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Document 52012SC0420
COMMISSION STAFF WORKING DOCUMENT Completing the Scoreboard for the Macroeconomic Imbalance Procedure: Financial Sector Indicator Accompanying the document REPORT FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT, THE COUNCIL, THE EUROPEAN CENTRAL BANK, THE EUROPEAN ECONOMIC AND SOCIAL COMMITTEE, THE COMMITTEE OF THE REGIONS AND THE EUROPEAN INVESTMENT BANK on the Alert Mechanism Report 2013, prepared in accordance with Articles 3 and 4 of the Regulation on the prevention and correction of macro-economic imbalances
COMMISSION STAFF WORKING DOCUMENT Completing the Scoreboard for the Macroeconomic Imbalance Procedure: Financial Sector Indicator Accompanying the document REPORT FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT, THE COUNCIL, THE EUROPEAN CENTRAL BANK, THE EUROPEAN ECONOMIC AND SOCIAL COMMITTEE, THE COMMITTEE OF THE REGIONS AND THE EUROPEAN INVESTMENT BANK on the Alert Mechanism Report 2013, prepared in accordance with Articles 3 and 4 of the Regulation on the prevention and correction of macro-economic imbalances
COMMISSION STAFF WORKING DOCUMENT Completing the Scoreboard for the Macroeconomic Imbalance Procedure: Financial Sector Indicator Accompanying the document REPORT FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT, THE COUNCIL, THE EUROPEAN CENTRAL BANK, THE EUROPEAN ECONOMIC AND SOCIAL COMMITTEE, THE COMMITTEE OF THE REGIONS AND THE EUROPEAN INVESTMENT BANK on the Alert Mechanism Report 2013, prepared in accordance with Articles 3 and 4 of the Regulation on the prevention and correction of macro-economic imbalances
/* SWD/2012/0420 final */
COMMISSION STAFF WORKING DOCUMENT Completing the Scoreboard for the Macroeconomic Imbalance Procedure: Financial Sector Indicator Accompanying the document REPORT FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT, THE COUNCIL, THE EUROPEAN CENTRAL BANK, THE EUROPEAN ECONOMIC AND SOCIAL COMMITTEE, THE COMMITTEE OF THE REGIONS AND THE EUROPEAN INVESTMENT BANK on the Alert Mechanism Report 2013, prepared in accordance with Articles 3 and 4 of the Regulation on the prevention and correction of macro-economic imbalances /* SWD/2012/0420 final */
COMMISSION STAFF WORKING DOCUMENT Completing the Scoreboard for the
Macroeconomic Imbalance Procedure:
Financial Sector Indicator Accompanying the document REPORT FROM THE COMMISSION TO THE
EUROPEAN PARLIAMENT, THE COUNCIL, THE EUROPEAN CENTRAL BANK, THE EUROPEAN
ECONOMIC AND SOCIAL COMMITTEE, THE COMMITTEE OF THE REGIONS AND THE EUROPEAN
INVESTMENT BANK on the Alert Mechanism Report
2013,
prepared in accordance with Articles 3 and 4 of the Regulation on the
prevention and correction of macro-economic imbalances
The initial scoreboard performed well to support the
first application of MIP In December 2011, after the conclusion of
the legislative process, the '6-pack' entered into force, including a
regulation setting up the Macroeconomic Imbalance Procedure (MIP)[1]. In February 2012, the first
step in the MIP was taken, when the Commission adopted and published the first
Alert Mechanism Report (AMR)[2].
