I. Introduction This guidance provides the Federal Reserve’s
core capital planning expectations for firms subject to the Large
Institution Supervision Coordinating Committee
1 (LISCC) framework and other large and complex firms, building
upon the capital planning requirements in
cluded in the Board’s capital
plan rule and stress test rules. This guidance outlines capital planning
expectations
2 for these firms in the following areas:
- Governance
- Risk management
- Internal controls
- Capital policy
- Incorporating stressful conditions and events
- Estimating impact on capital positions
Further, this guidance provides detailed supervisory
expectations on a firm’s capital planning process in the following
appendices:
A.
Use
of Models and Other Estimation Approaches
B.
Model Overlays
C.
Use of Benchmark Models in the Capital Planning Process
D.
Sensitivity
Analysis and Assumptions Management
E.
Role
of the Internal Audit Function in the Capital Planning Process
F.
Capital Policy
G.
Scenario
Design
H.
Risk-Weighted Asset (RWA) Projections
I.
Operational Loss Projections
This guidance applies to U.S. bank holding companies and
intermediate holding companies of foreign banking organizations that
are either: (i) subject to the LISCC framework (referred to as a “LISCC
Firm”) or (ii) have total consolidated assets of $250 billion or more
or consolidated total on-balance sheet foreign exposure of $10 billion
or more (referred to in this guidance as a “Large and Complex Firm”).
34 The guidance
is effective immediately for bank holding companies that are subject
to the capital plan rule as of January 1, 2016. The guidance will
become effective for intermediate holding companies beginning on January
1, 2017, which is the date on which the capital plan rule applies
to these firms.
The Federal Reserve has different expectations for sound
capital planning and capital adequacy depending on the size, scope
of operations, activities, and systemic importance of a firm. Concurrently
with issuance of this guidance, the Federal Reserve is issuing separate
guidance for U.S. bank holding companies and intermediate holding
companies that have total consolidated assets of at least $50 billion
but less than $250 billion, have consolidated total on-balance sheet
foreign exposure of less than $10 billion, and are not otherwise subject
to the LISCC framework (referred to as a “Large and Noncomplex Firm”).
This separate guidance clarifies that expectations for LISCC Firms
and Large and Complex Firms are higher than the expectations for Large
and Noncomplex Firms.
Within the group of firms subject to this guidance, the
Federal Reserve has significantly heightened expectations for the
LISCC Firms. This guidance sets forth only minimum expectations, and
LISCC Firms are consistently expected to exceed those minimum standards
and have the most sophisticated, comprehensive, and
robust capital planning practices for all of their portfolios and
activities.
II. Regulatory Requirements
for Capital Positions and Planning Sound capital planning for any firm begins with adherence to all
applicable rules and regulations relating to capital adequacy. Three
Federal Reserve regulations form the basis of the regulatory framework
for capital positions and capital planning:
1.
Regulation
Q (12 CFR part 217 [at
3-2100]), Capital Adequacy Requirements for
Board-regulated Institutions;
2.
Regulation
YY (12 CFR part 252 [subparts E and F at
4-787 and 4-788]), Enhanced
Prudential Standards; and
3.
Section
225.8 of Regulation Y (12 CFR 225.8 [at
4-017.5], also known as the
capital plan rule).
Regulation Q establishes minimum capital requirements
and overall capital adequacy standards for Federal Reserve-regulated
institutions. Among other things, Regulation YY establishes capital
stress testing requirements for bank holding companies with total
consolidated assets of $50 billion or more, including requirements
to participate in the Federal Reserve’s annual supervisory stress
test and conduct their own internal capital stress tests. The capital
plan rule establishes general capital planning requirements for a
bank holding company with total consolidated assets of $50 billion
or more and requires a bank holding company to develop an annual capital
plan that is approved by its board of directors.
This guidance provides the Federal Reserve’s
core capital planning expectations for firms subject to this guidance,
building upon the capital planning requirements in the Federal Reserve’s
capital plan rule and stress test rules.
5 III. Capital Planning Expectations Capital is central to a firm’s ability
to absorb unexpected losses and continue to lend to creditworthy businesses
and consumers. A firm’s capital planning processes are critical to
its financial strength and resiliency. At LISCC Firms and Large and
Complex Firms, sound capital planning is also critical to the stability
and effective functioning of the U.S. financial system.
SR letter 12-17/CA letter 12-14,
“Consolidated Supervision Framework for Large Financial Institutions,”
outlines core expectations for sound capital planning for bank holding
companies with total consolidated assets of $50 billion or more. This
capital planning and positions guidance provides additional details
around the Federal Reserve’s core capital planning expectations for
LISCC Firms and Large and Complex Firms, building on the capital planning
requirements included in the capital plan rule and the Board’s stress
test rules.
6 A firm
should maintain a sound capital planning process on an ongoing basis,
including in between submissions of its annual capital plan.
7 A. Governance The Federal Reserve expects a firm to have sound
governance over its capital planning process. In general, senior management
should establish the capital planning process and the board of directors
should review and periodically approve that process.
1. Board of directors
A firm’s board of
directors is ultimately responsible and accountable for the firm’s
capital-related decisions and for capital planning. The firm’s capital
planning should be consistent with the strategy and risk appetite
set by the board and with the firm’s risk levels, including how risks
at the firm may
emerge and evolve under stress. The board
must annually review and approve the firm’s capital plan.
8
The board should direct senior management to provide a
briefing on their assessment of the firm’s capital adequacy at least
quarterly, and whenever economic, financial, or firm-specific conditions
warrant a more frequent update. The briefing should describe whether
current capital levels and planned capital distributions remain appropriate
and consistent with capital goals (see section III.D, “Capital
Policy”). In their briefing, senior management should also highlight
for the board any problem areas related to capital planning identified
by senior management, internal audit, or supervisors.
The board should hold senior management
accountable for providing sufficient information on the firm’s material
risks and exposures to inform board decisions on capital adequacy
and actions, including capital distributions. Information provided
to the board should be clear, accurate, and timely. The board should
direct senior management to provide this information at least quarterly
and whenever economic, financial, or firm-specific conditions warrant
a more frequent update. The information presented to the board should
include consideration of a number of factors, such as:
- macroeconomic conditions and relevant market events;
- current capital levels relative to budgets and forecasts;
- post-stress capital goals and targeted real time
capital levels (see section III.D, “Capital Policy”);
- enterprise-wide and line-of-business performance;
- expectations from stakeholders (including shareholders,
regulators, investors, lenders, counterparties, and rating agencies);
- potential sources of stress to the firm’s operating
performance; and
- risks that may emerge only under stressful conditions.
After receiving the information, the board should
be in a position to understand the major drivers of the firm’s projections
under a range of conditions, including baseline and stress scenarios.
The board should direct senior management to provide information
about the firm’s estimation approaches, model overlays, and assessments
of model performance (see Appendix A: Use of Models and Other
Estimation Approaches; Appendix B: Model Overlays; and Appendix C:
Use of Benchmark Models in the Capital Planning Process). The board
should also receive information about uncertainties around projections
of capital needs or limitations within the firm’s capital planning
process to understand the impact of these weaknesses on the process.
This information should include key assumptions and the analysis of
sensitivity of a firm’s projections to changes in the assumptions
(see Appendix D: Sensitivity Analysis and Assumptions Management).
The board should incorporate uncertainties in projections and limitations
in the firm’s capital planning process into its decisions on capital
adequacy and capital actions. It should also review and approve mitigating
steps to address capital planning process weaknesses.
The board should direct senior management
to establish sound controls for the entire capital planning process.
The board should approve policies related to capital planning, and
review them annually. The board should also approve capital planning
activities and strategies. The board of directors should maintain
an accurate record of its meetings pertaining to the firm’s capital
planning process.
2. Senior management
Senior management should direct staff to implement
board-approved capital policies, capital planning activities, and
strategies in an effective manner. Senior management should make informed
recommendations to the board regarding the firm’s capital planning
and capital adequacy, including post-stress capital goals and capital
distribution decisions. Senior management’s proposed capital goals
and capital distributions should have analytical support and take
into account the expectations of important stakeholders, including
share holders, rating agencies, counterparties, depositors, creditors,
and supervisors.
Senior management should design and oversee the implementation
of the firm’s capital planning process; identify and assess material
risks and use appropriate firm-specific scenarios in the firm’s stress
test; monitor and assess capital planning practices to identify limitations
and uncertainties and develop remediation plans; understand key assumptions
used throughout a firm’s capital planning process and assess the sensitivity
of the firm’s projections to those assumptions (see Appendix
D: Sensitivity Analysis and Assumptions Management); and review the
capital planning process at least quarterly.
Senior management should establish a process for independent
review of the firm’s capital planning process, including the elements
outlined in this guidance. The independent review process should be
designed to identify the weaknesses and limitations of the capital
planning process and the potential impact of those weaknesses on the
process. Senior management should also develop remediation plans for
any identified weaknesses affecting the reliability of capital planning
results. Both the specific identified weaknesses and the remediation
plans should be reported to the board of directors in a timely manner.
Differences in Expectations for LISCC Firms
and Large and Complex Firms, as Compared to Large and Noncomplex Firms
The Federal Reserve expects senior management
of a LISCC Firm and a Large and Complex Firm to have a higher level
of engagement in the capital planning process than the senior management
of a Large and Noncomplex Firm. Specifically, senior management of
a LISCC Firm and a Large and Complex Firm should review the capital
planning process quarterly, whereas senior management of a Large and
Noncomplex Firm should review the capital planning process at least
semi-annually.
B. Risk
Management A firm should have a risk-management
infrastructure that appropriately identifies, measures, and assesses
material risks and provides a strong foundation for capital planning.
