The Supervisory Capital Assistance Program-Part IX
This is the ninth in a series of articles on the SCAP.
Loss Projections(contd): The BHCs were required to make loan loss projections for the years 2009 and 2010, for the 12 categories of loans as discussed earlier. In this regard, the firms were instructed to make their estimates on the basis of their defaults in payment obligations, or cash flow losses, and not on the basis of losses incurred in relation to mark to market values.
The supervisors also provided the firms with a range of indicative 2 year cumulative loss rates for the prescribed 12 categories of loans, in both the scenarios-the baseline and the more adverse. The firms were, however, permitted to deviate from the laid down loan loss rate ranges, provided they could justify it with proper evidence and their own track record. Where the estimates of the firms fell below the range minimum, the firms were obliged to back up their estimates with appropriate data.
As far as the loan loss rate ranges are concerned, they were arrived at using a variety of statistical tools, quantitative models, and historical data from the firms in relation to individual loans as well as groups of loans to macroeconomic variables. The importance given to the individual loans is on account of the fact, that certain categories of loans, like housing loans, had resulted in huge losses to the firms having exposure to them.
The above projections to be made by the firms were pegged to the loans and securities balances outstanding as on December 31st, 2008, and reported by the firms in their FR Y-9C reports. Suitable adjustments were to be made for any significant mergers, acquisitions, or divestitures made by the firms. Another item that the firms were to include in their loss projections, was against loans availed out of unused credit limits, and securitized assets that could be reverted to the Balance Sheet under adverse market conditions.
In case of securities held in the available-for-sale and held-to-maturity portfolios, the firms were asked to project possible slide in the values, relative to net unrealized losses, at end of 2008, as reported by them under the relevant filing. That apart, the firms were obliged to consider possible losses from other potential troublesome areas.
BHCs with trading account assets in excess of USD 100.00 billion as of December 31st, 2008 were required to provide projections of trading related losses for the more adverse scenario. This included losses from counter party credit risk exposures, and potential counter party defaults. In addition, where the BHCs had made credit valuation adjustments against exposures to counter parties, who they considered potential candidates for default, provisions had to be made accordingly.
As a matter of fact, the 19 firms had conducted a stress test in February 2009, to project these losses and were required to submit details of the same as to the inputs that had gone into the tests. It would appear from the above that, the supervisors were extra cautious, presumably, to ensure there were no slip ups from their side.
The Supervisory Capital Assistance Program-Part VIII
May 30, 2009 by Muhammad Haidar
Filed under Banking, Business, Economics, Finance, Investing, Liquidity, Loans, Muhammad Haidar
Losses and their absorption: Under the SCAP, the nineteen BHCs were asked to submit their projections of expected losses, and the resources to absorb these losses, for the two year period of 2009 and 2010. The BHCs were also expected to have the financial capacity to absorb the losses likely to be incurred in 2011. The details of these projections are discussed below.
Loss Projections: The nineteen BHCs that were required to participate in the SCAP exercise, were asked to submit estimated losses on loans, securities, and trading related exposures. That apart, potential losses from off Balance Sheet exposures were also to be projected. These projections pertained to the period of 2009 and 2010. And these projections were to be submitted for the two scenarios, the baseline and the more adverse one.
The BHCs were asked to report projected losses on loans under twelve seperate categories namely Prime, Alternative A-paper, and Subprime mortgages under the First Lien Mortgages, Closed end junior liens and HELOCs or Home Equity Line of Credit under the Junior lien mortgages, Commercial and Industrial loans, Commercial Real Estate loans, Construction, Multi Family, and Non farm, non residential loans, Credit Cards, Other consumer loans, and Other loans.
The firms were also asked to submit projections for loans and securities held in the available-for-sale, and held-to-maturity portfolios, and in case of firms with trading assets exceeding USD 100.00 billion, for positions held in the trading account.
