Financial Sector (Collection of Data) determination No. 74 of 2005 (Cth)

Case

Financial Sector (Collection of Data) determination No. 74 of 2005

Reporting Standard ARS 221.0 (2005)

Financial Sector (Collection of Data) Act 2001

I, Wayne Stephen Byres, a delegate of APRA, under paragraph 13(1)(a) of the Financial Sector (Collection of Data) Act 2001 (‘the Act’) MAKE the reporting standard set out in the Schedule, which applies to the financial sector entities referred to in paragraph 2 of the reporting standard.

Under section 15 of the Act, I DECLARE that the reporting standard shall begin to apply those financial sector entities on the date of registration on the Federal Register of Legislative Instruments.

Dated 27 July 2005

[Signed]

Wayne Byres

Executive General Manager

Diversified Institutions Division

APRA

Interpretation

In this Notice

APRA means the Australian Prudential Regulation Authority.

Schedule

Reporting Standard ARS 221.0 (2005)

Large Exposures

Objective of this reporting standard

This reporting standard is made under section 13 of the Financial Sector (Collection of Data) Act 2001 (the Collection of Data Act). It requires all authorised deposit-taking institutions (ADIs), including foreign ADIs operating in Australia through branch operations, to report to APRA, generally on a quarterly basis, in relation to their large exposures.

This reporting standard outlines the overall requirements for the provision of relevant information to APRA.  It should be read in conjunction with:

·the versions of Form ARF 221.0 Large Exposures (Form ARF 221.0) designated for a ‘Licensed ADI’ and ‘Consolidated Group’, and the associated instructions (all of which are attached and form part of this reporting standard).

Purpose

  1. Data collected in Form ARF 221.0 is used by APRA for the purpose of prudential supervision.  It may also be used by the Reserve Bank of Australia and the Australian Bureau of Statistics.

    Application and commencement

  2. This reporting standard will apply, from the date of registration on the Federal Register of Legislative Instruments, to all ADIs. 

    Information required

  3. An ADI must provide APRA with the information required by the version of Form ARF 221.0 designated for a ‘Licensed ADI’ for each reporting period.

  4. An ADI that is the highest parent entity in relation to a consolidated ADI group must provide APRA with the information required by the version of Form ARF 221.0 designated for a ‘Consolidated Group’ for each reporting period.

    Forms and method of submission

  5. The information required by this reporting standard must be given to APRA either:

    (a)in electronic form, using one of the electronic submission mechanisms provided by the ‘Direct to APRA’ (also known as ‘D2A’) application; or

    (b)manually completed on paper, which must be faxed or mailed to APRA’s head office.

    Note: the Direct to APRA application software and paper forms may be obtained from APRA. 

    Reporting periods and due dates

  6. Subject to paragraph 7, an ADI must provide the information required by this reporting standard for each quarter based on the financial year (within the meaning of the Corporations Act 2001) of the ADI.

  7. APRA may, by notice in writing, change the reporting periods, or specified reporting periods, for a particular ADI, to require it to provide the information required by this reporting standard more frequently, or less frequently, having regard to:

    (a)the particular circumstances of the ADI;

    (b)the extent to which the information is required for the purposes of the prudential supervision of the ADI; and

    (c)the requirements of the Reserve Bank of Australia or the Australian Bureau of Statistics.

  8. The information required by this reporting standard must be provided to APRA by the following times:

(a)      in the case of the information required by paragraphs 3 and 4 from a locally-incorporated bank, locally-incorporated special service provider or foreign ADI (other than a specialist credit card institution) – 20 business days after the end of the reporting period to which the information relates; and

(b)     in the case of the information required by paragraphs 3 and 4 from a locally- incorporated credit union, locally-incorporated building society, specialist credit card institution (whether locally-incorporated or not) or Cairns Penny Savings & Loans Limited – 15 business days after the end of the reporting period to which the information relates.

  1. APRA may grant an ADI an extension of a due date in writing, in which case the new due date for the provision of the information will be the date on the notice of extension.

    Quality control

  2. The information provided by an ADI under this reporting standard (except for the information required under paragraph 4) must be the product of processes and controls that have been reviewed and tested by the external auditor of the ADI.  AGS 1008 ‘Audit Implications of Prudential Reporting Requirements for Authorised Deposit-taking Institutions’, issued by the Auditing and Assurances Standards Board of the Australian Accounting Research Foundation, provides guidance on the scope and nature of the review and testing required from external auditors.  This review and testing must be done on an annual basis or more frequently if necessary to enable the external auditor to form an opinion on the accuracy and reliability of the data.

  3. All information provided by an ADI under this reporting standard must be subject to processes and controls developed by the ADI for the internal review and authorisation of that information. It is the responsibility of the board and senior management of the ADI to ensure that an appropriate set of policies and procedures for the authorisation of data submitted to APRA is in place.

    Authorisation

  4. If an ADI submits information under this reporting standard using the ‘Direct to APRA’ software, it will be necessary for an officer of the ADI to digitally sign, authorise and encrypt the relevant data.  For this purpose, APRA’s certificate authority will issue ‘digital certificates’, for use with the software, to officers of the ADI who have authority from the ADI to transmit the data to APRA.

  5. If information under this reporting standard is provided in paper form, it must be signed on the front page of the relevant completed form by either:

(a)      the Principal Executive Officer of the ADI; or

(b)     the Chief Financial Officer of the ADI (whatever his or her official title may be).

Minor alterations to forms and instructions

  1. APRA may make minor variations to:

(a)      a form that is part of this reporting standard, and the instructions to such a form, to correct technical, programming or logical errors, inconsistencies or anomalies; or

(b)     the instructions to a form, to clarify their application to the form

without changing any substantive requirement in the form or instructions.

  1. If APRA makes such a variation it must notify in writing each ADI that is required to report under this reporting standard.


    Transitional

  2. If the due date for lodgement in respect of a reporting period is a day after the date of registration of this reporting standard on the Federal Register of Legislative Instruments, an ADI must report under this reporting standard in respect of that reporting period (including where the reporting period ended before the date of registration).

