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Pension Supervision
Global Capital Markets Non-bank Financial
Institutions
Fiona Stewart
Pensions Core Course April 8 2013
Structure of Presentation
I. What is pension supervision?
II. Types of pension supervision
I. Style
II. Structure
III. Principles of pension supervision
IV. Risk-based supervision
2
I. What is Supervision?
• Regulation = legal foundations and system of rules and
regulations governing the Structure and operation of pension
funds
• Supervision = oversight and enforcement of compliance with the
rules
• May occur within the same organisation and in some cases
simultaneously
3
Theoretical Basis for Supervision
• Market imperfections and failures
• Asymmetrical information
• Moral hazard
• Consumer myopia
• Competition and efficiency
4
What is distinctive about Pensions?
• High vulnerability leads to low risk tolerance
• Greater share of average member wealth
• Less sophisticated clientele- lower income and less educated
• Mandates and limited choices by consumers
• Higher public fiscal expenditure
• Complex legal and regulatory structure
5
Why is Pension Supervision Important?
• Pension supervision focuses on protecting the interests of pension fund
members and beneficiaries, by promoting the stability, security and
good governance of pension funds.
• Pension supervision involves the oversight of pension institutions and
the enforcement of and promotion of adherence to compliance with
regulation relating to the structure and operation of pension funds and
plans, with the goal of promoting a well functioning pensions sector.
• In addition, achieving stability within the pension sector is an important
part of securing the stability of the financial system as whole (as
investments made by pension funds have a major impact on the real
economy in many countries).
6
7
Elements of Supervision
Control of Licensing Pension Companies
–Fund Managers and Trustees
–Custodians, Actuaries and other Service
-Providers
Monitoring –Financial Reporting and Auditing
–Actuarial Reviews
–On-Site Reviews and Investigations
–Receiving Complaints & “Whistleblowers
Measurement –Comparison to Normative Standards
–Risk Scoring and Evaluation
Communication Disclosure
–Outreach and Education
–Training
Intervention –Notification of Violations
–Directive Actions
–Negotiated Resolutions
Correction - Punitive
–Remedial
–Compensatory
II. Types of Pension Supervision
a). Style of supervision varies by country
8
Hinz + Mataoanu (2005) World Bank
Nature of Supervision Varies by Country/ Pension System
9
Hinz + Mataoanu (2005) World Bank
10
Nature of Supervision Varies by Country/ Pension System
Hinz + Mataoanu (2005) World Bank
II. Types of Pension Supervision
b). Structure of pension supervision - arguments for / against
independent pension supervisory authority
11
IOPS Working Papers No. 1+16
Integrated Supervisory Authority
• Better for conglomerates
• Avoids regulatory arbitrage
• Economies scale
• Share information across financial
sectors
Independent Pension Supervisory Authority
• Pensions sufficiently different
• Cross sector gains don’t materialize
• Coordination between authorities can
achieve same effect
Lessons Learnt
• Some structures more appropriate for certain circumstances (e.g. occupational pensions more
suited to independent supervisory authority / developing economies may want to keep resources
in integrated authority or central bank)
• Structure is not the most important thing – authorities which are focused, disciplined and
communicate will deliver whatever the structure
Different Structures of Pension Supervision
12
IOPS Working Paper No. 1
Twin Peaks Model Attracting Attention After Financial Crisis
13
IOPS WP 16
III. IOPS Principles Private Pension Supervision
Principle 1: Objective National Laws should assign clear and explicit
objectives to pension supervisory authorities
Principle 2: Independence Pension supervisory authorities should have
operational independence
Principle 3: Adequate Resources Pension supervisory authorities
require adequate financial, human and other resources
Principle 4: Adequate Powers Pension Supervisory authorities should be
endowed with the necessary investigatory and enforcement power to
fulfil functions and achieve their objectives
Principle 5: Risk Orientation Pension supervision should seek to
mitigate the greatest potential risks to the pension system
14
IOPS Principles
Principle 6: Proportionality + Consistency Pension supervisory authorities
should ensure that investigatory and enforcement requirements are
proportional to the risks being mitigated and that their actions are consistent
Principle 7:Consultation + Cooperation Pension supervisory authorities
should consult with the bodies they are overseeing and cooperate with
other supervisory authorities
Principle 8: Confidentiality Pension supervisory authorities should treat
confidential information appropriately
Principle 9: Transparency Pension supervisory authorities should
conduct their operations in a transparent manner
Principle 10: Governance The supervisory authority should adhere to its own
governance code and should be accountable