In addition, the firms were also asked to make necessary changes in their Balance Sheets for the value of the assets in conformity with a situation where their borrowers would utilize unused credit limits, and other assets/exposures being taken back on the Balance Sheet on account of stressful economic conditions, as also on account of pending accounting changes.
The above selection of the categories of loans corresponds to the regulatory requirements in regard to periodic filings to be made by the BHCs. That is, in the normal course, the BHCs would be submitting several statements, returns, or filings under regulatory provisions. So also, under the SCAP, the same kind of submissions were required to be filed.
However, the difference between the regular filings and those required at this point of time is the emphasis placed on the qualiy of data and other information relating to the sub-categories of the loans. The idea behind this is to know the exact composition of the various parts forming the bigger picture.
The supervisors wanted to be sure that there were no internal contradictions and conflicting positions within each portfolio, and that the overall picture was composed of compatible positions. As a matter of fact, the firms were required to submit relevant data not relating to the above twelve categories also, just to make sure that no data or information of material importance was missed out.
The concern of the supervisors was to ensure that the projections made by the BHCs for losses and their capacity to absorb the losses, was based on realistic and consistent assumptions, which would enable them to come to the proper conclusions about the capital required by each of the BHCs.
To be concluded.
Acknowledgement: Adapted from the official document of the Board of Governors of the Federal Reserve System.
The Supervisory Capital Assistance Program-Part VII
May 29, 2009 by Muhammad Haidar
Filed under Banking, Business, Economics, Finance, Investing, Liquidity, Loans, Muhammad Haidar
Macroeconomic scenarios for SCAP(contd): As we have seen the supervisors in charge of implementing the SCAP, drew up two scenarios, to arrive at the required level of capital for the nineteen BHCs. The baseline scenario represented the common view of those conncected with the exercise, about how severe the economic downturn would be, and for how long it would last. There was a consensus on this issue.
The second scenario envisaged more severe economic conditions, with correspondingly more serious consequences, and also lasting for a much longer duration than expected. Even though the economic recession under the second scenario was expected to be more severe and last longer, the supervisors, however, did not assume it to be the worst case scenario. They intended the scenarios for the stress tests to be quite severe, but also realistic, and not unduly devastating.
In arriving at the above, they relied upon data from private forecasters, especially the Blue Chip forecasts over a long period of time, since the 1970s. From these forecasts, it could be known that the possibility of average unemployment rate in 2010 being as high as in the second more adverse scenario was about 10%. Other forecasts revealed that there was a 15% chance of real GDP growth being as low and unemployment as high as assumed in the more adverse scenario.
In the matter of the underlying assumptions in respect of house prices, under the baseline economic scenario, the supervisors relied upon the Case-Shiller 10 city composite index, and the Blue Chip survey. In case of the more adverse scenario, house prices were projected at about 10% lower at end of 2010, compared to the baseline scenario.
The SCAP supervisors made the following projections, under the baseline and the more adverse scenarios, with regard to the important factors determining the economic situation:
- As per the baseline scenario, the real GDP growth is expected to be -2.0 in 2009, and 2.10 in 2010; the civilian unemployment rate is expected to be 8.4 in 2009, and 8.8 in 2010; and the house prices at -14 for 2009, and -4.0 for 2010.
- As per the more adverse scenario, the real GDP growth is expected to be -3.3 in 2009, and 0.5 in 2010; the civilian unemployment rate is expected to be 8.9 in 2009, and 10.3 in 2010; and house prices at -22.0 in 2009, and -7.0 for 2010.
- As per the Consensus Forecasts, the real GDP growth is expected to be -2.1 in 2009, and 2.0 for 2010; and the civilian unemployment rate is expected to be 8.4 in 2009, and 9.0 for 2010. As per the Blue Chip Survey, the real GDP growth is expected to be -1.9 in 2009, and 2.1 for 2010; and civilian unemployment rate at 8.3 in 2009, and 8.7 for 2010. And as per the Survey of professional forecasters, the real GDP growth is expected to be -2.0 in 2009, and 202 for 2010; and the civilian unemployment rate at 8.4 in 2009, and 8.8 for 2010.