    Interpretation - classifications of ADIs

  3. In this reporting standard:

    Accounting Standard AASB 1024 means the accounting standard so designated made by the Australian Accounting Standards Board, being the accounting standard that applied in respect of reporting periods (within the meaning of the accounting standard) commencing immediately before 1 January 2005.

    ADI means an authorised deposit-taking institution within the meaning of the Banking Act 1959.

    ADI list means the attached ADI list.

    building society means an ADI whose name appears under the heading ‘Building Societies’ in the ADI list.

    consolidated ADI group means a group comprising:

(a)      an ADI that is a highest parent entity; and

(b)      each subsidiary (within the meaning of Accounting Standard AASB 1024) of that ADI, whether the subsidiary is locally-incorporated or not, other than a subsidiary that is excluded by the instructions attached to this standard.

credit union means an ADI whose name appears under the heading ‘Credit Unions’ in the ADI list.

foreign ADI means an ADI that is not incorporated in Australia.

highest parent entity means an ADI that satisfies all of the following conditions:

(a)      it is locally-incorporated;

(b)      it has at least one subsidiary (within the meaning of Accounting Standard AASB 1024); and

(c)      it is not itself a subsidiary (within the meaning of Accounting Standard AASB 1024) of an ADI that is locally-incorporated.

locally-incorporated means incorporated in Australia.

locally-incorporated bank means an ADI whose name appears under the heading ‘Australian-owned Banks’ or ‘Foreign Subsidiary Banks’ in the ADI list.   

special service provider means an ADI whose name appears under the heading ‘Other ADIs’ in the ADI list (other than Cairns Penny Savings & Loans Limited).

specialist credit card institution means an ADI whose name appears under the heading ‘Specialist Credit Card Institutions (SCCIs)’ in the ADI list.

  1. If an ADI is not in the ADI list, then:

(a)      if the ADI assumes or uses the word ‘bank’ in relation to its financial business, and is locally-incorporated, it is taken to be a locally-incorporated bank for the purposes of this reporting standard;

(b)     if the ADI assumes or uses the expression ‘building society’ in relation to its financial business, and is locally-incorporated, it is taken to be a locally-incorporated building society for the purposes of this reporting standard;

(c)      if the ADI assumes or uses the expression ‘credit union’, ‘credit society’ or ‘credit co-operative’ in relation to its financial business, and is locally-incorporated, it is taken to be a credit union for the purposes of this reporting standard;

(d) if an ADI engages in credit card issuing or credit card acquiring, or both, and does not otherwise carry on banking business within the meaning of section 5 of the Banking Act 1959, it is taken to be a specialist credit card institution for the purposes of this reporting standard.

  1. APRA may in writing determine that an ADI is taken to be a locally-incorporated bank, locally-incorporated building society, locally-incorporated credit union, specialist credit card institution or locally-incorporated special service provider for the purposes of this reporting standard (even if, under paragraph 17 or 18, it comes within a different classification).

    Interpretation - other definitions

  2. In this reporting standard:

    business days means ordinary business days, exclusive of Saturdays, Sundays and public holidays.

    Principal Executive Officer means the principal executive officer of the ADI for the time being, by whatever name called, and whether or not he or she is a member of the governing board of the entity.

    reporting period means a reporting period under paragraph 6 or, if applicable, paragraph 7.


    The ADI list

    Australian-owned Banks

  • Adelaide Bank Limited

  • AMP Bank Limited

  • Australia and New Zealand Banking Group Limited

  • Bank of Queensland Limited

  • Bendigo Bank Limited

  • Commonwealth Bank of Australia

  • Commonwealth Development Bank of Australia Limited (a subsidiary of Commonwealth Bank of Australia)

  • Elders Rural Bank Limited

  • Macquarie Bank Limited

  • Members Equity Bank Pty Limited

  • National Australia Bank Limited

  • St George Bank Limited

  • Suncorp-Metway Limited

  • Westpac Banking Corporation

    Foreign Subsidiary Banks

  • Arab Bank Australia Limited

  • Bank of Cyprus Australia Pty Limited

  • BankWest (the trading name of Bank of Western Australia Limited, a foreign subsidiary bank following its sale to Bank of Scotland in December 1995)

  • Citibank Pty Limited (a subsidiary of Citibank N.A.)

  • HSBC Bank Australia Limited

  • ING Bank (Australia) Limited

  • Investec Bank (Australia) Limited

  • Laiki Bank (Australia) Limited

  • NM Rothschild & Sons (Australia) Limited

  • Rabobank Australia Limited (a subsidiary of Rabobank Nederland from October 1994)

    Branches of Foreign Banks

  • ABN AMRO Bank N.V.

  • Bank of America, National Association

  • Bank of China (subject to depositor protection provisions of the Banking Act 1959)

  • Bank of Tokyo-Mitsubishi, Ltd

  • Barclays Capital (the trading name of Barclays Bank plc)

  • BNP Paribas

  • Citibank N.A.

  • Credit Suisse

  • Deutsche Bank AG

  • HSBC Bank plc

  • ING Bank NV

  • JPMorgan Chase Bank, National Association

  • Mizuho Corporate Bank, Ltd

  • Oversea-Chinese Banking Corporation Limited

  • Rabobank Nederland (the trading name of Co-operative Central Raiffeisen-Boerenleenbank B.A.)

