Contents |
|
|
Introduction |
|
|
Purpose |
2 |
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Abbreviations |
3 |
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Key metrics |
4 |
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Regulatory framework for disclosures |
6 |
|
Pillar 3 Disclosures 2015 |
7 |
|
Linkage to the Annual Report and Accounts 2015 |
7 |
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Capital and risk |
|
|
Capital management |
16 |
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Overview of regulatory capital framework |
16 |
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Composition of regulatory capital |
19 |
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Pillar 1 requirements and RWA flow |
21 |
|
Pillar 2 and ICAAP |
25 |
|
Leverage ratio |
27 |
|
Regulatory developments |
28 |
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Risk management |
31 |
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Credit risk |
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Overview and responsibilities |
34 |
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Credit risk management |
34 |
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Credit risk models governance |
35 |
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Application of the IRB approach |
46 |
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Model performance |
66 |
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Risk mitigation |
74 |
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Application of the standardised approach |
76 |
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Counterparty credit risk |
78 |
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Securitisation |
85 |
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Market risk |
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Overview and objectives |
90 |
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Market risk governance |
90 |
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Market risk measures |
92 |
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Market risk capital models |
93 |
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Trading portfolios |
95 |
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Non-trading portfolios |
96 |
|
Prudent valuation adjustment |
96 |
|
Structural foreign exchange exposures |
96 |
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Non-trading interest rate risk |
97 |
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Operational risk |
|
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Overview and objectives |
99 |
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Organisation and responsibilities |
99 |
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Measurement and monitoring |
100 |
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|
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Other risks |
|
|
Pension risk |
101 |
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Non-trading book exposures in equities |
101 |
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Risk management of insurance operations |
101 |
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Liquidity and funding risk |
102 |
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Reputational risk |
103 |
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Sustainability risk |
103 |
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Business risk |
103 |
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Dilution risk |
103 |
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Remuneration |
103 |
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Appendices |
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|
I |
Simplified organisation chart for regulatory purposes |
104 |
II |
Asset encumbrance |
105 |
III |
Transitional own funds disclosure |
106 |
IV |
PD, LGD, RWA and exposure by country |
109 |
V |
Summary of disclosures withheld due to their immateriality, confidentiality or proprietary nature |
116 |
VI |
Glossary |
117 |
VII |
Cautionary statement regarding forward-looking statements |
125 |
VIII |
Contacts |
126 |
Tables |
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1 |
Pillar 1 overview |
5 |
|
2 |
RWAs - by global business and region |
5 |
|
3 |
RWAs - by risk type and region |
6 |
|
4 |
Reconciliation of balance sheets - financial accounting to regulatory scope of consolidation |
8 |
|
5 |
Principal entities with a different regulatory and accounting scope of consolidation |
12 |
|
6 |
a) Mapping of financial statement categories with regulatory risk categories |
14 |
|
6 |
b) Main sources of differences between regulatory exposure values and carrying values in financial statements |
15 |
|
7 |
Composition of regulatory capital |
20 |
|
8 |
Reconciliation of regulatory capital from transitional basis to an estimated CRD IV end point basis |
21 |
|
9 |
Total RWAs by risk type |
21 |
|
10 |
Credit risk - RWAs by region and approach |
22 |
|
11 |
Credit risk - RWAs by global business and approach |
22 |
|
12 |
RWA movement by region by key driver - credit risk IRB only |
23 |
|
13 |
RWA movement by global business by key driver - credit risk - IRB only |
23 |
|
14 |
Counterparty credit risk RWAs |
24 |
|
15 |
RWA movement by key driver - CCR - advanced approach |
24 |
|
16 |
Market risk RWAs |
25 |
|
17 |
RWA movement by key driver - market risk - model based |
25 |
|
18 |
Summary reconciliation of accounting assets and leverage ratio exposures |
27 |
|
19 |
Leverage ratio common disclosure |
27 |
|
20 |
Leverage ratio - split of on-balance sheet exposures |
28 |
|
21 |
Credit risk - summary |
36 |
|
22 |
Credit risk exposure - by region |
37 |
|
23 |
Credit risk - RWAs by region |
38 |
|
24 |
Credit risk - RWA density by region |
40 |
|
25 |
Credit risk exposure - by industry sector |
42 |
|
26 |
Credit risk exposure - by residual maturity |
44 |
|
27 |
Wholesale IRB credit risk models |
48 |
|
28 |
Wholesale IRB portfolio analysis |
49 |
|
29 |
Wholesale IRB exposures under the slotting approach |
49 |
|
30 |
Wholesale IRB exposure - by obligor grade |
50 |
|
31 |
Material retail IRB risk rating systems |
57 |
|
32 |
Retail IRB portfolio analysis |
59 |
33 |
Retail IRB exposures secured by mortgages on immovable property (non-SME) |
60 |
34 |
Retail IRB exposure - by internal PD band |
61 |
35 |
Retail IRB exposure - by region |
64 |
36 |
IRB models - estimated and actual values (wholesale) |
67 |
37 |
IRB models - corporate PD models - performance by CRR |
67 |
38 |
IRB models - estimated and actual values (retail) |
70 |
39 |
Past due but not impaired exposures, impaired exposures and impairment allowances and other credit risk provisions by counterparty and region |
71 |
40 |
Movement in specific CRAs by counterparty and region |
71 |
41 |
IRB EL and CRAs - by exposure class |
73 |
42 |
IRB EL and CRAs - by region |
73 |
43 |
IRB exposure - credit risk mitigation |
76 |
44 |
Standardised exposure - credit risk mitigation |
77 |
45 |
Standardised exposure - by credit quality step |
77 |
46 |
CCR exposure - credit derivative transactions |
79 |
47 |
CCR - net derivative credit exposure |
79 |
48 |
Comparison of derivative accounting balances and CCR exposure |
80 |
49 |
CCR exposure - by exposure class, product and method |
81 |
50 |
CCR exposure - by exposure class, product and region |
82 |
51 |
CCR - RWAs by exposure class, product and region |
83 |
52 |
CCR - RWA density by exposure class, product and region |
84 |
53 |
Securitisation - by approach |
87 |
54 |
Securitisation - movement in the year |
87 |
55 |
Securitisation - by trading and non-trading book |
88 |
56 |
Securitisation - asset values and impairments |
88 |
57 |
Securitisation - by risk weighting |
89 |
58 |
Market risk RWAs and capital required |
91 |
59 |
Market risk models |
94 |
60 |
VaR used for regulatory purposes (one-day equivalent) |
94 |
61 |
Stressed VaR (one-day equivalent) |
94 |
62 |
Incremental risk charge |
95 |
63 |
Operational risk RWAs |
99 |
64 |
Non-trading book equity investments |
101 |
65 |
Asset encumbrance |
105 |
66 |
Transitional own funds disclosure |
106 |
67 |
PD, LGD, RWA and exposure by country |
109 |
This document comprises HSBC's Pillar 3 disclosures on capital and risk management at 31 December 2015. It has two principal purposes:
· to provide useful information on the capital and risk profile of the HSBC Group, and
· to meet the regulatory disclosure requirements under the Capital Requirements Regulation (EU) No 575/2013, Part 8 - Disclosure by institutions and the rules of the PRA set out in the Public Disclosure section of the PRA Rulebook and as the PRA has otherwise directed.
Additional relevant information may be found in the HSBC Holdings plc Annual Report and Accounts 2015.
The following abbreviated terms are used throughout this document.
Abbreviation |
Brief description |
A |
|
ABCP |
Asset-backed commercial paper |
ABS1 |
Asset-backed Security |
AFS1 |
Available-for-sale |
ALCM |
Asset, Liability and Capital Management |
ALCO |
Asset and Liability Management Committee |
AT1 capital |
Additional Tier 1 capital |
B |
|
Basel Committee |
Basel Committee on Banking Supervision |
BoCom |
Bank of Communications Co., Limited |
BSM |
Balance Sheet Management |
C |
|
CCB1 |
Capital conservation buffer |
CCF1 |
Credit conversion factor |
CCP |
Central counterparty |
CCR1 |
Counterparty credit risk |
CCyB1 |
Countercyclical capital buffer |
CDS1 |
Credit default swap |
CET11 |
Common equity tier 1 |
CIU |
Collective investment undertakings |
CML1 |
Consumer and Mortgage Lending (US) |
CRA1 |
Credit risk adjustment |
CRD1 |
Capital Requirements Directive |
CRE1 |
Commercial real estate |
CRR1 |
Customer risk rating |
CSA1 |
Credit Support Annex |
CVA |
Credit valuation adjustment |
E |
|
EAD1 |
Exposure at default |
EBA |
European Banking Authority |
ECAI1 |
External Credit Assessment Institutions |
EEA |
European Economic Area |
EL1 |
Expected loss |
EU |
European Union |
EVE1 |
Economic value of equity |
F |
|
Fitch |
Fitch Group |
FPC1 |
Financial Policy Committee (UK) |
FSB |
Financial Stability Board |
G |
|
GAC |
Group Audit Committee |
GB&M |
Global Banking and Markets, a global business |
GMB |
Group Management Board |
GPB |
Global Private Banking, a global business |
GRC |
Group Risk Committee |
Group |
HSBC Holdings together with its subsidiary undertakings |
G-SIB1 |
Global systemically important bank |
G-SII |
Global systemically important institution |
H |
|
HKMA |
Hong Kong Monetary Authority |
Hong Kong |
The Hong Kong Special Administrative Region of the People's Republic of China |
HSBC |
HSBC Holdings together with its subsidiary undertakings |
I |
|
IAA1 |
Internal Assessment Approach |
Abbreviation |
Brief description |
ICAAP1 |
Internal Capital Adequacy Assessment Process |
ICG |
Individual capital guidance |
IFRSs |
International Financial Reporting Standards |
IMM1 |
Internal Model Method |
IRB1 |
Internal ratings-based approach |
IRC1 |
Incremental risk charge |
ITS |
Implementing Technical Standards |
L |
|
LGD1 |
Loss given default |
Libor |
London Interbank Offered Rate |
M |
|
MDB1 |
Multilateral Development Bank |
MENA |
Middle East and North Africa |
MOC |
Model Oversight Committee |
Moody's |
Moody's Investor Service |
MREL |
Minimum requirements for own funds and eligible liabilities |
N |
|
NCOA |
Non-credit obligation asset |
O |
|
ORMF |
Operational risk management framework |
OTC1 |
Over-the-counter |
P |
|
PD1 |
Probability of default |
PFE1 |
Potential future exposure |
PIT1 |
Point-in-time |
PRA1 |
Prudential Regulation Authority (UK) |
PVA1 |
Prudent valuation adjustment |
R |
|
RBM1 |
Ratings Based Method |
Retail IRB1 |
Retail Internal Ratings Based approach |
RMM |
Risk Management Meeting of the GMB |
RNIV |
Risks not in VaR |
RTS |
Regulatory Technical Standards |
RWA1 |
Risk-weighted asset |
S |
|
S&P |
Standard and Poor's rating agency |
SFM1 |
Supervisory Formula Method |
SFT1 |
Securities Financing Transactions |
SIC |
Securities Investment Conduit |
SME |
Small and medium-sized enterprise |
SPE1 |
Special Purpose Entity |
SRB1 |
Systemic Risk Buffer |
STD1 |
Standardised approach |
T |
|
TLAC1 |
Total Loss Absorbing Capacity |
TTC1 |
Through-the-cycle |
T2 capital |
Tier 2 capital |
U |
|
UK |
United Kingdom |
$ |
United States dollar |
US |
United States of America |
V |
|
VaR1 |
Value at risk |
1 Full definition included in Glossary in Appendix VI.
We are more than 250,000 employees working around the world to provide over 47 million customers with a broad range of banking products and services to meet their financial needs. |
Our values Our values define who we are as an organisation and make us distinctive. Open We are open to different ideas and cultures, and value diverse perspectives. Connected We are connected to our customers, communities, regulators and each other, caring about individuals and their progress. Dependable We are dependable, standing firm for what is right and delivering on commitments. 150-year heritage These values reflect the best aspects of our 150-year heritage. They are critical to fulfilling our purpose to help businesses to thrive, economies to prosper and people to realise their ambitions. |
Our role in society How we do business is as important as what we do. We seek to build trusting and lasting relationships with our many stakeholders to generate value in society and deliver long-term shareholder returns. Further details on how we do business can be found on page 34 of the Annual Report and Accounts 2015
|
CRD IV |
|
|
|
|
Common equity tier 1 ratio1
|
|
Tier 1 ratio
|
|
Total capital ratio(transitional) 17.2% 2014: 15.6%
|
Common equity tier 1 capital1
|
|
Tier 1 capital
|
|
Total regulatory capital(transitional) $189.8bn 2014: $190.7bn |
Total RWAs$1,103bn 2014: $1,220bn |
|
Credit risk2 EAD$2,147bn 2014: $2,210bn |
|
Credit risk2 RWA density41%
2014: 43% |
Leverage ratio5.0% 2014: 4.8% |
|
|
|
|
1 From 1 January 2015 the CRD IV transitional CET1 and end point CET1 capital ratios became aligned for HSBC Holdings plc due to the recognition of unrealised gains on investment property and AFS securities.
2 'Credit risk', here and in all tables and metrics where the term is used, excludes counterparty credit risk.
Table 1: Pillar 1 overview
|
|
RWAs |
|
Capital required1 |
||||
|
|
2015 |
|
2014 |
|
2015 |
|
2014 |
|
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
|
|
|
|
|
|
|
|
Credit risk |
|
875.9 |
|
955.3 |
|
70.1 |
|
76.4 |
- standardised approach |
|
332.7 |
|
356.9 |
|
26.6 |
|
28.6 |
- IRB foundation approach |
|
27.4 |
|
16.8 |
|
2.2 |
|
1.3 |
- IRB advanced approach |
|
515.8 |
|
581.6 |
|
41.3 |
|
46.5 |
|
|
|
|
|
|
|
|
|
Counterparty credit risk |
|
69.2 |
|
90.7 |
|
5.5 |
|
7.3 |
- standardised approach |
|
19.1 |
|
25.2 |
|
1.5 |
|
2.0 |
- advanced approach |
|
50.1 |
|
65.5 |
|
4.0 |
|
5.3 |
|
|
|
|
|
|
|
|
|
Market risk |
|
42.5 |
|
56.0 |
|
3.4 |
|
4.5 |
Operational risk |
|
115.4 |
|
117.8 |
|
9.2 |
|
9.4 |
|
|
|
|
|
|
|
|
|
At 31 December |
|
1,103.0 |
|
1,219.8 |
|
88.2 |
|
97.6 |
|
|
|
|
|
|
|
|
|
Of which: |
|
|
|
|
|
|
|
|
Run-off portfolios |
|
69.3 |
|
99.2 |
|
5.6 |
|
7.9 |
- legacy credit in GB&M |
|
29.8 |
|
44.1 |
|
2.4 |
|
3.5 |
- US CML and Other2 |
|
39.5 |
|
55.1 |
|
3.2 |
|
4.4 |
1 'Capital required', here and in all tables where the term is used, represents the Pillar I capital charge at 8% of RWAs.
2 'Other' includes treasury services related to the US CML business and operations in run-off.
Tables 2 and 3 following summarise RWAs by global business and risk type across our five geographical regions.