9 This risk-management infrastructure
should be supported by comprehensive policies and procedures, clear
and well-established roles and responsibilities, and strong and independent
internal controls. In addition, the risk-management infrastructure
should be built upon sound information technology and management information
systems. The Federal Reserve’s supervisory assessment of the sufficiency
of a firm’s capital planning process will depend in large part on
the effectiveness of the firm’s risk-management infrastructure and
the strength of its process to identify unique risks under normal
and stressful conditions, as well as on the strength of its overall
governance and internal control processes.
1. Risk identification and assessment process
A firm’s risk-identification process should include a comprehensive
assessment of risks stemming from its unique business activities and
associated exposures. The assessment should include on-balance sheet
assets and liabilities, off-balance sheet exposures, vulnerability
of the firm’s earnings, and other major firm-specific determinants
of capital adequacy under normal and stressed conditions. This assessment
should also capture those risks that only materialize or become apparent
under stressful conditions.
The specifics of the risk-identification process will
differ across firms given differences in organizational structure,
business activities, and size and complexity of operations. However,
the risk-identification process at all firms subject to this guidance
should be dynamic, inclusive, and comprehensive, and drive the firm’s
capital adequacy analysis. A firm should:
- evaluate material risks across the enterprise to ensure
comprehensive risk capture on an ongoing basis;
- establish a formal risk-identification process and
evaluate material risks at least quarterly;
- actively monitor its material risks; and
- use identified material risks to inform key aspects
of the firm’s capital planning, including the development of stress
scenarios, the assessment of the adequacy of post-stress capital levels,
and the appropriateness of potential capital actions in light of the
firm’s capital objectives.
A firm should be able to demonstrate how material risks
are accounted for in its capital planning process. For risks not well
captured by scenario analysis, the firm should clearly articulate
how the risks are otherwise captured and addressed in the capital
planning process and factored into decisions about capital needs and
distributions. The firm should also be able to identify risks that
may be difficult to quantify and explain how these risks are addressed
in the capital planning process. The firm should appropriately segment
risks beyond generic categories such as credit risk, market risk,
and operational risk.
The Federal Reserve expects a firm to seek input from
multiple stakeholders across the organization (for example, senior
management, finance and risk professionals, front office and line-of-business
leadership) in identifying its material risks. In addition, a firm
should update its risk assessment at least quarterly to reflect changes
in exposures, business activities, and its broader operating environment.
2. Risk measurement and risk materiality
A firm should have a sound risk-measurement process
that informs senior management about the size and risk characteristics
of exposures and business activities under both normal and stressful
operating conditions. A firm is generally expected to use quantitative
approaches supported by expert judgment, as appropriate, for risk
measurement.
Identified weaknesses, limitations, biases, and assumptions
in the firm’s risk-measurement processes should be assessed for their
potential impact on the integrity of a firm’s capital planning process
(
see Appendix D: Sensitivity Analysis and Assumptions Management).
A firm should have a process in place for determining materiality
in the context of material risk identification and capital planning.
This process should include a sound analysis of relevant quantitative
and qualitative considerations, including, but not limited to, the
firm’s risk profile, size, and complexity, and their effects on the
firm’s projected regulatory capital ratios in stressed scenarios.
10
A firm should identify how and where its material risks
are accounted for within the capital planning process. The firm should
be able to specify material risks that are captured in its scenario
design, the approaches used to estimate the impact on capital, and
the risk drivers associated with each material risk.
As part of its risk-measurement processes,
a firm should identify and measure risk that is inherent to its business
practices and closely assess the reliability of assumptions about
risk reduction resulting from risk transfer or risk mitigation techniques
(see Appendix D: Sensitivity Analysis and Assumptions Management).
Specifically, the firm should critically assess the enforceability
and effectiveness of any guarantees, netting, and collateral agreements.
Assumptions about accessibility and valuation of collateral exposures
should also be closely reviewed for reliability given the likelihood
that asset values will change rapidly in a stressed market.
Differences in Expectations for LISCC Firms and
Large and Complex Firms, as Compared to Large and Noncomplex Firms
The Federal Reserve expects a LISCC Firm
and a Large and Complex Firm to have a more formal risk-identification
process with quarterly updates, identify difficult-to-quantify risks,
segment risks at more granular levels, involve multiple stakeholders
across the firm in identifying material risks, critically assess risk
transfer techniques, and use quantitative approaches supported by
expert judgment for risk management. In contrast, the Federal Reserve
expects a Large and Noncomplex Firm to have a less formal risk-identification
process, has lower expectations regarding identification of difficult-to-quantify
risks, segmentation, engagement with stakeholders, and assessment
of risk transfer techniques, and provides the option for a Large and
Noncomplex Firm to use either qualitative or quantitative risk measurement
approaches for risk management.
C. Internal Controls A firm should
have a sound internal control framework that helps ensure that all
aspects of the capital planning process are functioning as designed
and result in sound assessments of the firm’s capital needs. The framework
should include:
- an independent internal audit function;
- independent review and validation practices; and
- integrated management information systems, effective
reporting, and change control processes.
A firm’s internal control framework should support its
entire capital planning process, including: the sufficiency of and
adherence to policies and procedures; risk identification, measurement,
and management practices and systems used to produce input data; and
the models, management overlays, and other methods used to generate
inputs to post-stress capital estimates. Any part of the capital planning
process that relies on manual procedures should receive heightened
attention. The internal control framework should also assess the aggregation
and reporting process used to produce reports to senior management
and to the board of directors and the process used to support capital
adequacy recommendations to the board.
In addition, the control framework should include an evaluation
of the firm’s process for integrating the separate components of the
capital planning process at the enterprise-wide level.
1. Comprehensive policies, procedures, and documentation
for capital planning
A firm should have policies
and procedures that support consistent and repeatable capital planning
processes.
11 Policies and procedures should describe the capital planning
process in a manner that informs internal and external stakeholders
of the firm’s expectations for internal practices, documentation,
and business line controls. The firm’s documentation should be sufficient
to provide relevant information to those making decisions about capital
actions. The documentation should also allow parties unfamiliar with
a process or model to understand generally how it operates, as well
as its main limitations, key assumptions, and uncertainties.
Policies and procedures should also
clearly identify roles and responsibilities of staff involved in capital
planning and provide accountability for those responsible for the
capital planning process. A firm should also have an established process
for policy exceptions. Such exceptions should be approved by the appropriate
level of management based upon the gravity of the exception. Policies
and procedures should reflect the firm’s current practices, and be
reviewed and updated as appropriate, but at least annually. A firm
should maintain evidence that management and staff are adhering to
policies and procedures in practice.
A firm’s documentation should cover key aspects of its
capital planning process, including its risk-identification, measurement
and management practices and infrastructure; methods to estimate inputs
to post-stress capital ratios; the process used to aggregate estimates
and project capital needs; the process for making capital decisions;
and governance and internal control practices. A firm’s capital planning
documentation should include detailed information to enable independent
review of key assumptions, stress testing outputs, and capital action
recommendations.
2. Model validation and independent
review of estimation approaches
Models used
in the capital planning process should be reviewed for suitability
for their intended uses. A firm should give particular consideration
to the validity of models used for calculating post-stress capital
positions. In particular, models designed for ongoing business activities
may be inappropriate for estimating losses, revenue, and expenses
under stressed conditions. If a firm identifies weaknesses or uncertainties
in a model, the firm should make adjustments to model output if the
findings would otherwise result in the material understatement of
capital needs (see Appendix B: Model Overlays). If the deficiencies
are critical, the firm should restrict the use of the model, apply
overlays, or avoid using the model entirely.
A firm should independently validate or otherwise conduct
effective challenge of models used in internal capital planning, consistent
with supervisory guidance on model risk management.
12 The
model review and validation process should include an evaluation of
conceptual soundness of models and ongoing monitoring of the model
performance. The firm’s validation staff should have the necessary
technical competencies, sufficient stature within the organization,
and appropriate independence from model developers and business areas
to provide a critical and unbiased evaluation of the estimation approaches.
A firm should maintain an inventory of all estimation
approaches used in the capital planning process, including models
used to produce projections or estimates used by the models that generate
final loss, revenue, expense, and capital projections.
13 Material models should receive greater attention (
see Appendix
C: Use of Benchmark Models in the Capital Planning Process).
14 The intensity and frequency
of validation work should be a function of the importance of those
models in generating estimates of post-stress capital.
Not all models can be fully validated
prior to use in capital planning. However, a firm should conduct a
conceptual soundness review of all models prior to their use in capital
planning. If such a conceptual soundness review is not possible, the
absence of that review should be made transparent to users of model
output and the firm should determine whether the use of compensating
controls (such as conservative adjustments) are warranted.
Further, a firm should treat output
from models for which there are model risk-management shortcomings
with caution. In addition, a firm should have compensating controls
for known model uncertainties and apply well supported conservative
adjustments to model results, as appropriate.
A firm should ensure that benchmark or challenger
models that contribute to post-stress capital estimates or are otherwise
used explicitly in the capital planning process are identified and
subject to validation (see Appendix C: Use of Benchmark Models
in the Capital Planning Process).
3. Management
information systems and change control processes
A firm should have internal controls that ensure the integrity of
reported results and that make certain the firm is identifying, documenting,
reviewing, and tracking all material changes to the capital planning
process and its components. The firm should ensure that such controls
exist at all levels of the capital planning process. Specific controls
should ensure:
- sufficiently sound management information systems
to support the firm’s capital planning process;
- comprehensive reconciliation and data integrity processes
for key reports;
- the accurate and complete presentation of capital
planning process results, including a description of adjustments made
to compensate for identified weaknesses; and
- that information provided to senior management and
the board is accurate and timely.
Many of the processes used to assess capital adequacy,
including models, data, and management information systems, are tightly
integrated and interdependent. As a result, a firm should ensure consistent
change control oversight across the entire firm, in line with existing
supervisory guidance.
