banking sector reforms in india and china

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BANKING SECTOR REFORMS IN INDIA AND CHINA – A COMPARATIVE PERSPECTIVE Christian Roland* This version: 8 August 2006 Paper prepared for the "Harvard Project for Asian and International Relations" 2006 Conference in Singapore ABSTRACT India and China have both started banking sector reforms after decades of heavy state involvement. This paper takes a comparative perspective on the reforms in the two countries by analyzing the reform progress made since the early 1990s along the lines of the policy recommendations of transformation studies, evaluating the results using the CAMEL framework, and discussing political-economy factors that may have contributed to the respective reform outcomes. The key findings are: (1) India and China have followed most of the policy recommendations in the areas of liberalization, institution building and structural change, while privatization of state-owned banks has lagged in both countries; (2) India has generally proceeded faster with banking sector reforms and outperforms China on most indicators; (3) from a political- economy perspective, a common restraining factor on the reforms are the ailing state-owned enterprises that lack hard-budget constraints, and the influence of interest groups in areas such as privatization and directed credit, while the political system appears to be less important than commonly assumed. JEL-Classification: O53, O57, P52. Key words: Banking sector reforms, CAMEL, China, India, transformation. * European Business School, Oestrich-Winkel Germany; E-Mail: [email protected]

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Page 1: Banking Sector Reforms in India and China

BANKING SECTOR REFORMS IN INDIA AND CHINA –

A COMPARATIVE PERSPECTIVE

Christian Roland*

This version: 8 August 2006

Paper prepared for the "Harvard Project for Asian and

International Relations" 2006 Conference in Singapore

ABSTRACT

India and China have both started banking sector reforms after decades of heavy stateinvolvement. This paper takes a comparative perspective on the reforms in the two countriesby analyzing the reform progress made since the early 1990s along the lines of the policyrecommendations of transformation studies, evaluating the results using the CAMELframework, and discussing political-economy factors that may have contributed to therespective reform outcomes.

The key findings are: (1) India and China have followed most of the policy recommendationsin the areas of liberalization, institution building and structural change, while privatization ofstate-owned banks has lagged in both countries; (2) India has generally proceeded faster withbanking sector reforms and outperforms China on most indicators; (3) from a political-economy perspective, a common restraining factor on the reforms are the ailing state-ownedenterprises that lack hard-budget constraints, and the influence of interest groups in areas suchas privatization and directed credit, while the political system appears to be less importantthan commonly assumed.

JEL-Classification: O53, O57, P52.

Key words: Banking sector reforms, CAMEL, China, India, transformation.

* European Business School, Oestrich-Winkel Germany; E-Mail: [email protected]

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1 INTRODUCTION

China and India have managed an impressive economic take-off since the opening of their

economies in 1978 and 1991 respectively. Both countries have attempted to liberalize and

modernize their economies by for example lowering trade barriers, opening their countries for

foreign investments and deregulating industries.

Despite the impressive progress made in many parts of the economy, the banking sectors of

both countries are not fully liberalized yet and continue to be state-dominated. In addition,

both banking sectors still suffer from years of state-intervention as can be seen for example by

the comparatively high level of non-performing loans (NPLs) or the overstaffing of state-

owned banks. This can have significant implications for the overall economic performance of

the two countries since studies have shown that a well-developed banking sector positively

influences growth through the mobilization of savings and the allocation of capital to the

highest value use.1 While the benefits of a well-functioning banking sector are apparent,

pursuing the necessary reforms towards this goal is not without pitfalls. From a political-

economy perspective the reform of a banking sector poses major challenges due to special

interest groups, the repercussions on the enterprise sector, and the linkage with a country's

fiscal situation.

How to manage the transition from a state-directed to a market-based system is the main focus

of transformation studies. The recommendations along the process elements of transformation

studies can provide a framework to evaluate the progress of banking sector reforms in China

and India. Knowing how the reforms have proceeded is however only the first step in an

overall evaluation since reforms are no means by themselves, but should contribute to an

improvement of the economics of the banking sector. This is evaluated along the lines of the

CAMEL framework.2 To provide possible explanations for the results, relevant political-

economy factors that have shaped the reforms and their outcomes are discussed.

This paper contributes to the scarce comparative literature on banking sector reforms in India

and China in three ways: (1) it provides an evaluation along the lines of transformation studies

on the reform process in the two countries, (2) performance indicators are used to provide a

1 See Levine (1997), p. 720f.2 The acronym CAMEL stands for Capital adequacy, Asset quality, Management soundness, Earnings and

profitability, and Liquidity

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holistic view on the relative performance of the two banking sectors, and (3) political-

economy factors affecting reform outcomes are evaluated in a systematic manner.

The rest of the paper is organized as follows: section 2 provides an overview of the main

elements and recommendations of transformation studies as the theoretical basis for the

evaluation of the reforms. The influence of political-economy factors on the reform process in

the banking sector is discussed in section 3. In section 4 the development and major reforms

in the banking sectors in India and China are presented. This is followed by a discussion in

section 5 of how the recommendations of transformation studies were followed in the reform

process of both countries and which performance effects the reforms had. In section 6, the

influence of political-economy factors on the reform process and results is discussed. Section

7 concludes.

2 OVERVIEW OF TRANSFORMATION STUDIES

Transformation studies3 attempt to explain the trigger, process and result of long-run systemic

changes. A transformation is frequently triggered by a political or economic crisis and

involves a fundamental change of the underlying economic, political or cultural order, which

often entails a redistribution of relative power and wealth.4

A frequently used early blueprint for the transformation from a state-directed to a market-

based system was the Washington Consensus that emphasized liberalization, stabilization and

privatization. It was at the beginning of the 1990s widely adopted in Latin America and in

Central and Eastern Europe (CEE).5 However, soon after the start of the transition in the CEE

countries, the Washington Consensus came under increasing scrutiny for offering an overly

simplistic model of transformation. The experiences in the transition countries have shown

that especially two factors have to receive more attention. First, institutions are needed to

ensure the functioning of the market system. Second, in most transition countries the

3 There is disagreement in the literature whether a general "transformation theory" exists. Because of thecontroversy, the more neutral term "transformation studies" is used in this paper to refer to a set of hypothesisdescribing the process of transition from a state-directed to a market-based system.

4 See Kloten (1991), p. 9; Wagener (1996), p. 9. According to Wagener (1996) the main difference between atransformation and a reform is the depth of the changes. While in a reform, the underlying economic order ispreserved, a transformation involves the substitution of the underlying economic order with a new one.Despite these conceptual differences the terms transformation, transition and reform are used interchangeablyin this paper.