From the above it is clear that, whereas the baseline scenario figures are an average of the other forecasters, the more adverse scenario figures are much hjigher on the negative side. And even these figures are not considered to be the worst case scenario figures.
This then is the broad outline of the macroeconomic scenarios under which the SCAP exercise was undertaken.
To be concluded.
Acknowledgement: Adapted from the official document of the Board of Governors of the Federal Reserve System.
The Supervisory Capital Assistance Program-Part VI
May 28, 2009 by Muhammad Haidar
Filed under Banking, Business, Economics, Finance, Investing, Liquidity, Loans, Muhammad Haidar
This is the sixth in a series of articles on the SCAP.
Macroeconomic Scenarios for SCAP: When the supervisors originated the SCAP, they had to consider its implementation with a particular background in mind. This background or scenario had to have all the components of the actual economic environment.
As the current economic situation is a result of the developments over a period of time, the historical perspective also had to be factored into the calculations. Apart from this, the supervisors had to contend with the issue of forecasting a future scenario, on the basis of the past developments.
As the current situation does not offer an encouraging prognosis, the supervisors settled upon a worse-than-the-present future scenario. In this scenario, dubbed as the more adverse scenario, the supervisors foresaw a further deterioration in the economic situation, and the persistence of such a situation, for some time to come.
The supervisors, thus, provided two scenarios to the participating firms, to submit their projections or forecasts of the losses expected to be suffered by them, and the sources of funds and the adequacy of the same, to absorb the losses thus identified. It would appear that the supervisors erred on the side of caution, in hypothesizing the second scenario.
The BHCs were advised to align their assumptions in their forecasts with those behind the two scenarios presented to them, and to ensure that their specific business activities were studied against these assumptions, before making the forecasts.
The idea behind it was to make the forecasting of the firms as accurate as possible, to enable the right decisions to emerge from the exercise. For instance, as housing loans were a major source of bad loans for the BHCs in the recent past, they were advised to factor these loans in their calculations of projected loan losses. It was also felt that projections thus made under the two macroeconomic scenarios would reveal the sensitivity of the firms to various changes taking place in the economic conditions.
In arriving at the assumptions for real GDP growth and unemployment rates for the years 2009 and 2010, the SCAP teams relied on the average of projections made for these items by the Consensus Forecasts, the Blue Chip Survey, and the Survey of Professional Forecasters. The Consesus Forecasts are carried out by Consensus Economics, a macroeconomic survey firm. This forecast is the arithmetic average of all the individual predictions, collected for a sinle economic indicator, in a monthly survey. The Blue Chip Survey is conducted by Aspen Publishers, who are said to have considerable expertise in conducting surveys in economics and interest rates. And finally, the Survey of Professional Forecasters is run by the Federal Reserve Bank of Philadelphia, and is one of the oldest quarterly surveys of macroeconomic forecasts in the United States.
The SCAP supervisors have reposed faith in the value and relevance of the forecasts of the above organizations, to arrive at a fair assumption for real GDP growth and unemployment rates for the years 2009 and 2010.
To be concluded.
Acknowledgement: Adapted from the official document of the Board of Governors of the Federal Reserve System.
The Supervisory Capital Assistance Program-Part V
May 27, 2009 by Muhammad Haidar
Filed under Banking, Business, Economics, Finance, Investing, Liquidity, Loans, Muhammad Haidar
This is the fifth in a series of articles on the SCAP.
Outline of the SCAP exercise(contd): The nineteen BHCs included in the exercise were instructed to submit data related to their projected losses and the resources at their disposal to absorb such losses.