Table 2: Risk-weighted assets - by global business and region
|
|
Europe |
|
Asia |
|
MENA |
|
North America |
|
Latin America |
|
Total RWAs |
|
Capital required |
|
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Retail Banking and Wealth Management1 |
|
38.9 |
|
63.7 |
|
7.7 |
|
57.3 |
|
21.9 |
|
189.5 |
|
15.2 |
Commercial Banking1 |
|
114.3 |
|
201.1 |
|
26.1 |
|
55.3 |
|
24.2 |
|
421.0 |
|
33.7 |
Global Banking and Markets2 |
|
170.4 |
|
167.3 |
|
24.7 |
|
70.6 |
|
27.1 |
|
440.6 |
|
35.2 |
Global Private Banking |
|
10.7 |
|
3.9 |
|
0.3 |
|
4.2 |
|
0.2 |
|
19.3 |
|
1.5 |
Other3 |
|
3.1 |
|
23.7 |
|
1.6 |
|
4.2 |
|
- |
|
32.6 |
|
2.6 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
At 31 December 2015 |
|
337.4 |
|
459.7 |
|
60.4 |
|
191.6 |
|
73.4 |
|
1,103.0 |
|
88.2 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Retail Banking and Wealth Management1 |
|
42.4 |
|
59.1 |
|
7.7 |
|
73.5 |
|
24.5 |
|
207.2 |
|
16.6 |
Commercial Banking1 |
|
106.3 |
|
208.6 |
|
26.0 |
|
58.2 |
|
31.2 |
|
430.3 |
|
34.4 |
Global Banking and Markets2 |
|
209.8 |
|
193.0 |
|
27.8 |
|
81.2 |
|
32.9 |
|
516.1 |
|
41.3 |
Global Private Banking |
|
11.9 |
|
3.5 |
|
0.3 |
|
4.9 |
|
0.2 |
|
20.8 |
|
1.7 |
Other3 |
|
5.0 |
|
35.6 |
|
1.2 |
|
3.6 |
|
- |
|
45.4 |
|
3.6 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
At 31 December 2014 |
|
375.4 |
|
499.8 |
|
63.0 |
|
221.4 |
|
88.8 |
|
1,219.8 |
|
97.6 |
1 In the first half of 2015, a portfolio of customers was transferred from CMB to RBWM in Latin America in order to better align the combined banking needs of the customers with our established global businesses. Comparative data have been re-presented accordingly.
2 RWAs are non-additive across regions due to market risk diversification effects within the Group.
3 Includes HSBC's holding company and financing operations, unallocated investment activities, centrally held investment companies and certain property transactions.
Table 3: Risk-weighted assets - by risk type and region
|
|
Europe |
|
Asia |
|
MENA |
|
North America |
|
Latin America |
|
Total RWAs |
|
Capital required |
|
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Credit risk |
|
239.4 |
|
373.6 |
|
51.4 |
|
156.4 |
|
55.1 |
|
875.9 |
|
70.1 |
Counterparty credit risk |
|
32.1 |
|
17.1 |
|
1.8 |
|
14.6 |
|
3.6 |
|
69.2 |
|
5.5 |
Market risk1 |
|
31.0 |
|
21.9 |
|
1.0 |
|
6.5 |
|
1.6 |
|
42.5 |
|
3.4 |
Operational risk |
|
34.9 |
|
47.1 |
|
6.2 |
|
14.1 |
|
13.1 |
|
115.4 |
|
9.2 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
At 31 December 2015 |
|
337.4 |
|
459.7 |
|
60.4 |
|
191.6 |
|
73.4 |
|
1,103.0 |
|
88.2 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Credit risk |
|
263.2 |
|
399.1 |
|
54.6 |
|
171.6 |
|
66.8 |
|
955.3 |
|
76.4 |
Counterparty credit risk |
|
40.6 |
|
21.9 |
|
1.2 |
|
23.0 |
|
4.0 |
|
90.7 |
|
7.3 |
Market risk1 |
|
36.1 |
|
33.0 |
|
1.0 |
|
11.6 |
|
2.9 |
|
56.0 |
|
4.5 |
Operational risk |
|
35.5 |
|
45.8 |
|
6.2 |
|
15.2 |
|
15.1 |
|
117.8 |
|
9.4 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
At 31 December 2014 |
|
375.4 |
|
499.8 |
|
63.0 |
|
221.4 |
|
88.8 |
|
1,219.8 |
|
97.6 |
1 RWAs are non-additive across geographical regions due to market risk diversification effects within the Group.
Click on the attached PDF to view the chart
http://www.rns-pdf.londonstockexchange.com/rns/6692P_-2016-2-21.pdf
All RWAs by risk type |
|
Credit risk RWAs by Basel approach |
|
|
|
RWAs by region |
|
RWAs by global business |
|
|
|
HSBC is supervised on a consolidated basis in the UK by the PRA, which receives information on the capital adequacy of, and sets capital requirements for, the Group as a whole. Individual banking subsidiaries are directly regulated by their local banking supervisors, who set and monitor their local capital adequacy requirements. In most jurisdictions, non-banking financial subsidiaries are also subject to the supervision and capital requirements of local regulatory authorities.
At a consolidated group level, we calculated capital for prudential regulatory reporting purposes throughout 2015 using the Basel III framework of the Basel Committee as implemented by the EU in the amended Capital Requirements Directive, known as CRD IV, and in the PRA's Rulebook for the UK banking industry. The regulators of Group banking entities outside the EU are at varying stages of implementation of the Basel Committee's framework, so local regulation in 2015 may have been on the basis of Basel I, II or III.
The Basel Committee's framework is structured around three 'pillars': the Pillar 1 minimum capital requirements and Pillar 2 supervisory review process are complemented by Pillar 3 market discipline. The aim of Pillar 3 is to produce disclosures which allow market participants to assess the scope of application by banks of the Basel Committee's framework and the rules in their jurisdiction, their capital condition, risk exposures and risk management processes, and hence their capital adequacy. Pillar 3 requires all material risks to be disclosed, enabling a comprehensive view of a bank's risk profile.
The PRA's final rules adopted national discretions in order to accelerate significantly the transition timetable to full 'end point' CRD IV compliance. Notwithstanding this, and other major developments in regulation during 2015, important elements of the capital adequacy framework have yet to be clarified. In particular, in December 2015, the FPC published its view of the capital framework as applicable to UK banks, which set out expectations in relation to Tier 1 capital across the industry. However, requirements applicable to individual banks are subject to PRA determination. While there is emerging clarity around the interaction of capital buffers and the PRA's Pillar 2 framework, uncertainty remains around the broader capital framework, including Basel Committee's revisions to the RWA framework and capital floors. Furthermore, there remains a number of draft and unpublished EBA RTSs due in 2016. Details of the major continuing regulatory reforms are set out under 'Regulatory developments' on page 28.
The Pillar 3 Disclosures 2015 comprise all information required under Pillar 3, both quantitative and qualitative. They are made in accordance with Part 8 of the Capital Requirements Regulation within CRD IV, supplemented by any specific additional requirements of the PRA and discretionary disclosures on our part.
In our disclosures, to give insight into movements during the year, we provide comparative figures for the previous year, analytical review of variances and 'flow' tables for capital requirements. However, where disclosures have been enhanced or are new we do not generally re-state or provide prior year comparatives. The capital resources tables track the position from a CRD IV transitional to an end point basis. Specific changes to our Pillar 3 disclosures are set out below.
The principal changes in our Pillar 3 Disclosures 2015, compared with 2014, are: · enhanced capital and leverage disclosures: - additional disclosure on the impact of the CCyB - disclosures on the leverage ratio now follow the EBA disclosure templates · more granular risk disclosures: - the tables on wholesale IRB exposure by obligor grade and retail IRB exposure by PD band have been expanded to show average exposure value and undrawn commitments by grade/band - new section and tables on past due but not impaired, impaired exposures and CRA - new tables showing PD, LGD, RWA and exposure by country · other items: - new appendix summarising disclosures withheld due to their immateriality, confidentiality or proprietary nature |
In 2015, the PRA adopted EBA Guidelines on frequency, materiality and the confidential or proprietary nature of Pillar 3 disclosures. HSBC implemented these guidelines by integrating them into Group policy and process for the governance of disclosures after approval by the GAC, which exercises oversight of controls over disclosures.
Information relating to the rationale for withholding certain disclosures is provided in Appendix V.
We publish comprehensive Pillar 3 disclosures annually on the HSBC internet site www.hsbc.com, simultaneously with the release of our Annual Report and Accounts 2015. Our G-SIB Indicator disclosure is also published in the same location. Our Interim Reports and Earnings Releases include regulatory information complementing the financial and risk information presented there and in line with the new requirements on the frequency of regulatory disclosures.
Pillar 3 requirements may be met by inclusion in other disclosure media. Where we adopt this approach, references are provided to the relevant pages of the Annual Report and Accounts 2015 or other location.
We continue to engage constructively in the work of the UK authorities and industry associations to improve the transparency and comparability of UK banks' Pillar 3 disclosures.
The basis of consolidation for the purpose of financial accounting under IFRSs, described in Note 1 of the Annual Report and Accounts 2015, differs from that used for regulatory purposes as described in 'Structure of the regulatory group' on page 12. Table 4 provides a reconciliation of the balance sheet from the financial accounting basis to the regulatory scope of consolidation.
The regulatory balance sheet forms the basis for the calculation of regulatory capital requirements.
The alphabetic references in this table link to the corresponding references in table 7: 'Composition of Regulatory Capital', identifying those balances which form part of that calculation.
Table 4: Reconciliation of balance sheets - financial accounting to regulatory scope of consolidation
|
|
Accounting balance |
|
Deconsolidation of insurance/ other entities |
|
Consolidation of banking associates |
|
Regulatory balance |
|
Ref |
$m |
|
$m |
|
$m |
|
$m |
Assets |
|
|
|
|
|
|
|
|
Cash and balances at central banks |
|
98,934 |
|
(2) |
|
28,784 |
|
127,716 |
Items in the course of collection from other banks |
|
5,768 |
|
- |
|
22 |
|
5,790 |
Hong Kong Government certificates of indebtedness |
|
28,410 |
|
- |
|
- |
|
28,410 |
Trading assets |
|
224,837 |
|
340 |
|
4,390 |
|
229,567 |
Financial assets designated at fair value |
|
23,852 |
|
(23,521) |
|
2,034 |
|
2,365 |
Derivatives |
|
288,476 |
|
(146) |
|
495 |
|
288,825 |
Loans and advances to banks |
|
90,401 |
|
(3,008) |
|
16,413 |
|
103,806 |
Loans and advances to customers |
|
924,454 |
|
(7,427) |
|
120,016 |
|
1,037,043 |
of which: |
|
|
|
|
|
|
|
|
- impairment allowances on IRB portfolios |
i |
(6,291) |
|
- |
|
- |
|
(6,291) |
- impairment allowances on standardised portfolios |
|
(3,263) |
|
- |
|
(2,780) |
|
(6,043) |
Reverse repurchase agreements - non-trading |
|
146,255 |
|
711 |
|
5,935 |
|
152,901 |
Financial investments |
|
428,955 |
|
(51,684) |
|
42,732 |
|
420,003 |
Assets held for sale |
|
43,900 |
|
(4,107) |
|
- |
|
39,793 |
of which: |
|
|
|
|
|
|
|
|
- goodwill and intangible assets |
h |
1,680 |
|
(219) |
|
- |
|
1,461 |
- impairment allowances |
|
(1,454) |
|
- |
|
- |
|
(1,454) |
of which: |
|
|
|
|
|
|
|
|
- IRB portfolios |
i |
(7) |
|
- |
|
- |
|
(7) |
- standardised portfolios |
|
(1,447) |
|
- |
|
- |
|
(1,447) |
Capital invested in insurance and other entities |
|
- |
|
2,371 |
|
- |
|
2,371 |
Current tax assets |
|
1,221 |
|
(15) |
|
- |
|
1,206 |
Prepayments, accrued income and other assets |
|
54,398 |
|
(2,539) |
|
9,692 |
|
61,551 |
of which: |
|
|
|
|
|
|
|
|
- retirement benefit assets |
g |
5,272 |
|
- |
|
- |
|
5,272 |
Interests in associates and joint ventures |
|
19,139 |
|
- |
|
(18,571) |
|
568 |
of which: |
|
|
|
|
|
|
|
|
- positive goodwill on acquisition |
h |
593 |
|
- |
|
(579) |
|
14 |
|
|
|
|
|
|
|
|
|
Goodwill and intangible assets |
h |
24,605 |
|
(6,068) |
|
623 |
|
19,160 |
Deferred tax assets |
n |
6,051 |
|
195 |
|
518 |
|
6,764 |
|
|
|
|
|
|
|
|
|
Total assets at 31 December 2015 |
|
2,409,656 |
|
(94,900) |
|
213,083 |
|
2,527,839 |
|
|
Accounting balance |
|
Deconsolidation of insurance/ other entities |
|
Consolidation of banking associates |
|
Regulatory balance |
|
Ref |
$m |
|
$m |
|
$m |
|
$m |
Liabilities and equity |
|
|
|
|
|
|
|
|
Hong Kong currency notes in circulation |
|
28,410 |
|
- |
|
- |
|
28,410 |
Deposits by banks |
|
54,371 |
|
(97) |
|
50,005 |
|
104,279 |
Customer accounts |
|
1,289,586 |
|
(119) |
|
147,522 |
|
1,436,989 |
Repurchase agreements - non-trading |
|
80,400 |
|
- |
|
- |
|
80,400 |
Items in course of transmission to other banks |
|
5,638 |
|
- |
|
- |
|
5,638 |
Trading liabilities |
|
141,614 |
|
(66) |
|
59 |
|
141,607 |
Financial liabilities designated at fair value |
|
66,408 |
|
(6,046) |
|
- |
|
60,362 |
of which: |
|
|
|
|
|
|
|
|
- term subordinated debt included in tier 2 capital |
m |
21,168 |
|
- |
|
- |
|
21,168 |
- hybrid capital securities included in tier 1 capital |
j |
1,342 |
|
- |
|
- |
|
1,342 |
|
|
|
|
|
|
|
|
|
Derivatives |
|
281,071 |
|
87 |
|
508 |
|
281,666 |
Debt securities in issue |
|
88,949 |
|
(7,885) |
|
5,065 |
|
86,129 |
Liabilities of disposal groups held for sale |
|
36,840 |
|
(3,690) |
|
- |
|
33,150 |
Current tax liabilities |
|
783 |
|
(84) |
|
409 |
|
1,108 |
Liabilities under insurance contracts |
|
69,938 |
|
(69,938) |
|
- |
|
- |
Accruals, deferred income and other liabilities |
|
38,116 |
|
2,326 |
|
6,669 |
|
47,111 |
of which: |
|
|
|
|
|
|
|
|
- retirement benefit liabilities |
|
2,809 |
|
(2) |
|
61 |
|
2,868 |
Provisions |
|
5,552 |
|
(25) |
|
- |
|
5,527 |
of which: |
|
|
|
|
|
|
|
|
- contingent liabilities and contractual commitments |
|
240 |
|
- |
|
- |
|
240 |
of which: |
|
|
|
|
|
|
|
|
- credit-related provisions on IRB portfolios |
i |
201 |
|
- |
|
- |
|
201 |
- credit-related provisions on standardised portfolios |
|
39 |
|
- |
|
- |
|
39 |
Deferred tax liabilities |
|
1,760 |
|
(868) |
|
5 |
|
897 |
Subordinated liabilities |
|
22,702 |
|
- |
|
2,841 |
|
25,543 |
of which: |
|
|
|
|
|
|
|
|
- hybrid capital securities included in tier 1 capital |
j |
1,929 |
|
- |
|
- |
|
1,929 |
- perpetual subordinated debt included in tier 2 capital |
l |
2,368 |
|
- |
|
- |
|
2,368 |
- term subordinated debt included in tier 2 capital |
m |
18,405 |
|
- |
|
- |
|
18,405 |
|
|
|
|
|
|
|
|
|
Total shareholders' equity |
a |
188,460 |
|
(7,562) |
|
- |
|
180,898 |
of which: |
|
|
|
|
|
|
|
|
- other equity instruments included in tier 1 capital |
c, j |
15,112 |
|
- |
|
- |
|
15,112 |
- preference share premium included in tier 1 capital |
b |
1,405 |
|
- |
|
- |
|
1,405 |
|
|
|
|
|
|
|
|
|
Non-controlling interests |
d |
9,058 |
|
(933) |
|
- |
|
8,125 |
of which: |
|
|
|
|
|
|
|
|