5 See Rodrik (2000), p. 86; Williamson (2004), pp. 1-10.

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economic structure was distorted through state interventions, which make significant

structural changes necessary. Thus, the main policy recommendations of liberalization,

stabilization and privatization have to be complemented by institution building and structural

change.6 These five elements as well as issues that relate to the timing and sequencing of

reforms are now briefly described in the context of banking sector reforms.

Liberalization of the banking sector is a part of the internal liberalization of an economy. As

for the overall economy, liberalization refers to the establishment of a market-determined

price and allocation mechanism.7 An extensive literature starting with the seminal works of

McKinnon (1973) and Shaw (1973) argues for the reduction of repressionist policies such as

interest rate restrictions, reserve requirements and directed credit programs.8

The rationale for sequencing the liberalization of interest rates is that more sophisticated

economic agents need a shorter adjustment period, as well as to reduce overly fierce

competition for deposits at the start of liberalization. Thus, interest rate liberalization should

start with wholesale interest rates, followed by lending rates and finally deposit rates. For

interest rate liberalization to be successful, economic agents should be subject to hard-budget

constraints to ensure sound borrowing and lending, and banks should have a certain degree of

stability to avoid break-downs due to price competitions in liberalized markets.9

Reserve requirements are a tool of monetary policy. They can however become an instrument

of financial repression, if they are used as a source of cheap funds for the budget deficit since

they then constitute a distortionary tax on the banking sector. The policy recommendation

consequently is to only employ reserve requirements for monetary policy.10

Under a directed credit program banks have to channel credit to certain priority sectors due to

perceived market failures or development objectives. Should market failures exist that limit

the access to credit of certain parts of the population or the enterprise sector, measures to

ensure access to credit should be implemented before liberalization. For the abolishment of a

6 See Kolodko (2004), p. 1.7 The removal of entry and exit barriers can be regarded as part of the liberalization of an economy as well.

Here, these points are regarded as enablers for structural changes in a sector.8 See for example Fry (1997), McKinnon (1991), or Roubini and Sala-i-Martin (1992).9 See Caprio, Atiyas and Hanson (1994), p. 435; Mehran and Laurens (1997), p. 33f.10 See Joshi and Little (1997), p. 125.

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directed credit program, a dual-track approach with nominal credit targets should be used so

that economic agents have time to adjust and potential reform losers are compensated.11

Stabilization of the banking sector is another important reform element. In the context of

banking sector reforms, stabilization refers especially to the recapitalization of banks that are

likely to be burdened by a legacy of non-performing loans (NPLs) and low levels of capital.

To avoid moral hazard, this should be done through a "once-and-for-all" program. Pre-

conditions for a successful recapitalization of banks are the correct measurement and

classification of NPLs to be able to determine the capital need, a stable macroeconomic

environment, transparent accounting standards and a legal framework to enforce claims.12

One of the main levers to create a market-based banking system is the privatization of state-

owned banks (SOBs). In light of the often inadequate systems of governance under state

ownership, privatization is regarded as a way to enhance the performance of SOBs and avoid

costly bailouts. A successful program of bank privatization should lead to entities that are

both independent of the state and of insider control. Pre-conditions towards this goal are a

disengagement of the state from direct governance of banks and the build-up of a regulatory

framework as a means of indirect control. For the disengagement of the state to be credible,

banks must be able to operate independently which may make a recapitalization before

privatization necessary. The main policy recommendation for bank privatization is to sell

state-owned banks through a transparent bidding process to strategic partners. This should

help to quickly upgrade banks' operations to best practice levels, and to fully divest the

government's holding to avoid continued interference. This view is however not undisputed

since large-scale sales to foreign investors might lead to a popular backlash against reforms.13

The experience of the transition countries made it clear that the incentives created by

privatization and liberalization of the economy would not work in the absence of proper

institutions. In terms of necessary institutions for the banking sector, countries at least need to

have the following in place. First, accounting and disclosure rules to promote transparency for

outside stakeholders and supervisors. Second, a regulatory system to supervise market

participants so that consumers are protected, competition is promoted, and risk-taking is not

11 For a discussion of dual-track liberalization in China see Lau, Qian and Roland (2000).12 See Balcerowicz and Gelb (1994), p. 37f.; Sheng (1996), p. 46.13 See Bonin, Hasan and Wachtel (2005), p. 2172; Hawkins and Mihaljek (2001), p. 9; Otchere (2005), p.

2090f.; Parker and Kirkpatrick (2005), p. 531.

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threatening the stability of the overall system. Third, capital adequacy standards following the

Basel capital accord to have a cushion against losses and reduce risk-taking. These institutions

have to be embedded in the overall institutional and legal structure that includes for example

commercial and business laws.14

Managing structural changes constitutes one of the central tasks of transition. In the context

of a banking sector, a key lever for structural changes is the entry of domestic and foreign

banks. Before new banks – and especially more sophisticated foreign banks – can enter the

market, it is important to have a bank supervisory agency in place. In addition, it is important

that the incumbent banks have sufficient net worth to avoid undue risk taking in a more

competitive environment. If these conditions are met, the general policy recommendation is to

allow entry of new banks into the market. Experience has shown that the threat of entry alone

can force incumbent banks to improve and upgrade their operations, which ultimately

enhances consumer welfare.15

The successful management of the transformation process does not simply depend on

executing the five previously described process steps, but also on managing the interaction

between these elements. Since a transformation strategy will almost inevitably contain

gradual reforms, the sequencing of the policy reforms as well as the timing of their

implementation become important considerations. Since the sequence depends at least

partially on country specific initial conditions, it is difficult to draw general conclusions from

the experiences of other countries. There are however some generally applicable

recommendations.16 First steps in a banking sector reform program should be the creation of

market-based institutions and if needed the stabilization of banks. From this basis, interest

rates can be liberalized in the sequence described above. The next steps are the lowering of

statutory pre-emptions and the step-wise removal of directed credit. When the necessary

regulatory structure has been established and domestic banks are accustomed to market

mechanisms, entry barriers for domestic and foreign players can be lifted, and the

privatization of state-owned banks can start.17

14 See Joshi and Little (1997), p. 115; Kormendi and Snyder (1996), p. 11; Rajan and Zingales (2003), p. 18;Rybczinski (1991), p. 34.

15 See Caprio, Atiyas and Hanson (1994), p. 435; World Bank (2001), p. 169.16 See Dhanji (1991), p. 323; Funke (1993), p. 337.17 See Gibson and Tsakalotos (1994), p. 579; McKinnon (1991), pp. 6-8; Mehran and Laurens (1997), p. 34.

