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Basel III Endgame Blog Series

Published on:
June 25, 2024
By:

SIFMA B3E Blog SeriesPrudential regulation requires financial firms to control risks, hold adequate capital and liquidity, and have in place workable recovery and resolution plans.

Our regulatory regime must account for the vital role the capital markets play in providing credit and financing the real economy, particularly as regulators consider the implementation of elements of the Basel III capital proposal in 2022, including the Fundamental Review of the Trading Book (FRTB) and Credit Valuation Adjustment (CVA). Those rules must be implemented in a manner that does not overly penalize banks’ capital markets activities, which in turn could reduce liquidity in vital corporate and other funding markets, thereby hurting growth in the real economy.

SIFMA supports appropriate regulation of the capital markets and their participants by both market regulators, who have decades of experience in promulgating rules and supervising the marketplace, as well as prudential regulators. U.S. prudential rules generally impose significantly higher capital and liquidity costs on banking entities with significant capital markets operations. This has increased costs to financial firms and the economy as a whole and reduced market depth for a wide variety of corporations and other end-users, particularly during periods of economic stress.

This has also had another effect: transforming U.S. banking regulators into the most impactful supervisors of the capital markets superseding the oversight role traditionally played by the SEC and CFTC. This has created distortions in the capital and liquidity requirements between market and prudential regulators as well as lessened the efficiencies by increasing costs to end users. It is thus crucial to align and allow for mutual recognition of, to the extent possible, the capital and liquidity standards set out by the U.S. banking regulators and the market regulators.

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Prudential Regulation Blog Series

Understanding the Current Regulatory Capital Requirements Applicable to US Banks

Part I

How the Basel III “Endgame” Reforms Will Transform US Capital Requirements

Part II

Identifying an Optimal Level of Capital and Evaluating the Impact of Higher Bank Capital Requirements on US Capital Markets

Part III

Explaining the Overlap Between the FRTB and the Global Market Shock

Part IV

The Basel III Endgame’s Potential Impacts on Commercial End-Users

Part V

Understanding the Proposed Changes to the US Capital Framework

Part VI

The Federal Reserve Should Revise the US GSIB Surcharge Methodology to Reflect Real Risks and Support the Economy

Part VII

A Rejoinder on the Need for Trading Book Capital Increases

Part VIII

The Federal Reserve Should Remove “Gold-Plating” in the Basel 3 Endgame

Part IX

How the Basel III Endgame Could Impair Securitization Markets and Harm US Businesses and Consumers

Part X

Revisiting US Treasury Market Capacity and Resiliency: Part I

Part XI

Revisiting US Treasury Market Capacity and Resiliency: Part II

Part XII

Why the Federal Reserve Should Pay Particular Attention to Banks’ Capital Markets Activities When Deliberating Revisions to the Basel 3 Endgame Proposal

Part XIII

How the US GSIB Surcharge and Basel III Endgame Proposals Would Adversely Impact ETF Markets

Part XIV

Our Take on PwC’s Assessment of the US Basel III Endgame Proposal

Part XV

Details

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