- non-cumulative preference shares issued by subsidiaries |
e |
2,077 |
|
- |
|
- |
|
2,077 |
- non-controlling interests included in tier 2 capital, cumulative preferred stock |
f |
- |
|
- |
|
- |
|
- |
- non-controlling interests attributable to holders of |
f, m |
- |
|
- |
|
- |
|
- |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Total liabilities and equity at 31 December 2015 |
|
2,409,656 |
|
(94,900) |
|
213,083 |
|
2,527,839 |
Table 4: Reconciliation of balance sheets - financial accounting to regulatory scope of consolidation (continued)
|
|
Accounting balance |
|
Deconsolidation of insurance/ other entities |
|
Consolidation of banking associates |
|
Regulatory balance |
|
Ref |
$m |
|
$m |
|
$m |
|
$m |
Assets |
|
|
|
|
|
|
|
|
Cash and balances at central banks |
|
129,957 |
|
- |
|
30,731 |
|
160,688 |
Items in the course of collection from other banks |
|
4,927 |
|
- |
|
80 |
|
5,007 |
Hong Kong Government certificates of indebtedness |
|
27,674 |
|
- |
|
- |
|
27,674 |
Trading assets |
|
304,193 |
|
(720) |
|
2,357 |
|
305,830 |
Financial assets designated at fair value |
|
29,037 |
|
(28,791) |
|
3,312 |
|
3,558 |
Derivatives |
|
345,008 |
|
(94) |
|
353 |
|
345,267 |
Loans and advances to banks |
|
112,149 |
|
(2,727) |
|
7,992 |
|
117,414 |
Loans and advances to customers |
|
974,660 |
|
(10,809) |
|
116,484 |
|
1,080,335 |
of which: |
|
|
|
|
|
|
|
|
- impairment allowances on IRB portfolios |
i |
(6,942) |
|
- |
|
- |
|
(6,942) |
- impairment allowances on standardised portfolios |
|
(5,395) |
|
- |
|
(2,744) |
|
(8,139) |
Reverse repurchase agreements - non-trading |
|
161,713 |
|
(30) |
|
7,510 |
|
169,193 |
Financial investments |
|
415,467 |
|
(50,420) |
|
33,123 |
|
398,170 |
Capital invested in insurance and other entities |
|
- |
|
2,542 |
|
- |
|
2,542 |
Current tax assets |
|
1,309 |
|
(16) |
|
- |
|
1,293 |
Prepayments, accrued income and other assets |
|
75,176 |
|
(5,295) |
|
8,501 |
|
78,382 |
of which: |
|
|
|
|
|
|
|
|
- goodwill and intangible assets of disposal groups held for sale |
h |
8 |
|
- |
|
- |
|
8 |
- retirement benefit assets |
g |
5,028 |
|
- |
|
- |
|
5,028 |
- impairment allowances on assets held for sale |
|
(16) |
|
- |
|
- |
|
(16) |
of which: |
|
|
|
|
|
|
|
|
- IRB portfolios |
i |
(16) |
|
- |
|
- |
|
(16) |
- standardised portfolios |
|
- |
|
- |
|
- |
|
- |
Interests in associates and joint ventures |
|
18,181 |
|
- |
|
(17,479) |
|
702 |
of which: |
|
|
|
|
|
|
|
|
- positive goodwill on acquisition |
h |
621 |
|
- |
|
(606) |
|
15 |
|
|
|
|
|
|
|
|
|
Goodwill and intangible assets |
h |
27,577 |
|
(5,593) |
|
571 |
|
22,555 |
Deferred tax assets |
n |
7,111 |
|
163 |
|
474 |
|
7,748 |
|
|
|
|
|
|
|
|
|
Total assets at 31 December 2014 |
|
2,634,139 |
|
(101,790) |
|
194,009 |
|
2,726,358 |
|
|
Accounting balance |
|
Deconsolidation of insurance/ other entities |
|
Consolidation of banking associates |
|
Regulatory balance |
|
Ref |
$m |
|
$m |
|
$m |
|
$m |
Liabilities and equity |
|
|
|
|
|
|
|
|
Hong Kong currency notes in circulation |
|
27,674 |
|
- |
|
- |
|
27,674 |
Deposits by banks |
|
77,426 |
|
(21) |
|
40,530 |
|
117,935 |
Customer accounts |
|
1,350,642 |
|
(535) |
|
141,858 |
|
1,491,965 |
Repurchase agreements - non-trading |
|
107,432 |
|
- |
|
- |
|
107,432 |
Items in course of transmission to other banks |
|
5,990 |
|
(3) |
|
- |
|
5,987 |
Trading liabilities |
|
190,572 |
|
(42) |
|
50 |
|
190,580 |
Financial liabilities designated at fair value |
|
76,153 |
|
(6,317) |
|
- |
|
69,836 |
of which: |
|
|
|
|
|
|
|
|
- term subordinated debt included in tier 2 capital |
m |
21,822 |
|
- |
|
- |
|
21,822 |
- hybrid capital securities included in tier 1 capital |
j |
1,495 |
|
- |
|
- |
|
1,495 |
|
|
|
|
|
|
|
|
|
Derivatives |
|
340,669 |
|
37 |
|
331 |
|
341,037 |
Debt securities in issue |
|
95,947 |
|
(7,797) |
|
3,720 |
|
91,870 |
Current tax liabilities |
|
1,213 |
|
(138) |
|
317 |
|
1,392 |
Liabilities under insurance contracts |
|
73,861 |
|
(73,861) |
|
- |
|
- |
Accruals, deferred income and other liabilities |
|
53,396 |
|
(3,659) |
|
5,145 |
|
54,882 |
of which: |
|
|
|
|
|
|
|
|
- retirement benefit liabilities |
|
3,208 |
|
(2) |
|
56 |
|
3,262 |
Provisions |
|
4,998 |
|
(63) |
|
- |
|
4,935 |
of which: |
|
|
|
|
|
|
|
|
- contingent liabilities and contractual commitments |
|
234 |
|
- |
|
- |
|
234 |
of which: |
|
|
|
|
|
|
|
|
- credit-related provisions on IRB portfolios |
i |
132 |
|
- |
|
- |
|
132 |
- credit-related provisions on standardised portfolios |
|
102 |
|
- |
|
- |
|
102 |
Deferred tax liabilities |
|
1,524 |
|
(1,009) |
|
2 |
|
517 |
Subordinated liabilities |
|
26,664 |
|
- |
|
2,056 |
|
28,720 |
of which: |
|
|
|
|
|
|
|
|
- hybrid capital securities included in tier 1 capital |
j |
2,761 |
|
- |
|
- |
|
2,761 |
- perpetual subordinated debt included in tier 2 capital |
l |
2,773 |
|
- |
|
- |
|
2,773 |
- term subordinated debt included in tier 2 capital |
m |
21,130 |
|
- |
|
- |
|
21,130 |
|
|
|
|
|
|
|
|
|
Total shareholders' equity |
a |
190,447 |
|
(7,531) |
|
- |
|
182,916 |
of which: |
|
|
|
|
|
|
|
|
- other equity instruments included in tier 1 capital |
c, j |
11,532 |
|
- |
|
- |
|
11,532 |
- preference share premium included in tier 1 capital |
b |
1,405 |
|
- |
|
- |
|
1,405 |
|
|
|
|
|
|
|
|
|
Non-controlling interests |
d |
9,531 |
|
(851) |
|
- |
|
8,680 |
of which: |
|
|
|
|
|
|
|
|
- non-cumulative preference shares issued by subsidiaries included in tier 1 capital |
e |
2,127 |
|
- |
|
- |
|
2,127 |
- non-controlling interests included in tier 2 capital, cumulative preferred stock |
f |
300 |
|
- |
|
- |
|
300 |
- non-controlling interests attributable to holders of |
f, m |
173 |
|
- |
|
- |
|
173 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Total liabilities and equity at 31 December 2014 |
|
2,634,139 |
|
(101,790) |
|
194,009 |
|
2,726,358 |
The references (a) - (n) identify balance sheet components which are used in the calculation of regulatory capital on page 20.
HSBC's organisation is that of a financial holding company whose major subsidiaries are almost entirely wholly-owned banking entities. A simplified organisation chart showing the difference between the accounting and regulatory consolidation groups is included in Appendix I.
Interests in banking associates are equity accounted in the financial accounting consolidation, whereas their exposures are proportionally consolidated for regulatory purposes by including our share of assets, liabilities, profit and loss and RWAs in accordance with the PRA's application of EU legislation. The principal associates subject to proportional regulatory consolidation at 31 December 2015 are shown in table 5, representing 99% of our associates' total assets as shown in table 4.
Subsidiaries engaged in insurance activities are excluded from the regulatory consolidation by excluding assets, liabilities and post-acquisition reserves, leaving the investment of these insurance subsidiaries to be recorded
at cost and deducted from CET1 (subject to thresholds). In the column 'Deconsolidation of insurance/other entities' in the table above the amount of $2.4bn (2014: $2.5bn) shown as 'Capital invested in insurance and other entities' represents the cost of investment in our insurance business. The principal insurance entities are listed in table 5.
The regulatory consolidation also excludes SPEs where significant risk has been transferred to third parties. Exposures to these SPEs are risk-weighted as securitisation positions for regulatory purposes. The deconsolidation of SPEs connected to securitisation activity and other entities mainly impacts the adjustments to 'Loans and advances to customers', 'Financial investments' and 'Debt securities in issue'. Table 5 lists the principal SPEs excluded from the regulatory consolidation with their total assets and total equity. Further details of the use of SPEs in the Group's securitisation activities are shown in Note 39 of the Annual Report and Accounts 2015 and on page 85.
Table 5: Principal entities with a different regulatory and accounting scope of consolidation
|
|
|
At 31 December 2015 |
|
At 31 December 2014 |
||||
|
|
Principal activities |
Total assets |
|
Total |
|
Total |
|
Total |
|
|
|
$m |
|
$m |
|
$m |
|
$m |
Principal associates |
|
|
|
|
|
|
|
|
|
Bank of Communications Co., Limited1 |
|
Banking services |
1,110,088 |
|
80,657 |
|
1,001,995 |
|
74,094 |
The Saudi British Bank |
|
Banking services |
50,189 |
|
7,356 |
|
50,161 |
|
6,807 |
Principal insurance entities excluded from the |
|
|
|
|
|
|
|
|
|
HSBC Life (UK) Ltd |
|
Life insurance manufacturing |
1,941 |
|
390 |
|
9,113 |
|
520 |
HSBC Assurances Vie (France) |
|
Life insurance manufacturing |
23,713 |
|
663 |
|
26,260 |
|
714 |
HSBC Life (International) Ltd |
|
Life insurance manufacturing |
34,808 |
|
2,805 |
|
32,578 |
|
2,778 |
Hang Seng Insurance Company Ltd |
|
Life insurance manufacturing |
14,455 |
|
1,154 |
|
13,353 |
|
1,323 |
HSBC Insurance (Singapore) Pte Ltd |
|
Life insurance manufacturing |
3,102 |
|
315 |
|
2,843 |
|
379 |
HSBC Life Insurance Company Ltd |
|
Life insurance manufacturing |
764 |
|
109 |
|
560 |
|
87 |
HSBC Amanah Takaful (Malaysia) SB |
|
Life insurance manufacturing |
302 |
|
27 |
|
349 |
|
31 |
HSBC Seguros (Brasil) S.A. |
|
Life insurance manufacturing |
484 |
|
283 |
|
619 |
|
357 |
HSBC Vida e Previdência (Brasil) S.A. |
|
Life insurance manufacturing |
3,418 |
|
155 |
|
5,044 |
|
119 |
HSBC Seguros de Vida (Argentina) S.A. |
|
Life insurance manufacturing |
203 |
|
42 |
|
225 |
|
55 |
HSBC Seguros de Retiro (Argentina) S.A. |
|
Life insurance manufacturing |
563 |
|
102 |
|
633 |
|
74 |
HSBC Seguros S.A. (Mexico) |
|
Life insurance manufacturing |
870 |
|
182 |
|
1,013 |
|
199 |
Principal SPEs excluded from the regulatory consolidation2 |
|
|
|
|
|
|
|
|
|
Regency Assets Ltd |
|
Securitisation |
15,183 |
|
- |
|
10,984 |
|
- |
Mazarin Funding Ltd |
|
Securitisation |
1,879 |
|
(9) |
|
3,913 |
|
(26) |
Barion Funding Ltd |
|
Securitisation |
1,132 |
|
68 |
|
1,970 |
|
90 |
Malachite Funding Ltd |
|
Securitisation |
442 |
|
26 |
|
1,403 |
|
63 |
|
|
|
|
|
|
|
|
|
|
1 Total assets and total equity at 30 September 2015.
2 These SPEs hold no or de minimis share capital. The negative equity represents net unrealised losses on unimpaired assets on their balance sheets and negative retained earnings.
Table 5 also presents as closely as possible the total assets and total equity, on a standalone IFRSs basis, of the entities which are included in the Group consolidation on different bases for accounting and regulatory purposes. The figures shown therefore include intra-Group balances.
For insurance entities, the present value of in-force long-term insurance business asset of $5.7bn and the related deferred tax liability are recognised at the financial reporting consolidated level only, and are therefore not included in the asset or equity positions for the stand-alone entities presented in table 5. In addition, these figures exclude any deferred acquisition cost assets that may be recognised in the entities' stand-alone financial reporting.
For associates, table 5 shows the total assets and total equity of the entity as a whole rather than HSBC's share in the entities' balance sheets.
This section sets out the main reasons why the measurement of regulatory exposures is not directly comparable with the financial information presented in the Annual Report and Accounts 2015.
The Pillar 3 Disclosures 2015 are prepared in accordance with regulatory capital adequacy concepts and rules, while the Annual Report and Accounts 2015 are prepared in accordance with IFRSs. The purpose of the regulatory balance sheet is to provide a point in time value of all on‑balance sheet assets. The regulatory exposure value includes an estimation of risk, and is expressed as the amount expected to be outstanding if and when the counterparty defaults. The difference between total assets on the regulatory balance sheet as shown in table 6a, and the credit risk and CCR exposure values shown in table 6b below, is principally attributable to the following factors:
Credit risk and CCR exposuresVarious assets on the regulatory balance sheet, such as intangible goodwill and assets, are excluded from the calculation of the credit risk exposure value as they are deducted from capital. The regulatory balances are adjusted for the effect of the differences in the basis for regulatory and accounting netting, and in the treatment of financial collateral. Credit risk exposures onlyWhen assessing credit risk exposures within the regulatory balance sheet, the Basel Committee's approach used to report the asset in question determines the calculation method for EAD. Using the STD approach, the regulatory exposure value is based on the regulatory balance sheet amount, applying a number of further regulatory adjustments. Using IRB approaches, the regulatory EAD is either determined using supervisory (foundation) or internally modelled (advanced) methods. EAD takes account of off-balance sheet items, such as the undrawn portion of committed facilities, various trade finance commitments and guarantees, by applying CCFs to these items.Assets on the regulatory balance sheet, as shown in table 4, are net of impairments. EAD, however, is only reduced for impairments under the standardised approach. Impairments under the IRB approach are not used to reduce the EAD amount. |
CCR exposures onlyFor regulatory purposes, trading book items, derivatives and securities financing items in the banking book are treated under the rules for CCR. CCR exposures express the risk that the counterparty to a transaction may default before completing the satisfactory settlement of the transaction. See table 48 for a comparison of derivative accounting balances and CCR exposure for derivatives.HSBC uses the mark-to-market method and the IMM approach to calculate CCR EAD. Under the mark-to-market method EAD is based on the balance sheet fair value of the instrument plus an add-on for PFE. Under the IMM approach, modelled exposure value replaces the fair value on the balance sheet. |
Moreover, regulatory exposure classes are based on different criteria from accounting asset types and are therefore not comparable on a line by line basis.
The following tables show in two steps how the accounting values in the regulatory balance sheet link to regulatory EAD.
In a first step, table 6a below shows a breakdown of the accounting balances into the risk types that form the basis for regulatory capital requirements. Table 6b then shows the main differences between the accounting balances and regulatory exposures by regulatory risk type.