15 A firm should establish and maintain a policy
describing minimum internal control standards for managing change
in capital planning process policies and procedures, model development,
information technology, and data. Control standards for these areas
should address risk, testing, authorization and approval, timing of
implementation, post-installation verification, and recovery, as applicable.
4. Internal audit function
Internal audit should play a key role in evaluating capital planning
and the elements described in this guidance to ensure that the entire
process is functioning in accordance with supervisory expectations
and the firm’s policies and procedures. Internal audit should review
the manner in which deficiencies are identified, tracked, and remediated.
Furthermore, internal audit should ensure appropriate independent
review and challenge is occurring at all key levels within the capital
planning process.
As discussed further in Appendix E: Role of the Internal
Audit Function in the Capital Planning Process, internal audit staff
should have the appropriate competence and influence to identify and
escalate key issues. All deficiencies, limitations, weaknesses, and
uncertainties identified by the internal audit function that relate
to the firm’s capital planning process should be reported to senior
management, and material deficiencies should be reported to the board
of directors (or the audit committee of the board) in a timely manner.
16 Differences in Expectations for LISCC Firms and
Large and Complex Firms, as Compared to Large and Noncomplex Firms
The Federal Reserve expects a LISCC Firm
and a Large and Complex Firm to complete a conceptual soundness review
of all models prior to use, maintain comprehensive documentation of
its capital planning process, and have compensating controls for known
model uncertainties. In contrast, the Federal Reserve expects a Large
and Noncomplex Firm to make an effort to review its material models
prior to use; further, the Federal Reserve has lower expectations
regarding documentation and compensating controls.
In addition, the Federal Reserve
expects a LISCC Firm and a Large and Complex Firm to subject benchmark
models to validation, to the extent the models contribute to post-stress
capital estimates. In contrast, a Large and Noncomplex Firm is not
expected to use benchmark models in its capital planning process.
The Federal Reserve expects that the change control
process of a LISCC Firm and a Large and Complex Firm would take into
account recovery plans, whereas the Federal Reserve does not have
this expectation for Large and Noncomplex Firms. Last, the Federal
Reserve expects a LISCC Firm and a Large and Complex Firm to more
clearly integrate the separate components of the capital planning
process at the enterprise-wide level, as compared to a Large and Noncomplex
Firm.
D. Capital Policy A capital policy is a firm’s written
assessment of the principles and guidelines used for capital planning,
issuance, usage, and distributions.
17 This includes internal
post-stress capital goals (as discussed in more detail below and in
Appendix F: Estimating Impact on Capital Positions) and real-time
targeted capital levels; guidelines for dividend payments and stock
repurchases; strategies for address
ing potential capital shortfalls;
and internal governance responsibilities and procedures for the capital
policy. The capital policy must be approved by the firm’s board of
directors or a designated committee of the board.
18
The capital policy should be reevaluated at
least annually and revised as necessary to address changes to the
firm’s business strategy, risk appetite, organizational structure,
governance structure, post-stress capital goals, real-time targeted
capital levels, regulatory environment, and other factors potentially
affecting the firm’s capital adequacy.
A capital policy should describe the firm’s capital adequacy
decision-making process, including the decision-making process for
common stock dividend payments or stock repurchases.
19 The policy should incorporate actionable protocols, including
governance and escalation, in the event a post-stress capital goal,
real-time targeted capital level, or other early warning metric is
breached.
The policy should also include elements such as:
- roles and responsibilities of key parties, including
those responsible for producing analytical materials, reviewing the
analysis, and making capital distribution recommendations and decisions;
- factors and key metrics that influence the size,
timing, and form of capital actions, and the analytical materials
used in making capital action decisions; and
- the frequency with which capital adequacy will be
evaluated and the analysis that will be considered in the determination
of capital adequacy, including the specific circumstances that activate
the contingency plan.
1. Post-stress capital goals
A firm should establish post-stress capital goals that
are aligned with its risk appetite and risk profile, its ability to
act as a financial intermediary in times of stress, and the expectations
of internal and external stakeholders. Post-stress capital goals should
be calibrated based on the firm’s own internal analysis, independent
of regulatory capital requirements, of the minimum level of post-stress
capital the firm has deemed necessary to remain a going concern over
the planning horizon. A firm should also determine targets for real-time
capital ratios and capital levels that ensure that capital ratios
and levels would not fall below the firm’s internal post-stress capital
goals (including regulatory minimums) under stressful conditions at
any point over the planning horizon. For more details, see Appendix
F: Capital Policy.
Differences in Expectations
for LISCC Firms and Large and Complex Firms, as Compared to Large
and Noncomplex Firms
The Federal Reserve
expects the capital policy of a LISCC Firm and a Large and Complex
Firm to cover a broader set of topics, including roles and responsibilities
of key parties and metrics influencing capital distributions, than
the capital policies of a Large and Noncomplex Firm. See Appendix
F: Capital Policy, for additional differentiated expectations for
a firm’s capital policy.
E. Incorporating Stressful Conditions and Events As part of its capital planning process, a firm should
incorporate appropriately stressful conditions and events that could
adversely affect the firm’s capital adequacy into its capital planning.
As part of its capital plan, a firm must use at least one scenario
that stresses the specific vulnerabilities of the firm’s activities
and associated risks, including those related to the company’s capital
adequacy and financial condition.
20 More generally, as part
of its ongoing capital adequacy assessment, a firm should use multiple
scenarios to assess a
broad range of risks, stressful, conditions,
or events that could impact the firm’s capital adequacy.
1. Scenario design
A firm should
develop complete firm-specific scenarios that focus on the specific
vulnerabilities of the firm’s risk profile and operations. The scenario
design process should be directly linked to the firm’s risk-identification
process and associated risk assessment. For those aspects of risks
not well captured by scenario analysis, the firm should clearly articulate
how the risks are otherwise captured and addressed in the capital
planning process and factored into decisions about capital needs and
distributions.
In developing its scenarios, the firm should recognize
that multiple stressful conditions or events can occur simultaneously
or in rapid succession. The firm should also consider the cumulative
effects of stressful conditions, including possible interactions among
the conditions and second-order or “knock-on” effects.
When identifying and developing
the specific set of stressful conditions to capture in its stress
scenarios, the firm should engage a broad range of internal stakeholders,
such as risk experts, business managers, and senior management, to
ensure the process comprehensively takes into account the full range
of vulnerabilities specific to the firm.
2. Scenario
narrative
A firm’s stress scenario should be
supported by a detailed narrative describing how the scenario addresses
the firm’s particular material risks and vulnerabilities, and how
the paths of the scenario variables relate to each other. The narrative
should describe the key attributes of the scenario, including any
stress events in the scenario, such as counterparty defaults, large
operational risk related events, and ratings downgrades. For more
details, see Appendix G: Scenario Design.
Differences in Expectations for LISCC Firms and Large and Complex
Firms, as Compared to Large and Noncomplex Firms
The Federal Reserve has elevated expectations for
a LISCC Firm and a Large and Complex Firm relating to scenario design.
Specifically, the Federal Reserve expects a LISCC Firm and a Large
and Complex Firm to develop a scenario that is directly linked to
the firm’s risk-identification process and its risk assessment, and
engage a broad range of stakeholders. In contrast, a Large and Noncomplex
Firm is expected to either develop a firm-specific scenario or adjust
the Federal Reserve’s scenario to reflect the firm’s own risk profile.
In addition, a LISCC Firm and a Large and Complex Firm
should use multiple firm-specific scenarios as part of its ongoing
efforts to assess a broad range of risks, stressful conditions, or
events that could impact the firm’s capital adequacy. A Large and
Noncomplex Firm is not expected to use multiple firm-specific scenarios
in its capital adequacy assessment.
Further, the Federal Reserve has higher expectations
for the scenario narrative of a LISCC Firm and a Large and Complex
Firm and expects these firms to articulate how risks not captured
by scenario analysis are otherwise addressed in the capital planning
process.
F. Estimating
Impact on Capital Positions A firm
should employ estimation approaches that allow it to project the impact
on capital positions of various types of stressful conditions and
events. The firm’s stress testing practices should capture the potential
increase in losses or decrease in pre-provision net revenue (PPNR)
that could result from the firm’s risks, exposures, and activities
under stressful scenarios. A firm should estimate losses, revenues,
expenses, and capital using a sound method that relates macroeconomic
and other risk drivers to its estimates. The firm should be able to
identify the manner in which key variables, factors, and events in
a scenario affect losses, revenue, expenses, and capital over the
planning horizon. Projections of losses and PPNR should be done at
a level of granularity that allows for the appropriate differentiation
of risk drivers, while balancing practical constraints such as data
limitations (see Appendix A: Use of Models and Other Estimation
Approaches and Appendix D: Sensitivity Analysis and Assumptions Management).
The balance sheet projection process should establish
and incorporate the relationships among revenue, expense, and on-
and off-balance sheet exposures under stressful conditions, including
new originations, purchases, sales, maturities, prepayments, defaults,
and other borrower and depositor behavior considerations. A firm should
also ensure that changes in its asset mix and resulting RWAs are consistent
with PPNR and loss estimates. A firm should be able to identify key
risk drivers, variables or factors in the scenarios that generate
increased losses, reduced revenues, and changes to the balance sheet
and RWAs over the planning horizon (see Appendix H: Risk-Weighted
Asset (RWA) Projections).
1. Loss estimation
A firm should estimate losses using a sound
method that relates macroeconomic and other risk drivers to losses.
A firm should empirically demonstrate that a strong relationship exists
between the variables used in loss estimation and prior losses. When
using supervisory scenarios, a firm should project additional scenario
variables beyond those included in the supervisory scenarios if the
additional variables would be more directly linked to particular portfolios
or exposures. A firm should include a variety of loss types in its
stress tests based on the firm’s exposures and activities. Loss types
should include retail and wholesale credit risk losses, credit and
fair value losses on securities, market and default risk on trading
and counterparty exposures, and operational-risk losses.
a. Credit risk losses on loans and securities
A firm should develop sound methods to estimate credit
losses under stress that take into account the type and size of portfolios,
risk characteristics, and data availability. A firm should understand
the key characteristics of its loss estimation approach. In addition,
a firm’s reserves for each quarter of the planning horizon, including
the last quarter, should be sufficient to cover estimated loan losses
consistent with generally accepted accounting standards. A firm should
account for the timing of loss recognition in setting the appropriate
level of reserves at the end of each quarter of the planning horizon.