The role of the AMR is to identify, on the basis of an
economic reading of the scoreboard, which Member States may have an imbalance
and for which in-depth reviews (IDRs) are warranted. The AMR of February 2012 was based on a scoreboard
established by the Commission in line with Article 4 of Regulation (EU) No
1176/2011. The scoreboard consisted of ten indicators covering the wide scope
of surveillance under the MIP. The critical role of the scoreboard in the MIP
should be recalled: The scoreboard is a filter with a view to signal issues for
which more in-depth investigation is required, before concluding whether a Member State is affected by imbalances or excessive imbalances. As prescribed by Regulation (EU) No 1176/2011, no policy conclusions
are drawn on the basis of a mechanical reading of the scoreboard, neither on
the existence of imbalances or excessive imbalances, nor even on whether the
situation is such that justifies an in-depth analysis. The scoreboard should be
read and interpreted in its entirety and not in isolation from other relevant
indicators and information, including the supporting set of so-called 'reading
indicators,' which are also reported in the AMR. On 30 May 2012, the Commission adopted IDRs
for twelve Member States and the appropriate policy recommendations were put
forward in the context of the European Semester. The twelve Member States for
which IDRs were prepared under the first round of MIP were considered to have
imbalances[3]. While adjustments to the composition of the
scoreboard are under the responsibility of the Commission (Article 4(7) of Regulation
(EU) No 1176/2011), the Commission is committed to inform and work closely with
the European Parliament and Council on the scoreboard design. Indeed, ahead of
the first AMR, both the European Parliament and the Council were given the
opportunity to provide their views on the Commission plans for the scoreboard.[4] On this basis, the Council provided its views on 8 November 2011
and similarly did the European Parliament on 15 December 2011. The scoreboard should be completed with
a financial sector indicator Although the first vintage of the MIP scoreboard
already captured a number of financial issues (like the private sector credit
flow, the private sector debt and the public sector debt) the European Parliament[5] and the Council[6] supported the Commission's intention to add to the scoreboard, in
time to the second round of MIP, an additional indicator aimed at better
capturing the interlinkages between the real economy and the financial sector[7]. In turn, the ESRB provided its comments and views on the initial
design of the scoreboard as well as on the plans for an additional financial
sector indicator[8]. Against this background the Commission services
continued the technical work to develop a financial sector indicator. This work
is now completed and further described below. It is envisaged to include the
chosen indicator in the scoreboard for the second Alert Mechanism Report. The identification of the new indicator
has been supported by extensive technical work The technical work to identify an
appropriate financial sector indicator for the MIP scoreboard has been led by
the Commission services, but has drawn on the expertise and inputs from Member
States, the ECB as well as the views provided by the ESRB last year. As it was the case for the indicators selected for the initial design
of the scoreboard, the technical work to identify a suitable financial sector
indicator was guided by a number of principles. A first key aspect concerns the economic relevance. It should
be recognised that no single indicator can capture all potential risks stemming
from the financial sector. At the same time, the propagation of feedback loops,
or in other words, the ability to magnify or attenuate vulnerabilities is a key
dimension that the scoreboard should capture. This is also valid for other
vulnerabilities and issues within the scope of MIP surveillance. However, while
the scoreboard gathers a short list of relevant indicators, all available data
and information need to be taken into account for the in-depth assessment of
imbalances in Member States. A second guiding principle concerns simplicity. For
communication purposes, it is important to have a scoreboard indicator which is
easy to grasp, even if more sophisticated complex tools may be used in other
steps of MIP (like in the IDRs). A third principle concerns regulatory overlaps. It is
important to understand to what extent the indicators are the object of other surveillance
or supervisory processes. A scoreboard indicator which is explicitly included
in financial regulation with already set minimum requirements would be
incongruous, both because of overlapping concerns and even more so because of
endogeneity considerations. Finally, data considerations are also important.
