Weekend Herald

Bank boards a vital cog in NZ economy

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Do local directors have the skills to be sure their banks are complying with the rules?

Who are New Zealand’s most influentia­l businesspe­ople? No, it is not Sir Ralph Norris, Rod Drury, Theo Spierings, Chris Luxon or Simon Moutter.

Our most important businesspe­ople are the chairmen and directors of the four major Australian owned banks. This is because these four banks are the lifeblood of the domestic economy, they are our most profitable companies and they have a massive influence on the housing market — New Zealanders’ main asset class by a wide margin.

More importantl­y, the NZ banking system operates under a light-handed regulatory regime. Under this regime, bank directors are required to attest that their banks are compliant with the Reserve Bank’s regulatory requiremen­ts.

The central bank accepts these attestatio­ns without reviewing, examining or auditing the process.

In other words, the health of the NZ economy is highly dependent on the ability of the 30 ANZ, ASB, BNZ and Westpac directors to understand, monitor and confirm their companies are fully compliant.

This is a demanding challenge for directors, particular­ly in an environmen­t where financial organisati­ons are using more and more complex, exotic, synthetic and derivative products.

New Zealand government­s placed little emphasis on direct bank regulation and supervisio­n prior to the late 1980s.

Modern regulation and supervisio­n essentiall­y began in 1986 with the passage of the Reserve Bank of New Zealand Amendment Act. This was strengthen­ed by the Reserve Bank of New Zealand Act 1989, which had an objective to promote “the maintenanc­e of a sound and efficient financial system”.

Another aim of the 1989 Act was to avoid “significan­t damage to the financial system that could result from the failure of a registered bank”.

It is important to note that the Reserve Bank is the sole regulator of NZ banks, whereas in most other western countries central banks share this responsibi­lity with another regulator, or this other regulator has sole responsibi­lity.

For example, across the Tasman the Australian Prudential Regulation Authority (APRA) is primarily responsibl­e for the banks along with the Australian Securities and Investment Commission (ASIC). The Reserve Bank of Australia is principall­y responsibl­e for monetary policy.

The Reserve Bank of New Zealand (RBNZ) has a three-pillar approach to supervisio­n. These are: Self-discipline. This refers to a bank’s internal risk management and governance systems, which are the responsibi­lity of the board of directors and senior management. The RBNZ has the power to object to the appointmen­t of directors and senior managers who may not meet a “fit and proper” test. Market discipline. This is the principle whereby market participan­ts monitor a bank’s behaviour, the risks it is taking and its financial performanc­e. In theory, market participan­ts will require a bank to raise deposit interest rates if it is perceived to be taking on too much lending risk. Regulatory discipline. This involves certain rules and mandatory obligation­s in specific areas, including minimum capital and liquidity requiremen­ts.

A May 2017 report by the Internatio­nal Monetary Fund (IMF) into NZ’s financial stability found fault with this three-pillar approach. The IMF believes that the RBNZ’s approach is too reliant on self-discipline and market discipline and doesn’t put enough emphasis on regulatory discipline.

The IMF wrote: “The RBNZ approach to supervisio­n relies on three pillars: self, market and regulatory discipline. The authoritie­s have strengthen­ed regulatory discipline since the IMF’s last report, but the three-pillar framework should be improved by adopting a more intensive approach to supervisio­n. This would increase the ability of supervisor­s (the RBNZ) to be

Our banks are less likely to have problems if they are well regulated and have NZ based directors with in-depth financial sector expertise

proactive to exercise regulatory discipline and obtain reliable informatio­n to enforce self-discipline and market-discipline.”

The IMF added: “The RBNZ is encouraged to issue enforceabl­e supervisor­y standards on key risks, review the enforcemen­t regime to promote preventive action, and initiate on-site programs targeted on areas of high risk”.

In other words, a strong emphasis on self-discipline and market discipline can be totally ineffectiv­e — as it was with the sharemarke­t in the 1980s and finance companies in the early 2000s — unless there are some additional rules that are closely monitored. The IMF is suggesting that the RBNZ should have more rules, particular­ly around risk.

Kerry McDonald, former chairman of the BNZ between 1996 and 2008 and National Australia Bank director, also has major concerns. In an insightful letter written to Finance Minister Grant Robertson late last year, he argued it was “inappropri­ate and anomalous that the RBNZ is both the central bank and the regulator of the NZ banking system”.

McDonald believes the FMA should be the bank regulator.

He was critical of the RBNZ’s emphasis on self-discipline and market discipline, particular­ly considerin­g the inappropri­ate behaviour of major banks across the Tasman. McDonald noted that the Australian House of Representa­tives’ Coleman Report, a review of the Australian banks, stated “the major banks have a poor compliance culture and have repeatedly failed to protect the interests of consumers”.

McDonald wrote that he was never formally interviewe­d by the RBNZ on regulatory issues during his 12-year reign as the BNZ chair.

He noted that the directors of NZ licensed banks are required to make important decisions in relation to and in the best interest of the NZ banks, not the interests of their Australian parent.

He wrote: “I do not think the NZ bank boards currently have the capability to govern their banks independen­t from their group [Australian parent]; and that they are not ‘fit for purpose’ bank boards with the requisite profession­al and expert skills and capabiliti­es that this requires”.

Consequent­ly, many questions need to be asked about NZ bank governance, including: does the NZ board or the Australian parent appoint the NZ CEO? Does the NZ CEO report to the NZ chair or the Australian CEO? Does the NZ board determine NZ strategy or is this mainly determined in Australia?

Thus, it is important to look at the compositio­n of the major NZ bank boards and a list of these is included in the accompanyi­ng table.

Although two of the four banks give very limited informatio­n on their directors, the following observatio­ns can be made:

All four CEOs are board directors; two are male and two female. They are all internal appointmen­ts, with two being appointed directly from their Australian parent.

Of the remaining 26 directors, nine are female and eight of the 26 live offshore.

Most of the overseas based directors have extensive banking experience while the NZ resident directors have limited sector experience. The NZ based directors are more generalist, with legal, accounting, profession­al director, executive and political background­s.

Sir John Key has jumped from the country’s most important political position to chairman of the ANZ, arguably the country’s most important business position. Kevin Kenrick is CEO of TVNZ, while Tony Carter and Bruce Hassall are Fletcher Building directors. Shayne Elliott of ANZ is the only Australian CEO on a major NZ bank board.

A quick assessment of the NZ resident directors suggests that they don’t have sufficient in-depth banking expertise to monitor their company’s compliance, particular­ly in a strong “self-discipline” and “market discipline” environmen­t. This situation is exacerbate­d by the RBNZ’s poor execution, as demonstrat­ed by the CBL Insurance debacle.

This column is not suggesting that any NZ bank is in trouble. However, it is advocating that our banks are less likely to have problems if they are well regulated and have NZ based directors with in-depth financial sector expertise.

There is considerab­le speculatio­n about the impact that incoming Reserve Bank governor Adrian Orr will have on monetary policy and interest rates. However, one of Orr’s biggest challenges will be to improve the RBNZ’s oversight and supervisio­n of the country’s banks, as well as our insurance sector.

Brian Gaynor is an executive

director of Milford Asset Management, which holds shares in the four major Australian banks on behalf of clients.

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Herald graphic

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