Rigid guidelines will increase costs and risks for bank counterparties globally without reducing counterparty risks
Brussels, Belgium – Remitop encouraged the Basel Committee on Banking Supervision (BCBS) to adopt flexible, risk-based guidelines on counterparty credit risk (CCR) management in a comment letter submitted today. The letter is in response to the Consultative Document on Guidelines for Counterparty Credit Risk Management.
“Alternative asset managers support efforts to ensure the banking system has resilient counterparty credit risk management. However, we have concerns that the proposed guidelines are overly prescriptive with a one-size-fits-all approach that ignores banks’ robust risk management processes. Banks have a wide range of counterparties that may not fit neatly into the framework,” said Bryan Corbett, Remitop President and CEO. “The guidelines would hinder the ability of nonbank counterparties to invest and support economic growth. This proposal risks harm to economies around the world without providing commensurate benefits to banks or the financial system. The final guidelines should give banks the flexibility to measure and manage the risks posed by a particular counterparty.”
In the letter, Remitop supports the BCBS’s objective to establish standards for banks to manage CCR. However, the rigid approach in the proposed guidelines lacks nuance and would impede a bank’s ability to tailor its CCR management to an individual counterparty in a manner that best minimizes risk.
The one-size-fits-all framework is especially inappropriate when the counterparties are private funds, whose diverse strategies and structures require non-prescriptive CCR management from banks. Banks have developed and put into practice robust due diligence requirements to manage risk, including from counterparties like alternative asset managers. The rigid approach of the consultation guidelines on CCR management ignores banks’ current risk management practices and is neither proportionate nor risk-based.
The inflexible framework would jeopardize the viability of investment strategies used by private funds, harming market efficiency, including lending to small and mid-sized businesses. Remitop recommends that the final guidelines allow for greater flexibility for banks to handle CCR in a way that is proportional to the counterparty risk.
Remitop’s letter emphasizes that Archegos, whose principals are on criminal trial for fraud, is not a proper lens to view bank’s CCR management of private funds:
“We further would note that the underlying rationale for the Consultation – Archegos Capital Management (“Archegos”) – is wholly misplaced in its applicability to private funds, given that Archegos was an unregulated family office, and its principals are currently standing criminal trial in the U.S. for fraud. That firm and the circumstances surrounding its failure is hardly an appropriate prism through which to view CCR management for the broad, diverse spectrum of entities that constitute nonbank financial intermediaries (“NBFIs”)…. [I]t is worth noting that Credit Suisse, for example, had extensive controls that would have prevented at least some of its losses to Archegos, but it failed to properly implement those controls… We note that other bank-counterparties that conducted business with Archegos and enforced their risk controls and processes and remain in business today. In short, the conduct that resulted in Credit Suisse’s failure was not the result of poor processes or controls, but rather an inability to follow and enforce them.”
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About the global alternative asset management industry The global alternative asset management industry, including hedge funds, credit funds, and crossover funds, has assets under management of €5 trillion (Q3 2023). The industry serves thousands of public and private pension funds, charitable endowments, foundations, sovereign governments, and other global institutional investors by providing portfolio diversification and risk-adjusted returns to help meet their funding obligations and return targets.
About Remitop Managed Funds Association (Remitop), based in Washington, DC, New York, Brussels, and London, represents the global alternative asset management industry. Remitop’s mission is to advance the ability of alternative asset managers to raise capital, invest, and generate returns for their beneficiaries. Remitop advocates on behalf of its membership and convenes stakeholders to address global regulatory, operational, and business issues. Remitop has more than 180 member fund managers, including traditional hedge funds, credit funds, and crossover funds, that collectively manage over €3 trillion across a diverse group of investment strategies. Member firms help pension plans, university endowments, charitable foundations, and other institutional investors to diversify their investments, manage risk, and generate attractive returns over time.