FORM 6-K
SECURITIES AND EXCHANGE COMMISSION
Washington, D.C. 20549
Report of Foreign Private Issuer
Pursuant to Rule 13a-16 or 15d-16
of the Securities Exchange Act of 1934
Australia and New Zealand Banking Group Limited
(Translation of registrants name into English)
Level 6, 100 Queen Street Melbourne Victoria Australia
(Address of principal executive offices)
Indicate by check mark whether the registrant files or will file annual reports under cover Form 20-F or Form 40-F.
Form 20-F |
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Form 40-F |
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Indicate by check mark whether the registrant by furnishing the information contained in this Form is also thereby furnishing the information to the Commission pursuant to Rule 12g3- 2(b) under the Securities Exchange Act of 1934.
Yes |
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No |
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If Yes is marked, indicate below the file number assigned to the registrant in connection with Rule 12g3-2(b): 82-
Signatures
Pursuant to the requirements of the Securities Exchange Act of 1934, the registrant has duly caused this report to be signed on its behalf by the undersigned, thereunto duly authorized.
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Australia and New Zealand |
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(Registrant) |
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By: |
/s/ John Priestley |
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Company Secretary |
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(Signature)* |
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Date 10 August 2004 |
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* Print the name and title of the signing officer under his signature.
Media Release |
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Corporate Affairs |
For Release: 29 July 2004
ANZ acquires Trusts custody client base
ANZ today announced it had entered into an agreement with Trust Company of Australia to acquire Trusts client base for custody services in equity, fixed interest and related asset products, creating a platform for further growth in ANZs specialist Custodian Services business.
Announcement Key Points
ANZ will take over Trusts domestic and master custody client contracts.
The agreement strengthens ANZ Custodian Services product and service offerings, particularly in the Master Custody business.
Develops scale for ANZs custody business with assets under custody growing from $50 billion to $61 billion following the addition of Trusts client contracts for equity, fixed interest and related asset products.
Clear plan established for ANZ and Trust to ensure continuity of client service standards over a 12-month transition period.
Agreement consideration based on successful migration of contracts over the transition period.
ANZ Managing Director Trade and Transaction Services, Mr Mark Paton said: The addition of this part of Trusts custody client base is a further step in building a leading specialist custody business.
Custodian Services is an attractive business which leverages ANZs strong corporate and institutional client franchise and offers good growth opportunities.
We already have a successful organic growth strategy in custody services based on a specialist focus which has seen assets under custody grow by 20% during 2004. This move enhances the product and service offerings we can deliver to clients and builds further scale for the business, Mr Paton said.
ANZ Custodian Services provides safekeeping, settlement, income collection and reporting services for client investments in Australia, New Zealand and globally.
For media enquiries contact:
Paul Edwards
Head of Group Media Relations
Tel: 03-9273 6955 or 0409-655 550
Email: paul.edwards@anz.com
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The ANZ Risk Management
Framework
Australia and New Zealand Banking Group Limited
27 July 2004
Dr Mark Lawrence
Chief Risk Officer
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[LOGO] |
Creating a more sustainable, lower risk business
Significantly improved credit risk framework, profile and outcomes
Strong market & operational risk capability
Economic capital models embedded for all major risks across all businesses
Independent central risk team is formally involved in all strategic initiatives
Simplifying and strengthening compliance - ongoing
2
The Broad Framework
Context: ANZ has been building its Risk Management Capability for more than a decade
Prior to 1994 |
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No formal Risk Management function, but ANZ had a credit workout area and an operational risk function; Rudimentary risk grading and pricing processes; no risk-based capital allocation |
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1995 |
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Credit risk unit formed, with a particular emphasis on handling our actual and prospective property portfolio |
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1996-97 |
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Board Risk Management Committee established; |
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1999 |
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Market and Operational Risk capability strengthened |
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2000 |
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Operational Risk economic capital model implemented; |
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2001 |
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Basel II project commenced |
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2002 |
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Substantial Risk Management capability embedded in consumer businesses; |
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2003 |
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Increased focus on the management of project risks; |
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2004 |
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Specialised Technology Risk function created Group Compliance framework enhanced |
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ANZ Organisation & Board Governance
