Sei sulla pagina 1di 45

Loan Policy- Credit Risk

Management

Presentation Objectives
Loan policy- Genesis, Importance- Credit
risk Management
Need for loan policy
Ingredients of a good loan policy
Loan Policy and risk Management
Prudential ceilings and loan policy
Final Analysis

What is it
Credit sanctioning guidelines, and the written
documentation setting forth standards as
determined by a bank's senior management.
A bank's loan policy also establishes minimum
credit standards for taking on loans.
It sets policies and procedures in treatment of
delinquent loans, and the type of customer a
bank wants as a borrower.

Genesis Importance of Policy


1980s
The world and the way of banking changed
American banking history witnessed several credit
induced bank disasters
E.g. Continental, Sea First and Texan Banks
1990s Credit freeze due to East Asian Crisis
2000 GTBs credit induced problems
Lessons
The common triggers of crisis Aggressive and
unplanned lending
Credit concentration failure to diversify,
Risky practices, inadequate monitoring

Result

Poor credit culture

Credit culture is largely dependent on the


loan policies pursued by a bank

The Need for Policy Making


First six years of the millennium saw
paradigms shifts in bank lending
India became more closely
integrated to the global economy
Interest rates moved both ways
Traditional avenues for lending slowed
down
Competition
Policies responses had to become dynamic
outward and forward looking to meet
challenges

Ingredients of a good loan


policy
1.
2.
3.
4.
5.
6.

Board & Management Oversight


Portfolio Management
Management Information Systems
Market Analysis
Credit Underwriting Standards
Portfolio Stress Testing & Sensitivity
Analysis
7. Credit Risk Review Function

Loan policy formulation in a


bank

Typical loan policy


Theory
Broadly defining the credit culture
Broadly laying out the external-internal environment

Lookups
Statutory issues & Regulatory
Market, present environment

Studies
Industry, survey etc

Setting up Risk Appetite


Fixation of internal norms & prudential ceilings
Deciding on risk rating

Implementation
Laying out procedures, appraisal standards, schematic
issues

Process
Credit Culture This is the way we
handle credit
Establish Business
Priorities

Choose Credit
Culture

Strategies

Credit Policy determines the credit


culture

Determines Credit Culture of Bank


Based on Corporate priorities
Credit Culture could be one of four
types
CORPORATE PRIORITY

CULTURE

Emphasis on asset quality , long


term growth

Values Driven
(Conservative, Prudent)

Short term gains

Earnings Driven
(Regardless of risk)

Market share, Size

Volume Driven
/Aggressive

No clear priorities

Unfocussed

10

A Delicate Balancing Act


Overriding objective of credit policy
Healthy Balance between
Credit Volumes, Earnings & Asset Quality
Within the framework of
Regulatory prescriptions,
Corporate goals - social responsibilities

11

Healthy Balance
Credit expansion
Steady expansion, sustained, continuous &
prudent growth
Steady rise in profits but emphasis on
Quality Assets
Profitable Relationships

Statutory and Regulatory line

This philosophy seeks to instill a value


driven credit culture
12

Regulatory and Statutory issues in


Loan Policy formulation

13

Regulatory requirements
RBIs Guidelines on Risk Management Systems in Banks
require a typical Credit Policy to cover:
Standards of presentation of credit proposals, financial
covenants
Rating standards and benchmarks
Prudential limits on large credits and asset
concentrations
Standards for Loan collateral, Loan Review Mechanism
Pricing of loans, risk monitoring and evaluation
Legal and regulatory compliances
Delegation of credit sanctioning powers
Prohibition on lending

14

Credit Policy and Regulatory guidelines


No ambiguity in postulations- chance for
different understanding interpretations
Loan policy must clearly mark the boundaries
Government
RBI
Bank

Loan policy should ideally list out restrictions


that credit grantors can refer
Loan policy must provide for exceptions- list
out if possible
Loan policy must also lay down the levels of
authority for certain credit decisions
Regulatory reviews, inspections also provide
opportunities for aligning loan policy to regulatory
thinking
15

Policy -interspersed with Dos and


Donts
Sector specific guidelines should also contain Dos
and Donts based on present environment,
statutory and regulatory guidelines
e.g.
Financing Real Estate, Capital Markets, bill
discounting, NBFC lending etc
Ban on lending to units producing ozone
depleting substances is an instance of statutory
restriction
While assessing the adequacy of a loan policy these
Dos and Donts should be weighed by the credit
grantor
Deterrents to non compliance to these dos and
donts

16

Studies prior to formulating a


policy

17

Industry Issues in Policy

18

Industry Analysis A key tool


Policy not to stop with managing transaction risks
Has to address intrinsic risk also
Portfolio perspective
The risk inherent in certain lines of business is
known through industry analysis
Industry analysis to look at three vital factors
Historic elements
Predictive elements
Lending elements

19

A Closer Look at Industry Analysis


Historic Risk Elements should look at:
Financials: capital, cash flows, w.c. cycle
Stability: demand, growth
Longevity of the industry: demand, trend need etc
Predictive Risk Elements would include:
Structure: constitution
Diversity: concentration
Entry barriers- political, financial, feasibility
Product Life cycle- ever in demand, seasonal etc
Economic Vulnerability, Political / Regulatory risks,
20
Environment issues

A Closer Look at Industry Analysis


Lending elements
Collaterals-availability, acceptability
Security- legal issues,
Valuation
Delivery Loan or an advance

Industry study should be periodically


reviewed and factored into the policy
21

Industry Analysis in Actual Practice


In real life policy setting industry analysis may or
may not be documented on these rigorous lines
In any case a careful consideration of all three risk
elements go into the industry limits fixed by each
bank
This is based on the lending experience and business
expectations that the bank has
It is intrinsic risks in sectors like real estate and
capital markets that explains the regulatory concern
about build up of asset concentrations in these areas
Inspection and Audit to help verification/validation
whether the intrinsic risk in industries with higher
exposure limits have been assessed by the bank
22

Business prospecting through policy


Identify focus areas
broad confines of strategy,
study, restrictions etc.

