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A report prepared by CFO Research Services in collaboration with Ernst & Young
A report prepared by CFO Research Services in collaboration with Ernst & Young
The Next Era in Banking is published by CFO Publishing LLC, 51 Sleeper Street, Boston, MA 02210. Please direct inquiries to Jane Coulter at 617-790-3211 or janecoulter@cfo.com. Ernst & Young funded the research and publication of our ndings, and we would like to acknowledge the Ernst & Young teamIan Baggs, Paul Bevan, Greg Derderian, Cait Fergus, Steve Ferguson, Debra Greenberg, Gary Hwa, JB King, Stephanie MacLeod, Hank Prybylski, and Bill Schlich for its contributions and support. At CFO Research Services, Celina Rogers directed the research and wrote the report, with contributions from Elizabeth Fry, Alison Rea, and Christopher Watts. CFO Research Services is the sponsored research group within CFO Publishing LLC, which produces CFO magazine, CFO.com, and CFO Conferences. May 2011 Copyright 2011 CFO Publishing LLC, which is solely responsible for its content. All rights reserved. No part of this report may be reproduced, stored in a retrieval system, or transmitted in any form, by any means, without written permission.
Contents
Moving forward in the wake of crisis About this report Challengingand variedoperating conditions Less balance-sheet intensive businesses Renewed commitment to customer relationships Performance management at the enterprise level Greater focus, improved efciency, optimized scale and scope A key role for nance and risk functions A new spirit of innovation Sponsors perspective 2 4 5 6 7 9 11 13 16 17
The Next Era in Banking: Senior executives on doing business amid post-crisis regulatory constraints
Dodd-Frank rulemaking process in the United States remains an open question. And there are already signs that a race to the top is beginning to form as banks maneuver to meet heightened regulatory standards ahead of schedule. So it would be premature, at best, to declare the regulatory landscape settled. Indeed, our recent interviews with senior executives at banks around the world conrm that regulatory uncertaintytogether with broad economic uncertaintyform the uncomfortable circumstances in which banks must now plan their futures. That said, some features of the operating and regulatory conditions that banks will face are clear enough. Remaining government support for banksincluding highly favorable monetary policieswill eventually be withdrawn. Capital and funding are likely to be more expensive and less abundant. Efforts to reform nancial regulation around the world are threatening to open up new pockets of regulatory arbitrage. Regulators, investors, and analysts are likely to continue to demand greater transparency from banksup to and including virtually real-time reporting on banks exposures to a kaleidoscope of shifting risks. Investors will be more likely to reward simplicity and clarity in banking organizations, in banks business models, and in their portfolios. There is little appetite for the complex securitizations that fueled nancial activities during the last boom. Among customers, opportunities to lend and to provide services are shifting as well. In the developed world, nancial conservatism appears to be the order of the day among midsize companies, small businesses, and consumers. The same forces that underpinned nancial disintermediation in the years leading up to the crisis will continue to attract large companies to the wholesale capital markets. And the brightest prospects for economic growth will rest with emerging economies, where demand for credit is likely to substantially expand in the years to come. What does this set of regulatory and economic pressures mean for large banks around the world? Banks will make
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their way forward amid a new, complex, and far-reaching set of regulatory constraintsconstraints that have the potential to change their businesses profoundly. As Patrick Flynn, CFO of ING Group, explains, its the Basel III frameworks three-pronged approach governing leverage and liquidity as well as capitalthat makes the difference. Basel III is clearly a sea change in regulation for banks, he says. Youre now facing a scenario, in Europe at least, that banks are going to operate within that threepronged constraint, and that requires careful navigation. Other regulatory changes may be costly, may be difcult to implement, but they will not change the business model. This framework can change business models. Given how closely Basel III standardsin particular, those governing liquiditygo to the heart of the business of banking, the threat of uneven application of Basel III standards in various local jurisdictions is of particular concern. And, considering the challenges of coordinating national regulatory responses to the nancial crises of the pastBasel II, for example, has yet to be fully adopted in the United States (although it is currently in parallel run)bankers concerns regarding the uniform application of Basel III seem well founded. In a broader sense, however, lingering regulatory uncertainty is making it difcult for banks to move forward. On the one hand, the general direction of regulation is clearbanks will have to hold more capital, and theyll have to match their assets more closely to liabilities. The path to compliance has already presented itself, and pressure is already building for banks to comply in fairly short order or risk their ratings. What persistent regulatory uncertainty does not easily accommodate, however, is the kind of strategic decision making that will become increasingly important as banks seek to adapt themselves to a changed regulatory and operating environment. As Pieter Emmen, chief risk ofcer of Rabobank, observes, Even though the rules may change in the future, we want to act prudently and make sure that we adhere to the current rules. Knowing that there might be some relief in the future only gives you extra space at that point in time. He continues, If you [face] some drastic decisionsfor example, selling a business unitthen
you want to make sure that the rules are what they are. In that sense, its more difcult to take drastic measures. You have to [proceed] step-by-step, because of the uncertainty about the nal rules in the end. Indeed, regulatory uncertainty is particularly difcult to tolerate at a moment when banks have been keenly sensitized to the tight nexus between stability, growth, and the creation of value. If you take it at the level of nancial management, what the crisis told us is that you can generate protability, you can generate returns, you can generate value, but you will not get an increase in your market valuation if you are in default of the constraintsconstraints being liquidity constraints, capital constraints, observes Stefan Krause, CFO of Deutsche Bank.
