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The Twin Peaks Regulatory Model:
The Future of Financial Regulation?
2 Cover STORY
.
Jurisdictions such as
the United Kingdom,
the Netherlands,
South Africa and Australia
have substantially reformed
their banking and financial
sector regulators by
adopting a "twin peaks"
regulatory structure.
Such reforms aim to
ensure the stability of
these jurisdictions' financial
systems. Does such an
approach offer jurisdictions
like Hong Kong a model
for supervising their
financial markets?
Financial regulators around the world (including Hong Kong) usually organise themselves along institutional lines. A companys or institutions legal status (whether they are a bank, stockbroker or insurance company) determines which regulator supervises its activities - from both prudential
regulation helps ensure the stability of the banking system. Conduct regulation generally covers
the public, including ensuring an appropriate degree of protection for consumers and promoting
this model to allow some sharing of oversight responsibility for among the four key regulators the Hong Kong Monetary Authority (HKMA), the Securities and Futures Commission (SFC), the
Mandatory Provident Fund Schemes Authority. For instance, both the HKMA and SFC share responsibility for Hong Kong banks securities business.
"Twin Peaks" Around the World
A reform that is being considered in many overseas jurisdictions in recent years is the twin
pioneered in Australia after recommendations from the Wallis Commission. This inquiry was held in 1996, and chaired by a prominent Australian businessman Stan Wallis, to examine the results of
that had occurred in the 1980s and 1990s. The recommendations that emerged from the inquiry led to a fundamental restructuring of that countrys
peak agencies were created. Under the new regime, prudential regulation was placed in the hands of the Australian Prudential Regulation Authority (APRA) while the responsibility for regulating the conduct of business was given to
Mar-Apr 2014 3
Regarding Australias twin peaks system, Georgia State Universitys Professor Elizabeth Brown echoes the many voices in academic literature that have argued Australias twin peaks regulatory model helped it during
examination suggests that Australia was able to avoid many of the problems that arose in the United States and the United Kingdom and that this was at least partly due to its twin peaks regulatory structure, she wrote.1
Subsequently, several jurisdictions have implemented a twin peaks regulatory structure or a similar structure. For example, in the United Kingdom, a review of the
Government to adopt a twin peaks structure.2
structure, the Financial Services Authority (FSA) was split into the Prudential Regulation Authority (PRA) and the Financial Conduct Authority (FCA) in 2013. The FSAs
replaced by a tougher, forward-looking, judgement-led
regulatory system will result in improved effectiveness, which can be expected to contribute to promoting the UK
3
Also in 2013, South Africas National Treasury released draft legislation signaling a shift towards a twin peaks regulatory structure. The draft Financial Sector Regulation Bill proposed the establishment of a new prudential authority within the Reserve Bank that would be responsible for the oversight of the
Regulators would be introduced, through which the two new authorities would be expected to co-ordinate
and products. The bill also proposed that a Financial Stability Oversight Committee be established to
The Netherlands embraced a twin peaks approach
bank, De Nederlandsche Bank (DNB), has retained
services, while the Authority for the Financial Markets (AFM) is responsible for conduct of business regulation
the then chairman of the Netherlands Authority for the Financial Markets (AFM) (and current chairman of the
model of separating prudential and securities supervision worked very effectively in his country and outperformed many other European nations that had
both prudential and securities regulators. They have
transparency, Hoogervorst said. To be effective, a regulator should have a clear, focused sense of purpose. He should never be in a position where he
prudential concerns or vice versa.
Given its promise, the European Union is also considering adopting a twin peaks approach in its Union-wide surveillance and monitoring actions.4 Such
Monetary Fund has found evidence that consolidated regulation can improve regulatory outcomes.5
Debating the Case for "Twin Peaks"
While a proposal to introduce a twin peaks regulatory
also compelling arguments for giving this approach consideration.6 There are at least three distinct
4 Cover STORY
by its supporters. First, this model would be designed to cover any known gaps in the existing regulation.