Table 6a: Mapping of financial statement categories with regulatory risk categories
|
|
|
|
Carrying value of items: |
||||||||
|
|
Regulatory |
|
Subject to |
|
Subject to CCR |
|
Subject to |
|
Subject to the market risk |
|
Subject to to regulatory |
|
|
sheet1 |
|
framework |
|
framework2 |
|
framework3 |
|
framework |
|
requirements |
|
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
Assets |
|
|
|
|
|
|
|
|
|
|
|
|
Cash and balances at central banks |
|
127.7 |
|
127.7 |
|
- |
|
- |
|
- |
|
- |
Items in the course of collection from other banks |
|
5.8 |
|
5.8 |
|
- |
|
- |
|
- |
|
- |
Hong Kong Government certificates of indebtedness |
|
28.4 |
|
28.4 |
|
- |
|
- |
|
- |
|
- |
Trading assets |
|
229.5 |
|
4.4 |
|
17.4 |
|
- |
|
225.1 |
|
- |
Financial assets designated at fair value |
|
2.4 |
|
2.4 |
|
- |
|
- |
|
- |
|
- |
Derivatives |
|
288.8 |
|
0.3 |
|
287.5 |
|
0.9 |
|
288.5 |
|
- |
Loans and advances to banks |
|
103.8 |
|
103.8 |
|
- |
|
- |
|
- |
|
- |
Loans and advances to customers |
|
1,037.0 |
|
1,027.5 |
|
- |
|
9.5 |
|
- |
|
- |
Reverse repurchase agreements - non-trading |
|
152.9 |
|
5.9 |
|
147.0 |
|
|
|
- |
|
- |
Financial investments |
|
420.0 |
|
408.7 |
|
- |
|
11.3 |
|
- |
|
- |
Assets held for sale |
|
39.8 |
|
32.8 |
|
5.3 |
|
- |
|
- |
|
1.7 |
Capital invested in insurance and other entities |
|
2.4 |
|
2.4 |
|
- |
|
- |
|
- |
|
- |
Current tax assets |
|
1.2 |
|
1.2 |
|
- |
|
- |
|
- |
|
- |
Prepayments, accrued income and other assets |
|
61.5 |
|
44.9 |
|
- |
|
- |
|
11.5 |
|
5.1 |
Interests in associates and joint ventures |
|
0.6 |
|
- |
|
- |
|
- |
|
- |
|
0.6 |
Goodwill and intangible assets |
|
19.2 |
|
- |
|
- |
|
- |
|
- |
|
19.2 |
Deferred tax assets |
|
6.8 |
|
7.8 |
|
- |
|
- |
|
- |
|
(1.0) |
|
|
|
|
|
|
|
|
|
|
|
|
|
Total assets at 31 December 2015 |
|
2,527.8 |
|
1,804.0 |
|
457.2 |
|
21.7 |
|
525.1 |
|
25.6 |
|
|
|
|
|
|
|
|
|
|
|
|
|
Cash and balances at central banks |
|
160.7 |
|
160.7 |
|
- |
|
- |
|
- |
|
- |
Items in the course of collection from other banks |
|
5.0 |
|
5.0 |
|
- |
|
- |
|
- |
|
- |
Hong Kong Government certificates of indebtedness |
|
27.7 |
|
27.7 |
|
- |
|
- |
|
- |
|
- |
Trading assets |
|
305.8 |
|
- |
|
23.1 |
|
- |
|
305.8 |
|
1.1 |
Financial assets designated at fair value |
|
3.6 |
|
3.6 |
|
- |
|
- |
|
- |
|
- |
Derivatives |
|
345.3 |
|
- |
|
344.6 |
|
0.7 |
|
345.3 |
|
- |
Loans and advances to banks |
|
117.4 |
|
115.3 |
|
- |
|
2.1 |
|
- |
|
- |
Loans and advances to customers |
|
1,080.3 |
|
1,078.1 |
|
- |
|
2.2 |
|
- |
|
- |
Reverse repurchase agreements - non-trading |
|
169.2 |
|
7.5 |
|
161.7 |
|
- |
|
- |
|
- |
Financial investments |
|
398.2 |
|
385.8 |
|
- |
|
12.4 |
|
- |
|
- |
Capital invested in insurance and other entities |
|
2.5 |
|
2.5 |
|
- |
|
- |
|
- |
|
- |
Current tax assets |
|
1.3 |
|
1.3 |
|
- |
|
- |
|
- |
|
- |
Prepayments, accrued income and other assets |
|
78.4 |
|
57.6 |
|
- |
|
- |
|
15.7 |
|
5.0 |
Interests in associates and joint ventures |
|
0.7 |
|
0.7 |
|
- |
|
- |
|
- |
|
- |
Goodwill and intangible assets |
|
22.6 |
|
- |
|
- |
|
- |
|
- |
|
22.6 |
Deferred tax assets |
|
7.7 |
|
6.7 |
|
- |
|
- |
|
- |
|
1.0 |
|
|
|
|
|
|
|
|
|
|
|
|
|
Total assets at 31 December 2014 |
|
2,726.4 |
|
1,852.5 |
|
529.4 |
|
17.4 |
|
666.8 |
|
29.7 |
1 The amounts shown in the column 'Regulatory balance sheet' do not equal the sum of the amounts shown in the remaining columns of this table for line items 'Derivatives' and 'Trading assets', as some of the assets included in these items are subject to regulatory capital charges for both CCR and market risk.
2 The amounts shown in the column 'Subject to CCR framework' include both banking book and trading book.
3 The amounts shown in the column 'Subject to securitisation framework' only include banking book. Trading book securitisation positions are included in the market risk column.
Table 6b: Main sources of differences between regulatory exposure values and carrying values in financial statements
|
|
Items subject to: |
||||
|
|
Credit risk |
|
CCR |
|
Securitisation framework |
|
|
$bn |
|
$bn |
|
$bn |
|
|
|
|
|
|
|
Asset carrying value amount under scope of regulatory consolidation |
|
1,804.0 |
|
457.2 |
|
21.7 |
- differences due to reversal of IFRSs netting |
|
31.7 |
|
- |
|
- |
- differences due to financial collateral on standardised approach |
|
(13.8) |
|
- |
|
- |
- differences due to consideration of provisions on IRB approach |
|
7.2 |
|
- |
|
0.6 |
- differences due to modelling and standardised CCFs for credit risk and other differences1 |
|
275.8 |
|
- |
|
19.3 |
- differences due to credit risk mitigation and potential exposures for counterparty risk |
|
- |
|
(285.5) |
|
- |
- differences due to free deliveries and sundry balances |
|
- |
|
6.9 |
|
- |
|
|
|
|
|
|
|
Exposure values considered for regulatory purposes at 31 December 2015 |
|
2,104.9 |
|
178.6 |
|
41.6 |
|
|
|
|
|
|
|
Asset carrying value amount under scope of regulatory consolidation |
|
1,852.5 |
|
529.4 |
|
17.4 |
- differences due to reversal of IFRSs netting |
|
37.5 |
|
- |
|
- |
- differences due to financial collateral on standardised approach |
|
(13.9) |
|
- |
|
- |
- differences due to consideration of provisions on IRB approach |
|
7.3 |
|
- |
|
- |
- differences due to modelling and standardised CCFs for credit risk and other differences1 |
|
289.6 |
|
- |
|
21.4 |
- differences due to credit risk mitigation and potential exposures for counterparty risk |
|
- |
|
(336.8) |
|
- |
- differences due to free deliveries and sundry balances |
|
- |
|
8.5 |
|
- |
|
|
|
|
|
|
|
Exposure values considered for regulatory purposes at 31 December 2014 |
|
2,173.0 |
|
201.1 |
|
38.8 |
1 This includes the undrawn portion of committed facilities, various trade finance commitments and guarantees, by applying CCFs to these items.
Our approach to capital management is designed to ensure that we exceed current regulatory requirements and that we respect the payment priority of our capital providers. We aim to maintain a strong capital base, to support the risks inherent in our business and to invest in accordance with our six filters framework, exceeding both consolidated and local regulatory capital requirements at all times.
Our capital management process culminates in the annual Group capital plan, which is approved by the Board. HSBC Holdings is the primary provider of equity capital to its subsidiaries and also provides them with non-equity capital where necessary. These investments are substantially funded by HSBC Holdings' issuance of equity and non-equity capital and by profit retention. As part of its capital management process, HSBC Holdings seeks to maintain a balance between the composition of its capital and its investment in subsidiaries. Subject to the above, there is no current or foreseen impediment to HSBC Holdings' ability to provide such investments.
Each subsidiary manages its own capital to support its planned business growth and meet its local regulatory requirements within the context of the Group capital plan. Capital generated by subsidiaries in excess of planned requirements is returned to HSBC Holdings, normally by way of dividends, in accordance with the Group's capital plan.
The ability of subsidiaries to pay dividends or advance monies to HSBC Holdings depends on, among other things, their respective local regulatory capital and banking requirements, exchange controls, statutory reserves, and financial and operating performance. During 2015, none of the Group's subsidiaries experienced significant restrictions on paying dividends or repaying loans and advances. Also, there are no foreseen restrictions envisaged by our subsidiaries, with the exception of HSBC North America Holdings Inc., on paying dividends or repaying loans and advances. None of our subsidiaries which are excluded from the regulatory consolidation have capital resources below their minimum regulatory requirement.
For further details of our approach to capital management, please see page 243 of the Annual Report and Accounts 2015.
Our top and emerging risks are regularly evaluated to assess the impact on our businesses and core capital position. This evaluation extends to a number of risks not technically within the scope of our top and emerging risks, but which are identified as presenting risks to capital due to their potential to impact the Group's RWAs and/or capital supply position. The downside or upside scenarios are assessed against the Group's capital management objectives and mitigating actions are assigned to senior management as necessary.
Our stress testing and scenario analysis programme enables us to understand the sensitivities of the core assumptions in our capital plans and assessment of our internal and regulatory capital requirements to the adverse effect of extreme, but plausible events. Stress testing allows us to formulate our response and mitigate risk in advance of actual conditions exhibiting the stresses identified in the scenarios and is closely aligned to our monitoring of top and emerging risks.
The governance and management of enterprise-wide stress testing is overseen by the Stress Testing Management Board, chaired by the Group Finance Director, to ensure appropriate senior management oversight and governance of the stress test programmes. Models used within stress testing are approved through functional MOCs, with expert stress testing support during development. Updates are provided regularly to meetings of the RMM. The GRC is informed and consulted on the Group's stress testing activities, as appropriate, and approves the key elements of the Bank of England concurrent stress test, including final results.
We are subject to regulatory stress testing in many jurisdictions. These exercises are designed to assess the resilience of banks to adverse economic or political developments and ensure that they have robust, forward-looking capital planning processes that account for their unique risks. They include the programmes of the Bank of England, the Federal Reserve Board, the Office of the Comptroller of the Currency, the EBA, HKMA and other regulators. Assessment by regulators is on both a quantitative and qualitative basis, the latter focusing on our portfolio quality, data provision, stress testing capability and internal management processes.
In addition, we have conducted an internal stress test, which incorporated the latest portfolio developments and business plan. For this exercise, management considered that the Bank of England 2015 scenario reflected key risks which merited examination at that time. The results of this exercise are used for internal risk and capital management processes, including the ICAAP.
Further details of the Group's regulatory stress tests are given on page 116 of the Annual Report and Accounts 2015.
Capital and RWAs are calculated and presented on the Group's interpretation of CRD IV legislation and the PRA's rules as set out in the PRA Rulebook.
The section below sets out details of the capital that is eligible for regulatory purposes, and the composition of the Group's regulatory capital. It describes our Pillar 1 capital requirements as well as the Pillar 2 and capital buffers framework. Finally, it discusses the leverage ratio, which has assumed increasing importance for the FPC and the PRA as a non-risk-based measure supplementing the Basel Committee's risk-based methodology.
The capital position presented on a CRD IV transitional basis follows the Group's interpretation of CRD IV legislation and the PRA's rules as set out in the PRA Rulebook.
The effects of draft EBA technical standards are not generally captured in our numbers.
While CRD IV allows for the majority of regulatory adjustments and deductions from CET1 to be implemented on a gradual basis from 1 January 2014 to 1 January 2018, the PRA has largely decided not to make use of these transitional provisions. From 1 January 2015, unrealised gains on investment property and AFS securities were recognised in CET1 capital. As a result, our end point and transitional CET1 capital and ratios are now aligned.
For additional tier 1 and tier 2 capital, the PRA has followed the transitional provisions timing as set out in CRD IV to apply the necessary regulatory adjustments and deductions. The effect of these adjustments is being phased in at 20% per annum from 1 January 2014 to 1 January 2018.
Non-CRD IV compliant additional tier 1 and tier 2 instruments also benefit from a grandfathering period. This progressively reduces the eligible amount by 10% annually, following an initial reduction of 20% on 1 January 2014, until they are fully phased out by 1 January 2022.
Under CRD IV, as implemented in the UK, banks are required to meet a minimum CET1 ratio of 4.5% of RWAs, a minimum tier 1 ratio of 6% of RWAs, and a total capital ratio of 8% of RWAs. In addition to the Pillar 1 minimum ratios, the PRA sets Pillar 2A capital requirements, which together are considered the minimum level of regulatory
capital to be maintained at all times. Pillar 2A is to be met with at least 56% CET1 capital and the remaining with non‑common equity capital.
In addition to minimum requirements, CRD IV establishes a number of capital buffers to be met with CET1 capital, which largely phase-in from 1 January 2016. To the extent our CET1 capital is not enough to meet these buffer requirements, the Group would suffer automatic restrictions on capital distributions.
Going forward, as the grandfathering provisions fall away, we intend to meet our overall regulatory minima in an economically efficient manner by issuing non-common equity capital as necessary. At 31 December 2015, the Group had $25.1bn of CRD IV compliant non-common equity capital instruments, of which $3.2bn of tier 2 and $3.6bn of additional tier 1 were issued during the year (for details on the additional tier 1 instruments issued during the year see Note 35 of the Annual Report and Accounts 2015). At 31 December 2015, the Group also had $32.8bn of non-common equity capital instruments qualifying as eligible capital under CRD IV by virtue of the application of the grandfathering provisions, after applying a 30% reduction as outlined above.
For a full disclosure of the CET1, tier 1 and total capital position on a 'transitional basis' at 31 December 2015, see Appendix III of this report.
Pillar 1 covers the capital resources requirements for credit risk, market risk and operational risk. Credit risk includes CCR and securitisation requirements. These requirements are expressed in terms of RWAs.
Risk category |
|
Scope of permissible approaches |
|
Approach adopted by HSBC |
|
|
|
|
|
Credit risk |
|
The Basel Committee framework applies three approaches of increasing sophistication to the calculation of Pillar 1 credit risk capital requirements. The most basic level, the standardised approach, requires banks to use external credit ratings to determine the risk weightings applied to rated counterparties. Other counterparties are grouped into broad categories and standardised risk weightings are applied to these categories. The next level, the IRB foundation approach, allows banks to calculate their credit risk capital requirements on the basis of their internal assessment of a counterparty's PD, but subjects their quantified estimates of EAD and LGD to standard supervisory parameters. Finally, the IRB advanced approach allows banks to use their own internal assessment in both determining PD and quantifying EAD and LGD. |
|
For consolidated Group reporting, we have adopted the advanced IRB approach for the majority of our business. Some portfolios remain on the standardised or foundation IRB approaches: · pending the issuance of local regulations or model approval; · following supervisory prescription of a non-advanced approach; or · under exemptions from IRB treatment. Further information on our IRB roll-out plan may be found on page 46. |
|
|
|
|
|
Counterparty credit risk |
|
Three approaches to calculating CCR and determining exposure values are defined by the Basel Committee: mark-to-market, standardised and IMM. These exposure values are used to determine capital requirements under one of the credit risk approaches; standardised, IRB foundation and IRB advanced. |
|
We use the mark-to-market and IMM approaches for CCR. Details of the IMM permission we have received from the PRA can be found in the Financial Services Register on the PRA website. Our aim is to increase the proportion of positions on IMM over time. |
|
|
|
|
|
Equity |
|
For banking book, equity exposures can be assessed under standardised or IRB approaches. |
|
For Group reporting purposes all equity exposures are treated under the standardised approach. |
|
|
|
|
|
Securitisation |
|
Basel specifies two methods for calculating credit risk requirements for securitisation positions in the banking book: the standardised approach and the IRB approach, which incorporates the RBM, the IAA and the SFM. |
|
For the majority of the securitisation non-trading book positions we use the IRB approach, and within this principally the RBM, with lesser amounts on the IAA and the SFM. We also use the standardised approach for an immaterial amount of non-trading book positions. Securitisation positions in the trading book are treated within market risk, using the PRA's standard rules. |
|
|
|
|
|
Market risk |
|
Market risk capital requirements can be determined under either the standard rules or the IMA. The latter involves the use of internal VaR models to measure market risks and determine the appropriate capital requirement. The IRC also applies. |
|
The market risk capital requirement is measured using internal market risk models, where approved by the PRA, or under the standard rules. Our internal market risk models comprise VaR, stressed VaR and IRC. Non‑proprietary details of the scope of our IMA permission are available in the Financial Services Register on the PRA website. We are in compliance with the requirements set out in Articles 104 and 105 of the Capital Requirements Regulation. |
|
|
|
|
|
Operational risk |
|
The Basel Committee allows for firms to calculate their operational risk capital requirement under the basic indicator approach, the standardised approach or the advanced measurement approach. |
|
We have historically adopted and currently use the standardised approach in determining our operational risk capital requirement. We are in the process of implementing an operational risk model which we will use for economic capital calculation purposes. |
CRD IV establishes a number of capital buffers, to be met by CET1 capital, broadly aligned with the Basel III framework. In the UK, with the exception of the CCyB which applied with immediate effect, the remaining CRD IV capital buffers are phased in from 1 January 2016.