Basel III is clearly a sea change in regulation for banks.... This framework can change business models.
The regulatory regime that gradually emerges in the coming years doubtless will set a much higher bar for bank capital and liquidity in pursuit of greater stability. The expectations not just of the market, but of banks themselves, have adjusted sharply toward conservatism in the immediate aftermath of the crisis. The challenge for banks will be to nd a path that honors both the growth imperative and the stability imperative in a business that, by its nature, rewards risk. How will banks seek to create value in the context of a gradually settlingif still uncertainregulatory environment? What opportunities do they see, and what threats are they preparing to negotiate? And how will the nance, risk, and treasury functions, in particular, contribute to banks efforts to move forward? We interviewed 15 senior executives from nancial institutions and rating agencies around the world to learn about the future of banking.
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The Next Era in Banking: Senior executives on doing business amid post-crisis regulatory constraints
Even though the rules may change in the future, we want to act prudently and make sure that we adhere to the current rules. Knowing that there might be some relief in the future only gives you extra space at that point in time.
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better or worse) in the decades leading up to the crisis. For the rst time in 30 yearsat least on a sustained basiswe have a supply-and-demand imbalance, where we have too few loans and too much funding in the form of deposits, Mr. Abbott says.
For the rst time in 30 yearsat least on a sustained basiswe have a supply-and-demand imbalance, where we have too few loans and too much funding in the form of deposits.
While pockets of excess capacity can surely be found under the current regulatory regime, even in the markets most affected by the recent nancial crisis, low loan demand and diminished bank balance sheets are, in another sense, roughly in sync: fewer companies and consumers are choosing to borrow, while banks have less capacity to offer credit. Over the longer term, as the demand for credit in the United States and Europe recoversbut balance sheets remain relatively constrainedbanks may be hard-pressed to meet increased demand at competitive prices. And in the short term, weak loan demand and a relatively at yield curve have the potential to lead some banksdespite their renewed resolve to avoid excess riskto seek risky, high-yield investments that, as one banker put it, throw into question the risk/reward dynamic. Many banks are already working through a fundamental tension between one of the key lessons of the recent crisisthat banks should ensure that they are fully compensated for the risks theyre takingand the pressure to cut prices to compete. That competitive pressure isnt limited to the strained markets of the developed world. In Asia and Australia, where robust economic growth is fueling demand for credit, banks are focused on meeting that demandand on protecting their market share as U.S. and European banks pursue more business in emerging markets. In
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The Next Era in Banking: Senior executives on doing business amid post-crisis regulatory constraints
India, the economy looks to be growing at the rate of 8 percentand may continue to grow at that rate for some time, says Rajiv Kumar Bakshi, executive director at Bank of Baroda. The challenge is managing competition in this evolutionary phase. The Indian banking sector will be opened up to more competitionthere is debate under way about granting licenses to new banks and allowing foreign banks to set up subsidiaries with more open branches.
[Our clients] are accessing those growth markets. Our strategy is really to follow them.
Rapidly changing demographics in India, including continued growth in the countrys middle class, are creating opportunityand may also act as a magnet for competition. These [foreign] banks are coming from more-mature marketsthey have a richer product prole that would perhaps suit higher net-worth people, Mr. Bakshi says. Bank of Baroda is pursuing a range of investments in IT infrastructure, risk modeling, and organizational improvement in response to these challenges. Australian banks came through the recent nancial crisis in a sound position to compete for market share in emerging Asian markets. Eric Williamson, group treasurer of National Australia Bank (NAB), points out that Asia has good local banks that are meeting local demand for credit and for nancial services well. At the same time, he says, Australia and Asia are becoming inextricably linked. Seventy percent of our trade ow is with Asia, and theres an increasing amount of capital owing in both directions. That creates a lot of opportunity. Mr. Williamson continues, [Our clients] are accessing those growth markets. Our strategy is really to follow them.