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3 POLITICAL-ECONOMY CONSIDERATIONS FOR BANKING

SECTOR REFORMS

Banking sector reforms do not occur in isolation: the transformation of the banking sector

affects other parts of the economy, and developments in the rest of the economy in turn have a

profound influence on banking sector reforms. A further complication is that the reforms in

the banking sector affect different interest groups such as savers, borrowers, or bank

employees. Consequently, political-economy considerations are important for the successful

management of banking sector reforms. Two important factors, the inter-connection of

banking sector reforms with the enterprise sector and the fiscal situation, as well as the role of

interest groups, are discussed in more detail.

The banking sector serves as an intermediary between providers and users of capital in an

economy. In a market-oriented banking system, banks will try to channel capital to the

ventures with the best risk-return trade-off in order to minimize credit losses and maximize

profits, which will ensure an efficient allocation of capital in the economy. This may however

change in a system where the state has an important influence over the credit allocation of the

banking sector and enterprises face soft-budget constraints.18 If enterprises face soft-budget

constraints, losses can either be covered by subsidies from the government budget or with

further loans from the banking sector. The extension of loans to loss-making enterprises

adversely affects the profitability and capital base of the banking sector, which may make a

bailout of banks with government funds necessary. To avoid costly recapitalizations of banks

due to unsustainable lending practices, enterprises have to abide to hard budget constraints.

There are two implications from these arguments for banking sector reforms. First, banking

sector reforms need to be complemented by reforms in the enterprise sector if soft budget

constraints are present. Second, the financial capability and resources of the government

affect the pace of banking sector reforms.

While the introduction of hard-budget constraints is an important complementary element for

banking sector reforms, the extent of available financial resources has direct implications on

the transformation process in the banking sector. First, low or moderate public debt may slow

down the privatization process, because with funds available for subsidies for loss-making

18 For a discussion of the soft-budget constraint see for example Kornai (1986).

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public enterprises and banks, there is no urgent pressure to privatize.19 Second, high budget

deficits are likely to lead to a persistence of repressive policies in the form of interest rate

controls and statutory pre-emptions since they constitute sources of cheap funds for the

government, and thus lower its financing costs. Third, higher public debt and deficits may

result in a slower reform pace if compensation transfers have to be made.20 Fourth, high

public debt and deficits make a "once-and-for-all" recapitalization less likely because the

necessary resources are lacking. Thus ceteris paribus, the higher the public debt and deficits,

the slower the pace of banking sector reforms will be.

The speed of reforms is not only influenced by the fiscal position of the government, but to a

major extent by the existence of interest groups that are affected by the reform process. Since

the seminal work by Olson (1965) the effects of interest groups have been a recurrent topic in

the political-economy literature. The analysis of interest groups is also important in the

context of banking sector reforms since they may profoundly affect the liberalization process.

Without going into an in-depth discussion, interest groups may have ceteris paribus the

following effects on the transition process. First, the higher the number of veto players such as

in a coalition government or with well-organized trade unions, the less likely is

privatization.21 Second, interest rate restrictions and directed credit program provide rents to

certain interest groups, which will oppose the abolition and try to delay a full liberalization.22

Third, the opening of the market for new entrants depends on the strength of incumbents to

block new entrants vis-à-vis the existence and degree of organization of outsiders that would

benefit from the reform. In general it can be assumed that incumbents are better organized and

have closer ties to relevant decision-makers, which will delay reforms.23 Fourth, interest

groups may also affect the speed of reforms. A "war of attrition" between different interest

groups, in which the group that gives in first loses more, will lead to a delay of reforms.24 In

19 See Opper (2004), p. 571.20 See Roland (2002), p. 45.21 See Opper (2004), p. 569f.22 This can however be solved by using a dual-track liberalization approach in which pre-existing rents are

preserved. For a discussion see Lau, Qian and Roland (2000).23 See Abiad and Mody (2002), p. 12; Rajan and Zingales (2003), p. 20f.24 See Alesina and Drazen (1991), p. 1171.

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addition, uncertainty about the distribution of gains and losses from the reforms will induce

economic agents to prefer the status quo, which may also lead to a delay of reforms.25

It can be concluded that political-economy factors can have a profound influence on the

reform process in the banking sector, and therefore can help to explain reform outcomes.

Before these factors are applied to explain the reform progress in India and China, an

overview of banking sector reforms in the two countries is given.

4 DEVELOPMENT OF THE BANKING SECTORS IN INDIA AND

CHINA

4.1 India

At the time of Independence in 1947, the banking system in India was fairly well developed

with over 600 commercial banks operating in the country. However, soon after Independence,

the view that the banks from the colonial heritage were biased against extending credit to

small-scale enterprises, agriculture and commoners gained prominence. To ensure better

coverage of the banking needs of larger parts of the economy and the rural constituencies, the

Government of India created the State Bank of India (SBI) in 1955. Despite the progress in

the 1950s and 1960s, it was felt that the creation of the SBI was not far reaching enough since

the banking needs of small scale industries and the agricultural sector were still not covered

sufficiently. Additionally, there was a perception that banks should play a more prominent

role in India's development strategy by mobilizing resources for sectors that were seen as

crucial for economic expansion. As a consequence, in 1967 the policy of social control over

banks was announced, which aimed to cause changes in the management and distribution of

credit by commercial banks.26

In 1969 the 14 largest public banks were nationalized which raised the Public Sector Banks'

(SOB) share of deposits from 31% to 86%. The two main objectives of the nationalizations

were rapid branch expansion and the channeling of credit in line with the priorities of the five-

year plans. To achieve these goals, the newly nationalized banks received quantitative targets

for the expansion of their branch network and for the percentage of credit they had to extend

25 See Fernandez and Rodrik (1992).26 See Cygnus (2004), p. 5; ICRA (2004), p. 5; Joshi and Little (1997), p. 110f.; Kumbhakar and Sarkar (2003),

p. 406f.; Reddy (2002b), p. 337f.; Shirai (2002b), p. 8.