A firm should test credit-sensitive securities for potential
other-than-temporary impairment (OTTI) regardless of current impairment
status. The threshold for determining OTTI for structured products
should be based on cash-flow analysis and credit analysis of underlying
obligors.
b. Fair-value losses on loans and securities
As applicable, a firm should project changes in the
fair value of loans and available-for-sale securities (and impaired
held-to-maturity securities). The projections should be based on relevant
risk drivers, such as changes in credit spreads and interest rates.
The firm should ensure that the risk drivers appropriately capture
underlying risk characteristics of the loan or security, including
duration and the credit risk of the underlying collateral or issuer.
c. Market and default risks on trading and counterparty
exposures
A firm should project how the stress
affects mark-to-market values and the default risk of its trading
and counterparty exposures. A firm should capture all of its trading
positions and counterparty exposures, identify all relevant risk factors,
and employ sound revaluation methods. As part of its scenario analysis,
as described in greater detail in section III.E of this guidance “Incorporating
Stressful Conditions,” a firm should use scenarios that severely stress
the firm’s mark-to-market positions and account for the firm’s idiosyncratic
risks.
d. Operational-risk losses
A firm should maintain a sound process for estimating operational
risk losses in its capital planning process. Operational losses can
rise from various sources, including inadequate or failed internal
processes, people, and systems, or from external events (see Appendix I: Operational Loss Projections).
A firm should have a structured, transparent, and repeatable
framework in place to develop credible loss projections under stress
that takes into account the differences in loss characteristics of
different types of operational loss events. The approaches used to
project operational losses should be well supported and include scenario
analysis.
2. PPNR
In
projecting PPNR, a firm should take into account not only its current
positions, but also how its activities, business strategy, and revenue
drivers may evolve over time under the varying circumstances and operating
environments. The firm should ensure that the various PPNR components,
including net interest income, non-interest income and non-interest
expense, and other key items projected by the firm such as balance
sheet positions, RWA, and losses, are projected in a manner that is
internally consistent.
The ability to effectively project net interest income
is dependent upon the firm’s ability to identify and aggregate current
positions and their attributes; project future changes in accruing
balances due to a variety of factors; and appropriately translate
the impact of these factors and relevant interest rates into net interest
income based on assumed conditions. Accordingly, a firm’s current
portfolio of interest-bearing assets and liabilities should serve
as the foundation for its forward-looking estimates of net interest
income. Beginning positions, positions added during the planning horizon,
and the expected behavior of those positions are critical determinants
of net interest income. A firm should have the ability to capture
these dynamic relationships under its stress scenarios, and should
ensure all related assumptions are well supported (see Appendix
D: Sensitivity Analysis and Assumptions Management).
Non-interest income is derived from a diverse
set of sources, including fees, certain realized gains and losses,
and mark-to-market income. Non-interest income generally is more susceptible
to rapid changes than net interest income, especially if certain market
measures move sharply. A firm’s projections should incorporate material
factors that could affect the generation of non-interest income under
stress, including the firm’s business strategy, the competitive landscape,
and changing regulations.
Non-interest expenses include both expenses that are likely
to vary with certain stressful conditions and those that are not.
Projections of expenses that are closely linked to revenues or balances
should vary with projected changes in revenue or balance sheet levels.
Non-interest expense should be projected using either quantitative
estimation methods or well-supported judgment, depending on the underlying
drivers of the expense item.
3. Aggregating
estimation results
A firm should have well-documented
processes for projecting the size and composition of on- and off-balance
sheet positions and RWAs over the planning horizon that feed in to
the wider capital planning process (see Appendix H: Risk-Weighted
Asset (RWA) Projections).
A firm should have a consistently executed process for
aggregating enterprise-wide stress test projections of losses, revenues,
and expenses, including estimating on- and off-balance sheet exposures,
and RWAs, and for calculating post-stress capital positions and ratios.
The aggregation system should be able to bring together data and information
across business lines, portfolios, and risk types and should include
the data systems and sources, data reconciliation points, data quality
checks, and appropriate internal control points to ensure accurate
and consistent projection of financial data within enterprise-wide
scenario analysis. Internal processes for aggregating projections
from all relevant systems and regulatory templates should be identified
and documented. In addition, the beginning points for projections
and scenario variables should align with the end of the historical
reference period.
Differences in Expectations
for LISCC Firms and Large and Complex Firms, as Compared to Large
and Noncomplex Firms
The Federal Reserve
has elevated expectations for a LISCC Firm and a Large and Complex
Firm regarding its use of models in loss and revenue estimation. As
noted above, a LISCC Firm and a Large and Complex Firm is generally
expected to use quantitative approaches in estimating losses and PPNR,
whereas a Large and Noncomplex Firm may use either quantitative or
qualitative approaches. In addition, a LISCC Firm and a Large and
Complex Firms are expected to project losses and PPNR at a greater
level of granularity and are held to higher expectations regarding
their estimations in other areas, including with respect to setting
reserves, modeling operational risk, and identifying key risk drivers.
In addition, a LISCC Firm and a Large and Complex Firm
are held to expectations for estimation approaches for certain exposures,
such as fair value option loans and market risks for trading exposures,
that do not apply to a Large and Noncomplex Firm.
See Appendix A: Use of Models and Other
Estimation Approaches, for additional differentiated expectations
for a firm’s estimation approaches.
Appendix A: Use of Models and Other Estimation
Approaches Projections of losses and
PPNR under various scenarios are key components of enterprise-wide
stress testing and capital planning. The firm should ensure that its
projection approaches, including any specific processes or methodologies
employed, are well supported, transparent, and repeatable over time.
A firm should generally use models or other quantitative
methods, supported by expert judgment as appropriate, as the basis
for generating projections. In limited instances, such as in cases
of new products or businesses, or where insufficient data are available
to support modeled approaches, qualitative approaches may be appropriate
in lieu of quantitative methods to generate projections for those
specific areas.
A firm should adhere to supervisory guidance on model
risk management (SR-11-7) when using models, and should have sound
internal controls around both quantitative and qualitative approaches.
1. Quantitative approaches
Firms use a range of quantitative approaches for capital planning.
The type and level of sophistication of any quantitative approach
should be appropriate for the type and materiality of the portfolio
or activity for which it is used and the granularity and length of
available data. The firm should also ensure that the quantitative
approach selected generates credible estimates that are consistent
with assumed scenario conditions.
A firm should separately estimate losses and PPNR for
portfolios or business lines that are either sensitive to different
risk drivers or sensitive to risk drivers in a markedly different
way, particularly during periods of stress. For instance, losses on
commercial and industrial loans and commercial real estate (CRE) loans
are, in part, driven by different risk factors, with the path of property
values having a pronounced effect on CRE loan losses, but not necessarily
on other commercial loans. Similarly, although falling property values
affect both income-producing CRE loans and construction loans, the
effect often differs materially due to structural differences between
the two portfolios. Such differences can become more pronounced during
periods of stress.
A firm should have a well-supported variable selection
process that is based on economic intuition, in addition to statistical
significance where applicable. The firm should provide a clear rationale
for the macroeconomic variables or other risk drivers chosen for all
quantitative approaches, including why certain variables or risk drivers
were not selected.
A firm should estimate losses and PPNR at a sufficiently
disaggregated level within a given portfolio or business line to capture
observed variations in risk characteristics (for example, credit score
or loan-to-value ratio ranges for loan portfolios) and performance
across sub-portfolios or segments under changing conditions and environments.
Loss and PPNR estimates should also be sufficiently granular to capture
changing exposure levels over the planning horizon. However, in assessing
the appropriate level of granularity of segments, a firm should factor
in issues such as the availability of data or the costs and benefits
of model complexity. For example, when projecting losses for a more
diverse portfolio with a range of borrower risk characteristics and
observed historical performance, firms should segment the portfolio
more finely based on key risk attributes unless the segments lack
sufficient data observations to produce reliable model estimates.
a. Use of data
A firm should
use internal data to estimate losses and PPNR as part of its enterprise-wide
stress testing and capital planning practices.
21 However, it may be appropriate
for a firm to use external data if internal data limitations exist
as a result of systems limitations, acquisitions, or new products,
or other factors that may cause internal data to be less relevant
for developing stressed estimates. If a firm uses external data to
estimate its losses or PPNR, the firm should ensure that the external
data reasonably approximate underlying risk characteristics of the
firm’s portfolios or business lines. Further, the firm should make
adjustments to estimation methods or outputs, as appropriate, to account
for identified differences in risk characteristics and performance
reflected in internal and external data. In addition, firms should
relate their projections under stress scenarios to the characteristics
of their assets and activities described in their internal data.
A firm should generally include all available data in
its analysis, unless the firm no longer engages in a line of business
or its activities have changed such that the firm is no longer exposed
to a particular risk. The firm should not selectively exclude data
based on the changing nature of the ongoing business or activity without
strong empirical support. For example, excluding certain loans only
on the basis that they were underwritten to standards that no longer
apply or on the basis that the loans were acquired by the firm is
not sound practice.
b. Use of vendor models
22 A firm should have
processes to confirm that any vendor or other third-party models it
uses are sound, appropriate for the given task, and implemented properly.
A firm should clearly outline limitations and uncertainties associated
with vendor models.