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it more challenging for banks to manage their capital. Assets with relatively high risk weightings will become correspondingly less attractive. There will be a change in managing those risk-weighted assets now; theyre going to get expensive to hold. That will favor balancesheet-light businesses, Mr. Gibbons says. I think this is going to be very interesting, because I think what may end up happening is that regulatory capital will trump the economic risk in an asset. A bank will have to price an asset high enough in order for it to make sense to hold, and there will be other investors that arent exposed to the same regulatory capital issues that would prefer to hold it, he observes. It may become uneconomic for banks to hold a lot of types of credit assets.
Meanwhile, fee-based revenue streams are coming under regulatory pressure from new measures intended to protect consumers and merchants. These measures, too, promise to alter competitive dynamics and business mixes as the sector absorbs their full effect. In the United States, for example, nancial institutions are lobbying for the repeal of the Dodd-Frank Acts Durbin Amendment as this report goes to press. Smaller regional and community banks are particularly concerned that the Durbin Amendments cap on interchange fees will force them to cut service levels, raise fees for depositors, or even reduce lending, making them less competitive against larger banks that are in a better position to absorb the curtailment of revenue.
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The Next Era in Banking: Senior executives on doing business amid post-crisis regulatory constraints
To the extent that some customer relationships became attenuated in the course of the crisis, banks have had ample motivation to repair and strengthen themnot least because their competitive strength will rest in part on their ability to cross-sell (and up-sell) services to meet customer needs. Furthermore, as they prepare for a future of enhanced regulatory constraint and erce competition, we found that banks are approaching relationship management more systematically. Efforts to gain more complete data and analysis of customer behaviorwhich have been under way at many banks for some timeare certainly consistent with this more systematic approach. But banks are also taking steps to understand the total economic value yielded by a given relationship in the context of enhanced regulatory requirements. We are increasingly focusing on our relationship management with customers, so that we look at a customer relationship in terms of not just prot but also how much capital they use and whether they are providers of funding as well as taking loans, says Mr. Flynn of ING Group. We have built, and are seeking to build out further, our capabilities to assess the economic return from our relationship with [a given corporate] customerboth in terms of prot and in terms of capital usage, leverage, liquidity.
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The bank needed more than traditional performance metrics to manage for value within a new, more stringent set of constraints, Mr. Krause explains. We learned that we have to add to ROE and the other typical valuecreation metrics that are used to run a bank. You need to manage your constraints better: risk-weighted assets, capital allocation, liquidity, the mix between stable and unstable protability, and so on. The bank tested more than 120 key performance indicators (KPIs) on their predictive power for market capitalization and value creation, eventually settling on a set of 12, plus 2the ones that best describe how you create value with a bank.
You could have the best risk management in town. If your liquidity ratios are not in line with what market expectations are, it doesnt pay for you.
At Raiffeisen Bank International, the recognition that allocation of resources has to be done even more accurately and precisely than in the past has led the bank to implement a rened KPI steering tool, says CFO Martin Grll. In our case, the tool is based on four dimensionsprotability, growth, constraints, and business mix. All in all, at group level we have 14 KPIs allocated to those four dimensions. We back-tested KPIs with results of other large banking groups, and gured out which KPIs had the strongest correlation with the stock-market performance. What does business mix mean as a dimension of bank performance? Mr. Grll says, It means to have a balanced mix which strictly follows the dened strategy. When we say we will have x percent of retail customers, or y amount in retail banking prots ve years from now, this must be reected in the KPIs and in the budgets. Not just opportunistically booking whatever looks attractive today, but really having a road map to a business mix, a portfolio mix, for the whole enterpriseand really
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The Next Era in Banking: Senior executives on doing business amid post-crisis regulatory constraints
targeting this desired business mix in line with the overall strategy. We had this in the past, but it is now much more rened. It species a certain volume of customer loans, a certain volume of proprietary trading or investment bankingreally to get to a clear target scenario.
People understand conceptually... that the world has changed. Theyre pleased that theres a planning and an IT framework to help them navigate it. But I think the challenge will be to actually apply this going forward.
ING Group has implemented an enterprise-level planning model to help the bank optimize its capital and funding resources within Basel IIIs three-pronged constraints. In the past, it was not uncommon for businesses just to grow, grow, grow and worry about the funding and the capital later. Banks could allow businesses to grow and fetter to some extent, and pick up the funding and capital and leverage at a later date, because there were not hard regulations. Now there are, Mr. Flynn says. So what weve done is built modelingwhich is core to our planning processthat allows each of the businesses to see where the constraints lie and to optimize within them. It allows the businesses to ensure that they are growing in a manner that is compliant with the three levels of regulation were going to face. The output of this modeling has concrete consequences, Mr. Flynn continues. So [at some point], to certain lines of business youll have to say, No, you cant lend any more than a certain appetite within this particular line, or, OK, you can lend more here, but then youll have to raise more deposits there. And that moment, Mr. Flynn points out, is when any such framework is truly tested. I mean, you asked about improving information systems and governance. Yes, weve done it. And its probably the easy bit.
