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Title[ Part 3: The Second Pillar - Supervisory Review Process

Section[ I. Importance of supervisory review





719.     This section discusses the key principles of supervisory review, risk management guidance and supervisory transparency and accountability produced by the Committee with respect to banking risks, including guidance relating to, among other things, the treatment of interest rate risk in the banking book, credit risk (stress testing, definition of default, residual risk, and credit concentration risk), operational risk, enhanced cross-border communication and cooperation, and securitisation.



I.          Importance of supervisory review


720.     The supervisory review process of the Framework is intended not only to ensure that banks have adequate capital  to support all the risks in their business, but  also to encourage banks to develop and use better risk management techniques in monitoring and managing their risks.


721.     The supervisory review process recognises the responsibility of bank management in developing an internal capital assessment  process and setting capital targets that are commensurate with the bank’s risk profile and control environment. In the Framework, bank management continues to bear responsibility for ensuring that the bank has adequate capital to support its risks beyond the core minimum requirements.


722.     Supervisors are expected to evaluate how well banks are assessing  their capital needs relative to their risks and to intervene, where appropriate. This interaction is intended to foster an active dialogue between banks and supervisors such that when deficiencies are identified,  prompt  and  decisive  action  can  be  taken  to  reduce  risk  or  restore  capital. Accordingly, supervisors may wish to adopt an approach to focus more intensely on those banks with risk profiles or operational experience that warrants such attention.


723.     The  Committee  recognises  the  relationship  that  exists  between  the  amount  of capital held by the bank against its risks and the strength and effectiveness of the bank’s risk management  and  internal  control  processes.  However,  increased  capital  should  not  be viewed as the only option for addressing increased risks confronting the bank. Other means for  addressing  risk,  such  as  strengthening  risk  management,  applying  internal  limits, strengthening the level of provisions and reserves, and improving internal controls, must also be considered. Furthermore, capital should not be regarded as a substitute for addressing fundamentally inadequate control or risk management processes.


724.     There are three main areas that  might be particularly suited to treatment under Pillar 2: risks considered under Pillar 1 that are not fully captured by the Pillar 1 process (e.g. credit concentration risk); those factors not taken into account by the Pillar 1 process (e.g. interest rate risk in the banking book, business and strategic risk); and factors external to the bank (e.g. business cycle effects). A further important aspect of Pillar 2 is the assessment of compliance with the minimum standards and disclosure requirements of the more advanced methods  in  Pillar  1,  in  particular  the  IRB  framework  for  credit  risk  and  the  Advanced Measurement  Approaches  for  operational  risk.  Supervisors  must  ensure  that  these requirements are being met, both as qualifying criteria and on a continuing basis.



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