What was the FCA’s overall finding?
The FCA’s overall finding was that the majority of firms could improve their approach to risk governance and risk management. Firms did not always identify and monitor their firm’s risks and financial metrics to give a greater insight into the challenges they face.
How can Hogan Lovells help?
At Hogan Lovells, our combined legal and consulting Financial Services team helps firms navigate and comply with their prudential and regulatory requirements including in relation to financial resilience. If you would like to know more about the Hogan Lovells team and how we can help you with the operational practicalities of the FCA’s findings, please get in touch.
Financial resilience: what are firms required to do?
Consumer credit firms and non-bank mortgage lenders are required by Principle 4 (of the FCA’s Principles for Businesses) and the Threshold Conditions to maintain adequate financial resources at all times.
Firms are required to assess the adequacy of their financial resources against the risk of harm and the complexity of their business, starting with whether they have enough assets to cover their liabilities.
The FCA’s key findings
Whilst the FCA identified many areas of good practice, it’s clear that there is work to be done by firms to improve their approach to risk governance and management. The FCA found that:
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Some firms had inadequate systems in place to measure and monitor risks which resulted in a sub-standard approach to risk identification;
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The risk management framework for most firms was not fully developed;
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Stress testing was inadequate or non-existent;
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There was a lack of adequate wind down planning which meant firms were at greater risk of a disorderly failure.
Examples of good and bad practice
The FCA has identified examples of good practice as well as areas for improvement. It’s important that consumer credit firms and non-bank mortgage lenders review these and apply any learnings to their own processes and approaches. Some examples include:
Identifying risks relevant to the business
Setting of risk appetite and establishing appropriate systems and controls
Undertaking stress testing and considering wind down planning
Next steps
The FCA expects relevant firms to review their arrangements against these findings and make any improvements that may be necessary. It will continue to consider firms’ approaches to managing financial resilience and the risk of harm to consumers as part of its ongoing supervisory work.
Authored by Julie Patient and Aine Kelly.