In order to analyze and assess the above data submitted , and to arrive at a fair judgement about its accuracy, relevance, and application, the SCAP set up teams of supervisors and analysts drawn from each of the agencies involved in the exercise. These supervisors and analysts brought with them, expertise in a specific area like a particular asset class, for example, housing loans, or revenues, reserves, capital, etc. Some members of the team had special knowledge of the participating BHCs, presumably on account of their past dealings with such firms.
To start with, the firms’ submissions regarding particular classes of assets, revenues, reserves, etc., were thoroughly examined and evaluated, and where necessary, additional data and information was obtained. The firms were asked to support their estimates, including the risk characteristics of their portfolios, with suitable reference material.
The supervisors also examined the methodology adopted by the firms in arriving at the estimates and assumptions. Individual firms were subjected to tests and analyses about their risk management practices, underwriting practices, etc.
The supervisory teams, then proceeded to make a across-firm comparative analysis, to make doubly sure that the assessments, and estimates arrived at by the firms, were consistent with each other, as well as fitted in with the framework of the exercise undertaken.
The supervisors adopted a two-pronged strategy. One, to apply independent quantitative methods using firm-specific data to estimate the losses and the resources available to abosrob such losses. Second, to carry out a comparative analysis of all the firms’ estimates by applying consistent quantitative methods.
After carrying out the above analysis, the supervisory teams evaluated the amount of capital required by each firm at the end of 2010. The procedure adopted for this purpose was based on a post-purchase accountig basis, and considered taxes, including deffered tax assets and dividends on preferred stock.
The supervisors then examined the need for additional infusion of capital in the BHCs, based on the above exercise, and advised them accordingly. These firms were required to equip themselves to be in a sufficiently strong financial position to play their designated role as financial intermediaries.
As a result of the above exercise, the firms are expected to have sufficient buffer capital that can go on swallowing up the losses as they occur, and still be financially strong. In the event the economic situation recovers faster than expected, then it is possible that these firms would be left with a higher than required or justified level of capital. That would be a burden on the firms, and also affect their bottmline. Hence, under such circumstances, the firms would be allowed to reduce their capital.
To be concluded.
Acknowledgement: Adapted from the official document of the Board of Governors of the Federal Reserve System.
The Supervisory Capital Assistance Program-Part IV
May 26, 2009 by Muhammad Haidar
Filed under Banking, Business, Economics, Finance, Investing, Liquidity, Loans, Muhammad Haidar
This is the fourth in a series of articles on the SCAP.
In the previous articles, we had studied what is SCAP and its scope. In this, and the next article, we shall study the general description of the exercise, and the various steps proposed to be taken to complete this task.
Outlines of the SCAP exercise: As we are now aware, this exercise was caried out with reference to two broad macroeconomic scenarios. One was the baseline outlook, which was arrived at, through consensus, among the concerned authorities; and the second was the more adverse scenario that provided for a progessively worsening macroeconomic situation, for a more than expected period of time. The nineteen BHCs that paricipated in this exercise were asked to submit the following data for the exercise:
Estimated potential losses on loans, securities and, trading positions: The BHCs were advised to forecast potential losses on their loans, investments, and trading securities portfolios, including off balance sheet commitments like lines of credit, that are not yet accounted for in the Balance Sheet, and contingent liabilities, like guarantees, etc. This information and data was sought for the period of 2009 and 2010.
- The supervisory team provided the participating firms a common set of loan loss rate ranges, for specific loan categories like housing loans, etc under the two scenarios laid down for this purpose. Where the firms could prove their loan loss rate ranges to be more appropriate, they were allowed to keep the same. Apart from this, firms with trading assets of and over USD 100.00 billion were asked to forecast potential trading related market and counter party credt losses, based on a market scenario under sever stress, like the one witnessed in the latter half of 2008.