For more details on capital buffers, see page 28.
We conduct an annual ICAAP to determine a forward-looking assessment of our capital requirements given our business strategy, risk profile, risk appetite and capital plan. This process incorporates the Group's risk management processes and governance framework. A range of stress tests are applied to our base capital plan. These, coupled with our economic capital framework and other risk management practices, are used to assess our internal capital adequacy requirements and inform our view of our internal capital planning buffer. The ICAAP is formally approved by the Board, which has the ultimate responsibility for the effective management of risk and approval of HSBC's risk appetite.
The ICAAP is examined by the PRA as part of its supervisory review and evaluation process, which occurs periodically to enable the regulator to define the ICG or minimum capital requirements for HSBC and our PRA buffer where required. Under the revised Pillar 2 PRA regime, which came into effect from 1 January 2016, the capital planning buffer was replaced with a PRA buffer. This is not intended to duplicate the CRD IV buffers, and where necessary will be set according to vulnerability in a stress scenario, as assessed through the annual PRA stress testing exercise.
For more details on Pillar 2, see pages 25 and 29.
Leverage ratio
The leverage ratio was introduced into the Basel III framework as a non-risk-based limit, to supplement risk-based capital requirements. It aims to constrain the build-up of excess leverage in the banking sector, introducing additional safeguards against model risk and measurement errors. The Basel III leverage ratio is a volume-based measure calculated as tier 1 capital divided by total on- and off-balance sheet exposures. This ratio has been implemented in the EU for reporting and disclosure purposes but, at this stage, has not been set as a binding requirement.
The PRA has implemented a UK framework for the leverage ratio with effect from 1 January 2016, setting minimum requirements.
For more details on the leverage ratio, see pages 27 and 30.
Capital and RWAs are calculated and presented on the Group's interpretation of final CRD IV legislation and the PRA's final rules as set out in the PRA Rulebook.
For a table of the movement in total regulatory capital during the year to 31 December 2015, see page 233 of the Annual Report and Accounts 2015.
All capital securities included in the capital base of HSBC have been either issued as fully compliant CRD IV securities (on an end point basis) or in accordance with the rules and guidance in the PRA's previous General Prudential Sourcebook which are included in the capital base by virtue of application of the CRD IV grandfathering provisions. The main features of capital securities issued by the Group, categorised as tier 1 and tier 2 capital, are set out on the HSBC internet site www.hsbc.com.
The values disclosed are the IFRSs balance sheet carrying amounts, not the amounts that these securities contribute to regulatory capital. For example, the IFRSs accounting and the regulatory treatments differ in their approaches to issuance costs, regulatory amortisation and regulatory eligibility limits prescribed in the grand-fathering provisions under CRD IV. The composition of capital under the current regulatory requirements is provided in the table below. The alphabetic references link back to table 4: 'Reconciliation of balance sheets - financial accounting to regulatory scope of consolidation', which shows where these items are presented in the respective balance sheets. Not all items are reconcilable, due to regulatory adjustments that are applied, for example to non-common equity capital securities before they can be included in the Group's regulatory capital base.
Table 7: Composition of regulatory capital
|
|
|
At 31 December |
||
|
|
Ref1 |
2015 $m |
|
2014 $m |
Common equity tier 1 capital |
|
|
|
|
|
Shareholders' equity |
|
|
160,664 |
|
166,617 |
- shareholders' equity per balance sheet2 |
|
a |
188,460 |
|
190,447 |
- foreseeable interim dividend3 |
|
|
(3,717) |
|
(3,362) |
- preference share premium |
|
b |
(1,405) |
|
(1,405) |
- other equity instruments |
|
c |
(15,112) |
|
(11,532) |
- deconsolidation of special purpose entities4 |
|
a |
(91) |
|
(323) |
- deconsolidation of insurance entities |
|
a, h |
(7,471) |
|
(7,208) |
|
|
|
|
|
|
Non-controlling interests |
|
|
3,519 |
|
4,640 |
- non-controlling interests per balance sheet |
|
d |
9,058 |
|
9,531 |
- preference share non-controlling interests |
|
e |
(2,077) |
|
(2,127) |
- non-controlling interests transferred to tier 2 capital |
|
f |
- |
|
(473) |
- non-controlling interests in deconsolidated subsidiaries |
|
d |
(933) |
|
(851) |
- surplus non-controlling interests disallowed in CET1 |
|
|
(2,529) |
|
(1,440) |
|
|
|
|
|
|
Regulatory adjustments to the accounting basis |
|
|
(4,556) |
|
(3,556) |
- own credit spread5 |
|
|
(159) |
|
767 |
- debit valuation adjustment |
|
|
(336) |
|
(197) |
- defined benefit pension fund adjustment |
|
g |
(4,009) |
|
(4,069) |
- cash flow hedging reserve |
|
|
(52) |
|
(57) |
|
|
|
|
|
|
Deductions |
|
|
(28,764) |
|
(31,748) |
- goodwill and intangible assets |
|
h |
(20,650) |
|
(22,475) |
- deferred tax assets that rely on future profitability (excludes those arising from temporary differences) |
|
n |
(1,204) |
|
(1,036) |
- additional valuation adjustment (referred to as PVA) |
|
|
(1,151) |
|
(1,341) |
- investments in own shares through the holding of composite products of which HSBC is a component (exchange traded funds, derivatives and index stock) |
|
|
(839) |
|
(1,083) |
- negative amounts resulting from the calculation of expected loss amounts |
|
i |
(4,920) |
|
(5,813) |
|
|
|
|
|
- |
Common equity tier 1 capital on an end point basis |
|
|
130,863 |
|
135,953 |
|
|
|
|
|
|
Tier 1 and tier 2 capital on a transitional basis |
|
|
|
|
|
Common equity tier 1 capital on an end point basis |
|
|
130,863 |
|
135,953 |
Transitional adjustments |
|
|
|
|
(2,753) |
- unrealised gains arising from revaluation of property |
|
|
|
|
(1,375) |
- unrealised gains in available-for-sale debt and equities |
|
|
|
|
(1,378) |
|
|
|
|
|
|
Common equity tier 1 capital on a transitional basis |
|
|
130,863 |
|
133,200 |
|
|
|
|
|
|
Additional tier 1 capital on a transitional basis |
|
|
|
|
|
Other tier 1 capital before deductions |
|
|
22,621 |
|
19,687 |
- preference share premium |
|
b |
1,015 |
|
1,160 |
- preference share non-controlling interests |
|
e |
1,711 |
|
1,955 |
- allowable non-controlling interest in AT1 |
|
d |
1,546 |
|
884 |
- hybrid capital securities |
|
j |
18,349 |
|
15,688 |
|
|
|
|
|
|
Deductions |
|
|
(181) |
|
(148) |
- unconsolidated investments6 |
|
|
(121) |
|
(148) |
- holding of own additional tier 1 instruments |
|
|
(60) |
|
- |
|
|
|
|
|
|
Tier 1 capital on a transitional basis |
|
|
153,303 |
|
152,739 |
|
|
|
|
|
|
Tier 2 capital on a transitional basis |
|
|
|
|
|
Total qualifying tier 2 capital before deductions |
|
|
36,852 |
|
38,213 |
- allowable non-controlling interest in tier 2 |
|
d |
14 |
|
99 |
- perpetual subordinated debt |
|
l |
1,941 |
|
2,218 |
- term subordinated debt |
|
m |
34,897 |
|
35,656 |
- non-controlling interests in tier 2 capital |
|
f |
- |
|
240 |
|
|
|
|
|
|
Total deductions other than from tier 1 capital |
|
|
(322) |
|
(222) |
- unconsolidated investments6 |
|
|
(282) |
|
(222) |
- holding of own tier 2 instruments |
|
|
(40) |
|
- |
|
|
|
|
|
|
|
|
|
|
|
|
Total regulatory capital on a transitional basis |
|
|
189,833 |
|
190,730 |
1 The references (a) - (n) identify balance sheet components on page 8 which are used in the calculation of regulatory capital.
2 Includes externally verified profits for the year ended 31 December 2015.
3 This includes dividends on ordinary shares, quarterly dividends on preference shares and coupons on capital securities, classified as equity.
4 Mainly comprise unrealised gains/losses in AFS debt securities related to SPEs.
5 Includes own credit spread on trading liabilities.
6 Mainly comprise investments in insurance entities.
Table 8: Reconciliation of regulatory capital from transitional basis to an estimated CRD IV end point basis
|
|
At 31 December |
||
|
|
2015 $m |
|
2014 $m |
|
|
|
|
|
Common equity tier 1 capital on a transitional basis |
|
130,863 |
|
133,200 |
Unrealised gains arising from revaluation of property |
|
|
|
1,375 |
Unrealised gains in available-for-sale debt and equities |
|
|
|
1,378 |
|
|
|
|
|
Common equity tier 1 capital on an end point basis |
|
130,863 |
|
135,953 |
|
|
|
|
|
Additional tier 1 capital on a transitional basis |
|
22,440 |
|
19,539 |
Grandfathered instruments: Preference share premium |
|
(1,015) |
|
(1,160) |
Preference share non-controlling interests |
|
(1,711) |
|
(1,955) |
Hybrid capital securities |
|
(9,088) |
|
(10,007) |
Transitional provisions: |
|
|
|
|
Allowable non-controlling interest in AT1 |
|
(1,377) |
|
(487) |
Unconsolidated investments1 |
|
121 |
|
148 |
|
|
|
|
|
Additional tier 1 capital end point basis |
|
9,370 |
|
6,078 |
|
|
|
|
|
Tier 1 capital on an end point basis |
|
140,233 |
|
142,031 |
|
|
|
|
|
Tier 2 capital on a transitional basis |
|
36,530 |
|
37,991 |
Grandfathered instruments: |
|
|
|
|
Perpetual subordinated debt |
|
(1,941) |
|
(2,218) |
Term subordinated debt |
|
(19,034) |
|
(21,513) |
Transitional provisions: |
|
|
|
|
Non-controlling interest in tier 2 capital |
|
- |
|
(240) |
Allowable non-controlling interest in tier 2 |
|
21 |
|
396 |
Unconsolidated investments1 |
|
(121) |
|
(148) |
|
|
|
|
|
Tier 2 capital on an end point basis |
|
15,455 |
|
14,268 |
|
|
|
|
|
Total regulatory capital on an end point basis |
|
155,688 |
|
156,299 |
1 Mainly comprise investments in insurance entities.
This section describes our Pillar 1 capital requirements, with a high-level view of the related RWAs.
Table 9 shows total RWAs by risk type. Tables 10 to 17 with accompanying narratives set out, for credit, counterparty credit and market risks, first RWAs by Basel approach and then the movements during the year in IRB/model-based RWAs.
Table 9: Total RWAs by risk type
|
|
At 31 December |
||
|
|
2015 |
|
2014 |
|
|
$bn |
|
$bn |
|
|
|
|
|
Credit risk |
|
875.9 |
|
955.3 |
Counterparty credit risk |
|
69.2 |
|
90.7 |
Market risk |
|
42.5 |
|
56.0 |
Operational risk |
|
115.4 |
|
117.8 |
|
|
|
|
|
|
|
1,103.0 |
|
1,219.8 |
The following comments describe the key RWA movements excluding foreign currency translation differences.
RWA initiatives
The main drivers were:
· $38bn as a result of reduced exposures, the partial disposal of our investment in Industrial Bank, a decrease in trading positions subject to the Incremental Risk Charge, client facility reductions and trade compressions;
· $30bn from refining our calculations, including the further application of the SME supporting factor, a more refined application of CCF, increased usage of 'IRB' models and the move of certain exposures from residual to cash flow weighted maturity;
· $25bn from process improvements such as better linking of collateral and guarantees to facilities, enhanced risk parameters and the use of more granular data resulting in lower CCFs for off-balance sheet items; and
· $30bn through the continued reduction in the GB&M legacy credit and US run-off portfolios.
Business growth
Business growth increased RWAs by $49bn, principally in:
· CMB, from higher term lending to corporate customers, principally in Europe, North America and Asia, $23bn;
· our associates, Bank of Communications and Saudi British Bank, $14bn; and
· GB&M, from higher general lending to corporates which increased RWAs by $10bn, mainly in Europe.
Table 10: Credit risk - RWAs by region and approach
|
|
Europe |
|
Asia |
|
MENA |
|
North America |
|
Latin America |
|
Total |
|
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
|
|
|
|
|
|
|
|
|
|
|
|
IRB approach |
|
192.6 |
|
195.9 |
|
19.4 |
|
122.5 |
|
12.8 |
|
543.2 |
- IRB advanced approach |
|
175.1 |
|
195.9 |
|
9.5 |
|
122.5 |
|
12.8 |
|
515.8 |
- IRB foundation approach |
|
17.5 |
|
- |
|
9.9 |
|
- |
|
- |
|
27.4 |
|
|
|
|
|
|
|
|
|
|
|
|
|
Standardised approach |
|
46.8 |
|
177.7 |
|
32.0 |
|
33.9 |
|
42.3 |
|
332.7 |
|
|
|
|
|
|
|
|
|
|
|
|
|
At 31 December 2015 |
|
239.4 |
|
373.6 |
|
51.4 |
|
156.4 |
|
55.1 |
|
875.9 |
|
|
|
|
|
|
|
|
|
|
|
|
|
IRB approach |
|
216.1 |
|
213.1 |
|
15.6 |
|
142.0 |
|
11.6 |
|
598.4 |
- IRB advanced approach |
|
203.3 |
|
213.1 |
|
11.6 |
|
142.0 |
|
11.6 |
|
581.6 |
- IRB foundation approach |
|
12.8 |
|
- |
|
4.0 |
|
- |
|
- |
|
16.8 |
|
|
|
|
|
|
|
|
|
|
|
|
|
Standardised approach |
|
47.1 |
|
186.0 |
|
39.0 |
|
29.6 |
|
55.2 |
|
356.9 |
|
|
|
|
|
|
|
|
|
|
|
|
|
At 31 December 2014 |
|
263.2 |
|
399.1 |
|
54.6 |
|
171.6 |
|
66.8 |
|
955.3 |
Table 11: Credit risk - RWAs by global business and approach
|
|
Principal RBWM 1 |
|
RBWM (US run-off) |
|
Total RBWM |
|
CMB 1 |
|
GB&M |
|
GPB |
|
Other |
|
Total |
|
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
IRB approach |
|
59.0 |
|
33.2 |
|
92.2 |
|
218.0 |
|
214.8 |
|
8.5 |
|
9.7 |
|
543.2 |
- IRB advanced approach |
|
59.0 |
|
33.2 |
|
92.2 |
|
199.0 |
|
207.5 |
|
8.4 |
|
8.7 |
|
515.8 |
- IRB foundation approach |
|
- |
|
- |
|
- |
|
19.0 |
|
7.3 |
|
0.1 |
|
1.0 |
|
27.4 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Standardised approach |
|
57.6 |
|
3.8 |
|
61.4 |
|
172.0 |
|
69.7 |
|
7.2 |
|
22.4 |
|
332.7 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
At 31 December 2015 |
|
116.6 |
|
37.0 |
|
153.6 |
|
390.0 |
|
284.5 |
|
15.7 |
|
32.1 |
|
875.9 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
IRB approach |
|
56.1 |
|
47.3 |
|
103.4 |
|
217.2 |
|
255.6 |
|
10.2 |
|
12.0 |
|
598.4 |
- IRB advanced approach |
|
56.1 |
|
47.3 |
|
103.4 |
|
209.2 |
|
248.1 |
|
10.0 |
|
10.9 |
|
581.6 |
- IRB foundation approach |
|
- |
|
- |
|
- |
|
8.0 |
|
7.5 |
|
0.2 |
|
1.1 |
|
16.8 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Standardised approach |
|
61.2 |
|
4.8 |
|
66.0 |
|
181.0 |
|
70.1 |
|
6.6 |
|
33.2 |
|
356.9 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
At 31 December 2014 |
|
117.3 |
|
52.1 |
|
169.4 |
|
398.2 |
|
325.7 |
|
16.8 |
|
45.2 |
|
955.3 |
1 In the first half of 2015, a portfolio of customers was transferred from CMB to RBWM in Latin America in order to better align the combined banking needs of the customers with our established global businesses. Comparative data have been re-presented accordingly.