ANZ Board |
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Board Risk Management Committee |
Board
Audit |
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Principal Executive Risk Committees |
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Credit & Trading |
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Asset & Liability |
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Operational Risk |
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Project & Initiative |
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Policy |
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Balance Sheet Risk |
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Compliance |
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Project risk |
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Major Lending Decisions |
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Payments/ operational risk |
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Project governance |
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Asset Writing Strategies |
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Security |
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Project priorities |
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Portfolio |
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Trading Risk |
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Governance Role of Group Risk Management
Final authority to determine the risk boundary conditions for the Group and for each business
Responsible for risk policies, principles and process standards that define ANZ Groups risk strategy and appetite
Satisfy the Board that controls, skills and systems enable compliance with Group policies and standards
Responsible for measuring, assessing and monitoring the level of risk in the Group; approving material risk exposures, limits and transactions; and reporting these and other material risk issues to Executive Management, the Board and Regulators
Champion ANZs reputation and risk culture, with objectivity and independence, ensuring that risk is always considered as part of the strategic agenda
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Group Risk Management Structure July 2004
Chief
Risk |
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Wholesale
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Retail
Risk |
Operational & |
Chief
Operating |
Compliance |
Basel
II |
Chief
Risk Officer |
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ANZ Culture: A Question of Balance
ANZ is focused on achieving growth within appropriate risk/control boundaries
Balance is the KEY to ANZs success & PEOPLE provide that balance
Risk |
Return |
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Group Risks Function: - |
CULTURE |
Customer
Needs & |
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The Challenge is to bring together disparate parts to form a cohesive whole
Portfolio
monitoring & effective controls, using technical skills & a
macro view of the system process/institution built around a shared
cultural approach
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Market Risk
Market Risk: Current Risk Profile
Based on publicly-reported VAR measures, ANZ now has the lowest trading risk profile of the major Australian Banks
Total Value At Risk (VAR) from Annual Reports
(normalised to 97.5% confidence level)
[CHART]
Note:
CBA stopped publishing MAX figures after 1999
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What is VaR?
The Value at Risk ( VAR) of a portfolio:
is a statistical estimate of the potential daily loss to a specified confidence level (eg, 97.5%)
is based on an historical simulation using changes in market prices over the past 500 days
which takes into account correlated movements across the different products/ currencies/ positions.
The graph below shows a typical distribution of the 500 simulated profit-and-loss results, and the corresponding level of the Value-at-Risk.
Note : to ascribe meaning to the VAR number which results from this calculation, is to assume that the movement in the various rates and prices over the next 24 hours will be broadly similar to and reflected in the historical rate movements experienced over the past 500 days.
3 limitations of VAR are very important to understand:
If tomorrow is not like the past, then calculated VAR will be misleading i.e. , Event Risk is not covered.
VAR is typically a 2 or 3 standard deviation measure. VAR is not Worst Case actual losses can be many multiples of the VAR estimate for certain portfolios.
VAR presumes market liquidity, irrespective of position size.
Conclusion: VAR numbers must be interpreted with great caution they are not used in the direct management of risks on the dealers desk. A comprehensive framework of Detailed Control Limits is used for this purpose
[CHART]
The PAST is not a proxy for the FUTURE
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Value-at-Risk Limits and Exposures
ANZ utilitises VAR limits as an outer-bound constraint on dealer activity
Limits are allocated by Market Risk at Global ANZ Trading Book level, by each business line down to individual trading desks, by product line, and by geography
VAR Limits are monitored daily by the independent Market Risk Unit, with all excesses thoroughly investigated, action taken as appropriate, and reported to the Credit & Trading Committee as part of the regular monthly Market Risk Report
NB: VAR aggregation at higher levels takes account of correlation diversification effects across portfolios and is not simply lower level portfolios combined on an additive basis
Other limits are used to more tightly control dealing activities
Cumulative Stop-Loss Limits specify the maximum loss that a business can sustain before trading is suspended (as a firm policy requirement). When/if this limit is breached, a full written management assessment ( considering causes, evolving market dynamics, trading strategy and style, skills, mindset,etc. ) is required before Market Risk will authorise resumption of trading.
Detailed Control Limits comprise a detailed set of product- specific measures and sensitivity limits which are designed to control trader behaviour and complement the VAR limit structure.