  • Royal Bank of Canada

  • Société Générale

  • Standard Chartered Bank

  • State Bank of India

  • State Street Bank and Trust Company

  • The International Commercial Bank of China

  • The Royal Bank of Scotland Plc

  • The Toronto-Dominion Bank

  • Taiwan Business Bank

  • UBS AG

  • United Overseas Bank Limited

  • WestLB AG

    Building Societies

  • ABS Building Society Ltd

  • B & E Ltd

  • Greater Building Society Ltd

  • Heritage Building Society Limited

  • Home Building Society Ltd

  • Hume Building Society Ltd

  • IMB Ltd

  • Lifeplan Australia Building Society Limited

  • Mackay Permanent Building Society Ltd

  • Maitland Mutual Building Society Limited

  • Newcastle Permanent Building Society Ltd

  • Pioneer Permanent Building Society Limited

  • The Rock Building Society Limited

  • Wide Bay Australia Ltd

    Credit Unions

  • Amcor Credit Co-operative Limited

  • AMP Employees' & Agents Credit Union Limited

  • Austral Credit Union Limited

  • Australian Central Credit Union Limited

  • Australian Defence Credit Union Ltd

  • Australian National Credit Union Limited

  • AWA Credit Union Limited

  • Bananacoast Community Credit Union Ltd

  • Bankstown City Credit Union Ltd

  • Berrima District Credit Union Ltd

  • Big River Credit Union Ltd

  • Big Sky Credit Union Ltd

  • Blue Mountains and Riverlands Community Credit Union Ltd

  • Broadway Credit Union Ltd

  • Calare Credit Union Ltd

  • Capital Credit Union Ltd

  • Capricornia Credit Union Ltd

  • Carboy (SA) Credit Union Limited

  • Central Murray Credit Union Limited

  • Central West Credit Union Limited

  • Circle Credit Co-operative Limited

  • Coastline Credit Union Limited

  • Collie Miners Credit Union Ltd

  • Combined Australian Petroleum Employees' Credit Union Ltd

  • Community Alliance Credit Union Limited

  • Community First Credit Union Limited

  • Companion Credit Union Limited

  • Comtax Credit Union Limited

  • Connect Credit Union of Tasmania Limited

  • Country First Credit Union Ltd

  • CPS Credit Union (SA) Ltd

  • CPS Credit Union Co-operative (ACT) Limited

  • Credit Union Australia Ltd

  • Credit Union Home Loans Australia Limited

  • Credit Union Incitec Pivot Limited

  • Croatian Community Credit Union Limited

  • CSR and Rinker Employees Credit Union Limited

  • Dairy Farmers Credit Union Ltd

  • Dana Employees Credit Union

  • Defence Force Credit Union Limited

  • Discovery Credit Union Ltd

  • Dnister Ukrainian Credit Co-operative Limited

  • ELCOM Credit Union Ltd

  • Electricity Credit Union Ltd

  • Encompass Credit Union Limited

  • Ericsson Employees Credit Co-operative Limited

  • Esso Employees' Credit Union Ltd

  • Eurobodalla Credit Union Ltd

  • Family First Credit Union Limited

  • Fire Brigades Employees' Credit Union Limited

  • Fire Service Credit Union Limited

  • Firefighters & Affiliates Credit Co-operative Limited

  • First Pacific Credit Union Limited

  • Fitzroy & Carlton Community Credit Co-operative Limited

  • Flying Horse Credit Union Co-operative Limited

  • Ford Co-operative Credit Society Limited

  • Gateway Credit Union Ltd

  • Geelong & District Credit Co-operative Society Limited

  • GMH (Employees) Q.W.L. Credit Co-operative Limited

  • Goldfields Credit Union Ltd

  • Gosford City Credit Union Ltd

  • Goulburn Murray Credit Union Co-operative Limited

  • H.M.C. Staff Credit Union Ltd

  • Heritage Isle Credit Union Limited

  • Hibernian Credit Union Limited

  • Holiday Coast Credit Union Ltd

  • Horizon Credit Union Ltd

  • Hoverla Ukrainian Credit Co-operative Ltd

  • Hunter Mutual Limited

  • Hunter United Employees' Credit Union Limited

  • Industries Mutual Credit Union Limited

  • Intech Credit Union Limited

  • Island State Credit Union Ltd

  • Karpaty Ukrainian Credit Union Limited

  • La Trobe Country Credit Co-operative Limited

  • La Trobe University Credit Union Co-operative Limited

  • Laboratories Credit Union Ltd

  • Latvian Australian Credit Co-operative Society Limited

  • Lithuanian Co-operative Society (Talka) Limited

  • Lysaght Credit Union Ltd

  • M.S.B. Credit Union Limited

  • MacArthur Credit Union Ltd

  • Macaulay Community Credit Co-operative Limited

  • Macquarie Credit Union Limited

  • Maleny and District Community Credit Union Limited

  • Manly Warringah Credit Union Ltd

  • Maritime Workers of Australia Credit Union Ltd

  • Maroondah Credit Union Ltd

  • MECU Limited

  • Media Credit Union Queensland Ltd

  • Melbourne University Credit Union Limited

  • Memberfirst Credit Union Limited

  • N.R.M.A. Employees' Credit Union Ltd

  • NACOS Credit Union Limited

  • New England Credit Union Ltd

  • Newcom Colliery Employees' Credit Union Ltd

  • North East Credit Union Co-operative Limited

  • Northern Inland Credit Union Ltd

  • Nova Credit Union Limited

  • NSW Teachers Credit Union Ltd

  • Old Gold Credit Union Co-operative Limited

  • Orana Credit Union Ltd

  • Orange Credit Union Limited

  • Phoenix (NSW) Credit Union Ltd

  • Pinnacle Credit Union Limited

  • Plenty Credit Co-operative Limited

  • Police & Nurses Credit Society Limited

  • Police Association Credit Co-operative Limited

  • Police Credit Union Limited

  • Polish Community Credit Union Ltd

  • Power Credit Union Limited

  • Powerstate Credit Union Ltd

  • Prospect Credit Union Limited

  • Pulse Credit Union Limited

  • Qantas Staff Credit Union Limited

  • Queensland Community Credit Union Limited

  • Queensland Country Credit Union Ltd

  • Queensland Police Credit Union Limited

  • Queensland Professional Credit Union Ltd

  • Queensland Teachers' Credit Union Limited

  • Queenslanders Credit Union Limited

  • RACV Credit Union Limited

  • Railways Credit Union Limited

  • Randwick Credit Union Limited

  • RegionalOne Credit Union Limited

  • Reliance Credit Union Ltd

  • Resources Credit Union Limited

  • RTA Staff Credit Union Limited

  • Satisfac Direct Credit Union Limited

  • Savings and Loans Credit Union (S.A.) Ltd

  • Security Credit Union Ltd

  • Select Credit Union Ltd

  • Service One Credit Union Ltd

  • SGE Credit Union Ltd

  • Shell Employees' Credit Union Limited

  • Shoalhaven Paper Mill Employee's Credit Union Ltd

  • South West Slopes Credit Union Ltd

  • Southern Cross Credit Union Limited