Vendor model management includes having an appropriate
vendor selection process, assigning staff to oversee and maintain
the vendor relationships, and ensuring that there is sufficient documentation
of vendor models. A firm should also confirm that vendor models have
been sufficiently tested and that data used by the vendor are appropriate
for use at the firm. The firm should also establish key measures for
evaluating vendor model performance and tracking those measures whenever
those vendor models are used, as well as assess vendor models (including
to incorporate any relevant updates or changes). Vendor models should
be subject to validation processes similar to those employed for models
developed internally.
2. Assessing model performance
A firm should use measures to assess model performance
that are appropriate for the type of model being used. The firm should
outline how each performance measure is evaluated and used. A firm
should also assess the sensitivity of material model estimates to
key assumptions and use benchmarking to assess reliability of model
estimates (see Appendix C: Use of Benchmark Models in the Capital
Planning Process and Appendix D: Sensitivity Analysis and Assumptions
Management).
A firm should employ multiple performance measures and
tests, as generally no single measure or test is sufficient to assess
model performance. This is particularly the case when the models are
used to project outcomes in stressful circumstances. For example,
assessing model performance through out-of-sample and out-of-time
back testing may be challenging due to the short length of observed
data series or the paucity of realized stressed outcomes against which
to measure the model performance. When using multiple approaches,
the firm should have a consistent framework for evaluating the results
of different approaches and supporting rationale for why
it chose the methods and estimates ultimately used.
A firm should provide supporting information
about models to users of the model output, including descriptions
of known measurement problems, simplifying assumptions, model limitations,
or other ways in which the model exhibits weaknesses in capturing
the relationships being modeled. Providing such qualitative information
is critical when certain quantitative criteria or tests measuring
model performance are lacking.
3. Qualitative
approaches
A qualitative approach to project
losses and PPNR may be appropriate in limited cases where severe data
or other limitations preclude the development of reliable quantitative
approaches. The firm should document why such an approach is reliable
for generating projections and is justified based on business need.
When using a qualitative approach, the firm should substantiate
assumptions and estimates using analysis of current and past risk
drivers and performance, internal risk identification, forward-looking
risk assessments, external analysis or other available information.
The firm should conduct an initial and ongoing assessment of the performance
and viability of the qualitative approach. The processes used in qualitative
projection approaches should be transparent and repeatable. The firm
should also clearly document qualitative approaches and key assumptions
used.
Qualitative approaches should be subject to independent
review, although the review may differ from the review of quantitative
approaches or models. The level of independent review should be commensurate
with:
- the materiality of the portfolio or business line
for which the qualitative approach is used;
- the impact of the approach’s output on the overall
capital results; and
- the complexity of the approach.
Firm staff conducting the independent review of the qualitative
approaches should not be involved in developing, implementing
or using the approach. However, this staff can be different than the
staff that conducts validation of quantitative approaches or models.
Differences in Expectations for LISCC Firms
and Large and Complex Firms, as Compared to Large and Noncomplex Firms
The Federal Reserve expects a LISCC Firm
and a Large and Complex Firm to base their projections on internal
data, include all available data in its analysis, and estimate losses
and PPNR at a disaggregated level. In contrast, the Federal Reserve
expects a Large and Noncomplex Firm to use either internal or external
data in its projections, use all available data in analyzing material
portfolios and business lines, and estimate losses and PPNR at a less
granular level.
In addition, the Federal Reserve has heightened expectations
for a LISCC Firm and a Large and Complex Firm regarding the variable
selection process, controls around the use of vendor models, and measures
for assessing model performance. In addition, the Federal Reserve
expects a LISCC Firm and a Large and Complex Firm to have strong controls
related to all qualitative approaches, whereas the Federal Reserve
holds a Large and Noncomplex Firm to this standard only with respect
to material qualitative approaches.
See section F, “Estimating Impact on Capital Positions,”
of the core guidance document for additional differentiated expectations
for a firm’s estimation approaches.
Appendix B: Model Overlays A firm may need to rely on overrides or adjustments
to model output (model overlay) to compensate for model, data, or
other known limitations.
23 If well-supported, use of a model overlay can represent a sound
practice.
A model overlay may be appropriate to address cases of
identified weaknesses or limitations in the firm’s models that cannot
be otherwise addressed, or for select portfolios that
have
unique risks that are not well captured by the model used for those
exposures and activities.
24 In contrast, a model overlay that functions as a general “catch
all” buffer on top of targeted capital levels to account for model
weaknesses generally would not represent sound practice.
25
A firm should also avoid extensive
reliance on model overlays throughout its capital planning process,
particularly for material portfolios or where an overlay would have
a large effect on projections. Further, a firm should reduce its reliance
on overlays by addressing the underlying model issue over time. Firms
should evaluate the reasons for overlays and track and analyze overlay
performance.
As part of its overall documentation of methodologies
used in stress testing, a firm should document its use of model overlays.
Firms must be able to identify the main factors necessitating the
use of an overlay as well as how the selected overlay addresses those
factors. Key assumptions related to the overlay should be clearly
outlined and consistent with assumed scenario conditions.
1. Process for applying overlays
A firm should establish a consistent firm-wide process for applying
model overlays and for controls around model overlays. The process
can vary by model type and portfolio, but should contain some key
elements, as described below. This process should be outlined in the
firm’s policies and procedures and include a specific exception process
for the use of overlays that do not follow the firm’s standards. As
part of model development, implementation, and use, overlays should
be well documented, supported, and communicated to senior management.
Model overlays should be applied in an appropriate, systematic, and
transparent manner. Model results should also be reported to senior
management with and without overlay adjustments.
Model overlays (including those based solely
on expert or management judgment) should be subject to validation
or some other type of effective challenge.
26 Consistent
with the materiality principle in SR-11-7, the intensity of model
risk management for overlays should be a function of the materiality
of the model and overlay. Effective challenge should occur before
the model overlay is formally applied, not on an ex-post basis.
Validation or other type of effective challenge of model
overlays may differ from quantitative model validation. Staff responsible
for effective challenge should not also be setting the overlay
itself or providing significant input to the level or type of overlay.
For example, a committee that develops an overlay should not also
be responsible for the effective challenge of the overlay. In addition,
staff engaging in the effective challenge of model overlays should
meet supervisory expectations relating to incentives, competence,
and influence (as outlined in SR-11-7). Staff conducting effective
challenge should confirm that model overlays are sufficiently conservative
to compensate for model limitations and associated uncertainties in
model estimates. Sensitivity analysis should be used to help quantify
the overlay.
2. Governance of overlays
Overlays and adjustments used by a firm should be
reviewed and approved at a level within the organization commensurate
with the materiality of that overlay or adjustment to overall pro
forma results. In general, the purpose and impact of overlays should
be communicated to senior management in a manner that facilitates
an understanding of the issues by the firm’s senior management. Material
overlays to the model—either in isolation or in combination—should
receive a heightened level of support and scrutiny, up to and including
review by the firm’s board of directors (or a designated committee),
in instances where the impact on pro forma results is material.
Senior management should periodically receive a high-level
description of the use of model overlays. This description should
include the number of models having overlays, whether more material
models have overlays, whether overlays on the whole result in more
or less conservative projections, and the range of the effect of overlays
on the model output (especially for those cases where the overlays
produce less conservative outcomes).
Senior management should be able to independently assess
the reasonableness of using an overlay to capture a particular risk
or compensate for a known limitation. Extensive use of overlays should
trigger discussion as to whether new or improved modeling approaches
are needed to reduce overlay dependency. Signs that the underlying
model needs revision or redevelopment include a high rate of overrides
or overrides that consistently affect model performance.
Differences in Expectations for LISCC Firms and
Large and Complex Firms, as Compared to Large and Noncomplex Firms
The Federal Reserve has elevated expectations
for a LISCC Firm and a Large and Complex Firm regarding its use of
model overlays. The Federal Reserve expects a LISCC Firm and a Large
and Complex Firms to use overlays in sparing and targeted manner,
subject overlays to validation or effective challenge before use,
and conduct sensitivity analysis on an overlay. In contrast, a Large
and Noncomplex Firm may use overlays to a greater extent, should make
an effort to validate or conduct effective challenge for material
overlays before use, and is not expected to conduct sensitivity analysis
on an overlay.
In addition, the Federal Reserve expects a LISCC Firm
and a Large and Complex Firm to have strong controls over all overlays,
whereas the Federal Reserve holds a Large and Noncomplex Firm to this
standard only with respect to material qualitative approaches. Last,
the Federal Reserve has heightened expectations for LISCC Firm and
a Large and Complex Firm relating to governance of overlays.
Appendix C: Use of Benchmark
Models in the Capital Planning Process As noted in Appendix A: Use of Models and Other Estimation Approaches,
a firm should use a variety of methods, including benchmarking, to
assess model performance and gain comfort with model estimates. A
firm should use benchmark or challenger models to assess the performance
of its primary models for all material portfolios or to supplement,
where appropriate, the primary models.
27 Such models should be used in conjunction with other aspects
of benchmarking, such as comparing model results to actual market
data, internal firm data, data from similar firms or portfolios, or
judgmental estimates by business line experts. A firm should also
use benchmark models during validation as an additional check on the
primary model and its results.
Use of benchmark models is particularly important when
primary models have exhibited significant deficiencies or are still
under development. For instance, a firm’s primary model may use a
preferred methodology, but lack a rich data set to support modeled
estimates. In these cases, the firm should use benchmark models based
on different data and modeling approaches to provide additional checks
on primary model estimates. To the extent that a benchmark model highlights
that a primary model has flaws (e.g., the model is producing output
that is vastly different from experience during prior periods of stress),
a firm should analyze whether it would be appropriate to adjust the
model specification, apply model overlays, or develop different estimation
approaches.
Benchmark models that are developed and run independently
of primary models can be used to more effectively calibrate the firm’s
final estimates. For example, a firm can use benchmark model outputs
to substantiate model overlays, given differences in risk capture
between primary and benchmark models. This type of “triangulation”
is especially suitable for those areas of modeling that present considerable
uncertainty.