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Detailed Control Limits Framework
There are several Detailed Control Limits which further constrain risk levels in different books. Some examples applicable to specific portfolios:
Open Position Limits
Open position limits are used to limit the outright currency risk position for the Spot FX trading business.
Delta-Gamma Limits
Delta-Gamma limits are P/L sensitivity limits which specify the maximum loss an options book is permitted to sustain for specified movements in underlying rates. Importantly, these limits pick up the non-linearity or convexity risk ( Gamma) inherent in open option positions.
Vega Limits
Vega limits specify the maximum loss an options book can sustain for a 1% shift in the underlying implied volatility rate - a key input into option pricing e. g. from 12% to 13% .
Interest Rate Delta Limits
IR Delta limits are used to limit the interest rate risk position for each maturity bucket, for each currency portfolio. The interest rate delta is the dollar sensitivity of a portfolio to a one basis point shift in interest rates.
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Credit Risk
Volatility in specific provisions generally driven by large single name losses
Specific Provisions
Significant
impact from
single customers
[CHART]
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Larger loans require sound judgement, rating tools, and a dual approval process
Business
Unit |
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Group Risk |
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Relationship |
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Relationship |
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Independent |
Team |
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Credit Group |
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Risk Function |
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Has |
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responsibility |
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Prepares credit |
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Dual approval |
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Separate from |
for customer |
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submissions |
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process |
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relationship team |
relationship |
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Remuneration not |
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Financial Analysis |
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linked to deal flow |
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Credit |
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Credit scoring |
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decision |
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Experienced |
Customer pricing, |
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practitioners |
taking into |
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Rating agencies |
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account risk, |
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Largest deals |
capital allocation, |
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KMV |
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approved by CTC |
relationship costs |
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& Board RMC |
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Sound judgement |
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Deal Structuring & |
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Security/Covenants |
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Single customer |
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concentration limits |
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Portfolio Caps |
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Credit Training |
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Portfolio modelling |
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Ratings tools are increasingly powerful
ANZ customer credit rating ( CCR) must be at or below the equivalent rating from a ratings agency
KMV tool can be a useful early warning indicator. Policy in place now requires material movements in KMV rating be investigated and CCR signed off by credit chain
ANZs automated rating tool, aligned with Basel II, has been released internally via the Intranet to most Institutional and Middle Market points and is accompanied by strict, dual-approval policies
ANZ utilises industry- accepted rating and capital allocation methodologies ( Monte Carlo simulations) for its Structured Project lending book
Additional models for the Institutional Banking market are being refined.
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Single customer concentration limits are in place to cap single name exposures within the portfolio
Maximum Direct Credit Lending Limits for Individual Customers
[CHART]
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Portfolio caps also help drive diversification
% of ANZ Group Lending Assets
(Australia and New Zealand)
[CHART]
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Credit Policies & Scorecards: the key risk management tools in retail lending
Write-offs in the personal loan portfolio
[CHART]
Scorecard rebuilt to target 3.5% loss rate
Retail risk capabilities enhanced
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Key challenge: achieving the appropriate risk-vs-return trade-off
Scorecards aim to achieve an appropriate risk/ return trade- off
[CHART]
Ratio of good customers to bad customers
[CHART]
At a score of 600, expect 150 good customers for each bad customer
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Low exposure to Inner City residential mortgage lending
Total Lending for inner city property at 3.9% of Australian Mortgages portfolio, with 2.2% for investment purposes. Tight policies to control emerging risks include:
valuations required on all new properties
rental income allowable in debt servicing calculation 60%
non- inclusion of negative gearing benefit in serviceability calculation for first time investors
inner city is broadly defined, and extends well beyond CBD
Exposure to Melbourne Docklands area ~ 0.07% of the Australian mortgages portfolio, or < 2% of the inner city lending portfolio
Delinquencies
only 16 inner- city customers nationally with arrears > 90 days
no delinquencies in the Docklands and Southbank books
Mortgages Portfolio
[CHART]
Location of Inner City Lending
[CHART]
22
Operational Risk
The Oldest Risks?