- Pre provision net revenue(PPNR), and Resources available from the Allowance for loan and lease losses(ALLL): After arriving at the figure for potential losses, the next step in the process, was to obtain a corresponding forecast of the funds or resources available to the firms, for ingesting these losses, as it were, under the same timeframe and the same macroeconomic scenarios, as applied to the first leg of the exercise. The resources considered necessary for the purpose of nullifying the losses as above, are: net interest income, fees, non interest income net of non credit related expenses, and reserves put in place for probable incurred losses as at the end of December 2008.
The amount arrived at by adding up all the aboe items listed at no 2 above, alongwith the existing capital, over and above the minimum regulatory limit, would be the amount avaialbe to the firms to absorb the estimated losses under the second scenario.
The purpose of the above exercise is to determine the magic figure, so to say, of the capital that a BHC would have to have, to weather the ongoing economic storm, as well as, to lap up the losses it might incur in the second, more adverse scenario, and after all this, to come out smiling to reassure its depositors and creditors, about its capacity to take good care of their interests.
To be concluded.
Acknowledgement: Adapted from the official document of the Board of Governors of the Federal Reserve System.
The Supervisory Capital Assistance Program-Part III
May 25, 2009 by Muhammad Haidar
Filed under Banking, Business, Economics, Finance, Investing, Liquidity, Loans, Muhammad Haidar
This is the third in a series of articles on the SCAP.
Scope of SCAP (contd): The supervisory authorities in charge of the SCAP, consider the program to be visionary in scope, even though its application is limited to a time period of two years, i.e., 2009 and 2010. The SCAP analysis aims to arive at as-accurate-as-possible figures for the loan loss reserves(amount necessary to cover estimated losses in the loan portfolio)expected to be held by the BHCs as at the end of 2010. And whether these amounts are sufficient to digest the losses expected in the year 2011, by these firms.
If the answer to the above question is ‘yes’, then it reflects the sufficiency of capital held by the concerned firm. And it’s ability to stand up to the challenges of the current economic downturn, as well as, a worse situation, in future. If however, the answer is ‘no’, then the concerned firm would be expected to take suitable steps to acquire and supplement its capital, especially the common equity portion, such that it attains the capability to sop up the losses expected upto the year 2011, and come out on top of the situation. Such capability on part of the firm, would afford the necessary protection to it’s depositors and creditors. The SCAP exercise determines the sufficiency of the loan loss reserves expected at the end of 2010 to ingest the expected losses in 2011, by the BHCs.
As for the time horizon chosen for the SCAP exercise, it addresses the risks that the firms are exposed to, with special reference to their loan exposures undertaken in the years 2006 and 2007, as the underwriting standards in those days were not upto the mark. In other words, the firms might have taken loan exposures that they should not have, and therefore, there is more likelihood of these exposures converting into losses, forcing them to make provisions for the same, further affecting their profitability.
The purpose of opting for the above time horizon is that, it offers a sort of middle ground between the baseline scenario for the macroeconomic situation, and the more adverse scenario of sustained economic downturn, followed by a upturn in the situation resulting in real growth of the GDP. Thus the supervisors believe this time period to be apt for the SCAP exercise.
Despite the elaborate mechanism put in place by the supervisory authorities to carry out the SCAP exercise, they do acknowledge certain shortcomings in it. For instance, it does not take into account the losses already taken by the firms on their various exposures between 2006 and 2008. It is also admitted that the losses are not calculated on a “lifetime” basis, that is, from the origin of the loan asset, till the end of it’s life cycle.
However, care has been taken to include the major or significant portion of such losses. These losses include charge offs(a write off that is no longer shown as a receivable in the books of accounts), and write downs(reduction in the book value of the asset to conform to its market value) on securities held in trading and investment accounts, and losses associated with the acquisition of failed financial institutions.
To sum up, the scope of the SCAP is quite comprehensive, and expected to bring forth a true picture of the capital requirements of the participating firms.
To be concluded.
Acknowledgement: Adapted from the official document of the Board of Governors of the Federal Reserve System.