Benchmark models used to arrive at the firm’s final estimates
should be subject to model risk management. The intensity and frequency
of validation or other type of effective challenge of benchmark models
of a firm should correspond to the importance of those models in generating
estimates. For example, if the output of a benchmark model is averaged
with primary model results to develop final estimates, or if the benchmark
model is used to develop overlays or overrides for the primary model,
that model should be subject to more intensive validation.
Benchmark models that are used only
during the validation process and do not contribute directly to the
firm’s estimates do not need to be validated. However, a firm should
assess the rigor of all benchmark models and benchmark data used to
ensure they provide reasonable comparisons.
Differences in Expectations for LISCC Firms and Large and Complex
Firms, as Compared to Large and Noncomplex Firms
The Federal Reserve expects a LISCC Firm and a Large
and Complex Firm to use benchmark models in capital planning; a Large
and Noncomplex Firm is not held to this expectation.
Appendix D: Sensitivity Analysis and Assumptions
Management A firm should understand
the sensitivity of its stress testing estimates used in capital planning
to the various inputs and assumptions. In addition, sensitivity analysis
should be used to test the robustness of quantitative approaches and
models and enhance reporting to the firm’s senior management, board
of directors, and supervisors. A firm should ensure that it identifies,
documents, and manages the use of all key assumptions used in capital
planning.
1. Sensitivity analysis
Understanding and documenting a range of potential outcomes
provides insight into the inherent uncertainty and imprecision around
pro forma results. A firm should assess the sensitivity of its estimates
of capital ratios, losses, revenues, and RWAs to key assumptions and
uncertainty across the entire firm’s projections under stress. Through
this assessment, a firm should calculate a range of potential estimates
based on changes to assumptions and inputs. Examples of assumptions
that generally should be subject to sensitivity analysis include projected
market share, size of the market, cost and flow of deposits, utilization
rate of credit lines, discount rates, or level and composition of
trading assets and RWA.
A firm should also evaluate the sensitivity of models
to key assumptions to evaluate model performance, assess the appropriateness
of assumptions, and understand uncertainty associated with model output.
Sensitivity analysis for capital planning models should
be applied in a manner consistent with the expectations outlined in
the Federal Reserve’s supervisory guidance on model risk management
(refer to SR letter 11-7). Sensitivity analysis should be conducted
during model development and during model validation to provide information
about how models respond to changes in key inputs and assumptions,
and how those models perform in stressful conditions. In addition,
sensitivity analysis should be applied to understand the range of
possible results from vendor-provided models and vendor-provided scenario
forecasts that have opaque or proprietary elements. Sensitivity analysis
should be used to provide information to help users of model output
interpret results, but does not have to result in changes to models
or model outputs. Changes made based on sensitivity analysis should
be clearly documented and justified.
A firm should ensure that the key sensitivities are presented
to senior management and the board in advance of decision-making around
the firm’s capital plan and capital actions. Sensitivity analysis
should also be used to inform senior management, and, as appropriate,
the board of directors about the potential uncertainty associated
with models employed of the firm’s projections under stress.
2. Assumptions management
A firm should clearly document assumptions when estimating losses,
PPNR, and balance sheet, and RWA components. Documentation should
include the rationale and empirical support for assumptions and specifically
address how those assumptions are consistent with and appropriate
under the firm’s scenario conditions.
A firm’s rationale for assumptions used in capital planning
should be consistent with the different effects of scenario conditions,
shifts in portfolio mix, and growth or decline in balances projected
over the planning horizon. For example, the firm should scrutinize
and support any assumptions about sizeable loan growth during a severe
economic downturn.
A firm should generally use conservative assumptions,
particularly in areas of high uncertainty. The firm should provide
greater support for assumptions that appear optimistic or otherwise
appear to benefit the firm (such as loss reduction or revenue enhancement).
A firm should not assume that senior management will be able to realize
favorable strategic actions that cannot be reasonably assured in stress
scenarios given the high level of uncertainty around market conditions.
Further, a firm should not assume that it would have the perfect foresight
that would allow it, for example, to make significant expense reductions
in the first quarter of the forecast horizon in anticipation of the
forthcoming economic deterioration described in the scenario.
A firm should not always assume
that historical patterns will repeat. For example, a firm should not
assume that if it has suffered no or minimal losses in a certain business
line or product in the past, such a pattern will continue. In addition,
a firm should carefully analyze effects of any structural changes
in customer base, product, and financial markets on its projections,
as these changes could significantly affect a firm’s performance under
stress scenarios. Furthermore, the firm should explore the potential
effects of changes in assumed interrelationships among variables and
the behavior of exposures. The firm should also explicitly justify,
document, and appropriately challenge any assumptions about diversification
benefits.
A firm should confirm that key assumptions used in vendor
or other third-party products are transparent and have sufficient
support before using the products in stress testing. The firm should
limit use of vendor products whose assumptions are not fully transparent
or supported or use those products only in conjunction with another
approach or compensating controls (e.g., overlays).
Differences in Expectations for LISCC Firms and Large and Complex
Firms, as Compared to Large and Noncomplex Firms
The Federal Reserve expects a LISCC Firm and a Large
and Complex Firm to apply sensitivity analysis, including assumptions
used in vendor models, to all approaches and assumptions used in capital
planning. In contrast, a Large and Noncomplex Firm is expected to
use sensitivity analysis only for material approaches and assumptions
used in material vendor models. In addition, the Federal Reserve expects
a LISCC Firm and a Large and Complex Firm to subject a greater range
of assumptions to sensitivity analysis and subject assumptions based
on historical patterns to greater scrutiny.
Appendix E: Role of the Internal Audit Function
in the Capital Planning Process A firm’s
internal audit function should play a key role in evaluating the adequacy
of the firm’s capital planning process and in assessing whether the
risk management and internal control practices supporting that process
are comprehensive and effective. A firm should establish an audit
program around its capital planning process that is consistent with
SR letter 13-1, “Supplemental Policy Statement on the Internal Audit
Function and Its Outsourcing.”
1. Responsibilities
of audit function
The internal audit function
should identify all auditable processes related to capital planning
and develop an associated audit plan. The audit function should also
perform substantive testing to ascertain the effectiveness of the
control framework supporting the firm’s capital
planning process, communicate identified limitations and deficiencies
to senior management, and communicate material limitations and deficiencies
to the board of directors (or the audit committee of the board). The
audit function should comprehensively cover the firm’s capital planning
process.
The internal audit function should perform periodic reviews
of all aspects of the internal control framework supporting the capital
planning process to ensure that all individual components as well
as the entire process are functioning in accordance with supervisory
expectations and the firm’s policies and procedures. The internal
audit function should also review the manner in which deficiencies
are identified, tracked, and remediated. Furthermore, the internal
audit function should ensure appropriate independent review is occurring
at various levels within the capital planning process.
A firm’s internal audit staff should
have the appropriate competence and stature to identify and escalate
key issues when necessary. Adequate quantitative expertise is needed
to assess the effectiveness of the capital planning processes and
procedures. The role of audit staff is to evaluate whether the capital
planning process is comprehensive, rigorous, and effective. The internal
audit function may also rely on an independent third party external
to the firm to complete some of the substantive testing as long as
the internal audit function can demonstrate proper independence of
the third party from the area being assessed and provide oversight
over the execution and quality of the work.
Other supervisory expectations for the internal audit
function relating to the capital adequacy process include:
- verifying that acceptable policies are in place and
that staff comply with those policies;
- assessing accuracy and completeness of the model
inventory;
- evaluating procedures for updating processes and
ensuring appropriate change/version controls;
- confirming that staff are meeting documentation standards,
including reporting;
- reviewing supporting operational systems and evaluating
the reliability of data used in the capital planning process; and
- reviewing the quality of any work conducted by external
parties.
2. Development of audit plan
The internal audit function should have a documented
plan describing its strategy to assess the processes and controls
supporting the firm’s capital planning process. When defining the
annual audit universe and audit plan, the internal audit function
of a firm should focus on the most significant risks relating to the
capital planning process. The firm may leverage existing or regularly
scheduled audits to ensure coverage of all the capital planning process
components; however, the findings and conclusions of these audits
should be incorporated into the overall summary of audit activities
and conclusions regarding the firm’s capital planning process.
The internal audit function should also establish a process
for reviewing and updating, as appropriate, its audit plan annually
to account for material changes to the firm’s capital planning process,
internal control systems, infrastructure, work processes, business
lines, or changes to relevant laws and regulations. The firm should
also ensure that the periodic assessment of the capital planning process
is supported by a reliable and current assessment of the individual
components.
3. Briefings to senior management
and board
On an annual basis, the internal
audit function should report to senior management and the board of
directors on the capital planning process to inform recommendations
and decisions on the firm’s capital plan. The report should provide
an opinion of the capital planning process, a statement of the effectiveness
of the controls and processes employed, a status update on previously
identified issues and remediation plans, and any open issues or uncertainties
related to the firm’s capital plan. Any key processes that are not
comprehensively reviewed and tested, due to timing or significant
changes in processes, should be clearly documented and identified
as areas with potential heightened risk. In addition, a firm’s internal
audit function should brief theboard of directors (or a designated
committee thereof) and senior management at least quarterly on the
status of key findings relating to the capital planning process.
The internal audit function should track responses to
its findings and report to the board any cases in which senior management
is not implementing required changes related to audit findings or
is doing so with insufficient intensity. In addition, the internal
audit function should report any identified material deficiencies,
limitations, or weaknesses related to the firm’s capital planning
process to the board of directors and senior management in a timely
manner.
Differences in Expectations for LISCC
Firms and Large and Complex Firms, as Compared to Large and Noncomplex
Firms
The expectations for internal
audit at a LISCC Firm and a Large and Complex Firm are more specific
and detailed than the expectations for a Large and Noncomplex Firm.
