CM-1.2 CM-1.2 Credit Risk Management Framework
CM-1.2.1
Islamic bank licensees must establish a credit risk management unit (CRMU) within their organisational structure which will be responsible for identification, assessment, measurement, monitoring and controlling of credit risk inherent in the entire credit portfolios, as well as credit risk in individual credit exposures. The credit risk management framework must consider the relationship between credit risk and other risks.Added: June 2022CM-1.2.2
The CRMU must be independent and must ensure that it undertakes the credit risk management activities with no influence from business functions responsible for credit underwriting.
Added: June 2022CM-1.2.3
The CRMU should not have management or financial responsibility related to credit operational business line or revenue generating functions.
Added: June 2022The Role of the Board of Directors
CM-1.2.4
The Board of Directors of the
Islamic bank licensee is responsible for ensuring that thelicensee has an effective CRMU and for approving and regularly reviewing, at least every two years, itscredit risk policies,credit risk appetite and limits framework. Amendments made to such documents must also be approved by the Board. The Board may delegate some of its functions, such as approval of policies, amendments to policies and periodic reviews to a designated Board committee.Added: June 2022CM-1.2.5
Effective credit risk management is imperative to optimise the
licensee’s risk-adjusted rate of return by maintaining credit risk exposure within acceptable parameters. A risk appetite statement is a written articulation of the aggregated level and types of risk exposures that thelicensee will accept, or avoid, in order to achieve its business objectives.Added: June 2022CM-1.2.6
The Board must ensure that the
credit risk policies cover all activities of theIslamic bank licensee in which it incurscredit risk . The Board must also determine that thelicensee’s capital level is adequate for the risks assumed throughout the entire organisation or group.Added: June 2022CM-1.2.7
The
credit risk policy must document thelicensee’s willingness to grant credit based on exposure type (commercial, consumer, real estate etc.), economic sector, geographical location, product, currency, maturity and anticipated profitability. This might also include the identification of target markets and the overall characteristics that theIslamic bank licensee would want to achieve in its credit portfolio (including levels of diversification and concentration tolerances).Added: June 2022CM-1.2.8
The Board must ensure that the
credit risk appetite framework delineates the delegated powers, lines of responsibility and accountability overcredit risk management decisions, and must clearly define authorised instruments,hedging strategies and risk-taking opportunities.Added: June 2022CM-1.2.9
The Board must assess whether the
Islamic bank licensee is operating within the boundaries of thecredit risk appetite and limits framework approved by the Board.Added: June 2022CM-1.2.10
The Board must ensure that it receives adequate management information reports and exception reports to meet its oversight requirements to monitor adherence to the
licensee’s risk tolerance/appetite/limits. The Board must regularly evaluate whether it is receiving the right balance of detail and quantitative versus qualitative information.Added: June 2022CM-1.2.11
The Board must approve the structure in which the
licensee will organise its credit-granting functions, including independent review of the credit granting process and the overall portfolio.Added: June 2022CM-1.2.12
For
branches of foreign bank licensees where no Board/Audit Committee exists, all references to the Board/Audit Committee should be interpreted as the Group Chief Risk Officer or equivalent person who has direct access or reports to the Board or Audit Committee of the parent bank, unless alternative structures that satisfy the primary objectives of such oversight are in place.Added: June 2022The Role of the Senior Management
CM-1.2.13
Senior management of the
Islamic bank licensee is responsible for developing, implementing and approving sound credit risk procedures in accordance with credit risk policies approved by the Board.Added: June 2022CM-1.2.14
Senior management must determine that the staff involved in any credit relationship, whether established or new, basic or complex, have the necessary knowledge, skill sets, experience and are fully capable of ensuring the relationship meets the highest standards and in compliance with thelicensee’s policies and procedures.Added: June 2022CM-1.2.15
Senior management must ensure that risk monitoring systems are in place for effectively undertaking the activities ofcredit risk management.Added: June 2022Credit Risk Policy and Procedures
CM-1.2.16
A properly documented