  • South-West Credit Union Co-operative Limited

  • St Mary's Swan Hill Co-operative Credit Society Limited

  • St Patrick's Mentone Co-operative Credit Society Limited

  • Statewest Credit Society Limited

  • Sutherland Credit Union Ltd

  • Sutherland Shire Council Employees' Credit Union Ltd

  • Sydney Credit Union Ltd

  • TAB Credit Union Limited

  • Tartan Credit Union Ltd

  • The Broken Hill Community Credit Union Ltd

  • The Gympie Credit Union Ltd

  • The Police Department Employees' Credit Union Limited

  • The Summerland Credit Union Limited

  • The TAFE and Community Credit Union Limited

  • The University Credit Society Limited

  • Traditional Credit Union Limited

  • TransComm Credit Co-operative Limited

  • Uni Credit Union Ltd

  • United Credit Union Limited

  • Victoria Teachers Credit Union Limited

  • Wagga Mutual Credit Union Ltd

  • Warwick Credit Union Ltd

  • WAW Credit Union Co-operative Limited

  • Westax Credit Society Ltd

  • Western City Credit Union Ltd

  • Woolworths/Safeway Employees' Credit Co-operative Limited

  • Wyong Council Credit Union Ltd

  • Yennora Credit Union Ltd

    Specialist Credit Card Institutions (SCCIs)

    Foreign-owned SCCIs

  • GE Capital Finance Australia

  • GE Finance Australasia Pty Ltd

    Locally Incorporated SCCIs

  • MoneySwitch Limited

    Other ADIs

    These companies are run by industry bodies and provide services (e.g. payments clearing) to member building societies and credit unions.

  • Australian Settlements Limited

  • Credit Union Services Corporation (Australia) Limited

  • Creditlink Services Limited

    One ADI that provides general banking services which does not fall into the other categories.

  • Cairns Penny Savings & Loans Limited










    Reporting Form ARF 221.0

    Large Exposures

    Instruction Guide

    Purpose

    The Large Exposures form collects information on an ADI’s large exposures to an individual counterparty or a group of related counterparties at the stand-alone and consolidated banking group level.

    Information reported on this form is prudentially important, as it will form part of APRA’s monitoring and analysis framework for the ADI and the industry.

    Note: Do not include an ADI’s exposures to related entities (defined in accordance with Prudential Standard APS 222 Associations with Related Entities) in this form.  Such exposures are to be reported in ARF 222.0 Exposures to Related Entities.

    Audit requirements

    This form is subject to audit review and testing.  The scope and nature of audit testing required is outlined in the applicable Audit Guidance Statement issued by the Auditing and Assurance Board of the Australian Accounting Research Foundation.

    General directions and notes

    Reporting entity

  1. Licensed ADI

    The Large Exposures (Licensed ADI) form is to be completed by all ADIs at Level 1 (i.e. the stand-alone level) defined in accordance with Prudential Standard APS 110 Capital Adequacy.  Foreign ADIs[1] and Specialist Credit Card Institutions (SCCIs) operating through branches in Australia are required to complete this form for the Australian branch only.


    [1]These instructions and any relevant form are to apply to the Bank of China as if its branch operations in Australia constituted a locally-incorporated bank.  Accordingly: (a) the Bank of China is to undertake stand-alone or ‘Licensed ADI’ reporting in respect of the bank’s Australian branch operations, as if those operations constituted a locally-incorporated bank; and (b) ‘Consolidated Group’ reporting for Bank of China is to encompass (i) those branch operations (as if they constituted a locally-incorporated bank) and (ii) any locally-incorporated subsidiary of the Bank of China.

  2. Consolidated Group

    The Large Exposures (Consolidated Group) form is to be completed by all ADIs (where applicable) at Level 2 (i.e. the consolidated banking group level) defined in accordance with Prudential Standard APS 110 Capital Adequacy.  Foreign ADIs and SCCIs operating through branches in Australia are not required to complete this form.

    Reporting period

    The form is to be completed as at the last day of the stated reporting quarter.  Locally incorporated banks, Foreign ADIs and Special Service Providers should submit the completed form to APRA within 20 business days after the end of the relevant reporting quarter.  Credit Unions, Cairns Penny Savings & Loans Limited, Building Societies and SCCIs should submit the completed form to APRA within 15 business days after the end of the relevant reporting quarter.

    Unit of measurement

    Banks are asked to complete the form(s) in millions of Australian dollars rounded to one decimal place, and for other non-bank ADIs (including SCCIs), in whole Australian dollars (no decimal place).

    Amounts denominated in foreign currency are to be converted to AUD in accordance with AASB 1012 ‘Foreign Currency Translation’.

    The general requirements of AASB 1012 for translation are:

  3. Foreign currency monetary items outstanding at the reporting date must be translated at the spot rate at the reporting date.

  4. Other items outstanding at the reporting date must not be retranslated subsequent to initial recognition of the transaction.

    Monetary items are defined to mean money held and assets and liabilities that are to be received or paid in fixed or determinable amounts of money.

    Monetary items arising under foreign currency derivative contracts at the reporting date must be translated as follows:

  • Where the exchange rate is fixed in the contract, at that fixed exchange rate; and

  • Where the exchange rate varies, at the spot rate at the reporting date.

    Basis of preparation

    For the purposes of this form, unless specifically advised in the ‘Instruction Guide for Specific Items’, ADIs are to report all exposures gross.  No netting is to be recognised even if the ADI has in place netting agreements that are in the form of a legally recognised right to net or set off items of assets and liabilities in accordance with AASB 1014 ‘Set-off and Extinguishment of Debt’.


    Definitions

    This section provides guidance on the interpretation of certain items used in this form.

  1. Licensed ADI (Level 1)

    This refers to the operations of the reporting ADI on a stand-alone basis.

