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probably due to the lack of strong incentives

Plan to prepare and publish a plan for changes uk telegram data in the regulation of crit concentration risk, which are aim at gradually rucing these risks over several years.

Thus, we plan to abandon the use of “preferential” risk weights when calculating concentration standards, and are developing a new approach to identifying persons associat with the bank. In addition, we continue to discuss the possibility of a phas introduction of the new concentration standard H30 for systemically important banks.

This will require banks to seriously

address the issue of distributing large risks. Currently, lenders are often either not interest in making syndicates with small players or cannot agree on the terms among themselves. And when banks understand that the regulator is very determin about the problem of risk concentration, then I think the ice will break in syndicat lending. As you rightly not, all the necessary legislative base for this is in place.

— A question relat to such a burning issue for banks — capital adequacy. The Central Bank gave banks a certain respite, last year all surcharges how to stay in goods were zero out. To what extent are banks ready to gradually restore them?

General, banks are ready to restore surcharges

to target levels. Less than ten banks are currently using this relaxation. Since January 1, the minimum amount of surcharges for maintaining america email capital adequacy has been 0.25 percentage points, and the aforemention banks comply with this level with a reserve — we do not see any risks of possible non-compliance.

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