15
IOPS Principles Assessment Methodology
Provides a structured framework for assessing the extent to which a
pension supervisory authority complies with the spirit and the letter
of the Principles
Can be used for external or self-assessment
Also indicates types of evidence that may help to answer questions
Compliance rated as:
• Full implemented – IOPS Principle is implemented in all material
respects
• Broadly implemented- IOPS Principle is implemented in all but one or
two material respects and the exceptions do not detract from the
overall opinion. It should be possible to say something positive about
compliance in answer to nearly every question
• Partially implemented – while a negative answer is given to some
questions, the response to the majority of questions is consistent
with compliance
• Not implemented - there are major shortcomings against the Principle
16
Principle 9 Transparency – Assessment Questions
• Does the supervisory authority publish its rules and procedures?
• Is the supervisory authority subject to appropriate audit and
reporting requirements (that do not compromise its
independence)?
• Does the supervisory authority publish an Annual Report explaining
how it has (or has not) met its objectives?
• Does the supervisory authority explain to individual supervised
entities why it has taken particular action?
17
IOPS Principles Self-assessment Results
18
Well Implemented Medium Implemented Poorly Implemented
1. Objectives 10. Governance 5. Risk-based
supervision
4. Powers 9. Transparency 6. Proportionality +
Consistency
7. Communication 2. Independence 3. Adequate resources
8. Confidentiality
Nigeria – Self-assessment vs. IOPS Principles
19
‘Seven Deadly Sins of Supervision’
20
1. Structure – lack of independence /opaque appointments/ poor governance/
lack power
2. Staff - insufficient numbers/ poorly paid/ poorly trained/ little guidance material
3. Style - Risk vs. Rules based
4. Statistics – offsite reviews?/ separate unit?/ how much information?/ what to
analyse (x summarize)/ trends/ finding relevant peer group/ means what?
5. Scope – what determines inspection cycle?/ full or partial inspections?/ who
sets the scope/ what is it based on (offsite analysis/ previous review/ industry
gossip/ media)?
6. Significance – report significant matters – not a list of minor transgressions/
require reports to be discussed at Board level/ require a response and plan of
action
7. Staying the distance – if it is significant enough to report, it is worth pursuing/
allow reasonable time for response/ written response from the Board not the
management/ if action plans have time lines in them, follow up on the date the
activity is meant to be completed / arrange for follow inspection not wait till the
next routine inspection
IV. What is Risk-based Supervision?
21
A structured approach focusing identifying potential risks faced by pension
funds and assessing the financial and operational factors in place
mitigate those risks. This process then allows the supervisory authority
to direct its resources towards the issues and institutions which pose the
greatest threat.
Can be applied in many different ways
• quantitative measures of risk vs. qualitative judgement of risk management
• risk-scores for each entity vs. analysis of risks systemic to pension system
• identify weak areas within a supervised entity vs. which institutions amongst
thousands may pose the greatest threat
Elements common to all RBS systems
• Determine objectives of supervisory authority + greatest risks to these
• Assess hazard or adverse events + likelihood of these occurring
• Assign scores and / or ranks to firms or activities based on assessments
• Link supervisory response to the risk scores assigned
Risk-based vs. Compliance-based Approach
22
Compliance-based Risk-based
• Focus on compliance e.g. with tax and
labour laws and (often) quantitative
investment rules
• All funds get same degree of attention
• Identifies potential risks
• Assesses mitigating factors
• Seeks proper management of risks
• Allows scarce resources to be targeted
at funds most at risk
• Detailed, often rigid, rules that are
difficult to change to meet urgent
regulatory needs
• Forward looking and principles-based
regulation
• Flexible
• Institutions focus is on compliance with
rules, not risk management
• Incentives for institutions to strengthen
risk management practices
• Point in time focus
• Overlooks major risk areas
• No early warning system
• Supervisors use judgement to assess
risk and quality of management
• Duplicates work of auditors • Compliance checks done by audit etc. –
removes duplication
• Difficult to get meaningful comparisons • Supervisor can benchmark institutions
and assess overall industry
• Penalises past breaches of rules • Attention directed to emerging problems
Can Combine ‘Risk-based’ and ‘Rules-based’ Approach
23
Risk-based Supervision DB vs. DC
24
RBS DB
• Focus on sponsor
• Solvency + funding issues key
• Use of quantitative measurement
tools
RBS DC
• Focus on Individual Members
• Focus on Risk-management
systems
• Qualitative measurement more
appropriate
Why adopt Risk-based Supervision?