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to the so-called priority sectors, which initially stood at 33.3%. Six more banks were

nationalized in 1980, which raised the public sector's share of deposits to 92%. The second

wave of nationalizations occurred because control over the banking system became

increasingly important as a means to ensure priority sector lending, reach the poor through a

widening branch network and to fund rising public deficits. In addition to the nationalization

of banks, the priority sector lending targets were raised to 40%. Besides the establishment of

priority sector credits and the nationalization of banks, the government took further control

over banks' funds by raising the statutory liquidity ratio (SLR) and the cash reserve ratio

(CRR). From a level of 2% for the CRR and 25% for the SLR in 1960, both increased steeply

until 1991 to 15% and 38.5% respectively.27

However, the policies that were supposed to promote a more equal distribution of funds, also

led to inefficiencies in the Indian banking system. To alleviate the negative effects, some

reforms were enacted in the second half of the 1980s. The main policy changes were the

introduction of Treasury Bills, the creation of money markets, and a partial deregulation of

interest rates.28 Despite the reform attempts, the Indian banking sector had like the overall

economy severe structural problems by the end of the 1980s. By international standards,

Indian banks were even despite a rapid growth of deposits extremely unprofitable. In the

second half of the 1980s, the average return on assets was about 0.15%. The capital and

reserves of Indian banks stood at about 1.5% of assets, which was significantly below other

Asian countries that reached about 4-6%.29

The 1991 report of the Narasimham Committee served as the basis for the subsequent banking

sector reforms. The objective of banking sector reforms was in line with the overall goals of

the 1991 economic reforms of opening the economy, giving a greater role to markets in

setting prices and allocating resources, and increasing the role of the private sector.30 In the

following years, reforms covered the areas of (1) liberalization including interest rate

deregulation, the reduction of statutory pre-emptions, and the easing of directed credit rules;

(2) stabilization of banks; (3) partial privatization of state-owned banks; (4) changes in the

27 See Arun and Turner (2002a), p. 184; Bhide, Prasad and Ghosh (2001), p. 4; Ganesan (2003), p. 14; Hanson(2001), p. 2f.; Joshi and Little (1997), p. 111f.; Kumbhakar and Sarkar (2003), p. 407; Reddy (2002b), p. 338.The SLR refers to funds that have to be kept in cash or government bonds, the CRR is a percentage of fundsthat have to be deposited with the RBI. See Joshi and Little (1997), p. 112.

28 See Bhide, Prasad and Ghosh (2001), p. 5; Shirai (2002b), p. 9.29 See Joshi and Little (1997), p. 111.30 See Government of India (1991); Hanson (2001), pp. 5-7.

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institutional framework, and (5) entry deregulation for both domestic and foreign banks. The

main reforms are now briefly described.

Interest rate liberalization

Prior to the reforms, interest rates were a tool of cross-subsidization between different sectors

of the economy. As a result the interest rate structure had grown increasingly complex with

both lending and deposit rates set by the Reserve Bank of India (RBI). The lending rate for

loans in excess of Rs200,000 which account for over 90% of total advances was abolished in

October 1994. Banks were at the same time required to announce a prime lending rate (PLR)

which according to RBI guidelines had to take the cost of funds and transaction costs into

account. For the remaining advances up to Rs200,000 interest rates can be set freely as long

as they do not exceed the PLR. On the deposit side, there has been a complete liberalization

for the rates of all term deposits, which account for 70% of total deposits. From October 1995,

interest rates for term deposits with a maturity of two years were liberalized. The minimum

maturity was subsequently lowered from two years to 15 days in 1998. The term deposit rates

were fully liberalized in 1997. As of 2004, the RBI is only setting the savings and the non-

resident Indian deposit rate. For all other deposits above 15 days banks are free to set their

own interest rates.31

Statutory pre-emptions

Until 1991 the CRR had increased to its maximum legal limit of 15% from a level of around

5% in the 1960s and 1970s. From its peak in 1991, it has declined gradually to a low of 4.5%

in June 2003. In October 2004 it was slightly increased to 5% to counter inflationary

pressures, but the RBI remains committed to decrease the CRR to its statutory minimum of

3%. The SLR has seen a similar development. The peak rate of the the SLR stood at 38.5% in

February 1992, just short of the upper legal limit of 40%. Since then it has been gradually

lowered to the statutory minimum of 25% in October 1997.32

Priority sector lending

Besides the high level of statutory pre-emptions, the priority sector advances were identified

as one of the major reasons for the below average profitability of Indian banks. The

Narasimham Committee therefore recommended a reduction from 40% to 10%. However, this

31 See Arun and Turner (2002b), p. 437; Reserve Bank of India (2004), p. 11 and 15; Shirai (2002b), p. 13f.;Singh (2005), p. 18; Varma (2002), p. 10.

32 See Ghose (2000), p. 199; Reserve Bank of India (2004), p. 10.

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recommendation has not been implemented and the targets of 40% of net bank credit for

domestic banks and 32% for foreign banks have remained the same. While the nominal

targets have remained unchanged, the effective burden of priority sector advances has been

reduced by expanding the definition of priority sector lending to include for example

information technology companies.33

Stabilization

Due to directed lending practices and poor risk management skills, India's banks had accrued

a significant level of NPLs. Prior to any privatization, the balance sheets of SOBs had to be

cleaned up through capital injections. In the fiscal years 1991/92 and 1992/93 alone, the

Indian government provided almost Rs40 billion to clean up the balance sheets of SOBs.

Between 1993 and 1999 another Rs120 billion were injected in the nationalized banks. In

total, the recapitalization amounted to 2% of GDP.34

Privatization

Despite the suggestion of the Narasimham Committee to rationalize SOBs, the Government of

India decided against liquidation, which would have involved significant losses accruing to

either the government or depositors. It opted instead to maintain and improve operations to

allow banks to create a starting basis before a possible privatization. In 1993 partial private

shareholding of the SBI was allowed, which made it the first SOB to raise equity in the capital

markets. After the 1994 amendment of the Banking Regulation Act, SOBs were allowed to

offer up to 49% of their equity to the public. This led to the partial privatization of an

additional eleven SOBs. Despite those partial privatizations, the government is committed to

keep the public character of these banks by for exampling maintaining strong administrative

controls.35

Institution building

The report of the Narasimham Committee was the basis for the strengthening of prudential

norms and the supervisory framework. Starting with the guidelines on income recognition,

asset classification, provisioning and capital adequacy the RBI issued in 1992/93, there have

been continuous efforts to enhance the transparency and accountability of the banking sector.

33 See Ganesan (2003), p. 15; Hanson (2001), p. 8; Reserve Bank of India (2004), p. 16.34 See Deolalkar (1999), p. 66f.; Reddy (2002a), p. 359; Reserve Bank of India (2001), p. 26.35 See Ahluwalia (2002), p. 82; Arun and Turner (2002b), pp. 436-442; CASI (2004), p. 33; Reddy (2002a), p.

358f.; Shirai (2002b), p. 26.