What, then, will prove to be the real challenge? Perhaps getting businesspeople to understand that the world has changed, that the modus operandi of the past will not be the same going forward, that there will be a far tighter framework around what they can grow, where they can grow, Mr. Flynn says. Banks may nd scenarios where there is a business which in the past was considered acceptable, but which will lead them into a point where, for example, the leverage ratio will be breached. And, therefore, [the business] will have to turn it away. That type of scenario hasnt been faced before. With the crisis still fresh in memory, business-line managers genuinely welcome the new planning and IT framework, Mr. Flynn continues. People understand conceptually certainly the business leaders understand conceptually that the world has changed. Theyre pleased that theres a planning and an IT framework to help them navigate it. But I think the challenge will be to actually apply this going forward. Culturally, to help people to live within that framework as time goes on may be a bigger challenge.
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that have come under pressure, will respond with a renewed commitment to a range of management disciplines. [Banking] will go through the cycle that every industry has gone through when regulation got tougher. It will require this industry to become more effective, to become more efcient. It will require this industry to allocate capital more efciently. It will require this industry to do a better job in deciding geographically where to book assets, where to run assets, where to run capital, where to run operations. It will drive consolidation. I personally am very positive that there is so much room to maneuver, and also that in Deutsche Bank, we will get this new math to work. Other bankers we spoke with agree with Mr. Krauses assessment, although many of our sources point out that regulatory uncertainty currently makes it difcult to make dramatic changes to their business proles. As we have seen, however, banks are establishing more-robust, enterprise-level performance-management frameworks in part to support this level of decision making. And, to the extent that regulatory uncertainty permits, our sources report that banks are already taking steps to focus their efforts, realize efciencies, and optimize their scale and scope to make that new math work.
[Banking] will go through the cycle that every industry has gone through when regulation got tougher. It will require this industry to become more effective, to become more efcient.
Why specify that banks are seeking to optimizeas opposed to growin scale and scope? First, because the sharp point of heightened regulations arrow is aimed pretty squarely at the target of complex global banking. This is wholly to be expected, considering that the profound interconnection of global nancial markets was revealed in the course of the biggest nancial meltdown in generations. But heightened regulatory standards
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The Next Era in Banking: Senior executives on doing business amid post-crisis regulatory constraints
(not to mention ballooning regulatory complexity) are already placing the global banking model, with all of its geographic and organizational scope, under pressure. Furthermore, a urry of consolidation at the height of the nancial crisis has substantially narrowed the options at least among the worlds largest banksfor scaling up rapidly through acquisition. 2
that our business model makes sense, because we have been focusing on this region, CEE, over the past 20 years, Mr. Grll says. But secondly we have to look for efciency, size, and also scale, to try to grow our presence in those markets. At the same time, banks are expected to grow with less complexity and more transparency in their organizations, their operations, and their instrumentsbecause, as the saying goes, complexity begets undue risk. And in the eyes of investors, the global nancial system is already complex enough. Today there is a whole different view on contagion or correlation or interdependence, says Vandana Sharma of Standard & Poors. Its pretty clear that the world has realized that theres a globalization, if you will, of the nancial sector, and that genie is not going back into the bottle. What that leaves us with is a world where people are going to look for a lot of simplicity. So complexity needs to be taken out, both in the institutions themselves and in their products. Of course, banks themselves are seeking to simplify and streamline their business portfoliosnot just to divest themselves of businesses that they believe will be less economically viable under the new regulatory regime, but to align their efforts and resources more closely with their core strategy and strengths. KeyCorp, for example, recently made an adjustment to its business portfolio, in what is perhaps an object lesson in the way that increased regulatory burdens can tip the balance against retaining certain businesses. Our private-equity business has been a very good and successful business for us, but we decided that there are enough rules and requirements around it that we should spin out the business, says chief risk ofcer Charles Hyle. A number of rms have started to move in that direction. Some companies have divested themselves of investments in similar types of businesses. I think regulatory change is not the only driver, just as Dodd-Frank was not our only driver in making the decision we made with our private-equity organization. But it certainly added weight to the scale as we were making our decisions on what to do about that particular business.
All banks must become more selective. What does that mean? First, they have to allocate resources mainly to their core business. And the second most important conclusion is that size and scale matters all the more.