Credit risk RWAs are calculated using three approaches, as permitted by the PRA. For consolidated Group reporting, we have adopted the advanced IRB approach for the majority of our business, with a small proportion being on the foundation IRB approach and the remaining portfolios on the standardised approach.
Standardised approach
For portfolios treated under the standardised approach, credit risk RWAs decreased by $24bn, which included a reduction of $27bn due to foreign exchange movements.
· RWAs increased by $23bn across all regions as a result of higher lending. Growth in our associate, BoCom, accounted for $15bn.
· This was offset by RWA initiatives reducing RWAs by $29bn, mainly comprising portfolios moving to an IRB approach (reducing the standardised approach by $10.2bn and increasing the IRB approach by $7.2bn) and partial disposal of our investment in Industrial Bank reducing RWAs by $12.4bn.
Table 12: RWA movement by region by key driver - credit risk - IRB only
|
|
Europe |
|
Asia |
|
MENA |
|
North America |
|
Latin America |
|
Total |
|
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
|
|
|
|
|
|
|
|
|
|
|
|
RWAs at 1 January 2015 |
|
216.1 |
|
213.1 |
|
15.6 |
|
142.0 |
|
11.6 |
|
598.4 |
|
|
|
|
|
|
|
|
|
|
|
|
|
Foreign exchange movement |
|
(10.4) |
|
(7.2) |
|
(0.6) |
|
(4.7) |
|
(3.4) |
|
(26.3) |
Acquisitions and disposals |
|
(14.1) |
|
- |
|
(0.1) |
|
(4.9) |
|
- |
|
(19.1) |
Book size |
|
11.4 |
|
2.9 |
|
(0.5) |
|
(2.8) |
|
0.4 |
|
11.4 |
Book quality |
|
(8.0) |
|
(6.9) |
|
(1.4) |
|
0.7 |
|
3.9 |
|
(11.7) |
Model updates |
|
1.2 |
|
(2.6) |
|
4.7 |
|
0.2 |
|
0.1 |
|
3.6 |
- portfolios moving onto IRB approach |
|
(0.1) |
|
- |
|
4.7 |
|
0.2 |
|
0.1 |
|
4.9 |
- new/updated models |
|
1.3 |
|
(2.6) |
|
- |
|
- |
|
- |
|
(1.3) |
|
|
|
|
|
|
|
|
|
|
|
|
|
Methodology and policy |
|
(3.6) |
|
(3.4) |
|
1.7 |
|
(8.0) |
|
0.2 |
|
(13.1) |
- internal updates |
|
(6.2) |
|
(5.4) |
|
1.6 |
|
(8.0) |
|
0.2 |
|
(17.8) |
- external updates - regulatory |
|
2.6 |
|
2.0 |
|
0.1 |
|
- |
|
- |
|
4.7 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Total RWA movement |
|
(23.5) |
|
(17.2) |
|
3.8 |
|
(19.5) |
|
1.2 |
|
(55.2) |
|
|
|
|
|
|
|
|
|
|
|
|
|
RWAs at 31 December 2015 |
|
192.6 |
|
195.9 |
|
19.4 |
|
122.5 |
|
12.8 |
|
543.2 |
|
|
|
|
|
|
|
|
|
|
|
|
|
RWAs at 1 January 2014 on Basel 2.5 basis |
|
166.9 |
|
182.9 |
|
15.0 |
|
161.5 |
|
8.5 |
|
534.8 |
|
|
|
|
|
|
|
|
|
|
|
|
|
Foreign exchange movement |
|
(11.6) |
|
(4.0) |
|
(0.2) |
|
(2.4) |
|
(1.9) |
|
(20.1) |
Acquisitions and disposals |
|
(3.5) |
|
- |
|
(0.7) |
|
(4.2) |
|
(0.1) |
|
(8.5) |
Book size |
|
11.4 |
|
19.5 |
|
1.8 |
|
2.9 |
|
2.0 |
|
37.6 |
Book quality |
|
(1.5) |
|
- |
|
(0.8) |
|
(10.3) |
|
1.4 |
|
(11.2) |
Model updates |
|
19.4 |
|
0.3 |
|
- |
|
(6.1) |
|
- |
|
13.6 |
Methodology and policy |
|
35.0 |
|
14.4 |
|
0.5 |
|
0.6 |
|
1.7 |
|
52.2 |
- internal updates |
|
(11.7) |
|
(5.2) |
|
(0.2) |
|
(6.4) |
|
(0.1) |
|
(23.6) |
- external updates - regulatory |
|
2.2 |
|
8.5 |
|
(0.2) |
|
0.7 |
|
0.1 |
|
11.3 |
- CRD IV impact |
|
37.0 |
|
5.7 |
|
0.4 |
|
4.9 |
|
0.2 |
|
48.2 |
- NCOA moving from STD to IRB |
|
7.5 |
|
5.4 |
|
0.5 |
|
1.4 |
|
1.5 |
|
16.3 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Total RWA movement |
|
49.2 |
|
30.2 |
|
0.6 |
|
(19.5) |
|
3.1 |
|
63.6 |
|
|
|
|
|
|
|
|
|
|
|
|
|
RWAs at 31 December 2014 on CRD IV basis |
|
216.1 |
|
213.1 |
|
15.6 |
|
142.0 |
|
11.6 |
|
598.4 |
Table 13: RWA movement by global business by key driver - credit risk - IRB only
|
|
Principal RBWM 1 |
|
RBWM (US run-off) |
|
Total RBWM |
|
CMB1 |
|
GB&M |
|
GPB |
|
Other |
|
Total |
||||||||||
|
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
|
$bn |
||||||||||
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
||||||||||
RWAs at 1 January 2015 |
|
56.1 |
|
47.3 |
|
103.4 |
|
217.2 |
|
255.6 |
|
10.2 |
|
12.0 |
|
598.4 |
||||||||||
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
||||||||||
Foreign exchange movement |
|
(2.9) |
|
- |
|
(2.9) |
|
(11.7) |
|
(11.0) |
|
(0.3) |
|
(0.4) |
|
(26.3) |
||||||||||
Acquisitions and disposals |
|
- |
|
(4.9) |
|
(4.9) |
|
- |
|
(14.2) |
|
- |
|
- |
|
(19.1) |
||||||||||
Book size |
|
3.7 |
|
(5.6) |
|
(1.9) |
|
15.8 |
|
(0.8) |
|
(0.5) |
|
(1.2) |
|
11.4 |
||||||||||
Book quality |
|
(2.8) |
|
(3.7) |
|
(6.5) |
|
6.0 |
|
(10.5) |
|
(0.1) |
|
(0.6) |
|
(11.7) |
||||||||||
Model updates |
|
0.4 |
|
- |
|
0.4 |
|
5.6 |
|
(2.3) |
|
(0.1) |
|
- |
|
3.6 |
||||||||||
- portfolios moving onto IRB approach |
|
- |
|
- |
|
- |
|
4.1 |
|
0.9 |
|
(0.1) |
|
- |
|
4.9 |
||||||||||
- new/updated models |
|
0.4 |
|
- |
|
0.4 |
|
1.5 |
|
(3.2) |
|
- |
|
- |
|
(1.3) |
||||||||||
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
||||||||||
Methodology and policy |
|
4.5 |
|
0.1 |
|
4.6 |
|
(14.9) |
|
(2.0) |
|
(0.7) |
|
(0.1) |
|
(13.1) |
||||||||||
- internal updates |
|
2.5 |
|
0.1 |
|
2.6 |
|
(14.9) |
|
(4.7) |
|
(0.7) |
|
(0.1) |
|
(17.8) |
||||||||||
- external updates - regulatory |
|
2.0 |
|
- |
|
2.0 |
|
- |
|
2.7 |
|
- |
|
- |
|
4.7 |
||||||||||
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
||||||||||
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
||||||||||
Total RWA movement |
|
2.9 |
|
(14.1) |
|
(11.2) |
|
0.8 |
|
(40.8) |
|
1.7 |
|
(2.3) |
|
(55.2) |
||||||||||
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
||||||||||
RWAs at 31 December 2015 |
|
59.0 |
|
33.2 |
|
92.2 |
|
218.0 |
|
214.8 |
|
8.5 |
|
9.7 |
|
543.2 |
||||||||||
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
||||||||||
RWAs at 1 January 2014 on Basel 2.5 basis |
|
58.5 |
|
72.6 |
|
131.1 |
|
189.4 |
|
198.5 |
|
10.6 |
|
5.2 |
|
534.8 |
||||||||||
|
|
|
|
|
|
|
|
|
|
|
|
|
||||||||||||||
Foreign exchange movement |
|
(2.6) |
|
- |
|
(2.6) |
|
(8.7) |
|
(8.1) |
|
(0.2) |
|
(0.5) |
|
(20.1) |
||||||||||
Acquisitions and disposals |
|
- |
|
- |
|
- |
|
- |
|
(8.2) |
|
- |
|
(0.3) |
|
(8.5) |
||||||||||
Book size |
|
1.9 |
|
(6.9) |
|
(5.0) |
|
23.1 |
|
21.1 |
|
(0.5) |
|
(1.1) |
|
37.6 |
||||||||||
Book quality |
|
(5.7) |
|
(8.6) |
|
(14.3) |
|
2.8 |
|
(0.2) |
|
(0.3) |
|
0.8 |
|
(11.2) |
||||||||||
Model updates |
|
0.6 |
|
(6.2) |
|
(5.6) |
|
12.2 |
|
7.0 |
|
- |
|
- |
|
13.6 |
||||||||||
Methodology and policy |
|
3.4 |
|
(3.6) |
|
(0.2) |
|
(1.6) |
|
45.5 |
|
0.6 |
|
7.9 |
|
52.2 |
||||||||||
- internal updates |
|
(3.0) |
|
(3.9) |
|
(6.9) |
|
(5.0) |
|
(11.2) |
|
(0.5) |
|
- |
|
(23.6) |
||||||||||
- external updates - regulatory |
|
1.8 |
|
- |
|
1.8 |
|
2.5 |
|
6.3 |
|
0.5 |
|
0.2 |
|
11.3 |
||||||||||
- CRD IV impact |
|
- |
|
- |
|
- |
|
(0.7) |
|
48.6 |
|
0.2 |
|
0.1 |
|
48.2 |
||||||||||
- NCOA moving from STD to IRB |
|
4.6 |
|
0.3 |
|
4.9 |
|
1.6 |
|
1.8 |
|
0.4 |
|
7.6 |
|
16.3 |
||||||||||
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
||||||||||
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
||||||||||
Total RWA movement |
|
(2.4) |
|
(25.3) |
|
(27.7) |
|
27.8 |
|
57.1 |
|
(0.4) |
|
6.8 |
|
63.6 |
||||||||||
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
||||||||||
RWAs at 31 December 2014 on CRD IV basis |
|
56.1 |
|
47.3 |
|
103.4 |
|
217.2 |
|
255.6 |
|
10.2 |
|
12.0 |
|
598.4 |
||||||||||
1 In the first half of 2015, a portfolio of customers was transferred from CMB to RBWM in Latin America in order to better align the combined banking needs of the customers with our established global businesses. Comparative data have been re-presented accordingly.
Internal ratings-based approach
For portfolios treated under the IRB approach, credit risk RWAs decreased by $55bn, which included a reduction of $26bn due to foreign exchange movements.
Acquisitions and disposals
· The disposal of US mortgage portfolios reduced RWAs by $4.9bn.
· The sale of securitisation positions in the GB&M legacy credit portfolio resulted in a RWA decrease of $14bn.
Book size
· The book size grew from higher corporate lending, including term and trade-related lending which increased RWAs by $16bn, mainly in Europe and Asia for CMB.
· In North America, in RBWM, continued run-off of the US CML retail mortgage portfolios resulted in an RWA reduction of $5.6bn.
Book quality
· RWAs reduced by $3.7bn in the US run-off portfolio, primarily due to continued run-off which led to an improvement in the book quality of the residual portfolio;
· book quality improvements in the Principal RBWM business of $2.8bn mainly related to credit quality improvements in Europe;
· in CMB, RWAs increased by $6.0bn, primarily as a result of corporate downgrades in Europe;
· in GB&M, a decrease in RWAs of $10bn was mainly due to the implementation of netting agreements to new corporate counterparties in Europe, the securitisation of corporate loans and rating upgrades of institutions in Asia; and
· the downgrade of Brazil's rating increased RWAs by $3.7bn across businesses.
Methodology and policy changes
· RWA initiatives were the main driver for the reduction of RWAs driven by changes in 'internal updates'. Further details are provided on page 21.
· They were offset by the change in RWA calculation on defaulted exposures in RBWM increasing RWAs by $2.0bn, the implementation of a risk-weight floor on mortgages in Hong Kong with an RWA impact of $2.0bn, and the implementation of a 1.06 scaling factor on securitisation positions risk-weighted at 1,250% which increased RWAs by $2.1bn.
Counterparty credit risk RWAs
Table 14: Counterparty credit risk RWAs
|
|
2015 $bn |
|
2014 $bn |
|
|
|
|
|
Advanced approach |
|
50.1 |
|
65.5 |
- CCR IRB approach |
|
46.8 |
|
62.0 |
- Credit valuation adjustment |
|
3.3 |
|
3.5 |
|
|
|
|
|
Standardised approach |
|
19.1 |
|
25.2 |
- CCR standardised approach |
|
4.7 |
|
4.4 |
- Credit valuation adjustment |
|
12.2 |
|
18.0 |
- Central counterparty |
|
2.2 |
|
2.8 |
|
|
|
|
|
|
|
|
|
|
At 31 December |
|
69.2 |
|
90.7 |
Table 15: RWA movement by key driver - counterparty credit risk - advanced approach
|
|
2015 $bn |
|
2014 $bn |
|
|
|
|
|
RWAs at 1 January |
|
65.5 |
|
42.2 |
Book size |
|
(10.2) |
|
1.6 |
Book quality |
|
(0.8) |
|
(0.6) |
Model updates |
|
- |
|
0.1 |
Methodology and policy |
|
(4.4) |
|
22.2 |
- internal updates |
|
(4.4) |
|
(3.8) |
- external updates - regulatory |
|
- |
|
9.0 |
- CRD IV impact |
|
- |
|
17.0 |
|
|
|
|
|
|
|
|
|
|
Total RWA movement |
|
(15.4) |
|
23.3 |
|
|
|
|
|
RWAs at 31 December |
|
50.1 |
|
65.5 |
The book size reduced by $10bn, mainly driven by market movements, particularly in foreign exchange derivatives, trade compression and portfolio management activities.
Further reductions in 'Methodology and policy' were mainly driven by savings from RWA initiatives.