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The improvements of the prudential and supervisory framework were accompanied by a

paradigm shift from micro-regulation of the banking sector to a strategy of macro-

management.36

The Basle Accord capital standards were adopted in April 1992. The 8% capital adequacy

ratio had to be met by foreign banks operating in India by the end of March 1993, Indian

banks with a foreign presence had to reach the 8% by the end of March 1994 while purely

domestically operating banks had until the end of March 1996 to implement the requirement.

Significant changes where also made concerning NPLs since banks can no longer treat the

putative 'income' from them as income. Additionally, the rules guiding their recognition were

tightened. Even though these changes mark a significant improvement, the accounting norms

for recognizing NPLs are less stringent than in developed countries where a loan is considered

nonperforming after one quarter of outstanding interest payments compared to two quarters in

India.37

Structural changes

Before the start of the 1991 reforms, there was little effective competition in the Indian

banking system due to strict entry restrictions for new banks, which effectively shielded the

incumbents from competition. Over 30 new banks – both domestic and foreign – have entered

the market since 1994. By March 2005, the new private sector banks and the foreign banks

had a combined share of almost 20% of total assets.38

4.2 China

Like in other countries the development of the banking sector in China has been strongly

influenced by the pre-dominant political philosophies. Since the foundation of the People's

Republic of China (PRC) the Chinese banking sector has undergone several distinct policy

changes. Before the reforms conducted after 1994 are described in more detail, the earlier

developments in the banking sector are briefly described.

The banking system of the Soviet Union in the 1930s served as a blueprint for the Chinese

system after the declaration of the PRC in 1949. The People's Bank of China (PBC) stood at

36 See Reserve Bank of India (2004), p. 24f; Shirai (2002b), p. 21.37 See Joshi and Little (1997), p. 117; Madgavkar, Puri and Sengupta (2001), p. 114; Shirai (2002b), p. 21f. 38 See Reserve Bank of India (2005b), pp. 231-233 and p. 258f.

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the center of a virtual mono-banking system since it had the main responsibility for cash,

credit and settlements. Even though at the beginning of the 1950s other banks and rural

cooperatives existed, they de-facto functioned as extensions of the PBC, and were eventually

merged into the PBC system in 1955. As the de-facto mono-bank, the PBC combined central

banking and commercial banking functions, and served as a tool for the implementation of the

Five-Year Plans. As such, the PBC did not have any degrees of freedom in its lending

decision – size, term and interest rates of loans were all administratively set.39

In 1979 China established a two-tier banking system with the foundation of three state-owned

banks. These were the Agricultural Bank of China (ABC), the Bank of China (BOC) and the

People's Construction Bank of China (PCBC). The ABC was charged with the task of

providing banking services to rural areas and townships, the BOC which was separated from

the PBC was supposed to act as an urban bank providing different banking services, while the

PCBC took responsibility for financing large capital intensive projects. This was an important

first step in creating a more diversified and specialized banking system. In 1984, the Industrial

and Commercial Bank of China (ICBC) was established and complemented the three other

state-owned commercial banks by taking over the commercial banking functions and the vast

branch network of the PBC. In 1984 the PBC became the official central bank after ICBC had

taken over its commercial banking functions.40

Several important steps were taken to further commercialize the banking system between

1985 and 1994. Among them was the replacement of direct grants with interest-bearing loans

to harden the budget constraints of state-owned enterprises (SOEs), the granting of formal

responsibility for the PBC in 1986 over monetary policy and the supervision of the financial

system, and the formulation of a credit plan that instituted an aggregate credit ceiling for each

PBC branch. Within those credit ceilings, the branches gained increasing autonomy to make

credit decisions. In 1993 the State Council initiated further reform steps that included the

transformation of the PBC into a modern central bank with responsibility for monetary policy

and financial system supervision, and the decision to separate policy and commercial lending

39 See Lo (2001), p. 16; Nanto and Sinha (2002), p. 472; Wolken (1990), p. 54; Yang (2004), p. 2. Under thecentral planning system, enterprises had two sources of funds: the state budget and the banking system.Companies received most of their funds through the official state budget. The remainder of the funds –primarily for working capital – was provided by the PBC based on a national credit plan that was prepared bythe State Planning Commission of the State Council. See Wolken (1990), p. 55.

40 See Chen and Thomas (1999), p. 17; Lardy (1998), p. 64; Lowinski and Terberger (2001), p. 5f.; Nanto andSinha (2002), p. 472; Wolken (1990), p. 57.

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which was the basis for the transformation of the state banks into commercial banks. In

addition to the foundation of the policy banks, major reforms in the areas of reserve

requirements, interest rate deregulation, reduction of directed lending, entry deregulation,

improvement of prudential regulation, and NPL management have been started since 1994.41

These reforms are now described in more detail.

Interest rate liberalization

The initial attempts to liberalize interest rates started in the late 1980s, when Chinese banks

received the flexibility to adjust interest rates for lending within a certain range around the

administered rate. Further progress was made in 1998 and 1999 when attempts were made to

increase the flow of credit to SMEs by first increasing the interest ceiling on loans to SMEs to

20% in 1998 and then to 30% in the following year. From 2002, banks received more

flexibility in setting their interest rates on loans since they could charge up to 1.3 times the

central lending rate. This was in 2004 raised to 1.7 times the central lending rate. Despite the

progress made on the lending side, deposit rates continue to be largely set by the state.42

Statutory pre-emptions

Attempts have been made to ease the burden of statutory pre-emptions. After an increase of

reserve requirements from 13% to 20% in 1992, they were lowered to 8% in 1998 and to 6%

in 1999. The statutory reserves are remunerated by the PBC.43

Priority sector lending

The main instrument for directed lending in China has been the credit plan. An important step

towards a more market-based allocation of credit came with the Commercial Banking Law of

1995, in which the four SOBs were given responsibility to operate as commercial entities with

accountability for profits and losses. Besides the establishment of the policy banks, this

marked an important step to ensure the extension of loans based on economic and not political

criteria. The credit plan for working capital loans and fixed investment loans was in 1998

replaced with an indicative, non-binding target. Today, even though banks are in general able

41 See Shirai (2002a), p. 21f.; Lo (2001), p. 20; World Bank (1996), p. 27.42 See Garcia-Herrero and Santabarbara (2004), p. 19; Shirai (2002a), p. 23; The Economist (2004), p. 18.43 See Garcia-Herrero and Santabarbara (2004), p. 19; Shirai (2002a), p. 23.

