Net Stable Funding Ratio Disclosure Requirements – Letter (2019)
Information
Table of contents
Following a public consultation in February 2019, the Office of the Superintendent of Financial Institutions (OSFI) is issuing the final version of the Net Stable Funding Ratio Disclosure Requirements Guideline. This guideline sets out the NSFR disclosure requirements for Domestic Systemically Important Banks
The disclosures for funding risk will complement OSFI’s NSFR requirement and encourage transparency, comparability and market discipline related to this key liquidity measure.
OSFI would like to thank all those who provided comments. The Annex summarizes the material comments received and OSFI’s responses.
The guideline takes effect with the quarterly reporting period ending January 31, 2021. Questions on the NSFR Disclosure Requirements Guideline may be addressed to Ken Leung, Accounting Policy Division, at kenneth.leung@osfi-bsif.gc.ca.
Carolyn Rogers
Assistant Superintendent
Regulation Sector
ANNEX - Summary of Material Comments and OSFI Responses
Comments from Respondents | OSFI Response |
---|---|
Implementation Date | |
Some respondents recommended the guideline remain flexible on the implementation date to align the Canadian disclosure of NSFR results with certain peer jurisdictions, including the U.S. and Europe. |
In developing the NSFR disclosure guideline, OSFI considered several options for the implementation date. As D-SIBs will be disclosing ahead of certain jurisdictions, the NSFR disclosure guideline provides D-SIBs with an additional year to implement their NSFR reporting frameworks. |
Harmonization of Regulatory and Disclosure Reporting Requirements | |
Some respondents requested alignment between the NSFR regulatory reporting and disclosure templates. Presently some discrepancies exist, such as:
|
OSFI’s Pillar 3 Guideline contains principles to provide a firm foundation for achieving high-quality disclosures. The aim is to enable users to better understand and compare an institution’s business and risks. One of these principles states that disclosures should be comprehensive. OSFI believes inclusion of the “No Maturity” column and total HQLA figures provide a comprehensive disclosure of a D-SIB’s funding profile/risk. OSFI will ensure alignment of the regulatory reporting and disclosure templates. |
Disclosure Requirements | |
Some respondents suggested the disclosure template be updated to include only those items that:
|
OSFI’s objective is to promote transparency through disclosures that are comprehensive, consistent and comparable. The disclosure template is unchanged, as:
|