Interconnectivities and regulatory impact [35]

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Bullet points include: Assessment methodologies for NBNI G-SIFIs are explicitly designed to be consistent with those for other G-SIFIs Likely implies longer term harmonisation of capital adequacy requirements across financial services industry, including for asset managers / investment funds who are not yet included in lists of G-SIFIs? Now that more than one sector has G-SIFIs we presumably need to think harder about treatment of groups that span sectors? IAIS considering how to handle banking subsidiaries in the ICS. Will the opposite issue percolate back into banking standards? Where do pension funds fit into this picture? Some might be large enough to fall within scope of some of the tests proposed by FSB (2014), although most of these are sovereign or local government schemes

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