For example, the internal audit function of a LISCC Firm and a Large
and Complex Firm is expected to conduct a deeper, more detailed assessment
of the firm’s model inventory, procedures for updating processes and
change and version controls, adherence to documentation standards,
operational systems, and work conducted by external parties. In addition,
internal audit at a LISCC Firm and a Large and Complex Firm should
have more explicit procedures for updating its audit plans. Last,
a LISCC Firm and a Large and Complex Firm should brief the board of
directors at least quarterly about key findings related to the capital
planning process (in addition to the formal annual audit report, which
is an expectation for a LISCC Firm, a Large and Complex Firm, and
a Large and Noncomplex Firm).
Appendix F: Capital Policy A firm’s
capital policy should describe how the firm manages, monitors, and
makes decisions regarding capital planning.
28 The policy should
include internal post-stress capital goals and real-time targeted
capital levels; guidelines for dividends and stock repurchases; and
strategies for addressing potential capital shortfalls.
A firm’s capital policy should describe
the manner in which consolidated estimates of capital positions are
presented to senior management and the board of directors. The capital
policy should require staff with responsibility for developing capital
estimates to clearly identify and communicate to senior management
and board of directors the key assumptions affecting various components
that feed into the aggregate estimate of capital positions and ratios.
The capital policy should require that aggregated results be directly
compared against the firm’s stated post-stress capital goals, and
that those comparisons are included within the standard reporting
to senior management and the board of directors.
1. Post-stress capital goals
Post-stress
capital goals should provide specific minimum thresholds for the level
and composition of capital that the firm intends to maintain during
a stress period. Post-stress capital goals should include any capital
measures that are relevant to the firm.
The firm should be able to demonstrate through its own
internal analysis, independently of regulatory capital requirements,
that remaining at or above its internal post-stress capital goals
will allow the firm to continue to operate. Capital goals should take
into consideration the uncertainty inherent in capital planning, as
well as the economic and market outlook.
The capital policy should describe how senior management
and the board concluded that the firm’s post-stress capital goals
are appropriate, sustainable in different conditions and environments,
and consistent with its strategic objectives, business model, and
capital plan. In addition, the capital policy should describe the
process by which the firm establishes its post-stress capital goals,
and include the supporting analysis underpinning the goals chosen
by the firm.
A firm should annually review its capital goals, evaluate
whether its post-stress capital goals are still appropriate based
on changes in operating environment, business mix, or other conditions,
and adjust those goals as needed.
A firm should adjust its real-time capital targets (that
is the amount of current capital it holds above its post-stress capital
goals to ensure it does not fall below those goals under stress) more
frequently than it adjusts capital goals, based on changes in the
business mix, operating environment, or other current conditions and
circumstances.
2. Dividends and stock repurchases
A firm’s capital policy should describe the processes
relating to common stock dividend and repurchase decisions, including
the processes to determine the timing, form, and amount of all planned
distributions. The capital policy should also specify the analysis
and metrics that senior management and the board use to make capital
distribution decisions. The analysis should include strategic considerations
such as new business initiatives, potential acquisitions, and the
other relevant factors.
The capital policy should identify the types of calculations
and analysis that support a firm’s proposed capital actions and determine
the amount of capital available for distribution at any given time.
For example, a firm should develop and use payout ratio limits in
the decision making process. While payout ratio limits or targets
should not be the single determining factor, the capital policy should
describe how payout ratio limits or targets are considered, including
how they are consistent with firm’s strategic goals, how they were
derived, and what analysis was used to determine the appropriate amount
of capital to distribute in a given period. Further, a firm should
include in its capital policy threshold levels for payout ratios that
trigger management action. Such action should include escalation to
the board and potential suspension of capital distributions. Escalation
protocols should be clear, credible, and actionable in the event of
an actual or projected target is breached.
3. Contingency plans for capital shortfalls
A firm’s capital policy should include specific capital contingency
actions the firm would take to remedy any current or prospective deficiencies
in its capital position. The firm’s capital contingency plan should
reflect strategies for identifying and addressing potential capital
shortfalls and specify circumstances under which the board of directors
and senior management will revisit planned capital actions or otherwise
institute contingency measures.
29 A contingency plan should
include a set of thresholds for metrics or events that provide early
warning signs of capital deterioration and that trigger management
action or scrutiny.
30 Additionally, triggers for more
severe levels of deterioration should be linked to escalation procedures
for more immediate management action and should be consistent with
triggers in the firm’s recovery plan. Triggers should reflect both
point-in-time and forward-looking measures (both baseline and stress).
Capital contingency plans should include options for actions
that a firm would consider taking to remedy any current or prospective
deficiencies in its capital position, such as reducing or ceasing
capital distributions, raising additional capital, reducing risk,
or employing other means to preserve existing capital. Contingency
options in the firm’s capital policy should be consequential, realistic,
actionable, and comprehensive.
Capital contingency plans should include a detailed explanation
of the circumstances in which the firm would consider implementing
these options, including when it would reduce or suspend a dividend
or repurchase program or not execute a previously planned capital
action. The capital contingency plans should specify the type of information
that would be provided to decision makers when the firm’s current
or projected capital levels have deteriorated, including how management
would present options to address the capital position and the long-term
viability of the firm. Contingency options should be ranked according to
ease of execution and impact and should incorporate an assessment
of stakeholder reactions. All options should be evaluated for their
feasibility and the reasonableness of underlying assumptions (such
as whether a firm would be able to raise capital or draw on capital
from another entity during a period of stressful market conditions).
Differences in Expectations for LISCC Firms
and Large and Complex Firms, as Compared to Large and Noncomplex Firms
The Federal Reserve expects a LISCC Firm
and a Large and Complex Firm to include quantitative payout ratios
in its distribution decision-making process, but does not have this
expectation for Large and Noncomplex Firms. The Federal Reserve also
expects a LISCC Firm and a Large and Complex Firm to provide more
support for its post-stress capital goals than a Large and Noncomplex
Firm.
In addition, the Federal Reserve expects a LISCC Firm
and a Large and Complex Firm to include additional detail on contingency
options in its capital contingency plan and to integrate its capital
contingency plan with the firm’s broader crisis management framework.
In contrast, the Federal Reserve does not have these expectations
for Large and Noncomplex Firms.
See section D, “Capital Policy,” for additional differentiated
expectations for a firm’s capital policy.
Appendix G: Scenario Design As part of its capital plan, a firm must use at
least one scenario that stresses the specific vulnerabilities of the
firm’s risk profile and operations, including those related to the
company’s capital adequacy and financial condition.
31 The firm’s
stress scenario should be at least as severe as the Federal Reserve’s
severely adverse supervisory scenario, measured in terms of its effect
on net income and other elements that affect capital.
32
As noted in the core document, a
firm should develop at least one complete firm-specific scenario that
focuses on the specific vulnerabilities of the firm’s risk profile
and operations. The firm’s scenario should be carefully tailored to
the idiosyncratic risks of the firm, as defined through the firm’s
internal material risk-identification process, and should incorporate
circumstances that are particularly stressful to the firm, given the
firm’s idiosyncratic risks and key vulnerabilities. Such circumstances
include those affecting the firm’s particular business model, revenue
drivers, mix of assets and liabilities, geographic footprint, portfolio
characteristics, and specific operational risk vulnerabilities. The
firm can incorporate the idiosyncratic stress considerations in macroeconomic
and financial market variables or a discrete stress event included
in the scenario. A firm-specific scenario would not meet supervisory
expectations if it is not tailored to the firm’s activities and risks.
This is the case even if the severity is generally equivalent to the
supervisory stress scenarios or if the post-stress capital ratios
are lower than those under the supervisory severely adverse scenario.
The stress scenario should include stressful circumstances
and events that could, on a standalone basis or in combination, reduce
the firm’s capital levels and ratios and potentially impede the firm’s
ability to operate as a going concern, and cover material risks to
which the firm is exposed over the course of an annual planning cycle.
A firm’s scenario should include factors that capture economy- or
market-wide stresses and idiosyncratic risks that can put a strain
on the firm. A firm should also take into account conditions and events
that have not previously occurred, but that may pose a significant
threat to the firm given its exposures, risk profile, and business
strategy.
Use of multiple scenarios
In addition, a firm should use multiple scenarios as
part of its ongoing capital adequacy assessment to assess a broad
range of risks, stressful conditions, or events that could impact
the firm’s capital adequacy. This assessment should inform development
of the internal stress scenario(s) used in the firm’s plan, the firm’s
post-stress capital goals, and its current capital targets. The firm’s
scenarios should collectively address all material risks to which
the firm is exposed over the course of an annual planning cycle.
In designing its stress scenarios, a firm should incorporate
risks and vulnerabilities that arise from multiple factors, sources,
and events. Historical data may provide a starting point for scenarios,
but a firm should also consider other data sources and challenge conventional
assumptions when identifying the stressful conditions and events that
could adversely affect the firm’s capital adequacy. In certain instances,
scenarios that include economic and financial market variables that
deviate from historical experience and correlations are appropriate
if, for example, previously unobserved vulnerabilities exist in certain
sectors of the economy or financial markets. In addition, the firm
should not exclude experiences that have occurred outside its own
history when designing stress scenarios, particularly if the firm
has recently expanded its business to include new products, markets,
or customers.
The macroeconomic variables used in a given scenario should
collectively describe the general operational environment considered
in the scenario. A firm should ensure that the scenario includes sufficient
macroeconomic variables to support its stress testing estimation methods.
While a firm should assess the internal consistency of the scenario,
the firm should evaluate whether deviations from historically observed
relationships among macroeconomic variables that increase the degree
of stress placed on the firm may be appropriate.
Depending on the significance of market risk
in a firm’s overall risk profile, the firm’s stress scenarios should
include an adverse movement in financial market variables, such as
asset prices, spreads, and rates, and related risk factors that impact
a firm’s trading exposures. The firm should base market risk factors
in the scenario on a thorough evaluation of the specific positions
of the firm and the material risks coincident with those positions.