Table 16: Market risk RWAs
|
|
2015 |
|
2014 |
|
|
$bn |
|
$bn |
|
|
|
|
|
Internal model based |
|
34.9 |
|
44.6 |
- VaR |
|
7.7 |
|
7.3 |
- stressed VaR |
|
9.8 |
|
10.4 |
- incremental risk charge |
|
11.4 |
|
20.1 |
- other VaR and stressed VaR |
|
6.0 |
|
6.8 |
|
|
|
|
|
|
|
|
|
|
Standardised approach |
|
7.6 |
|
11.4 |
|
|
|
|
|
Year to 31 December |
|
42.5 |
|
56.0 |
Table 17: RWA movement by key driver - market risk - internal model based
|
|
2015 |
|
2014 |
|
|
$bn |
|
$bn |
|
|
|
|
|
RWAs at 1 January |
|
44.6 |
|
52.2 |
|
|
|
|
|
Acquisitions and disposals |
|
- |
|
(2.2) |
Movement in risk levels |
|
(5.5) |
|
(4.2) |
Methodology and policy |
|
(4.2) |
|
(1.2) |
- internal updates |
|
(4.2) |
|
(3.8) |
- external updates - regulatory |
|
- |
|
2.6 |
|
|
|
|
|
|
|
- |
|
|
Total RWA movement |
|
(9.7) |
|
(7.6) |
|
|
|
|
|
RWAs at 31 December |
|
34.9 |
|
44.6 |
Total market risk RWAs decreased by $13bn in 2015.
Standardised approach
The market risk RWAs in the standardised portfolio fell by $3.8bn, mainly driven by the reduction in the legacy credit portfolio.
Internal model based
The reduction in RWAs due to movements in risk levels of $5.5bn was driven by a combination of active management of the book and market movements, in particular within the incremental risk charge. In addition to these movements, there were savings of $4.2bn in 'Methodology and policy' due to the refinement of models used for the calculation of the incremental risk charge and risks not in VaR.
Operational risk RWAs
The reduction in operational risk RWAs of $2.4bn was mainly the result of currency exchange differences and decline of income in Latin America.
The processes of internal capital adequacy assessment and supervisory review, lead to a final determination by the PRA of ICG and any PRA buffer that may be required.
Within Pillar 2, Pillar 2A considers, in addition to the minimum capital requirements for Pillar 1 risks described above, any supplementary requirements for those risks and any requirements for risk categories not captured by Pillar 1. The risk categories to be covered under Pillar 2A depend on the specific circumstances of a firm and the nature and scale of its business.
Pillar 2B consists of guidance from the PRA on a capital buffer a firm would require in order to remain above its ICG in adverse circumstances that may be largely outside the firm's normal and direct control, for example during a period of severe but plausible downturn stress, when asset values and the firm's capital surplus may become strained. This is quantified via any PRA buffer requirement the PRA may consider necessary. The assessment of this is informed by stress tests and a rounded judgement of a firm's business model, also taking into account the PRA's view of a firm's options and capacity to protect its capital position under stress, for instance through capital generation. Where the PRA assesses a firm's risk management and governance to be significantly weak, it may also set the PRA buffer to cover the risks posed by those weaknesses until they are addressed. The PRA buffer is intended to be drawn upon in times of stress and its use is not of itself a breach of capital requirements that would trigger automatic restrictions on distributions. In specific circumstances, the PRA should agree a plan with a firm for its restoration over an agreed timescale.
Internal capital adequacy assessment
The Board manages the Group ICAAP and together with RMM, it examines the Group's risk profile from both regulatory and economic capital viewpoints, aiming to ensure that capital resources:
· remain sufficient to support our risk profile and outstanding commitments;
· exceed current regulatory requirements, and that HSBC is well placed to meet those expected in the future;
· allow the bank to remain adequately capitalised in the event of a severe economic downturn stress scenario; and
· remain consistent with our strategic and operational goals and our shareholder and investor expectations.
The minimum regulatory capital that we are required to hold is determined by the rules and guidance established by the PRA for the consolidated Group and by local regulators for individual Group companies. These capital requirements are a primary influence shaping the business planning process, in which RWA targets are established for our global businesses in accordance with the Group's strategic direction and risk appetite.
Economic capital is the internally calculated capital requirement which we deem necessary to support the risks to which we are exposed. The economic capital assessment is a more risk-sensitive measure than the regulatory minimum, as it covers a wider range of risks and takes account of the substantial diversification of risk accruing from our operations. Both the regulatory and the economic capital assessments rely upon the use of models that are integrated into our management of risk. Our economic capital models are calibrated to quantify the level of capital that is sufficient to absorb potential losses over a one-year time horizon to a 99.95% level of confidence for our banking and trading activities, and to a 99.5% level of confidence for our insurance activities and pension risks.
The ICAAP and its constituent economic capital calculations are examined by the PRA as part of its supervisory review and evaluation process. This examination informs the regulator's view of our Pillar 2 capital requirements.
Preserving our strong capital position remains a priority, and the level of integration of our risk and capital management helps to optimise our response to business demand for regulatory and economic capital. Risks that are explicitly assessed through economic capital are credit risk including CCR, market and operational risk, non-trading book interest rate risk, insurance risk, pension risk, residual risk and structural foreign exchange risk.
Leverage ratio
Table 18: Summary reconciliation of accounting assets and leverage ratio exposures
Ref1 |
|
|
At 31 December 2015 |
|
|
|
$bn |
|
|
|
|
1 |
Total assets as per published financial statements |
|
2,410 |
2 |
Adjustment for entities which are consolidated for accounting purposes but are outside the scope of regulatory consolidation |
|
112 |
3 |
Adjustment for fiduciary assets recognised on the balance sheet pursuant to the applicable accounting framework but excluded from the leverage ratio exposure measure |
|
- |
4 |
Adjustments for derivative financial instruments |
|
(141) |
5 |
Adjustments for securities financing transactions |
|
13 |
6 |
Adjustment for off-balance sheet items (i.e. conversion to credit equivalent amounts of off-balance sheet exposures) |
|
401 |
|
(Adjustment for intragroup exposures excluded from the leverage ratio exposure measure) |
|
- |
|
(Adjustment for exposures excluded from the leverage ratio exposure measure) |
|
- |
7 |
Other adjustments |
|
(1) |
|
|
|
|
8 |
Total leverage ratio exposure |
|
2,794 |
Table 19: Leverage ratio common disclosure
Ref1 |
|
|
At 31 December 2015 |
|
|
|
$bn |
|
On-balance sheet exposures (excluding derivatives and SFTs) |
|
|
1 |
On-balance sheet items (excluding derivatives, SFTs and fiduciary assets, but including collateral) |
|
2,104 |
2 |
(Asset amounts deducted in determining Tier 1 capital) |
|
(33) |
|
|
|
|
3 |
Total on-balance sheet exposures (excluding derivatives, SFTs and fiduciary assets) |
|
2,071 |
|
|
|
|
|
Derivative exposures |
|
|
4 |
Replacement cost associated with all derivatives transactions (i.e. net of eligible cash variation margin) |
|
31 |
5 |
Add-on amounts for PFE associated with all derivatives transactions (mark-to-market method) |
|
125 |
EU-5a |
Exposure determined under Original Exposure Method |
|
- |
6 |
Gross-up for derivatives collateral provided where deducted from the balance sheet assets pursuant to the applicable accounting framework |
|
4 |
7 |
(Deductions of receivables assets for cash variation margin provided in derivatives transactions) |
|
(31) |
8 |
(Exempted CCP leg of client-cleared trade exposures) |
|
- |
9 |
Adjusted effective notional amount of written credit derivatives |
|
20 |
10 |
(Adjusted effective notional offsets and add-on deductions for written credit derivatives) |
|
- |
|
|
|
|
11 |
Total derivative exposures |
|
149 |
|
Securities financing transaction exposures |
|
|
12 |
Gross SFT assets (with no recognition of netting), after adjusting for sales accounting transactions |
|
243 |
13 |
(Netted amounts of cash payables and cash receivables of gross SFT assets) |
|
(78) |
14 |
Counterparty credit risk exposure for SFT assets |
|
8 |
EU-14a |
Derogation for SFTs: Counterparty credit risk exposure |
|
- |
15 |
Agent transaction exposures |
|
- |
EU-15a |
(Exempted CCP leg of client-cleared SFT exposure) |
|
- |
|
|
|
|
16 |
Total securities financing transaction exposures |
|
173 |
|
Other off-balance sheet exposures |
|
|
17 |
Off-balance sheet exposures at gross notional amount |
|
906 |
18 |
(Adjustments for conversion to credit equivalent amounts) |
|
(505) |
|
|
|
|
19 |
Total off-balance sheet exposures |
|
401 |
|
Exempted exposures |
|
|
EU-19a |
(Exemption of intragroup exposures (solo basis)) |
|
- |
EU-19b |
(Exposures exempted) |
|
- |
|
Capital and total exposures |
|
|
|
|
|
|
20 |
Tier 1 capital |
|
140 |
|
|
|
|
21 |
Total leverage ratio exposures |
|
2,794 |
|
|
|
|
|
Leverage ratios |
|
|
22 |
Leverage ratio |
|
5.0% |
|
Choice on transitional arrangements and amount of derecognised fiduciary items |
|
|
EU-23 |
Choice on transitional arrangements for the definition of the capital measure |
|
Fully phased in |
EU-24 |
Amount of derecognised fiduciary items |
|
- |
Table 20: Leverage ratio - Split of on-balance sheet exposures (excluding derivatives, SFTs and exempted exposures)
Ref1 |
|
|
At 31 December 2015 |
|
|
|
$bn |
EU-1 |
Total on-balance sheet exposures (excluding derivatives, SFTs, and exempted exposures) |
|
2,104 |
EU-2 |
Trading book exposures |
|
225 |
EU-3 |
Banking book exposures |
|
1,879 |
EU-4 |
- covered bonds |
|
1 |
EU-5 |
- exposures treated as sovereigns |
|
521 |
EU-6 |
- exposures to regional governments, MDB, international organisations and PSE NOT treated as sovereigns |
|
1 |
EU-7 |
- institutions |
|
129 |
EU-8 |
- secured by mortgages of immovable properties |
|
292 |
EU-9 |
- retail exposures |
|
113 |
EU-10 |
- corporate |
|
677 |
EU-11 |
- exposures in default |
|
15 |
EU-12 |
- other exposures (e.g. equity, securitisations, and other non-credit obligation assets) |
|
130 |
1 The references identify the lines prescribed in the EBA template. Lines represented in this table are those lines which are applicable and where there is a value.
Leverage ratio: disclosure on qualitative items: · The leverage exposure measure is calculated on a regional and global business basis each month and presented to Group ALCO, which monitors the risk of excessive leverage. · The increase in the leverage ratio to 5.0% (2014: 4.8%) was mainly as a result of the reduction in the size of the balance sheet. |
Further details can be found on page 30.
Regulatory developments
The regulatory capital requirements comprise a Pillar 1 minimum, the ICG set by the PRA in the form of Pillar 2A, a number of capital buffers established by CRD IV and any PRA buffer that the PRA may set in addition to ICG.
The Pillar 1 minimum ratio and the CCB rates are certain. The macro-prudential tools, Pillar 2A, the PRA buffer and the systemic buffers are time-varying elements. This uncertainty is reflected in the regulatory and management buffer we have included in the 12% to 13% CET1 range that is used to model our medium-term target for return on equity of more than 10% by 2017. This buffer is currently in the range of 1% to 2%.
In December 2015, the FPC published its end point view of the calibration of the capital framework as applicable to UK banks. This set out the FPC's final expectations in relation to the levels of capital across the industry, while specific requirements for individual banks will vary at the PRA's determination. These expectations do not include time-varying additional requirements such as the CCyB and are based on the assumption that existing deficiencies in the definition and measurement of RWAs under Pillar 1 requirements will be addressed over time. These deficiencies in Pillar 1 are currently compensated through additional Pillar 2 requirements. The FPC stated its expectation that by 2019, once such deficiencies were corrected, Pillar 2A requirements would reduce.
In addition to the above, consideration of the finalised FSB proposals in relation to TLAC requirements, and the UK implementation of the EU minimum requirement for own funds and eligible liabilities will also be required.
Based on the known and quantifiable requirements to date, including the announced CCyB rates and current ICG, the overall capital requirements applicable to the Group on an end-point basis (at 1 January 2019) are presented in the table below.
Capital requirements framework (end point)
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CRD IV capital buffers
CRD IV established a number of capital buffers, to be met with CET1 capital, broadly aligned with the Basel III framework. In the UK, with the exception of the CCyB which applied with immediate effect, CRD IV capital buffers are being phased in from 1 January 2016.
Automatic restrictions on capital distributions apply if a bank's CET1 capital falls below the level of its CRD IV combined buffer. The CRD IV combined buffer is defined as the total of the CCB, the CCyB, the G-SII's buffer and the SRB, as these become applicable.
At 31 December 2015, the applicable CCyB rates in force were 1% set by Norway and Sweden. Relevant credit exposures located in Norway and Sweden were $2.4bn and $1.5bn, respectively. At 31 December 2015, this resulted in an immaterial Group institution-specific CCyB requirement.
The HKMA CCyB rate of 0.625% was implemented on 27 January 2016 in respect of Hong Kong exposures, following communication from the FPC. The impact of the HKMA CCyB rate on our Group institution-specific CCyB rate is expected to be 7bps (based on RWAs at 31 December 2015).
The CCyB rates introduced by Norway and Sweden will increase to 1.5% from June 2016. In January 2016, the HKMA also announced that the CCyB rate applied to exposures in Hong Kong will be increased to 1.25% from 1 January 2017.
In December 2015, the FPC maintained a 0% CCyB rate for UK exposures. At the same time, the FPC published the final calibration of the capital framework for UK banks. Within this, the FPC indicated that going forward it would apply a more active use of the CCyB and stated that it intends to publish a revised policy statement on the use of the CCyB in March 2016. The FPC also noted that it expects to set a countercyclical buffer rate for UK exposures in the region of 1%, when risks are judged to be neither subdued nor elevated. The CCyB rate will be informed by the annual UK concurrent stress test of major UK banks. If a rate change is introduced it is expected to come into effect 12 months later.
In December 2015, the PRA confirmed our applicable G-SII buffer as 2.5%. The G-SII buffer together with the CCB of 2.5%, came into effect on 1 January 2016. These are being phased in until 2019 in increments of 25% of the end point buffer requirement. Therefore, as of 1 January 2016, the requirement for each buffer is 0.625% of RWAs.
Alongside CRD IV requirements, since 2014, the PRA has expected major UK banks and building societies to meet a 7% CET1 ratio using the CRD IV end point definition. At 1 January 2016, with the introduction of the G-SII buffer and the CCB, our minimum CET1 capital requirements and combined buffer requirement taken together amount to 7.1% (based on RWAs at 31 December 2015), effectively superseding the previous PRA guidance on the CET1 ratio.
In January 2016, the FPC published a consultation on its proposed framework for the SRB. It is proposed that it will apply to ring-fenced banks and large building societies and will be implemented from 1 January 2019. The buffer to be applied to HSBC's ring-fenced bank has yet to be determined.
Pillar 2 and the 'PRA buffer'
The Pillar 2 framework requires banks to hold capital in respect of risks not captured in the Pillar 1 framework and to assess risks which banks may become exposed to over a forward-looking planning horizon. The PRA's assessment results in the determination of ICG/Pillar 2A and Pillar 2B, respectively.
Pillar 2A was previously required to be met by total capital but, since 1 January 2015, must be met with at least 56% CET1. Furthermore, the PRA expects firms not to meet the CRD IV buffers with any CET1 required to meet its ICG.
The Pillar 2A requirement is a point in time assessment of the amount of capital the PRA considers that a bank should hold to meet the overall financial adequacy rule. It is therefore subject to change as part of the PRA's supervisory review process. In November 2015, our Pillar 2A requirement was set at 2.3% of RWAs, of which 1.3% of RWAs is met by CET1.
In July 2015, the PRA published a final policy statement PS17/15, setting out amendments to the PRA Rulebook and Supervisory Statements in relation to the Pillar 2 framework. The revised framework became effective on 1 January 2016. The PRA's Statement of Policy sets out the methodologies that it will use to inform its setting of firms' Pillar 2 capital requirements, including new approaches for determining Pillar 2 requirements for credit risk, operational risk, credit concentration risk and pension obligation risk.
In parallel, in July 2015, the PRA also issued its supervisory statement SS31/15 in which it introduced a PRA buffer to replace the capital planning buffer determined under Pillar 2B from 1 January 2016. This is to be met in the form of CET1 capital.
The statement sets out that the PRA buffer is intended to avoid duplication with CRD IV buffers and will be set for a particular firm depending on its vulnerability in a stress scenario. In order to address significant weaknesses in risk management and governance, a scalar may be applied to firms' CET1 Pillar 1 and Pillar 2A capital requirements. This will also form part of the PRA Buffer.