• To improve supervisory effectiveness and efficiency
• To address internal organisational concerns
• To adapt to changes in the overseen industry
• To gain legitimacy following supervisory failure
• To meet requirements imposed by legislation
• To adapt to the changing nature of financial risks themselves, as these
become more complex and - with the growth of DC pension systems -
are increasingly transferred to individuals
25
Challenges to Introducing Risk-based Supervision
• Combining simplicity with complexity
• Knowledge and data
• Ensuring that assessments of firms are forward looking
• Going beyond the individual firm in assessing risk
• Structure and operation of internal risk governance processes
• Changing the culture to embed the risk based approach across the
whole organization
• Managing blame
• Making resources follow risks
26
Nzomo Mutuku RBA Kenya
27
Lessons Learnt
Adaptation of Models - consult widely but build own/ flexibility, upgrades, pilot test
Application of Models – know weaknesses /use with judgment
Data Collection – plan properly/ use existing where possible/ collect electronically
Reorganisation of the Supervisory Body – allow plenty of time
Staff – train all on philosophy as well as process
Industry – explain new approach and what is expected of them
Powers – make sure sufficient data collection + enforcement powers
Risk-based solvency – apply flexibly in volatile conditions / counter-cyclical
Systemic risk – build into analysis
Think in terms of achievability – target resources for maximum impact
It is worth doing
28
IOPS Toolkit for Risk-based Supervision
29
Module 0 ‘Introduction to RBS’
Module 1 ‘Preparation for RBS’
Module 2 ‘Quantitative Risk Assessment’
Module 3 ‘Risk Identification’
Module 4 ‘ Risk Mitigants + Risk Scoring’
Module 5 ‘Supervisory Responses’
www.iopstoolkit.org
RBS Process
30
RBS Process
31
Supervisory Focus Risk Focus Risk Factors Risk Indicators
Prevent fund failure
Ensure promised
benefits delivered
Funding and
solvency
Investment/ market
risks
Mismatch risks
Actuarial risks
Liquidity risks
Operational risks
Funding levels
Stress test results
Results ALM tests
Volatility measure
Portfolio concentration
Asset correlations
Trustee/ fiduciary knowledge
Prevent excess
consumer loss
Risk-management
systems
Investment / market
risk
Operational risk
Investment strategy
Results VaR tests
Management ability
Outsourcing
Non/late payment
contributions
Ensure fair competitive
markets
Promote market stability
Prevent financial crime
Promote market
development
Conflicts of
interest
Agency risk
Counterparty/ credit
risks
External/ strategic
risk
Law/ regulation risks
IT
Operational risks
Outsourcing
Probability default
Concentration / correlation
Enforceability of contracts
IT security
Sensitivity to fraud
Custody arrangements
Management ability
Risk Scoring Matrix
32
Enforcement Pyramid
33
Jurgen Boyd FSB South Africa
34
IS RBS Right for Everyone?
Yes if…
• lots of funds
• DB / guarantees (based on solvency measures)
• lots of supervisory resources
• integrated authority (apply same model across all sectors)
Not necessarily if….