Fraud
Earthquakes, storms and fires
Hijacking
Sick buildings
Regulatory breaches
Pandemics
Professional negligence
System failures
Project failure
Fines
Human error
War, political & civil unrest
Litigation
Harm to staff
Model failure
Failure of service providers
Resulting in:
direct loss
expense
distraction
indirect loss
reputation
opportunity
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More diverse & complex banking activities
Deregulation & globalisation of financial services
Growing sophistication of financial technology
Activities of Banks ( & their risk profiles) more diverse & complex
Recent experience makes it clear that risks other than credit and market risks can be substantial:
Barings
Enron
9/11
Allfirst (Allied Irish)
Life insurance & pension mis-selling in UK
Spitzer issues - Underwriting/research conflicts + Mutual fund scandals (etc)
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We are now seeing greater focus on Operational Risk by financial services providers, government & others
Financial Services ( Banks, Insurance Companies, Fund Managers)
Specialist Operational Risk functions
Framework, policy, measurement and monitoring
Capital allocation for operational risk now happening
Loss, event and near - miss data collection & analysis
Extensive, what if scenario analysis
Business continuity testing and crisis management training
Executive and Board Risk Committees
Government
Consumer protection
Corporate Governance
Basel II
Sarbanes Oxley
Standards & Guidelines
Others
Sustainability
Reputation indices
Rating Agencies
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Key Elements of an Effective Operational Risk Framework
Once Operational Risk is defined within the organisation, what are the other key elements the need to be designed and implemented?
Governance Structure
Operational Risk Identification & Assessment methodology/process
Operational Risk Measurement methodology
Policies, procedures and processes for mitigating and controlling Operational Risks
Process for the timely capture, analysis/monitoring and reporting of Operational Risks to key decision points within the organisation
These elements can be shown graphically as follows:
Defining Operational Risk
Governance
Methodology Measurement
Policy
Loss Data, Monitoring & Reporting
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Operational Risk Categories
A set of common operational risk categories have been adopted by ANZ, which further define what operational risk means in ANZ. These risk categories are represented below:
Internal Operational Risks
These risks arise in execution of business strategy and should be controlled by management
Process & Policy failure
Personnel failure
Regulatory & Statutory compliance failure
Project failure
Failure of IT
Modelling Errors
Both Internal & External Operational Risks
Failure of Financial Infrastructure
Fraud
Theft & Crime
Damage to Premises & Environment
External Operational Risks
These risks arise as a result of external environmental factors
Action by Govt & Regulators
Failure of suppliers / outsourcers
Commercial & Legal disputes
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Central Operational Risk Management Structure
Chief Executive Officer
Chief Risk Officer
BU Managing Directors
Business Unit Risk Heads
Operational Risk
Fraud Risk and Investigations
Business Continuity & Crisis Mgt
Operational Risk Measurement & Policy
Payments Risk
Operational Risk Identification & Insurance
Technology Risk
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Impact of Basel II
Regulatory Capital for Operational Risk:
Basel I (1988)
zero
Basel II (2007 onwards)
substantial!
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The Big Controversy!
How much capital should be held for Operational Risk?
~20%? (Basel CP2, January 2001)
~12%? (Basel CP3, April 2003)
(Other?)
* The magnitude of this shift illustrates the difficulty of the measurement challenge!
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The Difficulty of Measurement
In recent years, we have seen the first serious attempts to measure operational risk really the birth of a new discipline
The industry has made great progress, but difficult questions remain:
1. What are the principal determinants of the level of Operational Risk?
2. What are the key differences between Operational, Credit and Market Risks? Which statistical methods used to measure Credit and Market Risk are applicable to Operational Risk?
3. When is historical loss experience a reliable guide to Operational Risk in the future? More generally, how can Operational Risk measures be made forward-looking?
4. What is the role of historical information, including loss data?
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The industry has made great progress, but difficult questions remain:
5. When is external information (including loss data) relevant? How should it be used?
6. How should specific operational scenarios be incorporated in the measurement of Operational Risk?
7. What about Key Risk Indicators?
8. How can we incorporate an assessment of the quality of operational processes and internal controls into the Op. Risk measurement process? How important is this?
9. What is the role of Senior Executive judgment in the Operational Risk measurement process? Where is the right balance between quantitative and qualitative factors?
