In the wake of the financial crisis, banks are thinking more strategically than ever before about how to maximize value from their risk management programs. Risk Management has emerged as the clear choice for banks that want to gain a more advanced risk view and utilize the benefits of ERM to improve business performance in both the short and long term.Michael Fadil, SVP, Corporate Risk Management at SunTrust Bank is a speaker at the upcoming Enterprise Risk Management in the Banking Industry Conference taking place on July 14-15, 2011 in New York City, NY.Michael joined SunTrust in May 2006 and is currently work on special projects for the Chief Risk Officer after working for 4 ½ years as the Head of Risk Analytics, overseeing Wholesale Transaction Modeling, Economic Capital and Portfolio Modeling, Allowance for Loan and Lease Losses, Commercial Portfolio Loss Forecasting, Corporate-Wide Stress Testing, and Model Validation. Michael took the time to answer a few questions in relation to the upcoming conference. All responses represent the view of the Mr. Fadil and not necessarily those of SunTrust Bank.What, in your opinion, are the key points of a bank ‘living will’?Michael Fadil: The NPR outlines basically six areas that each plan needs to address: the strategic analysis of the components, the governance structure for resolution planning, the organizational structure, MIS, the interconnections and interdependencies within the company, and supervisory / regulatory information. One theme that does weave through all aspects of the plan is the issue of interconnectedness. This comes in many forms, interconnection of businesses, legal entities, systems, people, processes and internal financing arrangements. Additionally, adding to the complexity is that most of the interconnectedness of each of the above is intertwined with the other dimensions. Having an ability to understand and clearly articulate this multi-dimensional interconnectedness will be important to adequately deal with each of the six major sections.On a different note, given the complexity of the above challenges, being able to update the plans when required, but no less than annually, also requires balancing the amount, organization, and presentation of the living will plans with a plan that is sustainable must be well understood.What role will living wills play in sound risk governance and risk management?MF: A bank’s Recovery and Resolution plan is a way to articulate and document that a financial institution understands the intricacies of the interconnected nature of businesses in the organization. In theory, most institutions should have 80 – 95% of the information being requested. The reality is that even though most do, it is spread across dozens of key individuals across the institution and not well organized.Recently, during the great recession, the inability of many institutions to easily understand the interconnectedness of businesses probably exacerbated the negative impact on the institutions themselves and on the entire global financial system. The process of organizing this information centrally and clearly articulating how all of the pieces are interconnected will help ensure that an institution understands the complexnature of various aspects of the business and thereby advance risk management and governance at most financial institutions. A key question that remains outstanding, however, is what standard of documentation will be considered appropriate and will that level be so high where the costs outweigh the benefits that a financial institution will receive.How tough a hurdle is it that living wills must receive approval by both the FDIC and the Federal Reserve Board?MF: The approval hurdle from the FDIC and Federal Reserve Board remains to be seen. The NPR does articulate “minimum content” requirements but beyond that it only states that the plans must be “credible.” One of the issues that many banks and industry groups have brought up is that the standards for submission of a successful plan are vague and overly broad and need to be made more objective.How effective, overall, will living wills be – can even the best, most timely plans anticipate the next crisis?MF: One needs to separate the Recovery Plan component of living wills from the Resolution Plan component. Few, if any, would assert that the Resolution Plan will help anticipate the next crisis. Some, however, will make that assertion regarding the Recovery Plan.I would argue that in and of itself, the Recovery Plan will not and should not necessarily be effective with regard to anticipating the next crises; rather, it will ensure that financial institutions are anticipating how they would think about the organization as a crisis begins to become evident. I would describe the Recovery Plan as a well articulated understanding of each business, the value of the business in various scenarios, and how the business is interconnected to any legal entity or other business, with regard to financial arrangements, people, systems, and processes across the institution, especially in those instances where people, systems and processes are shared. This type of detailed understanding should create a well-understood escalation process that articulates the way in which an institution will manage during the height of a future crisis.This in conjunction with other practices that have gain renewed emphasis in the past 3 years (for example stress testing, capital planning, and contingent liquidity planning) should help individual banks and the financial industry in aggregate negotiate the next crisis better; however, it probably will not help specifically better anticipate the next crisis.The marcus evans Enterprise Risk Management in the Banking Industry Conference will take place on July 14-15, 2011 in New York City, NY. To learn more, please visit: http://www.marcusevansch.com/ERMBankInterviewFor further information, please contact:Michele WestergaardTelephone: 312 540 3000 ext 6625Fax: 312 552 2155Email: michelew@marcusevansch.com
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Comments
Michele and Michael,
Thank you for the interview. This covers a topic that isn't widely discussed and helps me understand the "inside-banking" view more clearly.
Do you feel that the living will regulations will change as the implementation/approval date nears?
Waynette Tubbs