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to extend loans based on commercial considerations within the framework of the existing

regulations, the government is still able to intervene to some extent in credit decisions.44

Stabilization

Stabilization of state-owned banks is one of the foremost issues in the Chinese banking

system. The need to stabilize the SOBs arises from a combination of a large stock of NPLs

and low equity capital that could serve as a cushion for loan losses. Despite rapid credit

growth over recent years, the stock of NPLs has not declined sufficiently so that even today

NPLs stand at around 15-20% of total loans, which implies that the banking sector is

technically insolvent. The Chinese government has tried to solve the problem by

recapitalizing the Big Four banks with almost USD 260 bn in three successive rounds of

recapitalization since the late 1990s and by shifting NPLs to asset management companies.45

Privatization

Privatization of state-owned banks in China has not proceeded beyond the selling of minority

stakes. The first partial privatization of a Big Four bank was the global initial public offering

of China Construction Bank in October 2005, which was followed by the listing of Bank of

China in June 2006. Besides that foreign investors have taken ownership stakes in second-tier

banks starting in December 2001 with HSBC's purchase of an 8% stake of the Bank of

Shanghai, a local joint-stock commercial bank.46

Institution building

Important upgrades to the institutional infrastructure of the Chinese banking sector were made

between 1995 and 2002. The Commercial Banking Law included provisions that required

banks to focus on efficiency and liquidity in their operations, as well as to make inquiries into

the creditworthiness of their customers. In addition, the Commercial Banking Law required

banks to maintain an 8% equity cushion and to adopt a classification system for NPLs. The

loan classification system was further upgraded in 2002 with the introduction of a five-tier

system which all banks had to adopt by the end of 2005. Important progress in the area of

regulation and supervision was made in 2003 with the establishment of the China Banking

Regulatory Commission (CBRC) that took over these responsibilities from the PBC. The

44 See Mo (1999), p. 99; Shirai (2002a), p. 24. For example according to the Commercial Banking Law statebanks have to provide credit for projects approved by the state council. See Shirai (2002a), p. 24

45 See Bremner (2005), p. 24; Garcia-Herrero and Santabarbara (2004), p. 17; The Economist (2004), p. 18f.46 See Bremner (2005), p. 26; Bremner (2006), p. 1.

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current main priorities of the CBRC are the reduction of NPLs, ensuring sufficient levels of

bank capital and the upgrading of banks' internal indicators to international standards.47

Structural changes

Starting in the second half of the 1990s, the SOBs saw an increase in competition through the

establishment of new commercial banks whose shares were owned by public authorities, and

at times by individuals. These new commercial banks include for example Shenzhen

Development Bank, Guangdong Development Bank and Everbright Bank. Under China's

WTO commitment, the banking sector has to be opened successively between 2002 and 2006

in terms of business reach and geography. Until 2002 foreign banks were only allowed to

serve foreign companies and foreign individuals. This was extended to Chinese domestic

companies in 2005, with the commitment to lift all restrictions in 2006, so that services can be

offered to Chinese individuals as well. In geographic terms, the liberalization also proceeds in

a phased manner with 2006 being the deadline for lifting all geographic restrictions for

foreign banks' business in China.48

5 COMPARATIVE PERSPECTIVE ON BANKING SECTOR

REFORMS

As the overview of the reform progress in table 1 shows, there is a remarkably high degree of

similarity between India and China despite the different starting points for both countries and

different reform environments. Both countries have followed the general recommendations

for interest rate liberalization, the lowering of reserve requirements, and the enabling of

structural changes through the entry of new players. Institution-building is a somewhat special

case, because both countries have upgraded their institutions and relevant regulations.

However, the enforcement of these rules seems to have been particularly in China, at least

until recently, an issue. In the areas of directed credit and privatization both countries have

made relatively little progress towards a market-oriented banking system. In the area of

stabilization both countries have not followed the recommendation of a "one-time"

recapitalization of banks. It is interesting to note that in all areas with the exception of

47 See Chen (2003), p. 321; Deutsche Bank Research (2004), p. 8; Garcia-Herrero and Santabarbara (2004), p.22f.; Lardy (2000), p. 8f.; Lowinski and Terberger (2001), p. 10; Nanto and Sinha (2002), p. 472f.

48 See Deutsche Bank Research (2004), p. 2; Nanto and Sinha (2002), p. 473f.; Wong and Wong (2001), p. 19.

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directed credit, India has started in general 5-10 years earlier with reforms than China. While

this can to a certain extent be attributed to China's mono-bank legacy and fragility of its

banking sector, this marks an important deviation to the overall reforms where China is in

general perceived to be the first-mover.

Concerning the timing and sequencing of reforms, both countries have followed – like for the

rest of their reforms – a gradual reform path. The generally proposed sequence of reforms has

been followed quite well by both countries with only some smaller deviations. For example

the initial partial privatizations were conducted quite early in the reform process in India. The

selling of minority stakes should however be interpreted more as a means to generate funds,

and not to cede control. China started with institution building relatively late, which again can

be attributed to the legacy of the mono-banking system, which first required the build up of a

two-tier banking system. It is interesting to note that both countries have despite their gradual

and cautious reform not always had all the necessary pre-conditions in place.

Overall it can be concluded that India and China followed the policy recommendations fairly

well. It is noteworthy that reform progress has been limited in the contentious areas of

directed credit, privatization and stabilization, which would be expected from a political-

economy standpoint since these are the reforms that most likely affect various interest groups,

and are intricately linked to enterprise reforms and the fiscal situation of the government.

Banking sector reforms are no means by themselves, but should contribute to a better

functioning of the sector. Therefore, it is necessary not only to evaluate the reform process,

but also the performance effects of banking sector liberalization. This is done with the

indicators of the CAMEL framework that analyzes capital adequacy, asset quality,

management soundness, earnings and profitability, and liquidity.49 To provide a more holistic

view of the reforms, indicators for financial development and sectoral concentration are

included in the analysis.

49 See International Monetary Fund (2000), p. 4. Sensitivity to market risks is sometimes used as an additionalfactor. Due to lack of data it is however not included here.

