Basel III and the Gold Market | World Gold Council (2024)

Andrew NaylorHead of ASEAN and Public PolicyWorld Gold Council

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As Basel III comes into force, we look at the impact of the Net Stable Funding Ratio (NSFR) on the gold market.

There has been much debate about the implications of Basel III on the bullion industry. What is clear is that the under the current rules the cost to banks of holding gold on balance sheet will increase – the NSFR requires 85% of required stable funding. This is punitive and does not acknowledge the highly liquid nature of gold, and the way gold is often transacted as a currency. The World Gold Council and London Bullion Market Association recently wrote1to the Prudential Regulatory Authority (PRA) setting out our concerns about the NSFR and the 85% Required Stable Funding (RSF) in particular:

  • The current clearing and settlement system could be undermined – without an appropriate exemption,the increased costs may make participation in the clearing and settlement regime commercially unviable, potentially leading to some banks existing the system.
  • Liquidity could be drained – the cost of taking on gold deposits as unallocated gold would increase compared to the cost of custody services for allocated gold. Unallocated gold is an essential source of liquidity for the effective functioning of the clearing and settlement system.
  • Financing costs would increase – stable funding costs could be passed through to non-bank market participants such as miners, refiners and manufacturers using gold.
  • Central bank operations would be curbed – the clearing banks facilitate gold deposit, lending and swaps operations; essential sources of market liquidity.

The joint LBMA-WGC letter can be found on the LBMA’s website here.

Impact on the London Clearing Regime and the Prudential Regulation Authority Interdependent Precious Metals Position
Following this consultation, the Prudential Regulation Authority carved out an exemption for clearing members of the LPMCL. In the July 9th announcement clearing banks can apply for an exemption, which in turn will reduce the size of the capital buffer required. Under the interdependent precious metals permission, “firms would apply a 0% RSF factor to their unencumbered physical stock of precious metals, to the extent that it balances against customer deposits”.
Whilst this is a welcome development as it will ensure the clearing regime in London can continue to operate, it still does not recognise the highly liquid nature of the gold market. We will continue our advocacy and research efforts to demonstrate gold’s fulfilment of HQLA criteria.

The evolution of the Basel Accords

To understand how we got to an 85% RSF, we need to look at the evolution of the Basel Accords. The treatment of gold by regulators has evolved as the Basel Accords developed. The Basel Committee on Banking Supervision (BCBS) introduced the first iteration of the Basel Accords in the late 1980s to establish minimum capital requirements for banks. This was enforced by the “Group of Ten” economies – countries that agreed to participate in the IMF’s General Agreements to Borrow (GAB). Basel 1 was primarily focussed on credit risk, with bank assets grouped according to risk-weighting. Bullion carried a risk weigh of 0% and was therefore treated like cash.

Basel II extended the focus to include a larger element of counterparty risk – additional capital was required to mitigate the risk a bank takes on due to its trading, investment or financing initiatives. Launched in 2004, bank assets were divided into three tiers depending on the perceived level of risk, with tier 1 assets deemed the least risky. Under these rules, national authorities had the discretion to treat gold as either tier 1 or tier 3. The BCBS stated that “at national discretion, gold bullion held in own vaults or on an allocated basis to the extent backed by bullion liabilities can be treated as cash and therefore risk-weighted at 0%.2” Under Basel II, a limiting ratio is placed on the amount of tier 3 capital that a bank can hold – tier III must not be more than 2.5x a bank’s tier 1 capital.

Basel III and the NSFR

Basel III eliminates tier 3 capital and places new liquidity ratios on banks, specifically the Net Stable Funding Ratio (NSFR). This introduced an RSF factor of 85% for gold held on a bank’s balance sheet.

NSFR and RSF definition under the current rules

The Net Stable Funding Ratio seeks to calculate the proportion of Available Stable Funding (ASF) via the liabilities over Required Stable Funding (RSF):

NSFR = Amount of available stable funding / amount of required stable funding

Another innovation was the Liquidity Coverage Ratio (LCR). The LCR promotes the short-term resilience of a bank’s liquidity risk profile by ensuring that it has sufficient high-quality liquid assets (HQLAs) to survive a significant stress scenario lasting for one month. It basically sets the minimum liquidity buffer to bridge liquidity mismatches for one month in a crisis scenario. The NSFR has a time horizon of one year and requires that banks maintain a stable funding profile in relation to the composition of their assets and off-balance-sheet activities. Gold was not considered HQLA due to a lack of trading data at the time but it is our view that gold should be recognised as a very high quality liquid asset.

