APRA – subsidiary capital investment treatment update
Australia and New Zealand Banking Group Limited ABN 11 005 357 522
News Release
For release: 15 October 2019
Update on APRA’s consultation on the capital treatment for
investments in subsidiaries (Level 1)
ANZ today provided an update on the potential implications of the Australian Prudential
Regulation Authority’s (APRA) proposed changes to the capital treatment by Australian ADIs
of their investments in banking and insurance subsidiaries.
The consultation is open until January 2020 and ANZ will engage with APRA on the
proposals.
In a discussion paper released earlier today, “Revisions to APS111 Capital Adequacy:
Measurement of Capital”, APRA proposes that for each individual subsidiary at Level 1:
the tangible component of the investment up to an amount equal to 10% of ANZ’s
net Level 1 Common Equity Tier 1 (CET1) capital will be treated as a 250% risk
weighting; and
the remainder of the investment will be treated as a full CET1 capital deduction.
Under current prudential standards, APRA requires Australian ADIs at Level 1 to treat the
tangible component of their investments in an unlisted subsidiary as a 400% risk weighting
and the intangible component as a CET1 capital deduction.
ANZ is reviewing the implications for its current investments. The discussion paper provides
a capital benefit for investments in small subsidiaries (e.g. China, Indonesia, Papua New
Guinea and Thailand) but has a negative impact for large subsidiaries (i.e. New Zealand).
The net impact on the Group is unclear and will depend upon a number of factors including
the capitalisation of all its subsidiaries at the time of implementation, the final form of the
prudential standard, as well as the effect of management actions being pursued that have
the potential to materially offset the impact of these proposals.
Based on ANZ’s investment in its subsidiaries as at 30 June 2019 and in the absence of any
offsetting management actions, this implies a reduction in ANZ’s Level 1 CET1 capital ratio
of up to approximately $2.5bn (75 basis points). However, ANZ believes that this outcome is
unlikely and, post implementation of management actions, the net capital impact could be
minimal.
There is no impact on ANZ’s Level 2 CET1 capital ratio arising from these proposed changes.
The proposed changes to the prudential standards are effective from January 2021. APRA
has noted it is open to working with impacted ADIs on an appropriate transition.
For media enquiries contact: For analyst enquiries contact:
Stephen Ries, +61 409 655 551 Jill Campbell, +61 412 047 448
Data sourced from publicly available filings. Our datasets may not be complete. Automated analysis can produce errors. If you believe any data on this page is incorrect, please contact us at hello@nzxplorer.co.nz. For informational purposes only. Not investment advice.
Other issuers discussed similar conditions around this time
Matched by meaning across NZX announcement text, not keywords — based on our semantic index of announcement bodies.
- WBC — Westpac Banking Corporation: APRA Consultation – subsidiary capital investment treatment2019-10-15
“ASX ANNOUNCEMENT 15 October 2019 Westpac acknowledges the release of a discussion paper by the Australian Prudential Regulatory Authority (APRA) – Revisions to APS 111 Capital Adequacy: Measurement of Capital APRA has today released a discussion paper on proposed changes to…”
- WBC — Westpac Banking Corporation: RBNZ Capital Announcement2019-12-05
“Pro forma impact on Westpac Group For the Westpac Group, any change in the CET1 capital held by WNZL has no impact on the Group’s reported regulatory capital ratios on a Level 2 basis. These are the ratios that Westpac (along with all other banks) normally refer to when repo…”