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Table 1: Reform progress in India and China

StatusProcess step Pre-conditions Policy recommendation India ChinaLiberalization

Interest rates (1) Hard-budget constraints inthe enterprise sector

(2) Stability in the bankingsector

Liberalize wholesale rates first,followed by lending rates anddeposit rates

Pre-conditions only partially fulfilledWholesale rates liberalized in the late1980s, lending rate liberalization startedin 1994; deposit rate liberalizationstarted in 1995

Pre-conditions only partially fulfilledWholesale rates liberalized first,widening corridor for the setting oflending rates (starting in 1998), depositrates largely set by the state

Directed credit Ensure access of broadpopulation groups to credit

Directed credit should beabolished via a dual-trackliberalization

Directed credit program remains inplace

De-jure abolishment of directed credit;de-facto government retains someinfluence over credit distribution

Reserverequirements

Control over budget deficits Only use reserve and liquidityrequirements for monetarypolicy

From peak in 1991, SLR lowered tostatutory minimum of 25% (1997); CRRwith 5% slightly above minimum of 3%

Reserve requirements were loweredfrom a peak of 20% in the early 1990sto 6% (1999). Effective reserveshowever above this level

Stabilization (1) Correct measurement andclassification of NPLs

(2) Transparent accountingstandards

(3) Legal framework forclaim enforcement

(4) Stable macro-economicenvironment

Recapitalize banks with a "once-and-for-all" program

Pre-conditions not fulfilled at start ofreformsSeveral rounds of recapitalizationbetween 1991 and 1999

Pre-conditions except for stable macroenvironment not fulfilledBig Four banks received three roundsof capital injections between 1998 and2005

Privatization (1) Disengagement of statefrom direct governanceof banks

(2) Build up of regulatoryframework for indirectcontrol

(3) Recapitalize banks ifneeded

Fully divest government'sholding by selling state-ownedbanks to strategic partners

Minority stakes in SOBs sold startingwith the SBI in 1993; governmenthowever committed to keep publiccharacter of banks, other pre-conditionsfulfilled

Pre-conditions except for thedisengagement of the state largelyfulfilledSelling of stakes in Big Four banks tostrategic foreign investors; listing ofChina Construction Bank in Oct 2005and Bank of China in June 2006

Institution building - - - (1) Accounting and disclosurerules

(2) Regulatory and supervisorysystem

(3) Capital adequacystandards in line withBasel capital accord

Upgrading of rules and regulationsstarted in 1992/93, with furthertightening in the mid-1990s

Rules have been upgraded in the mid-1990s; full enforcement is however stillquestionable

Structural change (1) Supervisory agency(2) Sufficient net worth of

incumbents

Allow entry of domestic andforeign players

Entry of new domestic and foreignbanks started in 1994Net worth of incumbent banks howeverrelatively low at the beginning of reforms

Phased opening following the WTOagreements

Capital Adequacy: India's banking sector has on average a higher capital basis than the

Chinese as measured by the ratio of capital to risk-adjusted assets and the equity share (Figure

1). The Chinese banking sector has however shown some improvements in recent years

following the recapitalization of the SOBs.50

Asset Quality: Both countries have started the reform process with a huge burden of NPLs.

India has however so far more successfully managed to gradually reduce the burden of NPLs

and to introduce hard-budget constraints. In China the ratio of NPLs has despite capital

injections and strong loan growth not declined significantly (Figure 2).

Management Soundness: The cost-income ratio is lower in China. India has since 1992 shown

a steady improvement and has lowered the CIR from 90% to 70% (Figure 3)

50 The aggregate capital adequacy ratio in India has since 1996 exceeded 10%. For China, data is not availablefor all years, but the level is likely significantly below the 8% threshold of the Basel capital standards.

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Earnings and Profitability: With the exception of the immediate aftermath of the balance-of-

payment crisis, India's banks have been consistently more profitable than China's banks as

measured by the return on assets (Figure 4). While the profitability of China's banks has

improved somewhat, it remains low by international standards.

Liquidity: Credit from monetary authorities to deposit money banks was not of great

importance in India (Figure 5). However in China it was an important tool for refinancing and

capitalization of banks. The importance has however declined in the last years as well. One

possible reason for the high share is the former mono-bank system were no distinction

between the central bank and commercial banks was made.

Other indicators: Two further indicators to evaluate the reforms are liquid liabilities to GDP

and the M-4 concentration ratio. Liquid liabilities to GDP is an indicator of the depth of the

financial system. China by far exceeds India in this respect (Figure 6). The M-4 concentration

ratio is the sum of the market shares of the four largest banks in the market. Due to the larger

institutional diversity in the Indian banking sector in the pre-reform period, the concentration

of the banking sector is significantly lower compared to China, which should result in more

intense competition that benefits banks' customers (Figure 7).

Thus, it can be concluded that on a sectoral level the Indian banking sector outperforms the

Chinese with the exception of the cost-income ratio. The relatively weak performance of the

Chinese banking sector as measured for example by the equity share or NPLs is exacerbated

by the great importance of the Chinese banking sector for the overall economy as indicated by

the high ratio of liquid liabilities to GDP.

Possible factors that may explain the better performance of the Indian banking sector are an

earlier start of reforms, a less difficult institutional legacy since India had no mono-banking

system, and a lower concentration, which may lead to a higher degree of competition.

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Figure 1: Equity share

0%

1%

2%

3%

4%

5%

6%

7%

1990 1991 1992 1993 1994 1995 1996 1997 1998 1999 2000 2001 2002 2003 2004

Equity Share India Equity Share China

Source: BankScope (2006); Garcia-Herrero and Santabarbara (2004),p. 42; Reserve Bank of India (2005a).

Figure 2: Non-performing loans as % of total loans

0%

5%

10%

15%

20%

25%

30%

35%

1990 1991 1992 1993 1994 1995 1996 1997 1998 1999 2000 2001 2002 2003 2004

NPL India NPL China

Source: International Monetary Fund (2005a), p. 196;Muniappan (2002), p. 2f.; Pei and Shirai (2004), p. 7.

Figure 3: Cost-income ratio

0%

10%

20%

30%

40%

50%

60%

70%

80%

90%

100%

1990 1991 1992 1993 1994 1995 1996 1997 1998 1999 2000 2001 2002 2003 2004

CIR India CIR China

Source: Garcia-Herrero and Santabarbara (2004), p. 42;Reserve Bank of India (2005a).

Figure 4: Return on assets

-1.5%

-1.0%

-0.5%

0.0%

0.5%

1.0%

1.5%

1990 1991 1992 1993 1994 1995 1996 1997 1998 1999 2000 2001 2002 2003 2004

ROA India ROA China

Source: BankScope (2006); Garcia-Herrero and Santabarbara (2004),p. 42; Reserve Bank of India (2005a);

.

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Figure 5: Credit from monetary authorities tobanks as % of total credit

0%

5%

10%

15%

20%

25%

30%

35%

40%

1980 1982 1984 1986 1988 1990 1992 1994 1996 1998 2000 2002 2004

Credit from monetary authorities to banks/domestic credit IndiaCredit from monetary authorities to banks/domestic credit China

Source: International Monetary Fund (2005b).

