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2 nd African SACCO Regulators Roundtable Pretoria, South Africa 24 -25 November 2008 D.de Jong: Samaf: Regulator Financial Services Co- operatives Designing a (developmental) Supervisory System for Co-operative Banks
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Outline Objectives of the Supervisory system Basil core principles for effective banking supervision The Role of the CFI supervisory system and developmental objectives The design of the supervisory system Legislative and regulatory mapping Sector review mapped to the stages of development and regulatory requirements Designing the application process Design an examination, diagnostic and feedback process Drafting Supervisory guidelines Holding Information sessions with CFIs Conclusion
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Objectives of supervisory system CFI are safe, sound and stable SARB “its purpose is to achieve a sound efficient banking system in the interest of the depositors of banks and the economy as a whole Supervision - enforcing regulation Supervisors – also design regulations Supervisory system informed by regulation
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Co-operatives Financial Institution (CFI) Includes Credit Union, Savings and Credit Co-operative, Co-operative Banks and Financial services Co- operatives.
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Basel Core principles for effective banking supervision (2006) Objectives, independence, powers, transparency and co-operation (P1) Licensing and structure (P2-P5) Prudential regulations and requirements (P6- P18) Methods of ongoing banking supervision (P19- 21) Accounting disclosure (P22) Corrective and remedial powers of supervisors (P23) Consolidated cross border banking sup.(24-25)
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Objectives, independence, powers, transparency and co-operation (P1) Whose responsible for what Operational independence Legal framework to operate under Adequate resources Powers to address compliance with laws Legal protection for supervisors Sharing of information
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Licensing and structure (P2-P5) P2: Permissible activities Use of the word bank P3: Licensing criteria Set criteria for applications and rejection P4: Transfer of significant ownership P5: Major acquisitions
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Prudential regulations and requirements (P6-P18) P6: Capital adequacy P7: Risk management process P8: Credit risk P9: Problem assets, provision and reserves P10: Large exposure limits P11: Exposures to related parties P12: Country and transfer risks P13: Market risks P14: Liquidity risk P15: Operational risk P16: Interest rate risk in the book P17: Internal control and audit P18: Abuse of financial services
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Methods of ongoing banking supervision (P19-21) P19 Supervisory approach Know you banks P20 Supervisory techniques Onsite and off site supervision P21 Supervisory reporting Collecting, reviewing analyzing prudential reports and statistical returns
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P22 Accounting and disclosure Adequate records fairly reflect situation P23 Corrective and remedial powers of supervisors Tools at supervisors disposal P24 Consolidated supervision P 25 Home host relationship
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Preconditions for effective financial supervision Sound macro economic framework Well developed public infrastructure Market discipline and Appropriate safety net Banks are subjected to market Will see failure CFIs will fail
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Is the Basel framework relevant for developing movement supervisory framework Yes Developing CFIs: Not P4, 5, 12, 24 and 25 Most have been taking into account and addressed But…..
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Need a subset of considerations Proportionality of regulation in relation to size and scope Capacity to be regulated and to regulate CFIs Structural characteristics of CFIs (ownership, governance and operations) Strength of the movement to support CFIs Technological uptake Regulatory burden
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Role of the CFI supervisor and developmental objectives Newly supervised movement requires a set of supplementary objectives Assist CFIs become Competitive Adequately capitalized Viable and sustainable Innovative Mainstream/legitimate deposit takers Championing savings culture Model/ideal CFIs Educated and trained in financial regulations concepts and ideas
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Design supervisory to include Providing expertise on all aspect of CFI operations Reducing moral hazard Helping to build capacity Simplifying across supervisory agencies Unified, scaleable supervisory regime Building a CFI movement Will be debated as to the social / developmental role of supervisor – I will argue needed until movement can support itself
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Design of the supervisory system samaf – simplified into the RRSS framework Rules Registration Supervision Stabilisation Followed the following process:
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Legislative and regulatory mapping Collated primary Act the affect CFIs Co-operatives Act (2005) National Credit Act (2005) Co-operatives Banks Act (2007) More to come Financial Intelligence Centre Act (FICA) Financial Advisory and Intermediary Services Act ( FAIS ) National Payments System Act (PASA)
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Legislative and regulatory mapping Objective: Synchronize application and reporting requirements to reduce regulatory burden Use same forms to apply to Register of coops as to the samaf One additional form for additional information required by supervisor
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Sector review mapped to stages of development and regulatory requirements How many registered CFIs Active and operating Level of operations Mapped 4 stages of development Will reduce to 2 staged approach Helps to have good relationship with Representative bodies
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Designing the Application Process Can now design appropriate depositing taking application Dictate forms, policies, plans, reports require to register Distinction between start ups and operating applications Many operating not meet minimum requirements but required to register Condone applicant and provide provisional registration
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Design an examination, diagnostic and feedback process
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Examinatio n cycle 9.Deadlaines and follow up dates 6.Commucatin g findings 7.Formalising infringements 1.Design Examination Process 2.Exam work papers 3.Doing examination 4.Doing diagnostics 5.Findings 10. Follow up 8.Entertain appeals
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Examinations tools Onsite inspectors: Follow up to detailed “institutional assessments”, to include ratio and prudential requirement assessment Offsite: Returns to be analysed, rated
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Diagnostic tools Monitoring systems: custom made or off the shelf samaf: utilize PEARLS to track trends Rating systems: Useful to prioritizing e.g.. A1: Sound, healthy and growing A5: Needs corrective action
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Feedback mechanisms Very NB with CFIs Inspection comments or feedbacks Annual board/supervisory meetings Issuing guidelines (to be discussed) Issuing directives Issuing of non compliance notices – periods to rectify
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Corrective Actions First follow process of non-compliance notices Extreme consider options of: De-registration (strongest sanction SACCOL and samaf have) Removal from office Mergers Administration Liquidation Should plan and document for such eventualities
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Drafting guidelines Alluded to the need for the Supervisor to be an enabler as well. Found checklist and guidelines to be useful Prudential guidelines Legislative guidelines Operating guidelines Accounting, audit and financial statement requirements Supervisory and reporting guidelines
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Conclusion Holding information sessions with CFIs Written confirmation received guidelines Supervisory system beyond safety and soundness Developmental Supervisory framework
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