credit risk policy is an essential element of, and a prerequisite for, thecredit risk management process. Consistent with the Board's objectives, it assistslicensee’s management in the maintenance of proper credit standards and the avoidance of unnecessary risks. Additionally, periodic internal assessment should be undertaken by the internal audit. In the case ofbranches of foreign bank licensees , the credit policy, limits and the procedures are normally those that are approved by the Head Office/Regional Office.Added: June 2022CM-1.2.17
Senior management , based on the approvedcredit risk policy, must developcredit risk procedures for identifying, measuring, monitoring and controllingcredit risk . The procedures must addresscredit risk in all of theIslamic bank licensee ’s activities, and at both the individual credit and portfolio levels.Added: June 2022CM-1.2.18
Explicit guidelines in the
credit risk policy provide the basis for effectivecredit risk management. A soundcredit risk policy should consider which types of credit products and obligors thelicensee is looking for, and the underwriting standards thelicensee will utilize.Added: June 2022CM-1.2.19
Islamic bank licensee ’s credit risk framework must address all credit and credit risk related activities throughout the credit lifecycle covering matters of significance including, but not limited to:(a) Organisation and reporting structure of the credit risk function/activities;(b) Delegation of authority;(c) Role of credit committee and Board risk committee;(d) Designated markets and products;(e) Credit limit framework;(f) Desirable pricing levels and criteria;(g) Policy on country and transfer risks;(h) Credit granting criteria and authorisation procedures for the advancement of credit, including exceptions to set criteria and limits;(i) Credit risk analysis, reviews and credit risk ratings;(j) Assessment of concentration;(k) Large exposure policy;(l) Financing to connectedcounterparties ;(m) Problem credit identification, remediation and administration;(n) Policies and procedures on write-offs and recoveries;(o) Monitoring and reporting.Added: June 2022CM-1.2.20
Islamic bank licensees must operate within sound, well-defined credit-granting criteria. These criteria must include a clear indication of thelicensee’s target market and a thorough understanding of the obligor orcounterparty , as well as the purpose and structure of the credit and its source of repayment. In addition, the criteria must set out who is eligible for credit and for how much, what types of credit are available, and under what terms and conditions the financing may be granted.Added: June 2022CM-1.2.21
In the case of
branches of foreign bank licensees , the credit policies, credit limits and the procedures are those that are approved by the Head Office/Regional office.Added: June 2022Effectiveness of Internal Control System
CM-1.2.22
An effective internal control system for
credit risk assessment and measurement is essential to enable senior management to carry out its duties. An effective internal control system must include:(a) Measures to comply with applicable laws, regulations and internal policies and procedures;(b) Measures to provide oversight of the integrity of information used and to reasonably ensure that the allowances reflected in thelicensee’s financial statements and its supervisory reports are prepared in accordance with the applicable accounting framework and relevant supervisory guidance;(c) Well-definedcredit risk assessment and measurement processes that are independent from (while taking appropriate account of) the financing function and include:(i) An effectivecredit risk rating/ scoring system that is consistently applied, accurately grades differingcredit risk characteristics, identifies changes incredit risk on a timely basis, and prompts appropriate action;(ii) An effective process which ensures that all relevant/ reasonable and supportable information, including forward-looking information, is appropriately considered in assessing and measuring expected credit loss (‘ECL’). This includes maintaining appropriate reports, details of reviews performed and identification and descriptions of the roles and responsibilities of the personnel involved;(iii) An assessment policy that ensures ECL measurement occurs not just at the individual credit exposure level, but also when necessary to appropriately measure ECL at the collective portfolio level by grouping exposures based on identified sharedcredit risk characteristics;(iv) An effective model validation process to ensure that thecredit risk assessment and measurement models, including ECL models, are able to generate accurate, consistent and unbiased predictive estimates on an ongoing basis. This includes establishing policies and procedures which set out the accountability and reporting structure of