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Notes provided by: Deonna Grimes. Every risk management program should have the following components: Risk Identification (where are the risks?) Risk.

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Presentation on theme: "Notes provided by: Deonna Grimes. Every risk management program should have the following components: Risk Identification (where are the risks?) Risk."— Presentation transcript:

1 Notes provided by: Deonna Grimes

2 Every risk management program should have the following components: Risk Identification (where are the risks?) Risk Measurement (how bad is it?) Risk Control (mitigating factors) Risk Monitoring (systematically review to ensure key components have not changed)

3 Creating an ERM program can be difficult. An effective program requires cooperation from everyone in the organization Key players in an ERM program include:  Board of Directors and CEO (have ultimate responsibility for ERM)  Senior Management (likely have the biggest roles)  Department/Business Units  Support Functions  Internal Audit and Compliance  Risk Management (if resources allow)

4  Determine and document risk appetite. This is the credit union’s chance to strategically establish its risk tolerance (i.e. the capacity to take risk and tolerance for potential loss)..  Although certain tasks may be delegated to management, the Board and CEO are ultimately responsible for all of the risk in the organization

5 Categories of Risk:  Credit Risk  Interest Rate Risk  Liquidity Risk  Transaction Risk  Compliance Risk  Strategic/Reputation Risk  Fraud risk

6 Transaction Risk  Risk to Earnings and Capital  Arises from a Credit Union’s Inability to deliver products or services, maintain a competitive position, and manage information  This type of risk is usually the result of: - Fraud and errors - A function of internal controls, operating processes, information systems, and employee integrity

7 Two Primary Types of Internal Fraud 1. Financial Misstatement—financial reporting fraud. Recent economic conditions have resulted in a “spike” 2. Embezzlement—can have direct and indirect consequence Formula  Motive  Opportunity—one thing we can control. Credit unions can minimize opportunity through controls  Rationalization

8 The credit union made it too easy for the perpetrator. Increased opportunity through:  Lack of supervision  Lending committee approval is a sham (nothing but a rubber stamp)  Ineffective controls—loan reports are not validated  Separate data system was not integrated into the credit union’s controls

9 Opportunity presented itself when the two tellers shared their codes, and keys. Mitigation Strategy  Enforce segregation and password controls  Periodic “full” audits with proper timing  Training and education


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