Data availability issues must be taken into account to ensure the quality of
analysis and appropriate comparability of Member States. For example, some
Member States do not yet report consolidated data in the financial accounts and
balance sheets transmitted to, and collected by, Eurostat. Moreover, while data
are available at the most aggregated level data, they are not always available at
a disaggregated level, further constraining the options. Data considerations
also concern timeliness, as the indicators which are selected for the
scoreboard must be available on time for the AMR and other steps in the
procedure. In the technical discussions between the
Commission services and the Member States'[9]
experts, several indicators have been considered. A large consensus emerged
that the two most relevant indicators to be considered for the scoreboard were: ·
the growth rate of liabilities of the
financial sector and ·
the debt-to equity ratio, as an indicator measuring the leverage of the financial sector. Other indicators that were considered in
detail were: ·
the total financial liabilities over core
financial liabilities, i.e. an indicator
aiming to capture the stickiness of funding. Core liabilities are broadly
defined as financial institutions' liabilities to claimholders who are not
financial intermediaries themselves. However, this indicator was judged as
excessively complex and difficult to communicate to be used in the first filter
of the procedure. ·
the loan-to-deposit ratio, i.e. an indicator on the funding structure of the banking
sector. This indicator was considered as very sensitive to differences in the
liability structures and alternative financing options across Member States.
Therefore, a common threshold for the AMR scoreboard would not be appropriate.
Moreover, this indicator is relevant for the banking sector, but not for the
financial sector as a whole. ·
the share of short-term liabilities in total
liabilities which measures the market-related
refinancing needs of the financial sector in a Member State. Although liquidity
has been key in the crisis, it is not the main objective of a financial
indicator in the context of the MIP, and these liquidity difficulties often
emerge as result of other vulnerabilities. These three indicators scored all relatively
low on data considerations, given the required detailed data, which could
create problems for the appropriate comparability of Member States. It is therefore envisaged to include in
the scoreboard the growth rate of financial sector liabilities On the basis of the technical discussions, it
is envisaged to include the growth rate of financial sector liabilities in the
scoreboard, while retaining the leverage indicator among the set of reading
indicators, thus taking into account both in the overall economic reading. In
the technical discussion, this option was supported by a vast majority of
Member States' experts. The other indicators that were discussed, and all other
data, will be considered in the in-depth reviews, as appropriate. The growth rate of financial liabilities
has several advantages and fulfils well the above mentioned guiding principles.
The indicator is a very broad measure of the expansion of the exposure to
potential risks in the financial sector. Experience has shown that a fast
expansion of the financial sector has often preceded financial crises. Among
the several indicators that were discussed at the technical level, it was the
one that had better early-warning qualities. A very rapid growth of the
liability side of the balance sheet may be driven by excessive credit. Other
indicators in the scoreboard, such as credit and private sector indebtedness
also provide additional qualifying information in this respect. Given that this
indicator does not require instrument disaggregation which is more prone to
disentangling difficulties and reclassifications, the indicator provides a
fairly reliable basis for comparison among Member States. Moreover, it does not