The Supervisory Capital Assistance Program-Part II
May 24, 2009 by Muhammad Haidar
Filed under Banking, Business, Economics, Finance, Investing, Liquidity, Loans, Muhammad Haidar
This is the second in a series of articles on the SCAP.
Scope of SCAP: Under the auspices of the SCAP, American banking regulators obtained information and data from the nineteen participating BHCs (Bank Holding Companies), on the following aspects of their operations:
- Projection of losses likely to be incurred by the BHC in relation to it’s loan exposures, investments, and trading activities.
- The capacity of the BHC to ingest such losses.
The above information and the relative data, would enable the supervisors to determine how much capital would be required by the BHC to carry on its lending activities under a more than expected adverse macroeconomic environment.
Actually, the proposal of the supervisors in respect of the capital required by the BHCs, corresponds to the existing and normal requirements in force at present. However, in view of the ongoing economic downturn, and the possibility of the same becoming worse in the coming days, it is felt that BHCs must attain and maintain a capital level that would take care of their regular requirements, as well as meet unexpected losses. Here, the supervisors laid special emphasis on common equity, as distinguished from common stock. A respectable proportion of common equity would better serve the purpose of protecting the interests of the depositors and creditors, by absorbing the unexpected losses.
It was observed in the SCAP process, that the majority of the loans in the books of the firms were held to maturity, and hence subject to the application of the accrual accounting principles. This type of accounting takes into account, both cash, as well as, credit sales undertaken during a particular period. The loans subject to accrual accounting are held at amortized cost(that part of the value of the asset that is written off), net of an allowance for loan losses(excluding the amount of provision made for loan losses).
Further, in the accrual system, the loan portfolio being linked to it’s relative maturities, is valued in relation to repayments, that is , when repayment becomes doubtful, the value of the loan asset is reduced correspondingly. And, in case there is a possibility of market fluctuations adversely affecting the price of the loan asset, it’s value is again reduced correspondingly. Hence, the SCAP also adhered to this accounting system, in order to make this process, consistent with existing systems.
As pointed out earlier, the major portion of the BHCs’ loans were held to maturity, and not on mark to market basis. Under the mark to market basis of valuations, the loan assets would have to be valued in relation to market prices(the value of the loan assets to reflect the current market value, and not the book value). There is no unanimity on whether the losses suffered by the BHCs could be attributed to their adherence to this system of accounting, rather than the mark to market system.
On their part, the supervisors responsible for the SCAP, went along with the accounting system in vogue, to make the process consistent with the ground realities, and to obtain the best results possible, from this exercise.
To be concluded.
Acknowledgement: Adapted from the official document of the Board of Governors of the Federal Reserve System.
The Supervisory Capital Assistance Program-Part I
May 23, 2009 by Muhammad Haidar
Filed under Banking, Business, Economics, Finance, Investing, Liquidity, Loans, Muhammad Haidar
This is the first in a series of articles on the SCAP.
The Supervisory Capital Assistance Program, or the SCAP, is a joint program of the Board of Governors of the Federal Reserve System, The Federal Reserve Banks, the Federal Deposit Insurance Corporation, and the Office of the Comptroller of the Currency.
The above program was initiated in the month of February 2009 and continued through April 2009, to determine the amount of capital required by the 19 largest financial institutions, or the large Bank Holding Companies(BHCs) in the United States, that owned assets over USD 100.00 billion each. These institutions were selected for the special program in view of their critical importance to the American financial system, as they jointly hold two thirds of the assets, and one half of the loans in the U.S. banking system.
We shall study in detail, in a series of articles, starting with this, what is the SCAP, its aims, and its methodology, and expected results from its implementation.
As pointed out earlier, the SCAP seeks to determine the capital required by the BHCs. This level of capital is with reference to two issues:
- the capacity of the BHC to absorb losses, suffered by it, from it’s loans and investment portfolios, and trading activities.
