Reset Required: The Euro Area Crisis Management and Deposit Insurance Framework

T. Huertas
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Abstract

The crisis management and deposit insurance (CMDI) framework in the euro area requires a reset. Currently the framework is far more likely to manufacture a crisis rather than enable the authorities to manage one. Specifically, the current framework is far more likely to trigger the doom loop between weak banks and weak governments than to terminate or untie it. Nor will the current framework necessarily protect deposits. There is no guarantee that a euro in covered deposits will remain a euro, if the bank in which the deposit is held fails, and/or the Member State in which the failing bank is headquartered defaults. The CMDI framework aims to enhance financial stability, limit recourse to taxpayer money, promote competition and protect depositors. These policy objectives remain valid. What needs to change is the method that authorities use to achieve those objectives. First, the approach needs to integrate micro- and macro- aspects of crisis management. In particular, the approach needs to take account of the prospective roles of the European Stability Mechanism, both as a provider of credit to Member States as well as a guarantor of the Single Resolution Fund. Second, the approach needs encompass the central bank as a provider of liquidity to banks individually and to the market as a whole. Finally, the approach needs to recognize that by the time any reform proposed as a result of this review would become effective, the SRB and the significant institutions in the euro area will have completed the transition and become fully resolvable via bail-in. This affords the euro area the opportunity to reset expectations about resolution. The euro area should take this opportunity to make the crisis management and deposit insurance framework more European and more uniform. Specifically, there should be a single presumptive path for dealing with failed banks: the use of bail-in to facilitate the orderly liquidation under a solvent- wind down strategy. This will protect deposits and set the stage for the transformation of the Single Resolution Fund (SRF) into the Single Deposit Guarantee Scheme (SDGS) with a backstop from the European Stability Mechanism (ESM). In addition, measures should be taken to avoid forbearance, including the transfer of responsibility for emergency liquidity assistance (ELA) from national central banks to the ECB to create a single lender of last resort. Finally, national deposit guarantee schemes should become investors of last resort in the gone-concern capital of the failing bank. This will ensure that the orderly liquidation approach extends to all banks, including those without access to capital markets. Together, these measures would complete Banking Union, promote market discipline, avoid imposing additional burdens on taxpayers, help untie the doom loop between weak banks and weak governments, strengthen the euro and enhance financial stability.
重置要求:欧元区危机管理和存款保险框架
欧元区的危机管理和存款保险(CMDI)框架需要重置。目前的框架更有可能制造危机,而不是使当局能够管理危机。具体来说,目前的框架更有可能引发弱势银行和弱势政府之间的厄运循环,而不是终止或解除这种循环。目前的框架也不一定会保护存款。如果持有该存款的银行破产,或破产银行总部所在的成员国违约,则无法保证担保存款中的欧元仍将是欧元。CMDI框架旨在加强金融稳定,限制对纳税人资金的追索权,促进竞争,保护储户。这些政策目标仍然有效。需要改变的是当局用来实现这些目标的方法。首先,该方法需要将危机管理的微观和宏观方面结合起来。特别是,这种办法需要考虑到欧洲稳定机制的未来作用,它既是成员国的信贷提供者,也是单一解决基金的担保人。其次,这种方法需要包括央行作为单个银行和整个市场的流动性提供者。最后,该方法需要认识到,在评估结果提出的任何改革生效之前,SRB和欧元区的重要机构将完成过渡,并通过内部纾困完全可解决。这为欧元区提供了重新设定解决方案预期的机会。欧元区应借此机会,使危机管理和存款保险框架更加欧洲化、更加统一。具体来说,应对破产银行应该有一个单一的假定路径:利用内部纾困(bail-in),在有偿付能力的逐步清盘策略下,促进有序清算。这将保护存款,并为单一处置基金(SRF)转变为单一存款担保计划(SDGS)奠定基础,并得到欧洲稳定机制(ESM)的支持。此外,应采取措施避免容忍,包括将紧急流动性援助(ELA)的责任从各国中央银行转移到欧洲央行,以建立一个单一的最后贷款人。最后,国家存款担保计划应成为破产银行破产资本的最后投资者。这将确保有序的清算方法扩展到所有银行,包括那些无法进入资本市场的银行。总之,这些措施将完善银行业联盟,促进市场纪律,避免给纳税人带来额外负担,帮助解除弱势银行与弱势政府之间的恶性循环,增强欧元,增强金融稳定。
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