• only few funds
• DC (quantitative not appropriate long term investments/ qualitative too
subjective)
• developing pension market and supervisory authority (not got resources/
expertise - regulation based more secure / restrictions not such an issue)
• specialist authority (?)
35

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Pensions Core Course 2013: Pension Supervision

  • 1. Pension Supervision Global Capital Markets Non-bank Financial Institutions Fiona Stewart Pensions Core Course April 8 2013
  • 2. Structure of Presentation I. What is pension supervision? II. Types of pension supervision I. Style II. Structure III. Principles of pension supervision IV. Risk-based supervision 2
  • 3. I. What is Supervision? • Regulation = legal foundations and system of rules and regulations governing the Structure and operation of pension funds • Supervision = oversight and enforcement of compliance with the rules • May occur within the same organisation and in some cases simultaneously 3
  • 4. Theoretical Basis for Supervision • Market imperfections and failures • Asymmetrical information • Moral hazard • Consumer myopia • Competition and efficiency 4
  • 5. What is distinctive about Pensions? • High vulnerability leads to low risk tolerance • Greater share of average member wealth • Less sophisticated clientele- lower income and less educated • Mandates and limited choices by consumers • Higher public fiscal expenditure • Complex legal and regulatory structure 5
  • 6. Why is Pension Supervision Important? • Pension supervision focuses on protecting the interests of pension fund members and beneficiaries, by promoting the stability, security and good governance of pension funds. • Pension supervision involves the oversight of pension institutions and the enforcement of and promotion of adherence to compliance with regulation relating to the structure and operation of pension funds and plans, with the goal of promoting a well functioning pensions sector. • In addition, achieving stability within the pension sector is an important part of securing the stability of the financial system as whole (as investments made by pension funds have a major impact on the real economy in many countries). 6
  • 7. 7 Elements of Supervision Control of Licensing Pension Companies –Fund Managers and Trustees –Custodians, Actuaries and other Service -Providers Monitoring –Financial Reporting and Auditing –Actuarial Reviews –On-Site Reviews and Investigations –Receiving Complaints & “Whistleblowers Measurement –Comparison to Normative Standards –Risk Scoring and Evaluation Communication Disclosure –Outreach and Education –Training Intervention –Notification of Violations –Directive Actions –Negotiated Resolutions Correction - Punitive –Remedial –Compensatory
  • 8. II. Types of Pension Supervision a). Style of supervision varies by country 8 Hinz + Mataoanu (2005) World Bank
  • 9. Nature of Supervision Varies by Country/ Pension System 9 Hinz + Mataoanu (2005) World Bank
  • 10. 10 Nature of Supervision Varies by Country/ Pension System Hinz + Mataoanu (2005) World Bank
  • 11. II. Types of Pension Supervision b). Structure of pension supervision - arguments for / against independent pension supervisory authority 11 IOPS Working Papers No. 1+16 Integrated Supervisory Authority • Better for conglomerates • Avoids regulatory arbitrage • Economies scale • Share information across financial sectors Independent Pension Supervisory Authority • Pensions sufficiently different • Cross sector gains don’t materialize • Coordination between authorities can achieve same effect Lessons Learnt • Some structures more appropriate for certain circumstances (e.g. occupational pensions more suited to independent supervisory authority / developing economies may want to keep resources in integrated authority or central bank) • Structure is not the most important thing – authorities which are focused, disciplined and communicate will deliver whatever the structure
  • 12. Different Structures of Pension Supervision 12 IOPS Working Paper No. 1
  • 13. Twin Peaks Model Attracting Attention After Financial Crisis 13 IOPS WP 16
  • 14. III. IOPS Principles Private Pension Supervision Principle 1: Objective National Laws should assign clear and explicit objectives to pension supervisory authorities Principle 2: Independence Pension supervisory authorities should have operational independence Principle 3: Adequate Resources Pension supervisory authorities require adequate financial, human and other resources Principle 4: Adequate Powers Pension Supervisory authorities should be endowed with the necessary investigatory and enforcement power to fulfil functions and achieve their objectives Principle 5: Risk Orientation Pension supervision should seek to mitigate the greatest potential risks to the pension system 14