Where the PRA considers there is overlap between the CRD IV buffers and the PRA buffer assessment, the PRA buffer will be set as the excess capital required over and above the CRD IV combined buffer. From 1 January 2016, the CCB and the systemic buffers are permitted to offset against the PRA buffer with the exception of any risk management and governance scalar where applicable. The use of the PRA buffer will not result in automatic restrictions to distributions.
Regulatory stress testing
The Group is subject to supervisory stress testing in many jurisdictions. These requirements are increasing in frequency and granularity. As such, stress testing represents a key focus for the Group.
The Bank of England published the results of the 2015 UK stress test in December 2015 confirming that these tests did not reveal any capital inadequacies for HSBC. At the European level, the EBA did not undertake a stress testing exercise in 2015 but instead carried out a transparency exercise, the results of which were published in November 2015.
In July 2015, the EBA also disclosed a timeline for the 2016 EU wide stress test exercise. The EBA expects to publish the 2016 stress test scenario and methodology in the first quarter of 2016, with results published in the third quarter of 2016.
In October 2015, the Bank of England published its approach to stress testing in the UK. This set out that the outcome of the UK stress testing exercise will be considered by the FPC when determining the UK CCyB rate, and will also inform the PRA buffer. Furthermore, from 2016, the applicable hurdle rate, which is the amount of capital that banks are expected to maintain under a stress, is to include Pillar 1, Pillar 2A and G-SII buffer requirements.
RWA developments
Throughout 2015, UK, EU and international regulators issued a series of consultations designed to revise the various components of the RWA regime and increase related reporting and disclosures. In particular, the Basel Committee published proposals relating to certain Pillar 1 risk types to update standardised, non-modelled approaches for calculating capital requirements. Details of the most significant consultations are set out below.
In December 2015, the Basel Committee published its second consultation paper on a revised standardised approach for credit risk. This included proposals to reintroduce external credit ratings, moderated by internal due diligence, as the basis for calculating risk weights for banks and corporates. The risk weights for other assets are to be determined by a variety of treatments tailored for each exposure class, which are designed to increase risk sensitivity and comparability.
In January 2016, the Basel Committee published the final rules arising from the Fundamental Review of the Trading Book, with implementation planned for 2019. The new regime includes amendments to the trading book boundary and new market risk capital calculations for both the modelled and standardised approaches. The Basel Committee acknowledges that there is considerable ongoing work which could require further revisions to the framework.
The final changes to the CVA capital charge are expected to be published in 2016. Following the finalisation of the CVA capital regime, the EU is expected to review the exemptions to the CVA charge currently applied to corporates, sovereigns and intragroup exposures. In the interim, the EU has consulted upon a methodology for calculating a Pillar 2 charge for excessive CVA risk resulting from exempted transactions.
The revised consultations for standardised operational risk and the design and calibration of a capital floor based on the standardised approaches, are expected by the end of 2016.
All of the Basel Committee's consultations will need to be transposed into EU law before coming into effect. This includes the finalised changes that relate to the counterparty risk and securitisation regimes.
UK leverage ratio framework
Following consultations in 2014, secondary legislation came into force in April 2015 to provide the FPC with direction powers in relation to the UK leverage ratio framework. In July 2015, the FPC published its final policy statement setting out its intention to use its new powers of direction. As a result the PRA issued a consultation paper to introduce requirements for the UK leverage ratio framework. This established a minimum tier 1 leverage ratio of 3%, an additional leverage ratio buffer for G-SIIs and a countercyclical leverage ratio buffer, and was implemented on 1 January 2016. The additional leverage ratio buffer and countercyclical leverage ratio buffer are to be met entirely with CET1 capital and will be set at 35% of the relevant buffers in the risk-weighted capital framework. At 1 January 2016, our minimum leverage ratio requirement of 3% was supplemented with an additional leverage ratio buffer of 0.2% and a countercyclical leverage ratio buffer which rounds to 0%. We comfortably exceed these leverage requirements.
It is anticipated that a minimum leverage ratio requirement, including potential buffers for G-SIBs, will be consulted upon by the Basel Committee in 2016 and a formal Pillar 1 measure finalised by 1 January 2018.
Total loss absorbing capacity proposals
As part of Recovery and Resolution frameworks both in the EU and internationally, there have been various developments in relation to TLAC. In the EU, the Bank Recovery and Resolution Directive introduces an MREL.
In July 2015, the EBA published a final draft RTS for MREL which seeks to provide additional clarity on the criteria that resolution authorities should take into account when setting a firm specific MREL requirement. The EBA notes that it aims to implement the MREL in a way which is consistent with the finalised international standard on TLAC.
In November 2015, the FSB published finalised proposals on TLAC for G-SIBs to be applied in accordance with individual bank resolution strategies. This set out a requirement of 16% of RWAs and a TLAC leverage ratio of 6% to be met from 1 January 2019, increasing to 18% and a 6.75% respectively, from 1 January 2022. Existing regulatory capital buffers will need to be met in addition to the minimum TLAC requirement. A breach of TLAC will be treated as severely as a breach of minimum capital requirements.
In November 2015, the Basel Committee also published a consultation on the treatment of banks' holdings of TLAC instruments issued by a G-SIB, which proposed new deductions from regulatory capital. Once finalised, any additional requirements in relation to TLAC are expected to be reflected in MREL and to be implemented in the UK.
In December 2015, the Bank of England published a consultation paper on the UK's implementation of MREL. The Bank of England stated that it intends to set MREL consistent with both TLAC and the final EBA RTS expected to be published later this year. The MREL is expected to comprise a loss absorption amount which reflects existing regulatory capital requirements and a recapitalisation amount which reflects the capital that a firm is likely to need post resolution. The latter can be met with both regulatory capital and eligible liabilities.
While MREL is to be set on an individual basis, the Bank of England generally expects MREL for banks whose appropriate resolution strategy is bail-in, to be equivalent to twice the current minimum capital requirements. A finalised Statement of Policy is expected by mid-2016. The Bank of England is also expected to provide firms with an indication of their prospective 2020 MREL during 2016, and will set MREL on a transitional basis until then. For G-SIBs, MREL is proposed to apply from 2019, consistent with FSB timelines.
In parallel to the above, the PRA separately published a consultation paper on the interaction between MREL and capital buffers and how it would treat a breach of MREL requirements. This proposed that banks should not be able to meet MREL requirements with CET1 used to meet existing capital and leverage ratio buffers.
Structural reform and recovery and resolution planning
Globally there have been a number of developments relating to banking structural reform and the introduction of recovery and resolution regimes. As part of recovery and resolution planning, some regulators and national authorities have also required changes to the corporate structures of banks. These include requiring the local incorporation of banks or ring-fencing of certain businesses.
In 2013 and 2014, UK legislation was enacted requiring large banking groups to ring-fence UK retail and SME banking activity in a separately incorporated banking subsidiary (a 'ring-fenced bank') that is prohibited from engaging in significant trading activity. Ring-fencing is to be completed by 1 January 2019. The legislation also detailed the applicable individual customers to be transferred to the ring-fenced bank. In addition, the legislation places restrictions on the activities and geographical scope of ring‑fenced banks. Throughout 2015, the PRA published a number of consultations on the implementation of ring-fencing requirements and the finalisation of rules is expected to continue in 2016.
The key proposals included near final rules published in May 2015 on legal structure, corporate governance, and continuity of services and facilities. Additionally, in October 2015 the PRA issued a consultation on the application of capital and liquidity rules for ring-fenced banks, management of intra-group exposures, and use of financial market infrastructures.
The PRA intends to undertake a further consultation in 2016 in respect of reporting and disclosure, and publish finalised rules and supervisory statements thereafter, with implementation by 1 January 2019.
We are working with our primary regulators to develop and agree a resolution strategy for HSBC. It is our view that a strategy by which the Group breaks up at a subsidiary bank level at the point of resolution (referred to as a Multiple Point of Entry) is the optimal approach, as it is aligned to our existing legal and business structure. Similarly to all G‑SIBs, we are working with our regulators to mitigate or remove critical inter-dependencies between our subsidiaries to further facilitate the resolution of the
Group. In particular, in order to remove operational dependencies (where one subsidiary bank provides critical services to another), we are in the process of transferring critical services from our subsidiary banks to a separate internal group of service companies.
During 2015, more than 18,000 employees performing shared services in the UK were transferred to the service companies. Further transfers of employees, critical shared services and assets in the UK, Hong Kong and other jurisdictions will occur in due course.
All our activities involve, to varying degrees, the measurement, evaluation, acceptance and management of risk or a combination of risks, which we assess on a Group-wide basis. Our risk management framework, employed at all levels of the organisation, ensures that our risk profile remains conservative and aligned to our risk appetite and strategy by fostering continuous monitoring of the risk environment and an integrated evaluation of risks and their interactions. It also ensures that we have a robust and consistent approach to risk management at all levels of the organisation and across all risk types.
Risk management is embedded through: · a strong risk culture, with personal accountability for decisions; · a formal risk governance framework, with clear and well understood risk ownership, standards and policies; · the alignment of risk and business objectives, with integration of risk appetite into business planning and capital management; · the alignment of remuneration with our risk framework and risk outcomes; and · an independent, expert global risk function ('Global Risk'). |
Our approach to risk management, including risk appetite, is set out on page 42 of the Annual Report and Accounts 2015.
HSBC has long recognised the importance of a strong risk culture, the fostering of which is a key responsibility of senior executives. It is reinforced by HSBC Values and our Global Standards. Our risk management framework is underpinned by our risk culture which is instrumental in aligning the behaviours of individuals with the Group's risk profile and our attitude to assuming and managing risk.
The risk culture is reinforced by our approach to remuneration. Individual awards, including those for executives, are based on compliance with HSBC Values and the achievement of financial and non-financial objectives which are aligned to our risk appetite and strategy. For further information on risk and remuneration, see page 285 of the Annual Report and Accounts 2015.
Our strong risk governance reflects the importance placed by the Board and the GRC on shaping the Group's risk strategy and managing risks effectively. The activities of the GRC are discussed further on page 266 of the Annual Report and Accounts 2015.
Strong risk governance is supported by: · a clear policy framework of risk ownership; · a globally consistent risk appetite framework through which the types and quantum of risk that we are prepared to accept in executing our strategy are articulated and monitored; · performance scorecards cascaded from the GMB that align business and risk objectives; and · the accountability of all staff for identifying, assessing and managing risks in accordance with the three lines of defence model. |
This personal accountability, reinforced by the governance structure, documented standards, policy and procedures, and experience and mandatory learning, helps to foster a disciplined and constructive culture of risk management and control throughout HSBC.
Our risk management framework is described on page 101 of the Annual Report and Accounts 2015. The executive and non-executive risk governance structures for the management of risk are set out on page 193 of the Annual Report and Accounts 2015.
Information on directorships held by Board members, their skills and experience is set out in their biographies from page 249 of the Annual Report and Accounts 2015. Information on board recruitment and diversity policies is set out from page 256 of the Annual Report and Accounts 2015.
Risk appetite is a key component in our management of risk. It describes the types and quantum of risks that we are willing to accept in achieving our medium to long-term strategic objectives. Within HSBC, risk appetite is managed through the Global Risk Appetite Framework and articulated in a risk appetite statement, which is annually approved by the Board on the advice of the GRC.
The risk appetite statement guides the annual planning process by defining the desired forward looking risk profile of the Group in achieving our strategic objectives and plays an important role in our six filters process. Our risk appetite may be revised in response to our assessment of the top and emerging risks we have identified and the stressed view of our business plan.
Diversification is an important aspect of our management of risk. The diversification of our lending portfolio across global businesses and regions, together with our broad range of products, ensures that we are not overly dependent on a limited number of countries or markets to generate income and growth.
Global Risk, headed by the GRCO, is responsible for enterprise-wide risk oversight including the establishment of global policy, the monitoring of risk profiles, and forward looking risk identification and management. Global Risk also has functional responsibility for risk management in support of HSBC's global businesses and regions through an integrated network of Risk sub-functions which are independent from the sales and trading functions of our businesses. This independence ensures the necessary balance in risk/return decisions.
Global Risk: · forms part of the second line of defence, with responsibility for setting policy and for providing oversight and challenge of the activities conducted by the first line; · supports our global businesses, regions, countries and global functions in the development and achievement of strategic objectives; · fosters development of a conservative but constructive Group risk culture; · works with global businesses, regions and global functions in the setting and monitoring of risk appetite; · carries out central approvals, controls, risk systems design and the analysis and reporting of management information; · addresses risk issues in dealings with external stakeholders including regulators and analysts; · is jointly responsible with Global Finance for the delivery of enterprise-wide stress testing; and · in addition to 'business as usual' operations, engages with business development activities such as new product approval and post-implementation review, and acquisition due diligence. |
The Directors are responsible for maintaining and reviewing the effectiveness of risk management and internal control systems and for determining the nature and extent of the significant risks they are willing to take in achieving the Group's strategic objectives. On behalf of the Board, the GAC has responsibility for oversight of risk management and internal controls over financial reporting, and the GRC has responsibility for oversight of risk management and internal controls other than over financial reporting, including enterprise-wide stress testing.
HSBC's key risk management and internal control procedures are described on page 275 of the Annual Report and Accounts 2015, where the Directors' Report on the effectiveness of internal controls can also be found.
Annually, the Directors, through the GRC and the GAC, conduct a review of the effectiveness of our system of risk management and internal control covering all material controls, including financial, operational and compliance controls, risk management systems, the adequacy of resources, qualifications and experience of staff of the accounting and financial reporting function and the risk function, and their training programmes and budget. The review does not extend to joint ventures or associates.
The GRC and the GAC received confirmation that executive management has taken or is taking the necessary actions to remedy any failings or weaknesses identified through the operation of our framework of controls.
The purpose of our risk measurement and reporting systems is to ensure that, as far as possible, risks are comprehensively captured with all the attributes necessary to support well-founded decisions, that those attributes are accurately assessed and that information is delivered in a timely way for those risks to be successfully managed and mitigated.
Risk measurement and reporting systems are also subject to a governance framework designed to ensure that their build and implementation are fit for purpose and that they are functioning properly. Risk information technology systems development is a key responsibility of the Global Risk function, while the development and operation of risk rating and management systems and processes are ultimately subject to the oversight of the Board.
We continue to invest significant resources in IT systems and processes in order to maintain and improve our risk management capabilities. A number of key initiatives and projects to enable consistent data aggregation, reporting and management, and work towards meeting our Basel Committee data obligations are in progress. Group policy promotes the deployment of preferred technology where practicable. Group standards govern the procurement and operation of systems used in our subsidiaries to process risk information within business lines and risk functions.
Risk measurement, monitoring and reporting structures deployed at Group level are applied throughout global businesses and major operating subsidiaries through a common operating model for integrated risk management and control. This model sets out the respective responsibilities of Group, global business, region and country level risk functions in respect of such matters as risk governance and oversight, compliance risks, approval authorities and lending guidelines, global and local scorecards, management information and reporting, and relations with third parties including regulators, rating agencies and auditors.
Global Risk manages a number of analytics disciplines supporting rating and scoring models for different risk types and business segments, economic capital and stress testing. It formulates technical responses to industry developments and regulatory policy in the field of risk analytics, develops HSBC's global risk models, and oversees local model development and use around the Group in progress toward our implementation targets for the IRB advanced approach.
Model governance is under the general oversight of Global MOC. Global MOC is supported by specific global functional MOCs for wholesale credit risk ('Wholesale MOC') and market risk ('Markets MOC') and RBWM, and has regional and entity-level counterparts with comparable terms of reference. The Global MOC meets bi-monthly and reports to RMM. It is chaired by the Risk function, and its membership is drawn from Risk, Finance and global businesses. Its primary responsibilities are to bring a strategic approach to model-related issues across the Group and to oversee the governance of our risk rating models, their consistency and approval, within the regulatory framework. Through its oversight of the functional wholesale, markets and RBWM MOCs, it identifies emerging risks for all aspects of the risk rating system, ensuring that model risk is managed within our risk appetite statement, and formally advises RMM on any material model‑related issues.
The development and use of data and models to meet local requirements are the responsibility of regional and/or local entities under the governance of their own management, subject to overall Group policy and oversight.