Second, our interviewees suggest that banks are continually reconciling the need for increased scale with the need to direct resources, attention, and effort to the core banking activities at which they excelin short, with the need to focus. At Raiffeisen Bank International, for example, CFO Martin Grll sees an opportunity for the bank to enhance its presence in the growth markets where it is already well positioned. The economies in Europe are growing at a slower pace; however, its worth noting that, post- crisis, GDP growth rates in our core markets in Central and Eastern Europe [CEE] are likely to be around two percentage points higher than those in the eurozone. This is very important, Mr. Grll says. He continues, All banks must become more selective. What does that mean? First, they have to allocate resources mainly to their core business. And the second most important conclusion is that size and scale matters all the more. What are the implications of these observations for Raiffeisen Bank International? First of all, it conrms
2 At the regional and local level, however, the story is different. Smaller banks have fewer revenue sources over which to distribute the cost of rising regulatory burdens, creating pressure for further consolidation among regional and community banks.
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At a time when capital is precious, we have to think about how we deploy that capital.
What other factors added weight to that scale? Our capital requirements are going up. Private equity is not a core business for us. Weve been in it for many, many years, and weve been very successful in it, but it doesnt link to anything else we do. At a time when capital is precious, we have to think about how we deploy that capital, Mr. Hyle says. While weve made historically a good return on private equity, we get no leverage out of it, in the sense that it doesnt help us in any of our other businesses. I think many rms would say that private equity is a nice side business to be in, but if youre looking at the core strategies of a banking institution, is it really germane to that business? Mr. Hyle concludes that, while regulators continue to work through the details of the new regulatory regime (including the nal risk weightings), I think the bigger issue for most banks is the overall capital numbersthe need to create a return on that capital will be a higher standard for all banks, not just in the U.S., but around the world.
I need to move [nance] to be a challenging function that really questions and helps the business that partners with the business to develop along the value-creation framework.
A deep understanding of operations and an intuitive grasp of downsides, as well as upsides, is contributing to the risk functions inuence, observes BNY Mellon CFO Todd Gibbonshimself a former chief risk ofcer. I think the role of the chief risk ofcer has certainly risen in the organization, he says. CROs have to be very well grounded in the operations of the institution, and in the risk associated with those businesses. I think thats a great background to understand the business,
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The Next Era in Banking: Senior executives on doing business amid post-crisis regulatory constraints
he continues. Its in the risk culture to think about the implications of investment decisionsnot just single scenarios, but the possible collateral implications of those decisions. I think thats a very good training for business development, for M&A, Mr. Gibbons says. The crisis has pointed to the need for stronger riskmanagement skills at the very top of banking organizations. Certainly at the board level there is a greater demand for directors with more-specic risk-management backgrounds, says Mary Tuuk, CRO of Fifth Third Bank. In the banking industry, youre also going to see additional thought about what is the best-practices career path for a CEO. Youll see more and more rotation in and out of enterprise risk management divisions.
there was what I would call the Emperors new clothes concept in banks, says Bridget Gandy, co-head of the EMEA Financial Institutions team at Fitch Ratings in London. The more complex they could make an instrument, and the less easy it was to understand where the risks werethe less transparency there was around what was actually going on. Sometimes it seemed as if things were being made complex just for the sake of it, so that nobody asked any questions. The years since the crisis have seen improvement on that score, however, Ms. Gandy continues. Although by necessity some [instruments] have to be complex, theres a lot more willingness to explain and to answer questions, she says. But there is also a lot more questioning going on, because people have realized that the Emperor wasnt wearing any clothesso they can start asking questions. Its a two-way conversation: hopefully, one that will continue. Our sources universally acknowledge that investors, analysts, and regulators demands for greater transparency are wholly justied, understandable, and necessary. At the same time, meeting these reporting requirements is time-consuming and resource intensive. Not only are many nance and risk executives struggling to source data from strained patchworks of legacy IT systems, they are also working hard to explain that reportingand, indeed, their businessesto regulators and investors. As the need for their internal management guidance intensies, nance and risk executives are sensitive to the cost of lost opportunities. There will be a lot of reporting requirements and regulations coming at banks, says one CRO of a large European bank, so that means we need a lot of people working just at meeting these requirements. Those people cant work at managing the bank, because theres a difference between box-ticking requirements from regulators and really managing the bank. It will be a very busy time for nance people and risk people going forward.
Its in the risk culture to think about the implications of investment decisionsnot just single scenarios, but the possible collateral implications of those decisions. I think thats very good training for business development, for M&A.