  2. Consolidated banking group (Level 2)

    For large exposure purposes, this is defined in accordance with Prudential Standard APS 110 Capital Adequacy and refers to an ADI and all its subsidiaries (other than non-consolidated subsidiaries).

    Consolidation at Level 2 should be conducted in accordance with Australian accounting standards.  This should cover the global operations of an ADI and its subsidiary entities, including other controlled banking entities, securities entities and other financial entities (e.g. finance companies, money market corporations, stockbrokers and leasing companies), except for entities involved in the following business activities:

(a)     insurance businesses (including friendly societies and health funds);

(b)     acting as manager, responsible entity, approved trustee, trustee or similar role in relation to funds management or the securitisation of assets; and

(c)     non-financial (commercial) operations.

  1. Exposures

    An ADI’s exposures to a counterparty or a group of related counterparties at Level 1/Level 2 is the aggregate of all claims, commitments and contingent liabilities arising from on- and off-balance sheet transactions (in both the banking and trading books) with the counterparty or group of related counterparties (see paragraph 7 in Prudential Standard APS 221 Large Exposures).

    Note: Where credit risk is unequivocally transferred from a counterparty to a third party by an irrevocable letter of credit or a direct guarantee, the exposure is to be recorded against the third party.

  2. A group of related counterparties

    For the purposes of this form, a group of related counterparties should be deemed to exist where two or more individual counterparties are linked by:

(a)      cross guarantees;

(b)     common ownership or management;

(c)      the ability to exercise control (defined in accordance with Australian accounting standards) over the other(s), whether direct or indirect;

(d)     financial interdependency such that the financial soundness of any of them may affect the financial soundness of the other(s); or

(e)      other connections or relationships which, according to an ADI’s assessment, identify the counterparties as constituting a single risk.

Note: Family members are not to be treated as connected where they have independent retail relationships with the ADI at Level 1/Level 2 (although the ADI can choose to treat such exposures as connected should it consider appropriate to do so).

  1. On-balance sheet exposures

    This refers to items of assets that are recognised or recorded on the statement of financial position of the ADI at Level 1/Level 2.

  2. Off-balance sheet exposures

    This refers to items of assets or liabilities that are not recognised or recorded on the statement of financial position of the ADI at Level 1/Level 2 because they do not satisfy the asset or liability accounting recognition requirements e.g. contingent liabilities.

  3. Liability exposures

    This refers to deposits; other borrowings; bonds, notes and long-term borrowings; and loan capital as per ARF 320.0 Statement of Financial Position (Domestic Books) or ARF 323.0 Statement of Financial Position (Licensed ADI), as appropriate.  Exclude tradeable security issues.


    Specific instructions

  4. Licensed ADI

    The Large Exposures form for the Licensed ADI has the following reporting components:

  • Section A: Large exposures for locally incorporated banks

    Section A is to be completed by all locally incorporated banks.  Report in this section on a net basis (explained in detail below) the bank’s 10 largest exposures to a counterparty or a group of related counterparties unrelated to the bank at Level 1 and all those exposures that exceed or equal to 10% of the bank’s Level 1 capital base (as reported in ARF 110.0 Capital Adequacy (Licensed ADI) for the same quarter)[2].

    [2]           Exposures to related entities (defined in accordance with Prudential Standard APS 222 Associations with Related Entities) are to be reported in ARF 222.0 Exposures to Related Entities.

  • Section B: Large exposures for non-bank ADIs

    Section B is to be completed by all non-bank ADIs (including locally incorporated SCCIs).  Report in this section on a net basis (explained in detail below) the ADI’s 10 largest exposures to a counterparty or a group of related counterparties unrelated to the ADI at Level 1 and all those exposures that exceed or equal to 5% of the ADI’s Level 1 capital base (as reported in ARF 110.0 Capital Adequacy (Licensed ADI) for the same quarter)[3].

    [3]           See footnote 2.

  • Section C: large exposures for foreign ADIs/SCCI branches

    Section C is to be completed by all foreign ADIs, and SCCIs that operate as branches in Australia.  Report in this section on a net basis (explained in detail below) the 20 largest exposures of the Australian branch to a counterparty or a group of related counterparties unrelated to the foreign ADI or SCCI[4].

    [4]           Exposures of the Australian branch to head office, other overseas branches, Australian or overseas subsidiaries are to be reported in ARF 222.0 Exposures to Related Entities.

  • Section D: large liability exposures

    Section D is to be completed by ADIs that are not subject to scenario analysis under Prudential Standard APS 210 Liquidity on a stand-alone basis.  Report in this section all liability exposures to a counterparty or a group of related counterparties that exceed 5% of the ADI’s total liabilities (as reported in ARF 320.0 Statement of Financial Position (Domestic Books) or ARF 323.0 Statement of Financial Position (Licensed ADI) for the same quarter as appropriate).

    These reporting components are individually explained in detail below.


  1. Consolidated group

    The Large Exposures form for the Consolidated Group has the following reporting components:

  • Section A: Large exposures for locally incorporated banks

    Section A is to be completed by all locally incorporated banks.  Report in this section on a net basis (explained in detail below) the bank’s 10 largest exposures to a counterparty or a group of related counterparties unrelated to the bank at Level 2 and all those exposures that exceed or equal to 10% of the bank’s Level 2 capital base (as reported in ARF 110.0 Capital Adequacy (Consolidated Group) for the same quarter).

  • Section B: Large exposures for non-bank ADIs

    Section B is to be completed by all non-bank ADIs (including locally incorporated SCCIs).  Report in this section on a net basis (explained in detail below) the ADI’s 10 largest exposures to a counterparty or a group of related counterparties unrelated to the ADI at Level 2 and all those exposures that exceed or equal to 5% of the ADI’s Level 2 capital base (as reported in ARF 110.0 Capital Adequacy (Consolidated Group) for the same quarter).

    These reporting components are individually explained in detail below.

    Section A: Large exposures for locally incorporated banks

    Section B: Large exposures for non-bank ADIs

    Instructions for Section A and Section B for both the Large Exposures (Licensed ADI) and the Large Exposures (Consolidated Group) forms are set out below.