the model validation process, internal standards for assessing and approving changes to the models and reporting of the outcome of the model validation (see also Paragraph CM-1.4.10);(v) Clear formal communication and coordination among thelicensee’s credit risk staff, financial reporting staff, senior management, the Board and others who are involved in thecredit risk assessment and measurement process for an ECL accounting framework, as applicable (e.g. evidenced by written policies and procedures, management reports and committee minutes); and(d) An internal audit function that independently evaluates the effectiveness of thelicensee’s credit risk management framework, and in particular, assessment and measurement systems, models and processes, including thecredit risk rating system. Refer to HC-6.5.Added: June 2022CM-1.2.23
Islamic bank licensees must ensure that thecredit risk policy establishes the objectives that guide thelicensee’s credit-granting activities.Added: June 2022CM-1.2.24
The
credit risk policy must give recognition to the goals of credit quality, earnings quality and sustainability and growth.Islamic bank licensees , regardless of their size, must determine the acceptable risk/reward trade-off for their activities, factoring in the cost of capital.Added: June 2022CM-1.2.25
The
credit risk appetite/limits framework ofIslamic bank licensees must take into consideration the cyclical aspects of the economy and the resulting shifts in the composition and quality of the overall credit portfolio. The credit granting criteria must be periodically assessed and amended and it must be viable in the long-run and through various economic cycles. The credit risk procedures must be reviewed at least once every three years or more frequently as may be necessary if there are changes in internal or regulatory requirements.Added: June 2022CM-1.2.26
The credit granting criteria must be designed and implemented within the context of internal and external factors, such as the
licensee’s market position, trade area, staff capabilities and technology.Added: June 2022CM-1.2.27
Islamic bank licensees must have a clearly definedcredit risk appetite statement which is implemented through comprehensive policies and procedures for limiting and controllingcredit risk .Islamic bank licensees must also establish credit limits in a meaningful manner for different types of exposures, both on and off-balance sheet.Added: June 2022CM-1.2.28
Bahraini Islamic bank licensees must consider the results of stress testing in the overall limit setting and monitoring process. Such stress testing must take into consideration economic cycles, profit rates and other market movements and liquidity conditions.Added: June 2022Country and Transfer Risks
CM-1.2.29
Islamic bank licensees must set out their policy on country and transfer risks within their Board approved credit risk policy. Such policy must include:a) the risk appetite/tolerance levels for country and transfer risks;b) country exposure limits;c) basis and frequency for periodic reviews and assessments;d) the criteria for downgrading a country exposure from Stage 1 to Stages 2 or 3, and related provisioning policy; ande) the policy for recategorization of exposure to a higher grade.Amended: October 2022
Added: June 2022CM-1.2.30
Country risk is the exposure to a loss in cross-border financing, caused by events in the country to which the
licensee has exposure and includes all forms of financing whether to the government, alicensee , a private enterprise or an individual. Country risk is therefore a broader concept than sovereign risk, which is restricted to the risk of financing to the government of a sovereign nation. Transfer risk, on the other hand, represents the risk of loss due to repatriation or remittance restrictions imposed by a foreign government that make it impossible to remit, fully or partially, the proceeds of obligation owed to thelicensee .Added: June 2022CM-1.2.31
In the case of exposure to obligors,
Islamic bank licensees must examine any associated country and transfer risks keeping in view factors such as domicile of thecounterparty , the legal structure of thecounterparty , the existence of special purpose vehicles, conduits and/ or other related factors that may affect the transferability of proceeds of repayment.Added: June 2022CM-1.2.32
Branches of foreign bank licensees must satisfy the CBB that equivalent arrangements are in place at the parent entity level, otherwise a policy is required in line with Paragraph CM-1.2.28.Added: June 2022CM-1.2.33
Branches of foreign bank licensees are normally subject to country limits that are set at a global level by the head office or by the regional office. Thebranch should be able to demonstrate that it is subject to limits imposed on it by the head office or regional office as appropriate.Added: June 2022