Even as nance and risk functions around the world seek to exert this renewed inuence for the benet of their broader institutions, theyre balancing a long list of priorities: the need for greater transparency, the need to improve efciency and reduce complexity, and the need to manage performance within the bounds of stability. Ensuring transparency. In the past four reports in this series,3 we have documented at length the nance and risk functions efforts to respond to demands for greater transparency in banking. In the wake of the crisis, regulators and investors have required reporting concerning every conceivable dimension of banks risk positions and performance. In the years leading up to the recent crisis,
The Finance Operating Model Matters (February 2008), Aligning Risk Management, Finance, and Operations (December 2008), Banks Moving Target: Sourcing, Analyzing, and Reporting Data in Challenging Times (January 2010), and Capital Management in Banking (June 2010)
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Further investment in technology systems, the CRO notes, will help to ease the human-resources burden of these new requirements, but IT investment for compliance presents an opportunity cost of its own. We need to adjust our IT systems, but if we have to adjust our IT capacity for reporting requirements, we cannot use that IT capacity for business opportunities, he says. It will reduce the options banks have in changing their business models or their product portfolios going forward, because its not only nance people working on requirements. IT departments also have to work on them. A lot of time will go that way, and less time and fewer resources will be available to manage the business. Driving efciency; reducing complexity. In banking, as in industry, the nance function is an authority on cost reduction and efciency improvement. Of course, that is one of the key roles of any CFO, says Mr. Grll. Given the lower growth momentum that we are currently faced with, a CFO has to look at the banks cost base. Our sources also point out that the nance function is taking the lead in improving administrative and other efciencies. Slower growth means a CFO also has to look at further standardization, further centralization, Mr. Grll notes. One example of centralization is setting up a shared-services center for the entire group, which we did. We did all these things in order to become more efcient, given the lower growth expectations.
started a complexity-reduction initiative, which is aimed at reducing a lot of complexity we built in our backofce operations, Mr. Krause says. We do want to continue to provide complex products, he continues, but we dont necessarily have to have this complexity in our systems, processes, administration, and organization. At Deutsche Bank, the savings promise to be substantial indeed: the banks internal analysis suggests that its complexity-reduction initiative is going to take out a billion euro of run-rate costs from the bank, Mr. Krause says. Managing performance within tougher constraints. In the four previous reports in this serieswritten as the global nancial crisis gathered, broke, and nally began to ebbone theme weaved and threaded its way through nearly every page: If the business of banking hinges on putting money at risk, then banks must take steps to ensure that they are compensated for the risks they take. Downsidesnot just upsidesare important in that reckoning. At the enterprise level, the work of risk management is to ensure that revenue rewards are gained at a reasonable costand never to the detriment of stability. The nance function, too, has a critical role to play in ensuring that capital is allocated for optimal growth within the bounds of stability. Hence we nd that, as the contours of the new regulatory landscape gradually emerge, banks are working to bring nance and risk into ever-closer alignment to support and inform their operations. At DBS, for example, what we have done is really to infuse this understanding of return on risk-weighted assets throughout the business, Ms. Chng says. We are no longer measuring businesses by just absolute prots. Businesses are measured by more-granular metrics, including return on risk-weighted assets, through a scorecard that weve had in place for more than 12 months. This scorecard helps the businesses to understand that they need to bring in not just the absolute returns, but returns calibrated to the risks that they are taking. She continues, We also have businessaligned controllers who partner with the heads of our major business linesinstitutional banking, consumer banking, and treasury and markets. They work with the
We do want to continue to provide complex products, but we dont necessarily have to have this complexity in our systems, processes, administration, and organization.
The sheer complexity of banks operations and administration suggests that streamlining could yield substantial savings. At Deutsche Bank, for example, after analyzing the cost base of the bank and understanding that the bank has a complexity-cost problem, weve
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The Next Era in Banking: Senior executives on doing business amid post-crisis regulatory constraints Era executives u business u constraints n
business heads to understand the drivers of their growth, to present business reviews, to help them understand capital implications and help them monitor their scorecard. So, as banks begin to grasp how new regulatory standards will circumscribe their activities, we nd again that improving risk managementand incorporating risk considerations more deeply into business decision makingis at the very top of banks management agenda. At the same time, banks arent in business to manage constraints. Theyre in the business of serving customers and creating value for shareholders. And as they do so, banks also ll a critical role in societyideally, as one senior bank executive put it, facilitating wealth creation as opposed to creating wealth as an objective. How, then, will banks go about serving their customers, creating value for shareholders, and fullling their broad social role? Or, put another way, what about the growth dimension of growth within constraints?
Theres just a rhythm to the business of banking. What it ends up taking is remarkable discipline.