Second, the approach offers a complementary model for Chinas sectoral-based regulators. China like the US
internationalise its economy, Mainland authorities could gain comfort from having a different regulatory structure in Hong Kong to cross-reference against in identifying
Third, the new structure can better deal with large domestic and foreign-originated crises. Consider a hypothetical scenario in which a Lehman Brothers-like crisis occurs in China that causes ripple effects in the Hong Kong economy. Under the current system, the SFC and HKMA would both need to step in and attempt to co-ordinate a large resolution package for Hong Kongs various broker-dealers and banks at risk. Under the revised structure, only a Prudential Regulation Authority would have such
ordinator both inside Hong Kong and with China.
of the twin peaks approach has emerged after this system was implemented in those jurisdictions. The respective regulators found they gained from hiring
regulators from employing persons with business and economic expertise and business conduct regulators from focusing on hiring enforcement-orientated staff. Having the functions in separate regulatory
the disparate disciplines that can occur within an organisation, according to a report by the Group of
Thirty thinktank.7 As the UK adopted the twin peaks approach only last year, its experience with this regulatory model is too short to provide much in the way of concrete assessment at the time of writing.
Critics of the twin peaks approach have pointed out that the model is not without problems and risks. Some
already experiencing regulatory fatigue since the global
Africa when its Government was proposing to introduce the twin peaks approach. The critics there argued that such an increase in regulation would increase compliance costs and the need for additional staff to
could, in turn, reduce the availability of resources for innovation, and for customers mean a reduction in credit
8
approach was a point heavily debated before its introduction in the UK, as it was predicted that splitting the FSA into two regulatory bodies would lead to higher
time of writing, it is unclear how the FCA and the PRA will control any rises in costs of compliance being passed on to consumers.
An early proponent of the twin peaks model, Dr. Michael Taylor, whose seminal paper in 1995 on this approach when he proposed for the UKs system of
recently that while twin peaks has become fashionable
he warned that it may not be suitable for all countries.
country needs to carefully select a regulatory structure for their particular circumstances. He pointed out that he advocated twin peaks for the UK because of two
second condition is that the UK has a highly developed consumer protection framework.
sort of regulatory structure should you think about?
Mar-Apr 2014 5
make sense in those conditions, Dr. Taylor said. Twin peaks is not something that should be adopted just because it is the current fashion to do so. You need to analyse the type of industry you are aiming to regulate.
The twin peaks model raises questions about how the responsibilities may be divided between the two regulators if it were to be adopted in Hong Kong. One method would be to allocate to the HKMA the central banking responsibilities of conducting monetary policy as well as for ensuring the overall stability of
well as for the securities and futures markets.
An alternative may be to give the central bank responsibilities to the HKMA and remove its banking supervision functions, while splitting the SFC into two authorities that would be responsible for prudential and market conduct regulations.
Australian system, APRA is responsible for the prudential regulation of banks, other deposit-taking institutions and much of the superannuation industry. However, securities regulation, which includes the prudential supervision of
were to adopt the twin peaks model, it needs to be determined whether there are synergies from bringing the prudential regulation of intermediaries under the same regulator as the one that regulates the banks.
Furthermore, the questions of to what extent the two regulators should rely on each other in their respective activities, and how much duplication can be eliminated or must be tolerated, would need to be resolved.
The Systemic Risks
A China-originated double whammy crisis represents the largest threat to Hong Kongs position as an
crisis refers to the effect on Hong Kong of a simultaneous fall in property prices and decreasing
is a double whammy because the Hong Kong Stock
stocks, and property stocks also rely heavily on equity prices as equities tend to underpin the borrowings. A
prudential regulatory authority would be able to conduct
rules aimed at decreasing such systemic risks.
The data that is currently available suggests the risks
will only increase in the next four years. Figure 1 shows
developed countries. The panel on the left-hand side
percent of gross domestic product (GDP). The panel on the right hand side shows the volatility (as measured
not-resilient and advanced economies. Advanced economies exhibit relatively high volatility of capital
The implication could not be clearer. Even if capital
(Percent of GDP)
Standard deviation
(in percent of GDP)
6 Cover STORY
to adopt a twin peaks approach took about two years to complete; however, this may not necessarily be an accurate guide for the timeframe for Hong Kong if it were to also introduce this model. By 2016-2017,
a focus of Hong Kongs hypothetical restructured central bank due to economic headwinds coming from
a twin peaks approach were to be fast-tracked so they could be completed by 2016, it could allow the presumed new prudential regulatory body and the authority responsible for controlling the money supply time to focus on the task of controlling a potentially over-heating economy in the near future.