Figure 6: Liquid liabilities to GDP

0%

20%

40%

60%

80%

100%

120%

140%

160%

180%

200%

1980

1981

1982

1983

1984

1985

1986

1987

1988

1989

1990

1991

1992

1993

1994

1995

1996

1997

1998

1999

2000

2001

2002

2003

2004

Liquid liabilities (% of GDP) India Liquid liabilities (% of GDP) China

Source: International Monetary Fund (2005b).

Figure 7: M-4 concentration ratio assets

0%

10%

20%

30%

40%

50%

60%

70%

80%

90%

1990 1991 1992 1993 1994 1995 1996 1997 1998 1999 2000 2001 2002 2003 2004

m-4 India m-4 China

Source: Reserve Bank of India (2005a); Pei and Shirai (2004),p. 6; Wong and Wong (2001), p. 23.

Page 23: Banking Sector Reforms in India and China

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The comparison of the reform experiences has shown that India and China have largely followed

the same reform path, with India being ahead in most reform areas. This has also led to an overall

better performance of the Indian banking sector. Looking at the reforms, it appears that both

countries followed the general policy recommendations where they found little opposition from

interest groups such as the lowering of reserve requirements or the introduction of capital

adequacy standards, while reforms in areas that could likely affected larger constituencies such as

privatization, credible stabilization or directed credit where not implemented as suggested by the

general policy recommendations. Possible reasons for these outcomes are discussed in the next

section.

6 DISCUSSION OF REFORM RESULTS

The political-economy factors discussed in section 3 are now used to interpret and explain the

experiences of India and China with banking sector reforms. In both countries the reform outcomes

have been influenced by the interaction of fiscal constraints, the performance in the enterprise

sector and the influence of interest groups.

Contrary to expectations the relatively weak fiscal situation in both countries appears to have had

no major influence on the reform process: despite the relatively high debt levels in both countries,

privatization of state-owned banks has not proceeded far, while statutory pre-emptions as well as

interest rate restrictions have been lowered more than expected.51 In these areas interest groups

appear to have played a more influential role. The same is true for stabilization of banks. The

inability to pursue a "once-and-for-all" stabilization program appears to have been influenced more

by the lack of political will to do so than by the budgetary situation.52

The pace of reform in the enterprise sector appears to have had some influence on the reform

process in the banking sector, especially due to the linkage between state-owned banks and state-

owned enterprises. In both countries, banks were – and to some extent still are – burdened by

legacy NPLs from SOEs. Since it was politically not feasible to directly introduce hard budget

constraints in the enterprise sector at the start of the reforms due to the likelihood of large job

51 India has annual budget deficits of around 10% of GDP and government debt of around 80% of GDP. China has arelatively moderate official deficit and debt levels of 3-4% of GDP and about 40% of GDP respectively. However,China has relatively high contingent liabilities from the bad loans that are accumulated in the banking sector, whichare estimated to stand at 30% of GDP. See Mukherji (2005), p. 64f.; The Economist (2004), p. 18f.

52 As discussed above, India's bank recapitalization program in the 1990s for example amounted to a relatively modest2% of GDP; China appears to have sufficient foreign currency reserves to pay for a recapitalization.

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losses, banks had to extend further loans to non-viable SOEs, which in turn adversely affected the

quality of banks' loan portfolios.53 Since the respective governments were not prepared to let large

SOEs and SOBs go bankrupt, credible stabilization of banks was not possible, and privatization

difficult at best since banks did not fully operate according to commercial principles.

While the fiscal situation has not had the expected effect in shaping reform outcomes, interest

groups had a major influence. Especially in India, there has been strong opposition by interest

groups against privatization of SOBs and the reduction of directed credit; a situation that has been

exacerbated by relatively weak coalition governments that are particularly vulnerable to a loss of

voters' support. An important interest group against the opening of the banking sector to new

competitors in both India and China were the ailing SOBs themselves, which at least at the

beginning of the reform process were not in a position to compete with best-practice players.

These factors are more likely to have slowed down the reform process than a "war of attrition"

between different interest groups, or uncertainty about the distribution of gains and losses from

banking sector reforms.

A surprising feature of the banking sector reforms in both countries is the similarity of the reform

process despite a different political, economic and institutional situation in both countries. This is

especially striking in terms of the political system since the general assumption is that China as a

one-party authoritarian system is in a position to pursue faster reforms than the Indian multi-party

democracy. The comparison of the reforms in the banking sector and the faster reform pace in

India provide some evidence that the political system has less importance on the reform process

and outcome than commonly assumed.54

7 CONCLUSION

The goal of this paper was to evaluate the recent banking sector reforms in India and China along

the lines of transformation studies and to discuss political-economy factors that have shaped

reform outcomes. The analysis showed that the reforms in both countries have proceeded quite far

and that many of the general policy recommendations have been followed. There were however

important deviations in areas such as stabilization, directed credit and privatization. A likely reason

53 The distribution of bank loans in China shows that this pattern continues: private enterprises received only 27% ofbank loans in 2003, but accounted for 52% of GDP. See McKinsey Global Institute (2006), p. 11.

54 As reported by Saez and Yang (2001) this not only appears to be the case in the banking sector, but also in theelectricity and telecommunications sector. See Saez and Yang (2001), p. 90.

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is higher pressure from interest groups in these areas, and the close connections between the ailing

SOEs and state-owned banks. In terms of performance, the Indian banking sector is on most

indicators ahead of the Chinese banking sector.

Several implications for policy makers arise from the reform experiences in India and China. First,

banking sector reforms are closely intertwined with the real sector of an economy. Therefore, hard-

budget constraints in the enterprise sector are an important pre-condition for further reforms in the

banking sector in India and China. Second, interest groups can have a profound influence on the

reform process especially in "visible" areas such as privatization and directed credit. Thus going

forward it is necessary to either incorporate the concerns of diverse stakeholder groups in the

reform strategies, or to design compensation mechanisms for potential reform losers to ensure their

buy in. The dual-track approach for price liberalization in China for example is a mechanism that

could also be applied in the banking sector. Third, the political system of a country is likely less

important for successful reforms than the management of interest groups.

There are two areas that warrant further research. First, political-economy factors have only been

discussed qualitatively in this paper. An econometric analysis would help to yield further insights

into which factors have a significant influence on the reform process. Second, the timing of the

banking sector reforms showed that most reforms started in the mid-1990s after the growth

acceleration in the two countries. The relationship between banking sector reforms and economic

growth in the two countries is therefore a topic that deserves further investigation.

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