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17 Sponsors perspective
In April 2011, Celina Rogers of CFO Research Services interviewed four leaders in Ernst & Young LLPs Banking and Capital Markets practice on the results of this study, the fth in the CFO Research/Ernst & Young Bank Executive Series. Ms. Rogers spoke with Jack Chan, Managing Partner, Financial Services Ofce (FSO), Ernst & Young China; Andrew Harmer, Partner, Financial Services Risk Management, Ernst & Young Australia; Robert Melnyk, Lead Partner, FSO Advisory Performance Improvement EMEIA, Ernst & Young GmbH; and John Weisel, FSO Global Advisory Leader, Ernst & Young LLP. An edited account of those conversations follows. Celina Rogers: One of the themes we explore in this report is the sea change in regulation, as one of our sources put it, that banks around the world are facing. Based on what youve seen so far, how should banks go about reconciling compliancea fundamentally reactive set of activities with the more proactive work of identifying and pursuing growth opportunities? Robert Melnyk: The changing nancial landscape presents risks for banks, but there are opportunities as well. We think banks need to understand, combine, and link regulatory requirements with the opportunities that might ow from those changes in a more comprehensive manner. They need to identify and evaluate their regulatory and business needsincluding their operating- and capitalcost driversto discern the growth opportunities in their businesses, markets, and product lines. John Weisel: Reactive and proactive responses must coexist. Banks that are in a position to mobilize quickly and effect change in areas such as technology, operations, and reporting will be most successful in responding to a shifting regulatory landscape. But compliance investments should also be designed to streamline operations. And I absolutely agree with Robert: banks are going to have many opportunities to grow. Assets are going to move, and there will likely be an increase in mergers and acquisitions. Banks should be positioning themselves to respond to these opportunities as they respond to new regulatory requirements.
Ms. Rogers: What role will the nance, risk, and treasury functions play in these efforts to pursue growth while responding to regulatory change? Our sources in this study report that nance, risk, and treasury have gained prole and inuence in banking over the course of the crisis. Andrew Harmer: I think its not enough for nance just to be the scorekeeper anymore. Banks need, for example, a more reliable forward-looking view on their performance thats clearly in much greater demand, although I think that shift was happening even before the global nancial crisis (GFC). The crisis simply highlighted the need for better, more accurate forecasting. But perhaps an even more important consequence of the GFC is that it brought the nance and risk functions together more closely. Finance doesnt own an activity like forecasting by itself; the risk function also has a role to play with, for example, stricter scenario testing and better-quality information about risk. Finance can only respond to demands for better-quality, more forwardlooking information on future nancial performance and alternative scenarios by linking more closely to the risk community. These demands dont just apply to nance; they apply to the risk function as well. Jack Chan: In China, the banking sector as a whole is undergoing a transformation in terms of risk management. The four or ve largest banks are more or less Basel II compliant [and looking toward Basel III]. Most of the Tier-Two banks are also moving in that direction. The Tier-One and TierTwo banks are focused on enhancing their management standards and management capabilities, but I think smaller banks are facing some challenges. For those smaller, often rural commercial banks, internal controls and risk management system are relatively rudimentary. But theres a high demand for loans, especially in the rural areas. Thats why its very important for Chinese banks to strengthen their risk-management controls and also their nance functions, especially among Tier-Three and Tier-Four banks. This is one of the top priorities that the key regulator in China, the China Banking Regulatory Commission (CBRC), is emphasizing.
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The Next Era in Banking: Senior executives on doing business amid post-crisis regulatory constraints
Ms. Rogers: One of the bank CFOs we interviewed says he aspires to make nance a challenging function, which he describes as a function that questions and helps the businessthat partners with the business to develop along [the banks] value-creation framework. Mr. Melnyk: For nance and for risk, going forward it will certainly be one task to cope with the regulatory environment. But as your source said, and very rightly, the role of nance and risk should change to be a more challenging one, as it might be in the manufacturing industry. I think this will represent a real change in banking. In recent years there has been an evolution in the nance function, from a more accounting-oriented role to business partner or performance adviser. Nevertheless, in most banks, nance has not been a challenging function so far. It has functioned mostly to enable business-line managers to understand their businesses better and to make better decisionsbut nance has less often proactively asked the business lines whether their strategic direction is the right one. The next step for nance and risk at many banks is perhaps to give recommendations where the bank could engage in even more protable businesses, for example. Mr. Weisel: I think of the nance- and risk-management functions in tandem. Its clear that the role they play is far more important than it was even several years ago. Finance and risk need to be out in front of regulatory change. Every large nancial services organization in the world is rethinking its risk, nance, and treasury functions. These are not inconsequential programs. Organizations will spend hundreds of millions of dollars to build the capabilities that theyre going to need, not merely to respond to current changes in regulation or reporting requirements, but to change fundamentally how they manage their nancial performance, and risk and capital positions of their organizations.