Notes:1 Elizabeth Brown, A Comparison of the Handling
of the Financial Crisis in the United States, the United Kingdom, and Australia
2 Alison Lui,
of 20072009
KPMG, Twin Peaks Regulation: Key Changes and Challenges, www.kpmg.com/uk/en/issuesandinsights/articlespublications/pages/twin-peaks-regulation-changes-challenges.aspx.
3 BDO & DLA Piper, The New Twin Peaks Model,
Twin_peaks.pdf.4 The EU currently follows a sectoral approach
for Union-wide surveillance. However, several politicians and senior advisors are advocating for a twin peaks approach. For an overview
Eddy Wymeersch, The Structure of Financial Supervision in Europe: About Single Financial Supervisors, Twin Peaks and Multiple Financial Supervisors2007. For an example of a senior EU legislator arguing for a twin peaks approach, see Pervenche Beres, First Step towards 'twin peaks' model
, www.euractiv.com/
analysis-496770.5
evidence that regulatory consolidation could improve regulatory outcomes. See Martin Cihak and Richard Podpiera, Is One Watchdog Better
Than Three? International Experience with Integrated Financial Sector Supervision
imf.org/external/pubs/ft/wp/2006.wp0657.pdf.6 For a fuller description of each model and its
appropriateness for Hong Kong, see Douglas Arner and Evan Gibson, Financial Regulatory Structure In Hong Kong: Looking Forward, forthcoming.
7 Group of Thirty, The Structure of Financial Supervision: Approaches and Challenges in a Global Marketplace, available at www.group30.org/images/PDF/The%20Structure%20of%20Financial%20Supervision.pdf
8 KPMG, Twin Peaks: Regulation has it gone too far?,available at www.kpmg.com/za/en/
services/pages/twin-peaks.aspx.
DR. BRYANE MICHAEL
Senior Fellow at the University of
Financial Studies
GEM, which stood for Group Email System. Therefore,
the translation of this name should be ( ) ,
not . Also, the HSBC Universal Banking System was not installed in all the countries that the bank had branches, as was stated in the article.
Mar-Apr 2014 7
8
.
Mar-Apr 2014 9
Wallis1996
Stan Wallis 80 90
1998
APRA
Elizabeth Brown
1
2
Financial Services Authority (FSA2013 Prudential Regulation Author i ty (PRA Financia l Conduct Authority (FCA FSA
3
Group of Thirty 7
8
FSA
2013
Council of Financial Regulators
Financial Stability Oversight Committee2008
2002DNB
AFM
2009 AFMHans Hoogervorst
Hoogervorst
4
5
6
10
FCA PRA
Dr. Michael Taylor1995
2011
Dr. Taylor
APRA
Mar-Apr 2014 11
2
1GDP
GDP
1
2016-2017
2016
1 Elizabeth Brown, A Comparison of the Handling of the
Financial Crisis in the United States, the United Kingdom,
2 Alison Lui, Single or twin? The UK financial regulatory
landscape after the financial crisis of 20072009,
2012
Changes and Challenges, www.kpmg.com/uk/en/
GDP
)
GDP
)
12
/ Banking Today
Gmail GEM
Group Email System
DR. BRYANE MICHAEL
Senior Fellow at the University of Hong
Studies
issuesandinsights/articlespublications/pages/twin-peaks-
regulation-changes-challenges.aspx
3 BDO & DLA Piper, The New Twin Peaks Model,
peaks.pdf
4
Eddy
Wymeersch, The Structure of Financial Supervision in
and Multiple Financial Supervisors, 8 EURO. BUS. ORG.
Pervenche Beres, First Step towards
com/euro-finance/step-twin-peaks-model-financial-
analysis-496770
5 2006
Martin Cihak
available at www.imf.org/external/pubs/ft/wp/2006.
wp0657.pdf.
6
Douglas Arner and Evan Gibson, Financial Regulatory
Approaches and Challenges in a Global Marketplace,
available at www.group30.org/images/PDF/The%20
Structure%20of%20Financial%20Supervision.pdf
far? www.kpmg.com/za/en/issuesandinsights/
articlespublications/financial-services/pages/twin-peaks.
aspx.
Mar-Apr 2014 13