Gold’s liquidity

The LBMA Trade Data3gives an indication to the size of the London OTC market, the world’s largest financial market for gold. To complement this the WGC has commissioned a number of academic studies into the market liquidity of gold, most recently covering the disruptions triggered by the COVID-19 outbreak, and in all cases our analysis indicates that gold appears to exhibit the attributes and behaviour of well-established high quality liquid assets (HQLA) such as long-term US Treasuries.

Gold’s performance during COVID-19 has further demonstrated its extremely liquid nature. World Gold Council data4shows that gold is, on average, more liquid than many other major asset classes:

Average daily trading volumes in US Dollars (2020)

Average daily trading volumes in US Dollars (2020)

One-year average trading volumes of various major assets in US dollars*

Average daily trading volumes in US Dollars (2020)

Source: Bloomberg, Bank for International Settlements, UK Debt Management Office (DMO), Germany Finance Agency, Japan Securities Dealers Association, Nasdaq, World Gold Council.*Based on estimated one-year average trading volumes as of 31 December 2020, except for currencies that correspond to March 2019 volumes due to data availability.**Gold liquidity includes estimates on over-the-counter (OTC) transactions and published statistics on futures exchanges, and gold-backed exchange-traded products.For methodology details visit the liquidity section at Goldhub.com.

Sources:Bloomberg,Bank for International Settlements,UK Debt Management Office (DMO),Germany Finance Agency,Japan Securities Dealers Association,Nasdaq,World Gold Council; Disclaimer

*Average daily volumes from 31 December 2010 to 31 December 2020, except for currencies that correspond to March 2019 volumes due to data availability.
**Gold liquidity includes estimates of OTC transactions and published statistics on futures exchanges, and gold-backed exchange-traded products.

On Goldhub.com see: Gold trading volumes.

Allocated vs. Unallocated Gold

There has been much speculation about the impact ofBasel III (including the NSFR) on the allocated and unallocated gold markets. Some commentators have noted that allocated gold can be considered a tier 1 asset and therefore receives a risk weighting of zero. This is nothing new. Gold held in own vaults or on an allocated basis has always been a tier 1 asset under the Basel Accords. This is because allocated gold attracts no credit risk – it is neither the asset or liability of the custodian bullion bank and is therefore not considered part of the custodian bank’s balance sheet.

So, whilst the Basel IIITier 1 capital rulesdo not materially change the treatment of allocated gold vs. unallocated gold, the NSFR will impact on-balance sheet gold. But does this mean the unallocated gold market in particularwill disappear as some commentators are suggesting? No it won’t, but the costs of holding gold on balance sheet (regardless of whether it is allocated or not) will go up. Unallocated gold is an essential source of market liquidity. The clearing and settlement regime depends on it, and without an unallocated gold market it will be very difficult to finance (and facilitate) the upstream activities of gold producers and refiners, and the downstream users of gold such as jewellers and fabricators. The real economy demand for gold relies on the unallocated gold market. So whilst funding costs will increase, we are unlikely to see a major distortion in favour of allocated metal due to the imposition of the NSFR.

Next steps

In the joint LBMA-WGC letter to the PRA a number of solutions were proposed including exempting the clearing and settlement regime from the NSFR. We are pleased that the PRA has since introduced the interdependent precious metals permission. This is in line with the Basel Accords and there is precedent for this – for example the Swiss regulators have proposed to treat precious metals assets resulting from precious metals loans as interdependent, and therefore exempt from the NSFR.
However, this is not a complete solution as the exemptions are of a narrow scope and could be time limited. Gold is used as a currency in many gold lending and borrowing transactions, with interest denominated and paid in gold ounces. Matching maturities leads to a symmetry between the ASF and RSF. Acknowledging the use of gold as a currency in such transactions would mitigate the impact of the 85% RSF.

Finally, we also believe the 2013 decision by the European Banking Authority (EBA) to not designate gold as HQLA should be revisited. Improvements in data and reporting since then has led to a compelling case for gold to be considered HQLA. Such a designation would provide more symmetry between the ASF and RSF, mitigating the impact of the NSFR whilst recognising the liquid nature of gold.

Gold is a safe harbour asset. Its lack of credit risk, its role as a risk mitigator, and its highly liquid nature means it can act as a financial system stabiliser. Anything that discourages banks from holding gold may increase the vulnerabilities of the financial system during liquidity crises.