A firm should limit use of past periods of financial market stress
that do not sufficiently stress the firm’s current positions.
Differences in Expectations for LISCC Firms and
Large and Complex Firms, as Compared to Large and Noncomplex Firms
The Federal Reserve has elevated expectations
for a LISCC Firm and a Large and Complex Firm relating to scenario
design. Specifically, a LISCC Firm and a Large and Complex Firm is
expected to develop a scenario that is directly linked to the idiosyncratic
risks of the firm, as determined by its risk-identification process
and risk assessment. In contrast, a Large and Noncomplex Firm is expected
to either develop a firm-specific scenario or adjust the Federal Reserve’s
scenario to reflect the firm’s own risk profie.
In addition, a LISCC Firm and a Large and
Complex Firm should use multiple internally-designed scenarios as
part of its efforts to assess a broad range of risks, stressful conditions,
or events that could impact the firm’s capital adequacy. A Large and
Noncomplex Firm is not expected to use multiple scenarios in its capital
planning process.
Appendix
H: Risk-Weighted Asset (RWA) Projections A firm should maintain a sound process for projecting RWAs over the
planning horizon. The firm’s initial RWA calculations should be consistent
with applicable regulatory capital requirements. In addition, the
firm’s projections of RWAs should be developed in a fashion consistent
with the scenario conditions and in accordance with applicable regulatory
capital requirements.
1. Initial RWA calculations
Starting balances for both on- and off-balance
sheet exposures and applicable risk weights form the foundation for estimates
of post-stress capital ratios. Therefore, firms should verify carefully
the accuracy of these starting balances. Moreover, deficiencies in
starting RWA calculations are generally compounded in RWA projections
over the planning horizon. A firm should ensure that it has sound
controls around its RWA calculation and regulatory reporting processes
as part of the firm’s broader data governance program.
2. RWA projections
A firm should
ensure that RWA projections are consistent with a given scenario and
incorporate the impact of projected changes in exposure amounts and
risk characteristics of on- and off-balance sheet exposures under
the scenario. A firm should demonstrate that assumptions associated
with RWA projections are clearly conditioned on a given scenario and
are consistent with stated internal and external business strategies.
In addition, firms should ensure that projected market risk-weighted
assets (market RWAs) are consistent with market factors (e.g., volatility
levels, equity index levels, bond spreads) and assumptions around
the size and composition of their trading assets.
A firm should document assumptions for projecting
RWAs and their relationship to the RWA projections. If the firm’s
models for projecting RWAs rely upon historical relationships, the
firm should provide a description of the historical data used and
clearly describe why these relationships are expected to be maintained
under a given scenario. Further, a firm should analyze the appropriateness
of assumptions regarding the following:
- any aggregation of balance projections by exposure
type or characteristic (e.g., balances for exposures that do not distinguish
between amounts that are considered past due and those that are current)
for purposes of applying corresponding risk weights;
- any use of average or effective risk weights based
on the firm’s as-of date portfolio composition or historical trend;
and
- any exposure types for which RWAs are held constant
over the projection horizon.
For purposes of projecting RWAs under the standardized
approach, a firm should project balances, risk characteristics, and
calculation parameters with appropriate consistency and granularity
to facilitate application of appropriate regulatory risk weights for
its on- and off-balance sheet exposures.
33 In particular, RWA projections
should include information sufficient to assess the impact of potential
changes to the following:
- counterparty mix, collateral mix, collateral haircuts,
and netting assumptions for derivatives and repo-style transactions;
- default fund assumptions for derivatives that are
centrally cleared;
- Simplified supervisory formula approach (SSFA) input
parameters for securitization exposures;
- Organization for Economic Cooperation and Development
(OECD) Country Risk Classifications (CRCs) or default status relating
to foreign exposures;
- the utilization rate of off-balance sheet lines of
credit;
- the mix between unconditionally cancellable and conditionally
cancellable off balance sheet exposures;
- the volume of residential mortgage exposures that
qualify for 50 percent risk weight; and
- the volume of past due exposures as defined under
Regulation Q.34
3. Market risk-weighted asset projections
The methods and processes used to project market
RWAs will differ across firms, in part as a function of the combination
of model and non-model based methods used to determine starting market
RWAs. However, as a general matter, market RWAs are expected to be
positively correlated to volatility, spreads, or other relevant market
factors, holding all things equal. If a firm projects flat or declining
market RWAs over the planning horizon under the stress scenarios,
the firm should provide support for the reasonableness of these assumptions
under stressful market conditions. In addition, the firm should demonstrate
that those assumptions are applied consistently across the enterprise-wide
stress testing process, including for revenue projections.
If a firm that is not currently
subject to the market risk rule projects its trading assets and trading
liabilities to grow over the planning horizon, it should assess whether
the projected growth would require the firm to calculate market RWA
under the regulatory capital rule.
35 The firm should estimate the effect of market
RWAs, if applicable, on its projected capital ratios and document
the process used to project market RWAs in its capital plan.
4. Independent review of RWA reporting and projections
A firm should implement and document an independent
review of RWA regulatory reporting by the firm’s internal audit function
or another independent control function. The independent review should
ensure point-in-time RWA calculation processes appropriately capture
all relevant on- and off-balance sheet exposures and are consistent
with applicable risk-weighting methodologies to which the firm is
subject under Regulation Q. The independent review should be conducted
by a party with the necessary expertise to perform such reviews but
with independence from the assignment of the risk weights for regulatory
reporting purposes. The review should provide reasonable assurance
that the initial RWAs are accurate and that the methods used to project
RWAs are sound. Documentation of the independent review should clearly
describe the scope of the review, outcomes and findings of the review,
and any associated remediation efforts. A firm should also ensure
that the underlying data processes supporting RWA projections include
appropriate controls, reconciliations and attestations, and that data
integrity testing is conducted by an independent party.
Differences in Expectations for LISCC Firms and
Large and Complex Firms, as Compared to Large and Noncomplex Firms
The Federal Reserve has elevated expectations
for a LISCC Firm and a Large and Complex Firm relating to RWAs projections.
For instance, a LISCC Firm and a Large and Complex Firm should provide
more detailed support and documentation for assumptions regarding
RWA projections, and implement an independent review of RWA projections.
In contrast, a Large and Noncomplex Firm is not held to the heightened
expectations regarding RWA projections, and is not expected to implement
an independent review of RWA projections.
In addition, this appendix sets forth expectations
for market RWA projections, which would apply only to a LISCC Firm
and a Large and Complex Firm.
Appendix I: Operational Loss Projections A firm faces a wide range of operational risk in conducting
its business operations. Operational losses can arise from various
sources, including inadequate or failed internal processes, people,
and systems, or from external events, and can differ in frequency
and severity. For example, some operational loss events, such as credit
card fraud, are often more predictable as they occur at high frequency,
but generally have low loss severity. The outcome of other events,
such as major litigation, are less certain and can result in outsized
losses.
Risk-identification process
A firm should maintain a sound process for estimating
operational risk losses in its capital planning process, taking into
account the differences in loss characteristics of different operational
loss event types. A firm’s risk-identification process should include
the evaluation of the type of operational risk loss events to which
the firm is exposed and the sensitivity of those events to internal
and external operating environments.
The firm-specific scenario submitted in a firm’s capital
plan should capture the firm’s material operational risks, be designed
with the firm’s particular vulnerabilities in mind, and include potential
firm-specific events such as system failures, or litigation-related
losses. The firm should evaluate both the firm’s own loss history
and the large loss events experienced by industry peers with
similar business mix and overall operational risk profiles.
Approaches to operational loss estimation
The firm should have transparent and well-supported estimation
approaches based on both quantitative analysis and expert judgment,
and should not rely on unstable or unintuitive correlations to project
operational losses. Scenario analysis should be a core component of
the firm’s operational loss projection approaches.
Certain operational risks, particularly those
most likely to give rise to large losses, often may not have measureable
relationships to the overall scenario conditions. In addition, large
operational loss events are often idiosyncratic, limiting the relevance
of historical data. The firm should also limit dependence on distribution-based
approaches that rely on historical data and require significant assumptions
when projecting large operational losses. The firm should evaluate
a range of outcomes under various scenarios, and make generally conservative
assumptions.
The firm should engage business line and senior management
to identify operational risk vulnerabilities and assess ways an operational
risk event may unfold. The estimation approaches should also be subject
to an effective independent review and challenge process.
Use of data
The firm’s operational
loss projection approaches should make appropriate use of relevant
reference data, including both internal and external data, evaluate
all measurable linkages to overall scenario conditions, and include
all potential sources of material operational risk losses across the
firm. A firm’s internal loss data should serve as both inputs to the
firm’s operational loss estimation approaches projections and a benchmark
for operational loss estimates in various scenarios. A firm should
have sound and comprehensive internal data-collection processes that
capture key operational elements. The firm should include all relevant
operational loss data, including large operational loss events such
as legal settlements and tax and compliance penalties. If a firm’s
internal data lack sufficient operational loss history or granularity,
the firm should use relevant external data to supplement its internal
data.
Differences in Expectations for LISCC
Firms and Large and Complex Firms, as Compared to Large and Noncomplex
Firms
The Federal Reserve has elevated
expectations for a LISCC Firm and a Large and Complex Firm relating
to operational loss projections. For example, a LISCC Firm and a Large
and Complex Firm should use scenario analysis in its operational loss
projections, use both internal and external operational risk data,
have greater support for its assumptions, and solicit input from senior
management on operational risk events. In contrast, a Large and Noncomplex
Firm is not expected to use scenario analysis, may use external data
if internal data are lacking, and is not held to the same expectations
related to assumptions or engagement with senior management. Issued by the Board Dec. 18, 2015 (SR-15-18).