Ms. Rogers: And part of that overall effort involves building more exible IT and operating platforms that will help banks respond more nimbly to change? Mr. Weisel: Yes. But the fundamental challenge, in its simplest terms, is information. Underlying data is commonly fragmented across these organizations. Most large banking organizations have grown inorganically through acquisitions. Banks are considering how to validate the integrity of their data, how to create a golden source of dataand how to move data into a construct that is easily accessible and can be used on a recurring basis. This is very difcult as each business has unique needs in terms of data requirements and attributes. These changes are going to take several years to implement. Its not an overnight undertaking. Ms. Rogers: Weve heard from sources that escalating (and increasingly ad hoc) reporting requests from regulators and investors are generating some opportunity costs. I should emphasize that every banker weve ever spoken with absolutely recognizes that regulators and the investment community are entitled to the information theyre seeking. But these ad hoc responses are absorbing some of the resources that would otherwise go to more strategic, long-term improvements. In this environment, how can banks lay out a coherent investment strategy for these large-scale improvement initiatives? Mr. Melnyk: Regulatory change is very much an external factor; it is often a challenge for banks to synchronize external factors with internal business priorities. I think banks need to increase the speed of their investment decision making, and they need to be more exible in reprioritizing IT investments or other investment programs. Theres also another dimension, which involves identifying the overlaps, correlationsthe win/win situationsin which banks can combine change in response to regulatory requirements with the changes they need to make from a business or functional perspective. Rather than viewing regulatory shifts, such as IFRS 9 or Basel III, as separate compliance exercises, banks should consider how IFRS 9 and nance transformation initiatives t together, for example, or how they might combine Basel III with a new approach to risk management and risk-management systems.
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The positive side of looking at compliance and business requirements through the same lens is the opportunity to identify overlaps and synergies between the two. On the other hand, taking a more holistic view on projects often means increasing the size and scale of the project, which certainly increases the implementation risk as well. So banks have to balance the benets of looking at projects or potential investments holistically with scaling projects so that theyre executable without taking on unreasonable implementation risks. Ms. Rogers: How can banks begin to gain control of such a complex decision-making process when theyre essentially aiming at a moving target? The regulatory environment is in ux, organic and inorganic growth opportunities are emerging that will take many banks onto unfamiliar groundand at the same time banks are responding to a raft of ad hoc reporting requests. Mr. Weisel: How do you effectively plan for and execute a global program that cuts across every line of business, multiple functions, and operations and technology? This is among the most complex change-management situations that a bank can face. The most successful banks will do several things to change. First, theyll make sure that the goals and objectives of the business users and the operations and technology organizations are aligned. Everyone needs to band together. Second, successful organizations will dene their business architecture thoughtfully. The architecture should address what process improvements are needed, what technology infrastructure is required, what applications are needed, and how data will be managed. Banks that implement change on this scale effectively begin with a view of the endstate outcome and dene what will be required to satisfy end-user needs, whether those end users are in nance, risk, or treasury. Thirdand probably the most difcult stepsuccessful organizations will determine the right sequencing for implementation: Should the retail business be addressed rst or the investment bank? Should the change effort start with risk or with treasury?
Ms. Rogers: At the same time, our sources over the course of this series have pointed out that changing the culture of bankingguiding and helping business-line personnel to innovate within more robust regulatory constraints over the long termis, if anything, more challenging than the waves of organizational, process, and technology improvement that banks are currently pursuing. Mr. Harmer: Its a new way of thinking and working for operating staff. Thats a dimension of change management that I think over the past ve years is something that we at Ernst & Young have a much greater perspective on now. Theres nothing like learning through experience. Ms. Rogers: Very true. We propose in the report that the next era in banking will be one of disciplined innovation that stems from that experience. In the future, what will it mean for banks to innovate in a way thats sensitive to risk and to long-term performance, especially since nancial innovation has taken on such a negative connotation in mainstream discourse? Mr. Melnyk: Yes, the term nancial innovation has taken on a negative connotation in most markets for nancial institutions. Nevertheless, innovation does not only need to come from nancial products. Certainly banks can innovate in how they segment and approach their customers. Banks can also be innovative in terms of their own business modelsin the ways they structure their businesses and execute their operations. There will also be opportunities for innovation in terms of how banks will cover the globe, including emerging markets, and in the ways they leverage opportunities between different business units and product categories. I think there are different dimensions and levers for innovation. Going forward, perhaps the sole focus will not be on innovation in terms of engineering nancial products.
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Ms. Rogers: How will innovation manifest itself in the nance function, in particular? Mr. Weisel: Banks will have to approach innovation as an ongoing process, not as an aspiration. Continuous improvement of nance, risk, and treasury capabilities will be a part of that process. Innovation of the nance function will require more signicant use of technology. This will require architectural disciplinebuilding a foundation to support the needs of the nance function, which allows a consistent set of systems to support the function across businesses, products, and geographies. By undertaking these improvements, banks are innovating the way that the nance function supports the organization.
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