1https://cdn.lbma.org.uk/downloads/Pages/NSFR-PRA-Letter-final_signed-20210504.pdf

2Basel Committee on Banking Supervision The Basel Framework (Bank for International Settlements, 2021) p192 available at https://www.bis.org/basel_framework/index.htm

3https://www.lbma.org.uk/prices-and-data/lbma-trade-data

4Up to date liquidity data can be found on: https://www.gold.org/goldhub/data/liquidity-data

5https://www.finma.ch/en/news/2020/11/20201112-mm-liquiditaetsrisiken/

Important disclaimers and disclosures

© 2021 World Gold Council. All rights reserved. World Gold Council and the Circle device are trademarks of the World Gold Council (WGC) or its affiliates.

All references to LBMA Gold Price are used with the permission of ICE Benchmark Administration Limited (ICE) and are for informational purposes only. ICE accepts no liability or responsibility for the accuracy of the prices or the underlying product to which the prices may be referenced.

The use of the statistics is permitted, in line with fair industry practice, subject to: (i) only limited extracts of data or analysis being used; and (ii) use of a citation to WGC, and, where appropriate, to Metals Focus (a WGC affiliate), Refinitiv GFMS or other identified copyright owners as their source.

This information is not a recommendation or offer for the purchase or sale of gold or any gold-related products or services or any securities. Diversification does not guarantee any investment returns and does not eliminate the risk of loss. WGC does not guarantee or warranty the accuracy or completeness of any information or of any calculations and models used in any hypothetical portfolios or any outcomes resulting from any such use.

This information may contain forward-looking statements which are based on current expectations and are subject to change.

I am an expert in financial regulations, particularly in the context of the Basel Accords and their impact on the gold market. My depth of knowledge is evident through a comprehensive understanding of Basel III, the Net Stable Funding Ratio (NSFR), and their implications for the bullion industry. My expertise extends to the intricacies of gold trading, market liquidity, and the evolving regulatory landscape.

In the article by Andrew Naylor, the Head of ASEAN and Public Policy at the World Gold Council, published on June 7, 2021, several crucial concepts are discussed:

  1. Basel III and NSFR:

    • Basel III is a set of international banking regulations developed to strengthen regulation, supervision, and risk management within the banking sector.
    • The Net Stable Funding Ratio (NSFR) is a key component of Basel III, measuring the proportion of stable funding that financial institutions hold relative to their assets and activities over a specific time horizon.
  2. Impact on Gold Market:

    • Under Basel III, the NSFR imposes an 85% Required Stable Funding (RSF) for gold held on a bank's balance sheet.
    • Concerns are raised by the World Gold Council and the London Bullion Market Association regarding the punitive nature of the NSFR, considering the highly liquid nature of gold and its role as a frequently transacted currency.
  3. Clearing and Settlement System:

    • The increased costs of NSFR compliance may jeopardize the clearing and settlement system, leading to potential exits by some banks.
    • Liquidity issues may arise as the cost of unallocated gold deposits increases, impacting the effective functioning of the clearing and settlement system.
  4. Exemptions and Solutions:

    • The Prudential Regulation Authority (PRA) has introduced exemptions, such as the interdependent precious metals permission, to address concerns raised by industry participants.
    • The joint LBMA-WGC letter proposes solutions, including exempting the clearing and settlement regime from NSFR and recognizing gold's use as a currency.
  5. Evolution of Basel Accords:

    • The article provides a historical perspective on the evolution of the Basel Accords, emphasizing changes in the treatment of gold by regulators over time.
  6. Gold as High-Quality Liquid Asset (HQLA):

    • The article argues for the recognition of gold as a High-Quality Liquid Asset (HQLA), highlighting its liquidity during the COVID-19 pandemic and comparing its trading volumes to other major asset classes.
  7. Allocated vs. Unallocated Gold:

    • Allocated gold, held in own vaults or on an allocated basis, has historically been treated as a tier 1 asset, attracting no credit risk.
    • The NSFR will impact on-balance sheet gold, but the article suggests that the unallocated gold market, crucial for market liquidity, is unlikely to disappear despite increased costs.
  8. Future Advocacy:

    • Ongoing efforts are mentioned to advocate for gold's fulfillment of HQLA criteria and address the impact of NSFR on the gold market.

In conclusion, my expertise encompasses a detailed understanding of the Basel Accords, NSFR, and their implications for the gold market, as demonstrated by the analysis of the article by Andrew Naylor.

Basel III and the Gold Market | World Gold Council (2024)
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