    Column 1. Counterparty

    Report in column 1 the names of the relevant individual counterparties to which the ADI has exposures to at Level 1/Level 2 (as appropriate).  In the case of exposures to a group of related counterparties, the ADI’s aggregate exposure to the relevant group should be reported as one exposure and shown in the name of the principal counterparty.

    Column 2. Category

    Report in column 2 the category of the counterparty reported in column 1 using the following abbreviations:

  • G/CB/IO

    This includes Australian governments (Commonwealth, State, local) and foreign governments (central, state, local), Australian and foreign central banks, and other international organisations.

  • ADI

    This includes Australian ADIs and foreign equivalents (and their subsidiaries).

    Note:

  1. Bills accepted by another ADI or foreign equivalent should be reported as an exposure to ADI.

  2. For foreign-owned locally incorporated ADIs (including SCCIs), report exposures to foreign (bank) parent(s) (including Australian and overseas branches), to the foreign parent’s overseas based subsidiaries and to their directly owned non-ADI entities operating in Australia in the memorandum items.

  • AO

    This includes all other counterparties not classified above.

    Column 3. On-balance sheet exposures

    This includes all loans and advances, holding of debt and equity securities, and all other claims on the counterparty or group of related counterparties reported in column 1.  Any accrued income associated with the exposure should also be included (e.g. interest, dividends).

    Report in column 3 the book value of all on-balance sheet exposures to the counterparty or group of related counterparties at Level 1/Level 2 (as appropriate) on a net basis.  Net basis means net of exposures excluded under paragraphs 7(b)(i)-(vi) in Prudential Standard APS 221 Large Exposures, specifically:

  • exposures (e.g. claims or equity investments) deducted from the ADI’s Level 1/Level 2 capital (see Prudential Standard APS 111 Capital Adequacy: Measurement of Capital);

  • exposures to the extent that they are secured by cash deposits (subject to satisfying the criteria set out in Attachment B to Guidance Note AGN 112.1 Risk-Weighted On-Balance Sheet Credit Exposures);

  • exposures to the extent that they are guaranteed by, or secured against securities issued by, governments or central banks (subject to satisfying the conditions set out in paragraphs 9, 12, 13, 14 and 15 of Guidance Note AGN 112.1 Risk-Weighted On-Balance Sheet Credit Exposures);

  • exposures arising in the course of settlement of market-related contracts;

  • exposures to an ADI required as part of a liquidity support arrangement that has been certified by APRA under section 11CB of the Banking Act; and

  • exposures to the extent that they have been written off or specifically provided for.

    Column 3.1. Loans (for Section B only)

    Report in column 3.1 the book value of all loans and advances to the counterparty or group of related counterparties at Level 1/Level 2 (as appropriate) on a net basis.  Include any accrued interest associated with the exposure.

    Column 3.2. Other (for Section B only)

    Report in column 3.2 the book value of all other on-balance sheet exposures (e.g. investment and liquidity exposures) to the counterparty or group of related counterparties at Level 1/Level 2 (as appropriate) on a net basis.  Any accrued income associated with the exposure should also be included (e.g. interest, dividends).

    Column 4. Off-balance sheet exposures

    Column 4.1. Non-market related

  • This includes all commitments, whether revocable or not, which have been advised to the counterparty or group of related counterparties reported in column 1 (see Attachment A to Guidance Note AGN 112.2 Risk-Weighted Off-Balance Sheet Credit Exposures for examples of these commitments).  Any potential chargeback exposures to the counterparty or group of related counterparties (merchants) arising from credit card acquiring activities should also be included.

  • Exclude internal limits that have not been formally advised to the counterparty or group of related counterparties and may be cancelled at the ADI’s discretion at Level 1/Level 2 (as appropriate).

  • Report in column 4.1 the value of all unused commitments to the counterparty or group of related counterparties (do not apply credit conversion factors or risk weightings to the value) on a net basis (i.e. net of exposures excluded under paragraphs 7(b)(i)-(vi) in Prudential Standard APS 221 Large Exposures as detailed in point 3 above).

  • ADIs that are engaged in credit card acquiring activities should use their own methodology in determining the amount of potential chargeback exposures to the counterparty (e.g. this could be based on the ADI’s historical trends of chargeback exposures to the counterparty).  Any amount reported should be net of exposures excluded under paragraphs 7(b)(i)-(vi) in Prudential Standard APS 221 Large Exposures as outlined in point 3 above.  For SCCIs, any funds held as performance bond from merchants for settling any outstanding liabilities to the reporting SCCI (e.g. reimbursement for merchant chargebacks) must be placed in a trust account with an ADI authorised to accept deposits to be eligible for netting purposes.

  • Exposures arising from repos (i.e. sale and repurchase agreements) and reverse repos (i.e. purchase and resale agreements) of securities should be reported as exposures to the issuer of the securities and collateralised loans to the counterparty respectively.

  • For large exposures reporting, credit derivatives should be reported in the same way as guarantees, irrespective of whether they are held in an ADI’s trading book or banking book.  This means, where an ADI is deemed by the requirements set down in Guidance Note AGN 112.4 Treatment of Credit Derivatives in the Banking Book as having purchased protection on an underlying exposure using a credit derivative, the exposure is to the protection seller of the credit derivative.  Where an ADI has sold protection using a credit derivative, the exposure is to the reference entity underlying the credit derivative.  In all cases, exposures are to be reported at their gross values, where gross value is the amount of the exposure as defined in Guidance Note AGN 112.4 Treatment of Credit Derivatives in the Banking Book.  For credit derivatives in an ADI’s trading book, this requirement differs to APRA’s capital adequacy arrangements, which treat credit derivatives in the same way as market rate related transactions.  The requirement is, however, consistent with how APRA requires other non-market rate related transactions to be incorporated into the Large Exposures reporting framework.

