Environmental Credits and Environmental Credit Obligations
SIFMA provided comments to the Financial Accounting Standards Board (FASB) on the Proposed Accounting Standards Update—Environmental Credits and Environmental Credit…
Submission for the Record by the Securities Industry and Financial Markets
Association
before the U.S. House of Representatives’
Financial Institutions and Monetary Policy Subcommittee
Hearing entitled “Stress Testing: What’s Inside the Black Box?”
June 26, 2024
Executive Summary
Introduction
The Securities Industry and Financial Markets Association (“SIFMA”)1 and its member firms appreciate the opportunity to submit our perspectives on the supervisory stress tests conducted by the Board as required by Section 165 of the Dodd Frank Act. We are writing specifically to express our concerns regarding the negative effects on credit availability of the GMS component of the stress testing framework and the FRTB framework in the Basel III Endgame proposal. In particular, the GMS scenarios are empirically implausible and result in excessive levels of capital for large U.S. banks’ capital markets activities. The proposed FRTB framework would further and severely constrain large banks’ ability to intermediate U.S. capital markets, leading to higher costs and reduced availability of capital markets products and services to businesses and consumers.2 Thus, SIFMA believes that the Board should re-propose the Basel III Endgame considering holistically the role of the GMS and the FRTB.
GMS Shocks Are Empirically Implausible
The GMS scenario is a set of hypothetical severely adverse shocks to a large set of risk factors reflecting general market distress and heightened uncertainty. Banks with significant trading activity must consider the GMS in their stress tests as a part of the supervisory severely adverse scenario. As a key component of the projected total stress losses that are used to determine SCB requirements, the losses associated with the GMS are recognized in the first quarter of the scenario and are carried through all subsequent quarters.
For the GMS scenarios, the Board’s Policy Statement on the Scenario Design Framework for Stress Testing requires that the Board consider “hypothetical but plausible outcomes.”3 However, the Board has not adopted any quantitative thresholds for determining what severely adverse scenario shocks are “plausible” in the GMS component.
In 2019, SIFMA conducted a study to assess the plausibility of the GMS shocks.4 The study evaluated the probability of various GMS shocks in the prior years and found that, in many cases, the statistical probability of a GMS shock is extremely low. For example, the statistical probability of 2019 GMS spreads for certain corporate bonds occurring was 0.001%. Since the Board generally calibrates the GMS shocks based on the assumption of a holding period of three months or longer (see the 2024 Stress Test Scenarios document for details5 ), the probability of 0.001% corresponds to at least a one-in-forty thousand-year event. Should this type of event be deemed to be “plausible” within the meaning of the Board’s scenario design standard? Such events generally would be considered implausible, at least in a statistical sense.
Practical Implications of Implausible GMS Shocks
In the United States, capital markets fund approximately three quarters of all economic activities, and large banks play a crucial role in intermediating those markets. The design of the GMS has not been reviewed or adapted by the Board since late 2010 when the supervisory market risk stress test was formalized as the GMS under the CCAR process. It has been a major source of volatility in the projected stress losses largely because of its wildly implausible, arbitrary scenarios (e.g., all markets heading in one direction at the same time), which could give rise to misleading results in terms of the plausible, real-world market risks that banks face – raising doubts about whether it performs any appropriate supervisory function.
The implausibility of GMS shocks and the variability from one year to the next results in both excessive levels of capital and excessive volatility in the resulting capital requirements for large U.S. banks from year-to-year.6 For instance, the Board’s 2023 stress test exercise indicates that the GMS losses accounted for nearly one fifth of total projected stress losses.7
The GMS losses estimate is a key driver of the resulting SCB requirements for large banks. The SCB was designed to replace the Capital Conservation Buffer (“CCB”) in the Basel international standards. But the SCB went above and beyond the CCB; while the latter is fixed at 2.5%, the former can be no lower than 2.5%. Under the current U.S. capital rule, the SCB is applicable to the U.S. standardized approach, which is the binding capital constraint for many large U.S. banks. Therefore, as a result of the GMS, large banks’ ability to support U.S. capital markets is already severely constrained.
The Proposed FRTB Framework Would Further Exacerbate the Negative Impacts of the GMS
The proposed FRTB framework contained in the banking agencies’ Basel III Endgame Proposal is expected to increase capital requirements for large banks’ trading activities by roughly 75% to over 100%, depending on whether the bank is using a modelled approach or the standardized approach. The combined effect of the GMS component and the proposed FRTB framework would lead to capital requirements exceeding the maximum possible economic losses on many positions, e.g., securitization positions. This is a clear indication that the capital requirements are not commensurate with risks and are overly conservative. The securitization market is a crucial funding source for American consumers.8
Recommendations
To mitigate the above impacts, SIFMA recommends that the Board either eliminate the GMS component of the supervisory stress test or significantly adapt it with the following three solutions that would approach the GMS and the FRTB in a holistic manner and ensure that capital requirements for large banks’ capital markets activities are commensurate with their risks:
Conclusion
In conclusion, we applaud the House Financial Services Committee’s Subcommittee on Financial Institutions and Monetary Policy for holding this critical hearing on improving the Board’s stress testing framework. We appreciate your review of our suggested proposals, which would mitigate the negative consequences of the stress testing framework, especially its GMS component, on the U.S. capital markets and American businesses and households that depend on them for access to affordable credit.