10. How can unexpected loss and capital be measured?
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Approaches to Measuring Operational Risk
Although 1,000 flowers are blooming, there are 3 principal methods in use in banks today:
Loss Distribution Approach (statistical)
Scorecard or Risk Drivers and Controls Approaches (more qualitative)
Scenario-driven methods
Regardless of which method is chosen, to qualify for AMA accreditation under Basel II, a bank must clearly specify how its method makes use of:
Internal data
External data
Quality control assessments
Scenarios
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ANZs Operational Risk Measurement Objectives (1999)
To develop an operational risk measurement methodology which:
Directly connects risk measurement with the operational risk management process;
Provides increased understanding and transparency of operational risk exposures;
Provides a road map for reducing risk; and
Provides transparent incentives for banks to invest in internal controls.
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Risk Drivers and Controls Approaches
A Scorecard methodology refers to a class of diverse approaches to operational risk measurement and capital determination, which all have at their core an assessment of specific operational risk drivers and controls.
These can also be called Risk Drivers and Controls Approaches, or RDCAs.
Such approaches are effectively expert systems, which assess:
the level of a banks exposure to specified drivers of risk, and
the scope and quality of a banks internal control environment, key operational processes and risk mitigants,
and directly link these assessments to risk capital.
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Key Features of RDCAs
A measurement framework designed to focus on the principal drivers and controls surrounding operational risks
A series of weighted, risk-based questions by risk type or category
Reflects the organizations unique operational risk profile by:
Devising organization-specific questions
Calibrating responses to establish a range from leading practice to ineffective
Applying customized question weightings and response scores aligned with the relative importance of individual risks
The specific risk categories, customized suite of questions, weightings and scored response options provide business managers with transparent priorities for risk management improvements
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Key Benefits of RDCAs
Business Line Involvement
RDCAs leverage the collective operational risk knowledge of the organization
Business line involvement underpins their ownership of the results.
Forward-looking
RDCAs attract capital when vulnerabilities & weaknesses are identified
RDCAs provide an objective evaluation of the level of each business units risk drivers and further serves as an effective proxy for future risk.
Behavioural Incentives for Improved Risk Management
Maximized if a direct linkage between capital charges and management performance is established:
E.g. Employ economic capital for operational risk within a RAROC or Economic Value Added (EVA) model, and use RAROC/EVA as the basis for:
risk-adjusted performance measurement and compensation
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Transparency
All risk assessments are explicit and transparent, especially to line managers, and are regularly subjected to managerial, audit and/or supervisory interrogation
The linkage to capital is formula-driven, transparent and risk sensitive, reflecting risk profile changes.
Responsive to change
Responsive to changes in the risk profile resulting from changes to the business mix or new operational risks
Before losses are experienced (e.g. Information Technology Security risks)
Fully Integrated into the Operational Risk Management Process
RDCA methodologies are fully aligned with the organizations operational risk management framework, thus directly linking the measurement and management of operational risk.
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Operational Risk Capital & Performance
...and one of the things I think that really does matter to this is the earlier introduction of EVA at the transactional and the customer level, means that we have a self-correcting mechanism that is in fact ensuring that risk comes down over time, without it being necessarily driven from the centre.
And in fact the fact we are one of the few banks in the world that allocate capital to Operational Risk in our EVA model, is also a leading edge indicator, which means that Operational Risks also get managed in the same way ...
And we think thats a very important device because it means that an individual decision that leads to a negative EVA does not get done.
John McFarlane, CEO, ANZ Banking Group (25 October 2001)
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We have also implemented a specialised framework for project risk management
PIRC |
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Group Project Centre of |
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Technology Risk |
Excellence (GPCE) |
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Management (TRM) |
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Project Management QA |
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Technology Risks in the project |
Financial QA |
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(not Project Management Risks) |
Is it still sensible to |
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Risk Management consulting |
continue with this project? |
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to the project |
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Simplifying and strengthening Compliance: a holistic approach
Strengthening compliance oversight has been identified as a key component to achieving operational excellence.
Previous model focussed on legal/regulatory compliance
Risk that cannot be controlled by compliance (eg strategic risk, pure credit and market risk)
New model extends compliance to address:
financial & prudential control
credit, market & other operational control requirements for core processes
Stronger consequence management for non-compliance breaches
[GRAPHIC]
42
Strategy & Business Risk
Strategy and Business Risks important risk dimensions
Credit, Market and Operational Risks are now documented
Strategy and business risk is now at the forefront of risk management capability
Business Risk is the risk that value will be lost through the selection of specific business directions or through changes to the Groups overall business model.