Identify
macro economic trends,
regulatory stance
banks own experience
core competencies
Retail for instance became a focus area for banks
after the interest rate deregulation and the slow
down in corporate borrowings
SMEs, Agriculture and Micro Finance are today
perceived to be major business opportunities 23

Core competencies- influence on policy


Each bank has its strong points and core
competencies
Public sector banks have a strong rural and
semi urban presence and a history of
success in agricultural and rural credit
Banks in Western India have a predominant
presence in sugar sector
Credit Policy to draw on such strengths
It should also leverage on sector specific
regulatory incentives and relaxations
extended from time to time
24

Fixation of internal prudential


ceiling norms

25

Internal Prudential Limits A Potent Instrument


of Credit Risk Management- through Loan policy
Prudential limits
limiting magnitude of credit risk
Dispersion of credit risk- prevents concentration
DeterminantsCredit culture
Risk appetite
Regulatory dictates
Prevailing Industry and Economic Conditions
Loan policy should articulate the rationale behind the
limits, for better appreciation and understanding
26

Prudential exposure ceilings


Financial Limits

Single & Group

Substantial
Exposure

Maximum limit
Aggregate limit
Industry wise
Sector specific
Individual
Corporate
Partnership
Proprietorship
Aggregate linked to
capital funds
27

Some issues in limits


Financial benchmarks with conditions under
which deviations can be permitted
Single and Group borrower limits not exceeding
what is prescribed by RBI- permissible deviations
Substantial Exposure limit (10% borrowers <
600% of capital)
Industry and sector wise ceilings
Limits on sensitive sectors subject to asset price
volatility
High risk and low priority sectors
Maturity profile of the loan book
28

Setting Prudential Limits Specific to Each


Bank
Limit setting is unique to each bank

It has to balance risk control against growth


imperatives
The limits set should reflect the legacy issues in
the portfolio
There should be higher limits for areas where Bank
has a natural advantage
Lower limits and ban in sectors where the Banks
prior experience has been adverse
Limit setting is dynamic and on-going
29

Credit Rating & Loan policy

30

Credit Rating
Tool for the measurement of credit risk
To enable an informed and considered credit
decision as good or bad
To appropriately price loan products
BCBS defines credit rating as summary
indicator of risk inherent in individual credit
signifying the risk of loss due to default of a
counterparty by considering qualitative and
quantitative information

Credit rating & Loan Policy


Policy should provide for rating of all loan accountsvery little exceptions
The rating should consist of 8-9 parameters (minimum)
Policy to specify minimum entry rating i.e. Hurdle Rate
Policy to lay down exceptions to Hurdle rate
Policy to lay down procedures to handle accounts which fall
below hurdle rating

Annual review of ratings- Quarterly, half yearly updates


Study of Rating migration
Pricing linked to Rating
Mapping of external ratings to internal ratings

32

Schematic Lending Policy

33

Schematic Lending- Loan Policy


A good loan policy to provide leeway for
It should balance the risk and returns on the
retail front
Schematic Lending
Directed credit flow to certain sectors

Housing, farming, SME, retail, personal


loans, special tie-ups etc
Retail loans under various products and
schemes designed by the Bank

34

Risk Vs Return- Retail Lending


Returns
from
retail/schematic
lending
commensurate with risks?
Schemes to match customer expectations?
Standard of Due Diligence and KYC?
Outsourcing risks adequately addressed?
Delinquencies under control in specific
product categories?
What is the growth in terms of size, earnings
and quality?
35

Taking over Loan Accounts

36

Policy of take over


Take over route to grow business
Policy to clearly lay down ground
rules
What type of borrower accounts
What level of exposures
Take over from whom
Take over standards
Pricing

37

Implementation Issues

38

Challenge
Profitability,
Customer Friendliness/service,
Compliance
Capital Conversation

Challenges arise when what the customer needs are


not provided for in the policy
Trade off business considerations, social
responsibility,
39

Policy Deviations French


Windows?

Area of potential conflict in perceptions


differences between regulator and banks
Every policy has to provide for exceptions
RBI the regulator also recognizes this
But question is how far and how much

Deviations/ exceptions dictated by business


needs
Extent of their impact on risk profile to be seen
Within the overall credit culture of the bank
40

In the Final Analysis

41

Credit Policy As a Risk Management


Tool
Credit Policy serves a Gate Keeping function
Defines thrust areas in relation to credit culture,
profit objectives and regulatory directions
Defines acceptable levels of risk by identifying
industry segments for fresh exposures
Prevents risk concentrations and ensures
diversification by setting limits on sectors and
individual transactions
It provides pricing strategies through the use of
Credit Risk Rating framework

42

Policy -Widen Knowledge Base


Knowledge is the most potent of risk

mitigant
Does the policy provide for dissemination of
knowledge on credit?
Is the policy in itself, - Comprehensive,
Articulate, accurate and
User friendly?

43

Loan Policy risk, growth, profits

An ideal loan policy should


Create right for business growth
Maintain quality of assets
Provide platform for good procedures/process
Ensure regulatory and statutory compliances
Be the platform for Credit Risk Management

44

45

Potrebbero piacerti anche