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So far, the banks have been deciding if a book was a trading book or a banking book, and there was an
incentive to arbitrage from this determination, as there was a difference in the capital requirements for
these books.
The BIS Committee has recommended stricter guidelines for banks to switch from a banking book to a
trading book and vice versa. They have also tried to close the loop hole in the capital differential, in the
event where switching is permitted. The BIS Committee is calling this as the “revised boundary”, where
in FRTB guidelines will focus on reducing the arbitrage, rather than asking for the quantitative justification
of including a book in the trading book.
1. 2. Treatment of Credit
Since the Credit Related products were the main source of losses during the 2009 financial crisis, the BIS
Committee has agreed to bring the trading book requirements closer to the banking book. In addition, the
Securitized and non-securitized products will be treated differently. Three main points that should be
looked at are:
Securitization Exposure: Instead of allowing banks to use their “Internal Models” approach, the
committee will require banks to use a “Revised Standardized Approach”. This will also be
applicable to “Correlation Trading activities” in the trading books.
Non-Securitization exposures: To justify the Non Securitized products to match the right capital
requirements (taking into account the default risk and spread risk), the committee has proposed a
separate incremental default charge (IDR), that will increase the capital requirements for the
trading books.
Credit Valuation Adjustments (CVA) charges: Basel III had introduced the concept of CVA for
including the counterparty credit risk valuation. The BIS Committee has proposed that the CVA
will be kept separate from the Market Risk calculations for now, and the two will be calculated
separately.
Stressed Calibration: The capital framework will be calibrated to a stressed market condition
time frame.
Move from “VaR” to “Expected Shortfall”: Current VaR does not capture the tail risk. The new
FRTB rules proposes to capture the average of the expected risk in the tail, with a 97.5 percentile
confidence interval. This is the expected VaR, which will become the norm.
A liquidity horizon is defined as “the time required to execute transactions that extinguish an exposure to
a risk factor, without moving the price of the hedging instruments, in stressed market conditions”.
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Under Basel 2.5, a “liquidity Horizon” was introduced, that formed the input to the Incremental Risk
Charge (IRC) and the Comprehensive Risk Measure (CRM)
Under FRTB (so called Basel IV FRTB), Banks’ risk factors will be assigned five liquidity horizon
categories, ranging from 10 days to one year. To ensure consistency in capital outcomes, and in
balancing the trade-off between simplicity and risk sensitivity.
Trading books benefit in Capital reduction by hedging their portfolios and by incorporating diversification
in their portfolios. However, in times of stress, diversification benefits go away and the Spread risk
increases for the hedging, leading to huge lossed that have not been incorporated in the capital
calculation. To mitigate this risk, FRTB regulation proposed the following two main changes:
For “Internal Models based approach”, the diversification effects will be recognized with some
constraints
For the “revised Standardized approach”, the recognition of hedging and diversification will be
significantly increased relative to the current approach
From empirical evidence, it has become clear that there is a very large difference in capital calculation by
banks when they use the internal models vs. standardized approaches. The BIS is trying to bridge this
gap and working on proposals that will bring the models based calculation closer to the standardized
approach calculations by recommending the following three steps:
The Basel recommendations of 1996 of calculating the Credit Risk or Market Liquidity Risk over a 10 day
period proved insufficient during the stressed period of 2009. Keeping this in mind, FRTB proposes the
following:
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Revised Standardized approach must exhibit the three attributes:
1. First, it must provide a method for calculating capital requirements for banks with business
models that do not require a more sophisticated measurement of market risk.
2. Second, it should provide a credible fall-back in the event that a bank’s revised market risk
framework (FRTB) internal market risk model is deemed inadequate, including its potential use as
a surcharge or floor to an internal models-based capital charge.
3. Lastly, the approach should facilitate transparent, consistent and comparable reporting of market
risk across banks and jurisdictions
Banks have started looking at FRTB requirements and how it will affect their capital. A lot of changes will
come at the Trading Desk level, where they will have to certify their models and how well these models
capture the daily P&L. Secondly, the desks will have to reconcile between their forecasted losses vs. the
actual losses.
We can expect to see a lot of models changes and technology/ data and support services changes at all
the trading desks. Basel IV implementation may be a bonanza time for the Risk Consulting and IT
Consulting firms over the next three years.
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