory reporting: implications for calculation and treatment of deposits; and, Depositor protection (Financial Services Compensation Scheme coverage), and third party and outsourcing risk.
Non-maturity Deposits and Interest Rate Risk in the Banking Book
NMD are liabilities whereby the depositor is free to withdraw their deposit at any time since there is no defined contractual maturity date. Similarly, banks are typically able to adjust the interest rate attached to NMD on a unilateral basis. Despite the contractually short-term nature (using a repricing basis) of NMD, certain NMD or portions thereof may behave like longer-term, interest rate-insensitive positions. The inherent characteristics of NMD create complexities from the perspective of measuring, and in turn managing, IRRBB, meaning that a more involved approach is necessary.
Interest Rate Risk in the Banking Book
Interest Rate Risk in the Banking Book (IRRBB) relates to both present and future risks to a bank’s capital and earnings arising from fluctuations in market interest rates. In recent years, IRRBB has become an area of increased focus for regulators: this has coincided with significant changes in the interest rate environment across major economies, the ending of an extended period of near-zero rates, high inflation, and industry events such as the failure of Silicon Valley Bank.
Effective 1 January 2022, the PRA implemented new requirements and expectations for banks, including creation of a regulatory limit for IRRBB and implementation of a Standardised Framework (SF) that banks may elect to follow.
UK Basel 3.1: Near-final rules Phase 1 (PS17/23)
On 12 December 2023, the Prudential Regulation Authority (PRA) published near-final rules on the implementation of Basel 3.1 standards through Policy Statement 17/23 (PS17/23). PS17/23 covers near-final rules on market risk; credit valuation adjustment (CVA) and counterparty credit risk (CCR); operational risk; interactions with the PRA’s Pillar 2 framework; and, re-denominate currency references to pound sterling (GBP).
Small Domestic Deposit Takers (SDDT) PS15/23
The Prudential Regulation Authority (PRA) has introduced the Strong and Simple Framework for domestic banks and building societies that are non-systemic. The banks and building societies that meet the eligibility criteria are classified as Small Domestic Deposit Takers (SDDT) firms.
PRA’s Policy Statement PS15/23 (The Strong and Simple Framework: Scope Criteria, Liquidity and Disclosure Requirements) specifies the finalised SDDT criteria and prudential regulations for features (e.g., liquidity) not relating to capital requirements.
Risk Management – Deposits via Deposit Aggregators
This article outlines the primary risks to banks linked to the utilisation of Deposit Aggregators (DAs) and proposes mitigating measures as outlined in the Dear CFO letter issued by the Prudential Regulation Authority (PRA) on November 15, 2023 and the Dear CEO letter in April 2021.
PS14/23 – The non-performing exposures capital deduction
PS14/23 - ‘The non-performing exposures capital deduction’ eliminates the Common Equity Tier 1 (CET1) deduction requirement for non-performing exposures (NPEs) that are treated as insufficiently covered by firms’ accounting provisions.
Solvent exit planning for non-systemic banks (CP10/23)
PRA in the consultation paper CP10/23 outlines requirements around solvent exit planning and execution. This article summarises the requirements and provides specific action points that small- and medium-sized banks can consider to implement these requirements.
Implementing Model Risk Management Principles (SS1/23)
PRA in the supervisory statement SS1/23 outlines the key principles that banks can use to embed model risk management (MRM) within the firm. This article explores practical steps that small- and medium-sized banks can take to implement these principles on a proportional basis.
SVB and Risk Management in the Current Climate
Management of liquidity risk and IRRBB in the current climate.
CP6/23 - The non-performing exposures capital deduction
This article outlines reporting changes proposed as part of CP6/23 - ‘The non-performing exposures capital deduction’.
Simpler-regime Firm (SRF) CP16/22 updates
PRA consultation paper CP5/22 proposes an introduction of a simpler regime and simplified prudential requirements for non-systemic banks and building society. In CP5/22, the PRA have proposed a definition for ‘Simpler-regime Firm’ (SRF).
Katalysys achieves ISO 9001 and ISO 27001 certification
Katalysys is delighted to announce that we have achieved ISO 9001:2015 (ISO 9001) and BS EN ISO/IEC 27001:2017 (ISO 27001) certification, after a successful audit conducted by external auditors accredited to UKAS (the sole national accreditation body recognised by UK Government).
The PRA’s Proposed Approach to Policy (DP4/22)
The PRA set out its approach to its new objective in the DP, stating that it intends to centre its attention on facilitating economic activity in the medium- to long-term, and steer clear of activities that might create short-term economic booms at the cost of long-term stability and economic resilience.
UK Pillar 3 disclosure requirements - updated framework
The Pillar 3 disclosure requirements are now more proportional based on the risk and size of the bank. There is now a requirement to complete a number of prescribed templates as part of the disclosure as well. These changes comes into effect from 1 January 2022.
CP5/22 - Simpler-regime Firm (SRF)
PRA consultation paper CP5/22 proposes an introduction of a simpler regime and simplified prudential requirements for non-systemic banks and building society. In CP5/22, the PRA have proposed a definition for ‘Simpler-regime Firm’ (SRF).
Funds Transfer Pricing
Funds Transfer Pricing (FTP) plays a crucial part of the process of setting both retail and commercial interest rates. This Insight provides a brief overview of the overall FTP process and how Katalysys can help small- and medium-sized banks implement such a process.
CRR2 - Own funds requirement by exposure type
A common question we are asked is the basis on which own funds requirement has to be calculated for the various types of exposures on the non-trading and trading book.
CRR2 - Risk weight for CIU exposures
The approach to evaluating risk weight for Collective Investment Undertaking (CIU) exposures has changed under the new CRR2 rules. There are three approaches outlined, and banks can select the specific approach based on the amount of information available about the underlying exposures of the CIUs.