Regulators propose new capital treatment for higher-risk CRE exposures

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The regulators admit that the new rules would likely capture more acquisition, development and construction (ADC) loans, but propose to lower the risk weight from 150% to 130% as an accommodation so that banking organizations using the standardized approach would realize little difference in the amount of capital required to be reserved and.

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operational risk, the composition of capital, global systemically important. We would suggest that the new pillar 3 requirements should start. generally on- balance sheet and do not match up with regulatory exposure at.. Table CRB: Additional Disclosure Related to Assets subject to Credit Risk. Treatment. Comments: o.

Specifically, the regulators have proposed a new, alternative. and also potentially provide a structural pricing advantage on higher risk-weighted loans, at least based on cost of capital.

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Regulators Propose Extension of Capital Rule Transitions August 22 – In preparation for a forthcoming proposal that would simplify regulatory capital requirements, federal banking regulators proposed a rule that would extend the existing transitional capital treatment for certain regulatory capital deductions and risk weights.

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Of keen inter est to many banks will be the proposal to modify the approach to the capital treatment of acquisition, development , and construction ("ADC") loans characterized under the current capital rules as high volatility commercial real estate ("HVCRE") exposures.

How much capital do banks usually carry over the regulatory minimum?. Why are policymakers proposing higher capital requirements?.. Thus, a bank will treat the capital level required to maintain its target. varying customer bases, asset and liability structures, risk exposures, etc.. new standards to.

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