discriminate against different funding specificities of Member States. The
indicator is not specific to the business model of a specific subsector. In principle,
the size of the financial sector can be measured on the asset or the liability
side of financial sectors’ balance sheet. The indicator is defined in a way
that covers all financial corporations (sector S.12 in the European System of
National and Regional Accounts: ESA), this is, all corporations and
quasi-corporations which are principally engaged in financial intermediation
(financial intermediaries) and/or in auxiliary financial activities (financial
auxiliaries). The concept of liabilities to be considered is very wide: it
covers currency and deposits (AF.2), securities other
than shares (AF.3), loans (AF.4), shares and other equity (AF.5) insurance
technical reserves (AF.6) and other accounts payable (AF.7). As for other
indicators, the threshold (an annual growth rate of 16.5 per cent) is defined
as the third quartile of the available distribution. As established in Article
3(2) of Regulation (EU) No 1176/2011, the
interpretation of this indicator in the scoreboard will be neither mechanical, nor
isolated from that of other indicators, but subject to an all-encompassing economic
judgement. It is envisaged to complement this indicator with a debt-to-equity
ratio indicator in the second layer of reading indicators: The debt-to-equity
ratio indicator shows the relative proportion of shareholders' equity and debt used to finance assets. The ratio provides
information on the leverage building up within the financial sector which can
have an amplifying impact on the economic cycle. A highly leveraged financial
system may amplify unfavourable economic developments, like a recession, or
doubts on the solvency of the sovereign. While leverage
is important for growth, excessive leverage carries the threat of the
amplification effect of the volatility of returns: since the absolute increase
in value of returns is accelerated when leverage is employed, so are the
losses. A drawback, however is that the indicator is
largely influenced by market fluctuations in equity prices which must be
considered in the interpretation of the indicator. Moreover, given the
heterogeneity of financial system, it is not appropriate to define a threshold
that is common to all Member States. The scoreboard should be stable but the
technical work to improve the quality and comparability of statistics should
continue The scoreboard
must remain a simple and clear tool to work as a filter that helps focussing
the surveillance under the MIP. In this context, stability in the scoreboard
design over time is valuable. It is not foreseen at this point in time to add
additional indicators to the scoreboard. Against this
background, the Commission is committed to improve the quality of the data. As
prescribed by Regulation (EU) No 1176/2011, the Commission will regularly
assess the appropriateness of this indicator, and of the whole scoreboard, and
modify them as appropriate. To this end the Commission will continue liaising
at a technical level with the Member States (including the statistical
authorities), the ECB and the ESRB to ensure that the scoreboard remains up to
date in its design and takes into account statistical developments. Moreover,
the Commission will remain attentive to the need of adjusting the indicative
thresholds. Financial Corporations - Total Financial Liabilities (year-on-year growth rate) || 2001 || 2002 || 2003 || 2004 || 2005 || 2006 || 2007 || 2008 || 2009 || 2010 || 2011 BE || 4.1% || -3.9% || 9.3% || 15.3% || 15.7% || 11.0% || 12.1% || -6.9% || -5.0% || -2.0% || 4.7% BG || 7.0% || 7.5% || 22.0% || 36.6% || 34.2% || 52.0% || 29.3% || -3.5% || 0.9% || -2.4% || 5.6% CZ || 10.5% || 9.9% || 3.1% || 12.5% || 17.0% || 9.3% || 19.2% || 5.6% || 3.7% || 8.6% || 0.9% DK || 6.9% || 6.4% || 8.7% || 11.0% || 20.7% || 10.2% || 10.5% || 6.5% || 0.9% || 7.8% || 5.0% DE || 3.0% || -0.5% || 3.5% || 3.6% || 5.6% || 4.8% || 