20th April 2015

Assessing capital adequacy under Pillar 2

In its response to the PRA’s consultation on Pillar 2 the BBA supported greater transparency around the Pillar 2 process that the draft supervisory statement brings, emphasising that whist capital should not be the only answer  for addressing increased risks confronting banks, investors as  suppliers of capital to the banking industry, need to understand the likelihood of additional capital requirements  in order to  evaluate future returns on capital and the likelihood of additional calls for funding.

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