  • 15. IOPS Principles Principle 6: Proportionality + Consistency Pension supervisory authorities should ensure that investigatory and enforcement requirements are proportional to the risks being mitigated and that their actions are consistent Principle 7:Consultation + Cooperation Pension supervisory authorities should consult with the bodies they are overseeing and cooperate with other supervisory authorities Principle 8: Confidentiality Pension supervisory authorities should treat confidential information appropriately Principle 9: Transparency Pension supervisory authorities should conduct their operations in a transparent manner Principle 10: Governance The supervisory authority should adhere to its own governance code and should be accountable 15
  • 16. IOPS Principles Assessment Methodology Provides a structured framework for assessing the extent to which a pension supervisory authority complies with the spirit and the letter of the Principles Can be used for external or self-assessment Also indicates types of evidence that may help to answer questions Compliance rated as: • Full implemented – IOPS Principle is implemented in all material respects • Broadly implemented- IOPS Principle is implemented in all but one or two material respects and the exceptions do not detract from the overall opinion. It should be possible to say something positive about compliance in answer to nearly every question • Partially implemented – while a negative answer is given to some questions, the response to the majority of questions is consistent with compliance • Not implemented - there are major shortcomings against the Principle 16
  • 17. Principle 9 Transparency – Assessment Questions • Does the supervisory authority publish its rules and procedures? • Is the supervisory authority subject to appropriate audit and reporting requirements (that do not compromise its independence)? • Does the supervisory authority publish an Annual Report explaining how it has (or has not) met its objectives? • Does the supervisory authority explain to individual supervised entities why it has taken particular action? 17
  • 18. IOPS Principles Self-assessment Results 18 Well Implemented Medium Implemented Poorly Implemented 1. Objectives 10. Governance 5. Risk-based supervision 4. Powers 9. Transparency 6. Proportionality + Consistency 7. Communication 2. Independence 3. Adequate resources 8. Confidentiality
  • 19. Nigeria – Self-assessment vs. IOPS Principles 19
  • 20. ‘Seven Deadly Sins of Supervision’ 20 1. Structure – lack of independence /opaque appointments/ poor governance/ lack power 2. Staff - insufficient numbers/ poorly paid/ poorly trained/ little guidance material 3. Style - Risk vs. Rules based 4. Statistics – offsite reviews?/ separate unit?/ how much information?/ what to analyse (x summarize)/ trends/ finding relevant peer group/ means what? 5. Scope – what determines inspection cycle?/ full or partial inspections?/ who sets the scope/ what is it based on (offsite analysis/ previous review/ industry gossip/ media)? 6. Significance – report significant matters – not a list of minor transgressions/ require reports to be discussed at Board level/ require a response and plan of action 7. Staying the distance – if it is significant enough to report, it is worth pursuing/ allow reasonable time for response/ written response from the Board not the management/ if action plans have time lines in them, follow up on the date the activity is meant to be completed / arrange for follow inspection not wait till the next routine inspection
  • 21. IV. What is Risk-based Supervision? 21 A structured approach focusing identifying potential risks faced by pension funds and assessing the financial and operational factors in place mitigate those risks. This process then allows the supervisory authority to direct its resources towards the issues and institutions which pose the greatest threat. Can be applied in many different ways • quantitative measures of risk vs. qualitative judgement of risk management • risk-scores for each entity vs. analysis of risks systemic to pension system • identify weak areas within a supervised entity vs. which institutions amongst thousands may pose the greatest threat Elements common to all RBS systems • Determine objectives of supervisory authority + greatest risks to these • Assess hazard or adverse events + likelihood of these occurring • Assign scores and / or ranks to firms or activities based on assessments • Link supervisory response to the risk scores assigned