Business Risk
Losing money Wrong Strategy
Credit Risk
Customer fails to pay
Market Risk
Change in Market Prices
Operational Risk
Inadequate or failed internal processes, people and systems or from external events
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Strategy and Business Risks: a differentiator for ANZ
Group Chief Risk Officer is accountable to the Board for oversight of risk in the integration.
Accountability includes the development of a framework that assigns accountability for the management of integration risks.
Day-to-day management of integration risks is undertaken at a local level.
Integration Risks
Integration of ANZ and NBNZ
ANZ GROUP
BSI (1) |
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ANZ NZ |
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NBNZ |
ANZ National Bank
(1) BSI = Business Systems Integration
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Strategy Engagement
Group Risk Management is formally involved in all strategic initiatives
A substantial part of the banks risk profile is determined by its strategy and growth initiatives
Best practice risk management involves an independent group providing input into strategy development and key investment decisions, ensuring that all the risks are transparently reflected and properly understood at key decision levels
At ANZ Group Risk Management is actively involved in key strategy developments and major investment decisions
Specific engagements over the last 6 months have included:
Decision to acquire NBNZ
Establishment of a strategic alliance with the Shanghai Rural Credit Cooperatives Union
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Capital Allocation, Risk-Adjusted Pricing, and Basel II
Economic Capital: Conceptual Framework
Conceptual Framework:
Risk models employed to quantify economic risk are used to allocate economic capital - the amount of capital needed to support a banks risk taking activities
Credit risk capital allocation systems typically based on institutional estimates of their credit loss distribution
Economic capital allocated to a particular activity reflects that activitys marginal risk contribution to the portfolio taking into account diversification
Applications:
Measure risk adjusted profitability and ensure efficient usage of shareholder funds
Portfolio risk management in the setting of limits & reporting of portfolio credit quality
Probability of loss
[CHART]
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Risk adjusted EVA based pricing methodology makes the risk/return trade-off explicit to relationship managers
Illustrative example
Component |
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Example |
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Cost of Funds |
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6.00 |
% |
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Loan Loss Provision |
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0.53 |
% |
Direct Expense* |
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0.15 |
% |
Indirect Expense* |
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0.15 |
% |
Overhead* |
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0.10 |
% |
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Total charges before capital charge |
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6.93 |
% |
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Capital Charge |
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0.34 |
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Total Required Loan Rate |
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7.27 |
% |
Source
Funds Transfer Pricing Systems
Credit Risk Models
Product Cost Accounting Systems
Capital calculation
Allocated equity/loan = 6.7%
Opportunity cost of equity = 11%
(hurdle rate)
FTP Benefit = 6%
After tax capital charge = 0.067x (0.11 - 0.06) = 0.3%
Tax Rate (imputation-adjusted) = 0.108
Pre-tax capital charge = 0.3%/0.892 = 0.34%
* includes fixed and variable components
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ANZs Basel II Programme
ANZ formally established its Basel II Programme in December 2001.
Our objective is compliance with the Advanced IRB approach for Credit Risk and the AMA approach for Operational Risk.
The Programme has, at its core, a central programme office, with multiple core projects and workstreams.
The senior executive Steering Committee meets monthly to review status, and consists of senior business unit representatives and senior central function executives (e.g Risk, Finance and Technology), including several members of the Management Board.
The evaluation phase was completed in 2003 and an independent Quality Assurance check by PwC placed ANZ in the top tier of Banks aspiring to be accredited at the more advanced levels within the new Basel Accord.
The design and implementation phase of the programme is well underway with some key phases of the programme now nearing completion.
Regular meetings are conducted with APRA to present programme progress and specific developments in the programme workstreams.
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Basel II benefits
QIS 3 - the first comprehensive survey of likely Basel II effects on Pillar 1 capital forecasts large regulatory capital reductions for ANZ and other Australian banks.
While based on Sept 02 data and CP2 capital formulae, it is directionally in line with what could be expected from the raw calculation of the minimum 8% capital requirement under Basel II.
Nonetheless, ANZ is not expecting such drastic falls in regulatory capital to be permitted. Capital for Pillar 2 and potentially other add-ons will be required. However, we do expect a moderate fall in regulatory capital to flow (eventually).