5.9% || 1.9% || -1.1% || 0.1% || 2.1% EE || 13.3% || 24.5% || 13.4% || 34.3% || 23.4% || 15.1% || 27.8% || 8.0% || -10.8% || -10.1% || -4.4% IE || n.a. || 8.8% || 25.4% || 20.4% || 35.3% || 20.4% || 10.3% || 6.5% || 2.8% || 6.2% || -0.6% EL || 0.8% || 0.2% || 8.6% || 9.0% || 16.8% || 14.2% || 22.1% || 4.6% || 10.2% || 8.5% || -3.4% ES || 6.9% || 4.6% || 15.5% || 15.1% || 24.6% || 19.0% || 16.9% || 4.7% || 3.8% || -2.2% || 3.7% FR || 5.2% || 1.6% || 6.4% || 10.0% || 15.1% || 15.0% || 13.1% || 2.5% || 0.2% || 3.0% || 7.3% IT || -3.0% || 3.9% || 11.6% || 7.2% || 12.1% || 10.5% || 0.5% || -2.7% || 5.7% || 1.7% || 3.8% CY || 7.8% || -4.3% || 6.5% || 19.4% || 39.3% || 28.6% || 21.3% || 15.0% || 18.8% || -6.0% || -0.2% LV || 24.5% || 13.0% || 12.8% || 30.6% || 41.4% || 47.6% || 36.9% || 5.9% || -8.3% || -0.1% || -3.2% LT || 24.5% || 18.2% || 31.6% || 25.0% || 48.9% || 32.5% || 34.3% || 3.7% || -3.7% || 0.0% || 8.9% LU || n.a. || n.a. || n.a. || n.a. || n.a. || n.a. || 15.1% || -11.8% || 6.1% || 12.4% || 11.3% HU || 15.1% || 9.6% || 7.9% || 24.5% || 17.8% || 18.5% || 12.5% || 9.0% || 6.7% || 0.4% || -14.0% MT || n.a. || n.a. || n.a. || n.a. || 29.4% || 14.3% || 22.3% || 10.0% || -0.4% || 18.5% || 1.4% NL || 8.1% || 0.3% || 9.4% || 6.0% || 14.8% || 12.1% || 16.3% || -0.6% || 6.1% || 6.8% || 7.2% AT || 5.3% || 0.7% || 6.6% || 11.3% || 16.5% || 10.0% || 9.4% || 11.8% || -1.7% || -1.7% || -0.3% PL || 23.9% || -11.6% || 0.1% || 32.6% || 26.3% || 25.2% || 26.7% || -7.4% || 10.9% || 17.0% || -7.0% PT || 6.2% || 2.6% || 9.6% || 2.8% || 9.8% || 11.3% || 9.9% || 5.4% || 9.5% || 10.0% || -0.7% RO || 32.9% || 13.1% || 9.3% || 70.2% || 57.1% || 47.2% || 26.8% || 0.2% || 8.6% || 3.7% || 2.9% SI || n.a. || 18.2% || 9.5% || 10.1% || 17.8% || 13.7% || 28.5% || 6.6% || 7.4% || -3.4% || -1.3% SK || 12.3% || 42.6% || 6.8% || 7.7% || 19.1% || -7.5% || 24.8% || 8.9% || -5.0% || 2.2% || 1.2% FI || 8.3% || 3.3% || 13.3% || 14.6% || 13.6% || 12.2% || 10.5% || 16.4% || 6.5% || 18.9% || 30.8% SE || 0.5% || -1.7% || 11.3% || 12.6% || 10.4% || 16.3% || 3.5% || -3.7% || 12.5% || 16.7% || 4.2% UK || 7.8% || -7.0% || 5.0% || 30.0% || 22.5% || 13.7% || 6.9% || 13.6% || -11.3% || 11.4% || 11.8% Source: Eurostat. Cut-off date: 6 November 2012. [1] Regulation (EU) No 1176/2011 of the European
Parliament and of the Council (OJ L 306, 23.11.2011, p. 25). [2] COM(2012) 68 final, 14.2.2012. [3] These Member States were Belgium, Bulgaria, Denmark,
Spain, France, Italy, Cyprus, Hungary, Slovenia, Finland, Sweden and the United
Kingdom (see European Economy-Occasional Papers, 99 to 110, and
Commission Communication 'Action for Stability, Growth and Jobs' - COM(2012)
299 final, 30.5.2012). [4] 'Scoreboard for the surveillance of macroeconomic
imbalances: envisaged initial design' - SEC(2011) 1361 final, 8.11.2012 -
subsequently published in European Economy—Occasional Papers, 92. [5] Point 9 of the European Parliament Resolution of
15.12.2011: 'The European Parliament (…) [T]akes note of the Commission's
intention to provide, by the end of 2012 and in time for the subsequent
European Semester, a new set of indicators and related thresholds for the
financial sector'. [6] Point 9 of the ECOFIN Council
Conclusions of 8.11.2011: '(…) The Commission is also
requested to present, before the end of 2012 and in line with the Regulation,
suggestions on an indicator related to the financial sector, with a view to its
inclusion for the 2013 European Semester.' [7] Article 4(3)(a) of Regulation (EU) No 1176/2011
provides that the scoreboard should encompass, inter alia, '(…) internal
imbalances, including those that can arise from public and private
indebtedness, financial and asset market developments including housing (...).' [8] 'Views of the ESRB on the Envisaged Scoreboard
Indicators Relevant for Financial Market Stability,' available for download
at http://www.esrb.europa.eu/pub/html/index.en.html. [9] At the technical level, the Economic Policy Committee
(EPC), through its LIME working group, have been involved.