2024-09-01
The Central Bank of Bahrain has issued a second consultation proposing amendments to the Capital Adequacy Module Part 2 to enhance risk measurement and optimize capital allocation for credit risk exposures. The revised framework introduces updated criteria for counterparty credit risk, cross-product netting, failed trades, and securitisations, directly impacting how conventional banks calculate risk-weighted assets. Licensees are required to complete the attached impact assessment questionnaire and submit their feedback, including nil responses, by 1 September 2024.
# Central Bank of Bahrain
OG/182/2024
8th July 2024
Chief Executive Officer
All Conventional Banks
Manama
Kingdom of Bahrain
Dear Sir/ Madam,
## Second Consultation: Capital Adequacy Module, Part 2 (Module CA)
Following receipt of feedback from banks on the CBB’s initial consultation, dated 1st August 2023 on the proposed amendments to Part 2 Credit Risk, Capital Adequacy Module (Module CA) of the CBB Rulebook – Volume 1, the CBB is pleased to issue a second consultation. The proposals set out in this consultation aim to enhance risk measurement and improve allocation of capital for credit risk exposures.
Attached hereto are the following proposed draft documents in this regard:
1. Proposed draft Module CA, Part 2, Credit Risk;
2. Proposed draft of Appendix CA-2, Definitions and General Terminology - Treatment of Counterparty Credit Risk and Cross-product Netting;
3. Proposed draft of Appendix CA-4, Capital treatment for failed trades and non-DvP transactions; and
4. Proposed draft of Appendix CA-24, Simple, transparent and comparable term securitisations - Criteria for regulatory capital purposes.
The second consultation draft takes onboard practical issues raised by some of the conventional banks. The CBB would like the banks to review the revised draft and undertake an impact assessment for the CBB to study implications further.
In order, however, to facilitate the finalisation of licensees’ feedback on this 2nd consultation, the CBB has attached a document that contains the feedback received from individual licensees on the 1st consultation together with the CBB responses to them.
Also attached to this circular is a questionnaire (See Annex) that licensees should complete for the CBB to get a better understanding of the impact and implications of the proposed amendments.
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The proposed Module shall be available on the CBB website ([www.cbb.gov.bh](http://www.cbb.gov.bh)) under the “Open Consultations” section.
The CBB requests you to provide your response to the consultation questionnaire and any further comments on the proposed Module, including ‘nil comments’, in an editable format to [consultation@cbb.gov.bh](mailto:consultation@cbb.gov.bh) by 1st September 2024.
Yours faithfully,
**Khalid Humaidan**
Governor
cc: Bahrain Association of Banks
External Audit Firms
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## Annex: Consultation questionnaire
1. How would you realign your internal process and systems, including data sources to calculate the credit risk weighted assets for exposures to address the changes in the requirements?
2. Which areas are the most complex for your bank and what systems and processes are needed to address them?
3. Are your IT systems and databases capable of producing the information required?
4. Does your bank have quantitative skillsets to address the complex risk measures in the CA Module?
5. What would be the impact of the changes to the risk weights in different categories of credit risk exposures:
| Class of asset | CAR before | CAR after | Comments |
|----------------|------------|-----------|----------|
| Claims on banks (for SCRA, a rough calculation will suffice) | | | |
| Claims on multilateral development banks | | | |
| Claims on corporates | | | |
| Claims on specialised lending | | | |
| Regulatory retail exposures | | | |
| Regulatory residential real estate | | | |
| Claims secured by commercial real estate | | | |
| Exposures secured by other real estate | | | |
| Subordinated debt, Equity and other Capital instruments | | | |
| Equity investment in funds | | | |
| Exposure to covered bonds | | | |
| Off balance sheet instruments | | | |
6. Do you have exposures that are subject to Chapter CA-5 which deals with Standardised Approach – Counterparty Credit risk (SA-CCR)? If so, what are your plans to ensure you have the appropriate processes in place for the computations of capital charge for such exposures?
7. Do you have exposures that are subject to Chapter CA-6 which deals with Securitisation? If so, what are your plans to ensure you have the appropriate processes in place for the computations of capital charge for such exposures?