  • The treatment of large exposures where protection is purchased requires some additional clarification in a couple of instances.  Where an ADI has purchased protection using a credit derivative and the residual maturity of the credit derivative contract is less than the maturity of the underlying asset, the exposure is to the protection seller for the term of the credit derivative hedge and to the underlying exposure thereafter.  Amongst other requirements, the credit derivative would need to have a residual maturity of at least one year to be regarded by APRA as a sufficient hedge.  In the case of currency mismatches, that is, where the underlying exposure and the credit derivative hedge are denominated in different currencies, the proportion of the underlying exposure transferred to the protection seller will be determined by the current market exchange rate.

  • The following table summarises the treatment of credit derivatives for large exposures reporting purposes.

Credit default swap
Protection seller Exposure to the reference entity
Protection buyer Exposure to the protection seller
Total-rate-of-return swap
Protection seller Exposure to the reference entity
Protection buyer Exposure to the protection seller
Credit-linked note
Protection seller Exposure to the reference entity and the protection buyer
Protection buyer Exposure to collateral (typically zero weighted)
First-to-default baskets
Protection seller Exposures to all reference entities
Protection buyer Exposure to protection seller for one reference entity and exposures to all other entities

Column 4.2. Market related

Include all exposures arising from off-balance sheet market related contracts with the counterparty or group of related counterparties reported in column 1 at Level 1/Level 2 as appropriate (see Guidance Note AGN 112.2 Risk-Weighted Off-Balance Sheet Credit Exposures for examples of these contracts).

Report in column 4.2 the credit equivalent amounts of all market related contracts on a net basis (i.e. net of exposures excluded under paragraphs 7(b)(i)-(vi) in Prudential Standard APS 221 Large Exposures as detailed in point 3 above).  The credit equivalent amounts of these contracts are to be calculated in accordance with Guidance Note AGN 112.2 Risk-Weighted Off-Balance Sheet Credit Exposures or Guidance Note AGN 112.3 Netting where netting applies.  Netting by novation and close-out netting are permissible for market related contracts provided all the requirements set out in Guidance Note AGN 112.3 Netting for bilateral netting are met.  Multilateral netting and netting of exposures against offsetting positions held by a group of related counterparties are not recognised.

Column 5. Total exposures

Column 5.1. Amount

For Section A, this represents the total of column numbers 3, 4.1 and 4.2.  For Section B, this represents the total of column numbers 3.1, 3.2, 4.1 and 4.2.

Column 5.2. As % of capital base

This represents the value reported for column 5.1 divided by the ADI’s capital base as reported in ‘Memorandum items’ (2.1).

  1. Memorandum items

2.1.   Capital base of licensed ADI/consolidated group (where applicable)

Report the ADI’s capital base at Level 1 and Level 2 as appropriate for the reporting quarter (as shown in ARF 110.0 Capital Adequacy (Licensed ADI) and ARF 110.0 Capital Adequacy (Consolidated Group) respectively for the same reporting quarter).

2.2.   Aggregate exposure to non-deposit-taking subsidiaries of unrelated ADIs (including foreign equivalents)

For any reported exposures to an unrelated ADI (including foreign equivalent) and its subsidiaries at Level 1 and Level 2 listed in column 1, report the ADI’s aggregate exposure to the unrelated ADI’s non-deposit-taking subsidiaries, if any, in the memorandum item.  For example, if the ADI has reported aggregate exposure to an unrelated ADI and its subsidiaries of $10 million, of which $2 million is to the unrelated ADI’s non-deposit-taking subsidiaries, report the $2 million exposure in the memorandum item for additional information purposes.


2.3.   Aggregate exposure to foreign parents and their subsidiaries

Report the aggregate exposure to foreign (bank) parent(s) (including Australian and overseas branches), the foreign parent’s overseas based subsidiaries and their directly owned non-ADI entities operating in Australia [5].

[5]Exposures to related entities (as defined in Prudential Standard APS 222 Associations with Related Entities) that form part of the Australian conglomerate group are to be reported in ARF 222.0 Exposures to Related Entities.

2.4.   5 largest merchants by sales volume (for Section B only)

For SCCIs that undertake credit card acquiring activities, report the 5 largest merchant customers in terms of aggregate transaction dollar value acquired by the reporting institution over the reporting quarter.

Section C: Large exposures for foreign ADIs/SCCI branches

Column 1. Counterparty

Report in column 1 the names of the relevant individual counterparties to which the Australian branch has exposures to.  In the case of exposures to a group of related counterparties, the branch’s aggregate exposure to the relevant group should be reported as one exposure and shown in the name of the principal counterparty.

Column 2. Category

Report in column 2 the category of the counterparty reported in column 1 using the following abbreviations:

  • G/CB/IO

    This includes Australian governments (Commonwealth, State, local) and foreign governments (central, state, local), Australian and foreign central banks, and other international organisations.

  • ADI

    This includes Australian ADIs and foreign equivalents (and their subsidiaries).

    Note: Bills accepted by another ADI or foreign equivalent should be reported as an exposure to ADI.

  • AO

    This includes all other counterparties not classified above.

    Column 3. On-balance sheet exposures

    This includes all loans and advances, holding of debt and equity securities, and all other claims on the counterparty or group of related counterparties reported in column 1.  Any accrued income associated with the exposure should also be included (e.g. interest, dividends).

    Report in column 3 the book value of all on-balance sheet exposures to the counterparty or group of related counterparties on a net basis.  Net basis means net of the following exposures:

  • exposures to the extent that they are secured by cash deposits (subject to satisfying the criteria set out in Attachment B to Guidance Note AGN 112.1 Risk-Weighted On-Balance Sheet Credit Exposures);

  • exposures to the extent that they are guaranteed by, or secured against securities issued by, governments or central banks (subject to satisfying the conditions set out in paragraphs 9, 12, 13, 14 and 15 of Guidance Note AGN 112.1 Risk-Weighted On-Balance Sheet Credit Exposures);

  • exposures arising in the course of settlement of market-related contracts; and

  • exposures to the extent that they have been written off or specifically provided for.

    Column 4. Off-balance sheet exposures

    Column 4.1. Non-market-related

  • This includes all commitments, whether revocable or not, which have been advised to the counterparty or group of related counterparties reported in column 1 (see Attachment A to Guidance Note AGN 112.1 Risk-Weighted Off-Balance Sheet Credit Exposures for examples of these commitments).  Any potential chargeback exposures to the counterparty or group of related counterparties (merchants) arising from credit card acquiring activities should also be included.