- the ability of the BHC to continue lending in a worse than expected macro economic scenario, as it would in the normal course.
After absorbing these losses, the BHC must be in a position to continue lending as usual. That would be the ideal level f capital required by large BHCs in the current scenario.
On the issue of capital, the emphasis here is on the common equity. Common equity is part of the common stock of a company. The extent of the common equity helps in determining the financial stability of the company. A capital structure having a decent proportion of common equity would serve to protect the interests of the depositors and creditors of the BHC by absorbing unexpected losses.
In view of the low public confidence in the banking system, and the risk of further deterioration on account of the worsening economic situation, the supervisory authorities want the large BHCs to maintain capital at a level, that would not only meet their present requirements, but also help them tide over a longer period of economic downturn.
As discussed earlier, the common equity part of the capital would be given importance. In fact, this is in line with the extant guidelines on regulatory capital. The SCAP has been dovetailed with the normal supervisory processes, and procedures with particular reference to capital requirements of the BHCs. And these capital requirements are linked to two scenarios. One, the current scenario as it is, and second, a worse than expected future scenario that continues to persist for a longer than expected period, doing more damage than expected.
The longer the economic situation remains unstable, the higher the probability of losses likely to be suffered by the BHCs. The SCAP analyses the effect of such scenarios on the BHCs in order to determine the level of capital required by them, to absorb the losses arising from their lending and investment portfolios, and to continue lending as in normal times.
To be concluded.
Acknowledgement: Adapted from the official document of the Board of Governors of the Federal Reserve System.
G-20-Part II
May 22, 2009 by Muhammad Haidar
Filed under Banking, Business, Economics, Finance, Investing, Liquidity, Loans, Muhammad Haidar
This is the second and concluding part of the article, first published on 21st May.
The previous article dealt with the origin and purpose of the formation of the G-20. In this article, we shall examine the scope and extent of the mandate of the G-20, and how far it has been successful, in general, in playing this role.
Mandate: The G-20 is essentially, a informal forum for discussion, debate, and eventual resolution of issues relating to the global economy. To bring about international co-operation, especially between the developed and the developing economies, takes up a lot of time and effort of the G-20. A partnership between these two groups is not only ideal, but also essential for their survival in this inter-dependent world. The best evidence of this is perhaps, how the American economic crisis spread through a large part of the world, and caught other countries also in its trap.
The scope of the mandate of the G-20 can be guaged from the fact that, it’s member countries represent about two thirds of the world’s population. Further the G-20 member countries represent nearly 80% of world trade and 90% of the global gross national product. No doubt it enjoys considerable clout in matters related to the global economy and financial system.
Whether it is a matter relating to cross-border trade, or the management and the policies of international financial institutions, the G-20 plays an important and proactive role, to sort out the issues, to the satisfaction of all concerned. The G-20 has institutionalized the process of resolution mechanism through dialog between the developed and developing world, for mutual benefit.
Achievements of the G-20: The following are some of the major achievements of the G-20.
Promoting international co-operation: This is a definite highlight in the achievement list of the G-20. International co-operation in economic and financial matters sponsored and promoted by the G-20 is responsible for resolution of many a ticklish issue with global ramifications.
Promoting international fiscal standards: The G-20 can claim responsibility for promoting international standards with regard to fiscal policies, the misuse of the financial system, etc. It has brought about more transparency in the functioning of the international financial institutions, and made them more sensitive to the needs of the developing world. International financial institutions are now more aware of the sensitivities of the developing world.
Fighting money laundering: The G-20 has formulated specific standards against the practice of money laundering in association with other regulatory authorities. It has come out with guidelines in regard to tax havens, that encourage money laundering.
Fighting financing of terrorism: This is another area where the G-20 has made definite contributions.
These are some of the major achievements of the G-20. In the coming years, it is expected to play an even more proactive role in global economic and financial matters.
Concluded.

