Bank management may use this self-assessment tool to evaluate bank risk management processes to identify and mitigate the bank’s Libor transition risks. Not all sections or questions apply to all banks. Bank management should tailor the bank’s risk management process to the size and complexity of the bank’s Libor exposures. For example, large or complex banks and those with material Libor exposures should have a robust, well-developed transition process in place. In contrast, for small or non-complex banks and those with limited exposure to Libor-indexed instruments, less extensive and less formal transition efforts may be appropriate. Bank management should consider all applicable risks (e.g., operational, compliance, strategic, and reputation) when scoping and completing Libor cessation preparedness assessments.
Given the expectation for banks to cease entering into new contracts that use Libor as a reference rate by December 31, 2021, bank management should assess whether the bank’s progress with preparedness is sufficient. For example, in 2021, Libor exposure and risk assessments and cessation preparedness plans should be at least near completion with appropriate management oversight and reporting in place. Most banks should be working toward resolving replacement rate issues while communicating with affected customers and third parties, as applicable.
Libor Self-Assessment Tool |
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Exposure Assessment and Planning |
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Objective: Is the bank managing Libor cessation from an appropriately detailed transition plan commensurate with the size and complexity of Libor exposures? Keep in mind that even a few contracts (e.g., loans) could pose material reputation risk to a bank and materially affect earnings through legal expenses. Consider in your assessment: |
☐ Yes ☐ No |
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Objective: Does the bank have appropriate processes in place to implement Libor transition plans? |
☐ Yes ☐ No |
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☐ Yes ☐ No |
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☐ Yes ☐ No |
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Replacement Rates |
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Objective: Did management plan for and identify appropriate replacement rates and spread adjustment methodologies? Keep in mind that the OCC does not endorse a specific Libor replacement rate. Consider in your assessment: |
☐ Yes ☐ No |
Comments: |
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☐ Yes ☐ No |
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Fallback Language |
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Objective: Did management plan for and take sufficient actions to ensure the appropriateness of fallback language in both existing contracts and new contracts? |
☐ Yes ☐ No |
Comments: |
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☐ Yes ☐ No |
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Progress and Oversight |
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Objective: Is progress toward Libor cessation preparedness sufficient given the size and complexity of risk exposures? Consider in your assessment: |
☐ Yes ☐ No |
Comments: |
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File Type | application/vnd.openxmlformats-officedocument.wordprocessingml.document |
Author | Lily Dow |
File Modified | 0000-00-00 |
File Created | 2021-01-16 |