  • Exclude internal limits that have not been formally advised to the counterparty or group of related counterparties and may be cancelled at the branch’s discretion.

  • Report in column 4.1 the value of all unused commitments to the counterparty or group of related counterparties (do not apply credit conversion factors or risk weightings to the value) on a net basis (i.e. net of exposures detailed in point 3 above).

  • Foreign ADIs and SCCI branches that are engaged in credit card acquiring activities should use their own methodology in determining the amount of potential chargeback exposures to the counterparty (e.g. this could be based on the branch’s historical trends of chargeback exposures to the counterparty).  Any amount reported should be net of exposures detailed in point 3 above.

  • Exposures arising from repos (i.e. sale and repurchase agreements) and reverse repos (i.e. purchase and resale agreements) of securities should be reported as exposures to the issuer of the securities and collateralised loans to the counterparty respectively.

  • For large exposures reporting, credit derivatives should be reported in the same way as guarantees, irrespective of whether they are held in an ADI’s trading book or banking book.  This means, where an ADI is deemed by the requirements set down in Guidance Note AGN 112.4 Treatment of Credit Derivatives in the Banking Book as having purchased protection on an underlying exposure using a credit derivative, the exposure is to the protection seller of the credit derivative.  Where an ADI has sold protection using a credit derivative, the exposure is to the reference entity underlying the credit derivative.  In all cases, exposures are to be reported at their gross values, where gross value is the amount of the exposure as defined in Guidance Note AGN 112.4 Treatment of Credit Derivatives in the Banking Book.  For credit derivatives in an ADI’s trading book, this requirement differs to APRA’s capital adequacy arrangements, which treat credit derivatives in the same way as market rate related transactions.  The requirement is, however, consistent with how APRA requires other non-market rate related transactions to be incorporated into the Large Exposures reporting framework.

    The treatment of large exposures where protection is purchased requires some additional clarification in a couple of instances.  Where an ADI has purchased protection using a credit derivative and the residual maturity of the credit derivative contract is less than the maturity of the underlying asset, the exposure is to the protection seller for the term of the credit derivative hedge and to the underlying exposure thereafter.  Amongst other requirements, the credit derivative would need to have a residual maturity of at least one year to be regarded by APRA as a sufficient hedge.  In the case of currency mismatches, that is, where the underlying exposure and the credit derivative hedge are denominated in different currencies, the proportion of the underlying exposure transferred to the protection seller will be determined by the current market exchange rate.

    The following table summarises the treatment of credit derivatives for large exposures reporting purposes.

Credit default swap
Protection seller Exposure to the reference entity
Protection buyer Exposure to the protection seller
Total-rate-of-return swap
Protection seller Exposure to the reference entity
Protection buyer Exposure to the protection seller
Credit-linked note
Protection seller Exposure to the reference entity and the protection buyer
Protection buyer Exposure to collateral (typically zero weighted)
First-to-default baskets
Protection seller Exposures to all reference entities
Protection buyer Exposure to protection seller for one reference entity and exposures to all other entities

Column 4.2. Market-related

Include all exposures arising from off-balance sheet market related contracts with the counterparty or group of related counterparties reported in column 1 (see Guidance Note AGN 112.2 Risk-Weighted Off-Balance Sheet Credit Exposures for examples of these contracts).

Report in column 4.2 the credit equivalent amounts of all market related contracts on a net basis (i.e. net of exposures detailed in point 3 above).  The credit equivalent amounts of these contracts are to be calculated in accordance with Guidance Note AGN 112.2 Risk-Weighted Off-Balance Sheet Credit Exposures or Guidance Note AGN 112.3 Netting where netting applies.  Netting by novation and close-out netting are permissible for market related contracts provided all the requirements set out in Guidance Note AGN 112.3 Netting for bilateral netting are met.  Multilateral netting and netting of exposures against offsetting positions held by a group of related counterparties are not recognised.

Column 5. Total exposures

This represents the total of column numbers 3, 4.1 and 4.2.

  1. Memorandum item

2.1.   5 largest merchants by sales volume

For SCCI branches that undertake credit card acquiring activities, report the 5 largest merchant customers in terms of aggregate transaction dollar value acquired by the reporting institution over the reporting quarter.

Section D: Large liability exposures

Column 1. Counterparty

Report in column 1 the names of the relevant individual counterparties or group of related counterparties to which the ADI has liability exposure concentration.  In the case of exposures to a group of related counterparties, the ADI’s aggregate exposure to the relevant group should be reported as one exposure and shown in the name of the principal counterparty.

Column 2. Deposits

Include total deposits held for the counterparty or group of related counterparties reported in column 1.  Deposits are defined as per ARF 320.0 Statement of Financial Position (Domestic Books) or ARF 323.0 Statement of Financial Position (Licensed ADI) as appropriate.  Exclude tradeable security issues.


Column 3. Other borrowings, bonds, notes and long-term borrowings, and loan capital

Include total “Other borrowings”, “Bonds, notes and long-term borrowings”, and “Loan capital” (defined as per ARF 320.0 Statement of Financial Position (Domestic Books) or ARF 323.0 Statement of Financial Position (Licensed ADI) as appropriate) due to the counterparty or group of related counterparties reported in column 1.  Exclude tradeable security issues.

Note on References to Accounting Standards

This Note is about references in these instructions to an accounting standard or accounting standards, e.g. where the instructions say that something must be done in accordance with a particular AASB or international accounting standard, or must be done in accordance with the accounting standards (however described) generally.

Where you see such a reference, you must read it as meaning the version of the accounting standard, or versions of the accounting standards, applying to reporting periods (within the meaning of the accounting standards) beginning immediately before 1 January 2005.

Accordingly, the new AASB standards for 2005 are not to be applied.

Similarly, a reference to principles or conventions (however described) governing an accounting procedure or treatment shall be taken to refer to principles or conventions applicable in relation to reporting periods (within the meaning of the accounting standards) that began immediately before 1 January 2005.


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