  • 22. Risk-based vs. Compliance-based Approach 22 Compliance-based Risk-based • Focus on compliance e.g. with tax and labour laws and (often) quantitative investment rules • All funds get same degree of attention • Identifies potential risks • Assesses mitigating factors • Seeks proper management of risks • Allows scarce resources to be targeted at funds most at risk • Detailed, often rigid, rules that are difficult to change to meet urgent regulatory needs • Forward looking and principles-based regulation • Flexible • Institutions focus is on compliance with rules, not risk management • Incentives for institutions to strengthen risk management practices • Point in time focus • Overlooks major risk areas • No early warning system • Supervisors use judgement to assess risk and quality of management • Duplicates work of auditors • Compliance checks done by audit etc. – removes duplication • Difficult to get meaningful comparisons • Supervisor can benchmark institutions and assess overall industry • Penalises past breaches of rules • Attention directed to emerging problems
  • 23. Can Combine ‘Risk-based’ and ‘Rules-based’ Approach 23
  • 24. Risk-based Supervision DB vs. DC 24 RBS DB • Focus on sponsor • Solvency + funding issues key • Use of quantitative measurement tools RBS DC • Focus on Individual Members • Focus on Risk-management systems • Qualitative measurement more appropriate
  • 25. Why adopt Risk-based Supervision? • To improve supervisory effectiveness and efficiency • To address internal organisational concerns • To adapt to changes in the overseen industry • To gain legitimacy following supervisory failure • To meet requirements imposed by legislation • To adapt to the changing nature of financial risks themselves, as these become more complex and - with the growth of DC pension systems - are increasingly transferred to individuals 25
  • 26. Challenges to Introducing Risk-based Supervision • Combining simplicity with complexity • Knowledge and data • Ensuring that assessments of firms are forward looking • Going beyond the individual firm in assessing risk • Structure and operation of internal risk governance processes • Changing the culture to embed the risk based approach across the whole organization • Managing blame • Making resources follow risks 26
  • 27. Nzomo Mutuku RBA Kenya 27
  • 28. Lessons Learnt Adaptation of Models - consult widely but build own/ flexibility, upgrades, pilot test Application of Models – know weaknesses /use with judgment Data Collection – plan properly/ use existing where possible/ collect electronically Reorganisation of the Supervisory Body – allow plenty of time Staff – train all on philosophy as well as process Industry – explain new approach and what is expected of them Powers – make sure sufficient data collection + enforcement powers Risk-based solvency – apply flexibly in volatile conditions / counter-cyclical Systemic risk – build into analysis Think in terms of achievability – target resources for maximum impact It is worth doing 28
  • 29. IOPS Toolkit for Risk-based Supervision 29 Module 0 ‘Introduction to RBS’ Module 1 ‘Preparation for RBS’ Module 2 ‘Quantitative Risk Assessment’ Module 3 ‘Risk Identification’ Module 4 ‘ Risk Mitigants + Risk Scoring’ Module 5 ‘Supervisory Responses’ www.iopstoolkit.org
  • 31. RBS Process 31 Supervisory Focus Risk Focus Risk Factors Risk Indicators Prevent fund failure Ensure promised benefits delivered Funding and solvency Investment/ market risks Mismatch risks Actuarial risks Liquidity risks Operational risks Funding levels Stress test results Results ALM tests Volatility measure Portfolio concentration Asset correlations Trustee/ fiduciary knowledge Prevent excess consumer loss Risk-management systems Investment / market risk Operational risk Investment strategy Results VaR tests Management ability Outsourcing Non/late payment contributions Ensure fair competitive markets Promote market stability Prevent financial crime Promote market development Conflicts of interest Agency risk Counterparty/ credit risks External/ strategic risk Law/ regulation risks IT Operational risks Outsourcing Probability default Concentration / correlation Enforceability of contracts IT security Sensitivity to fraud Custody arrangements Management ability
  • 34. Jurgen Boyd FSB South Africa 34
  • 35. IS RBS Right for Everyone? Yes if… • lots of funds • DB / guarantees (based on solvency measures) • lots of supervisory resources • integrated authority (apply same model across all sectors) Not necessarily if…. • only few funds • DC (quantitative not appropriate long term investments/ qualitative too subjective) • developing pension market and supervisory authority (not got resources/ expertise - regulation based more secure / restrictions not such an issue) • specialist authority (?) 35