Principal benefits will flow from improved risk measurement and management infrastructure, further improvements to rating tools and other quantitative loss modelling, an enhanced corporate collateral management system, and improved data collection and integration.
Change in RWA under Basel II(1) QIS 3 results
[CHART]
ANZ Regulatory Capital under Basel II
by key asset class
(calculated at 8% of risk weighted assets)
[CHART]
Note:
(1). The reduction in RWAs using Advanced IRB outcomes (excluding operational risk) when compared with current accord capital requirements can be used as an indicator of the relative riskiness of a banks assets.
(2). RWA calculations were performed using the capital functions used in QIS 3 These are slightly different compared to the final Accord, but provide a reasonable guide.
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We have transformed ANZ into a more sustainable, lower risk business
Reduction in risk and |
|
Has significantly |
|
And has not had a |
[CHART]
* Standard deviation in six monthly NPAT growth for ANZ, excluding abnormal/significant items
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Supplementary info
US power exposures continue to reduce, although lagged credit effects continue to affect the portfolio
Total US Limits(1)
[CHART]
US: March 2004
Outstandings: $0.6bn (70%)
Other Committed: $0.2bn (25%)
Uncommitted: $0.1bn (5%)
Customers
Investment Grade: 10
Non Accrual: 4
Total: 19
We continue to actively manage our exposure to the US Energy sector.
Over the past 18 months, exposure to the merchant energy sector and other non-core segments has reduced substantially through repayments, sell-downs and restructuring.
Whilst Non Accrual Loans have increased in the US portfolio as a result of the lagged credit effect, prudent management has resulted in a lower level of expected losses from the portfolio. Any further losses can be readily absorbed within existing ELP levels.
(1). Excludes Settlement Limits but includes Contingent and Market-Related products domiciled in the US.
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The quality of the Telcos book continues to improve
Total Telcos Limits(1)
[CHART]
March 2004
Outstandings: $0.6bn (70%)
Other Committed: $0.2bn (25%)
Uncommitted: $0.1bn (5%)
KMV Median Expected Default Frequency
[CHART]
Note:
(1). Excludes Settlement Limits but includes Contingent and Market-Related products.
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Proactive reduction in volume of Top 10 client committed exposures
Implementation of credit management policies to diversify the loan book exposure, has resulted in reducing the client concentration risk, despite the inclusion of NBNZ exposures. This has been achieved through reducing the volume of Top 10 client committed lending.
Sustained management of client exposures has reduced the sensitivity of the capital base of Top 10 clients (to 68% of ACE in March 2004 from 75% of ACE September 2003).
S & P
Rating
Top 10 Committed Exposures
[CHART]
Top 10 Lending Exposures as % of ACE(1)
[CHART]
Note:
(1). March 2004 derivative exposures were calculated using a Monte Carlo model to calculate ANZs potential credit loss. The impact in moving to this methodology reduced the above ratio by 4.4 percentage points in comparison to ANZs previous methodology.
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Quality of Consumer & SME portfolios again better than expected
Mortgage delinquencies (60 days) improved over the half
Delinquency for customers new to SME since September 2002 is in line with delinquency on legacy SME portfolio
Strong economic conditions and prudent credit practices have continued to see our Retail delinquency and loss rates remain very low
Delinquencies down on March 03
[CHART]
Delinquency for Mortgage products have flattened over the half
delinquencies on RILs and Broker introduced loans have remained in line with the wider portfolio
Australias low unemployment rate should continue to help maintain the quality of the portfolio
Mortgage delinquencies remain low across each category
[CHART]
TPMI third party mortgage introducers
*Excludes NBNZ
O/O owner occupied
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The material in this presentation is general background information about the Banks activities current at the date of the presentation. It is information given in summary form and does not purport to be complete. It is not intended to be relied upon as advice to investors or potential investors and does not take into account the investment objectives, financial situation or needs of any particular investor. These should be considered, with or without professional advice when deciding if an investment is appropriate.
For further information visit
www.anz.com
or contact
Simon
Fraser
Head of Investor Relations
ph: (613) 9273 4185 fax: (613) 9273 4091 e-mail: simon.fraser@anz.com
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