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EURO-MEDITERRANEAN
ECONOMICS AND FINANCE
REVIEWISSN 1967-502X
Editors
Mondher Bellalah and Jean-Luc Prigent
Aims and Scope
The Euro-Mediterranean Economics and Finance Review is a peer-reviewed research journal ofthe Mediterranean Association of Finance Insurance and Management (AMFAM). It is intended
to develop research in economics, finance and management with aspecial emphasis on the main
issues and problems regarding the Euro-Mediterranean zone. The journal is committed to
excellence by publishing high quality research papers in economics and finance with
theoretical and empirical contents as well as invited viewpoints (2000 to 4000 words) written
by well-known experts.
The journal's editorial policy is to publish original articles that obey the accepted standards
and to improve communications between academies practitioners and policymakers at both
national and international levels. While recognizing the Euro-Mediterranean origins of the
research papers, the journal is also open to research that shows diversity in theoretical andmethodological underpinning.
Editorial Office
Regis Dumoulin (Managing Editor, ISC Paris)
David Heller (Co-managing editor, ISC Paris)
Sandrine Clais (Editorial Assistant, ISC Paris)
22, Boulevard du Fort de Vaux
75017 Paris
France
Email: [email protected]
Phone: +33 1 40 53 99 99 | Fax: +33 1 40 53 98 98
For any information, please contact Sandrine Clais at [email protected].
Access this journal electronicallyThe current and past issues of the journal can be found atwww.emefir.org
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2 THE EURO-MEDITERRANEAN ECONOMICS AND FINANCE REVIEW
EDITORS
Mondher Bellalah, University of Cergy-Pontoise, France
Jean-Luc Prigent, University of Cergy-Pontoise, France
ADVISORY BOARD
Harry Markowitz, Nobel Prize Laureate, University of California, San Diego, USA
Edward Prescott, Nobel Prize Laureate, Arizona State University, USA
ASSOCIATE EDITORS
Michael Adler
Columbia University, USARudy Aernoudt
Brussels Business School, Belgium
Aman Agarwal
Indian Institute of Finance, India
Gordon Alexander
UCLA, USA
Mohamed Arouri
University of Auvergne, France
Mohamed Ayadi
HEC Montreal, Canada
Giovanni Barone-Adesi
University of Lugano, Switzerland
Hatem Ben Ameur
HEC Montreal, Canada
Jean-Franois Boulier
CA Asset Management, France
Michael Brennan
UCLA, USA
Eric Briys
Cyberlibris, Belgium
Harvey R. CampbellDuke University, USA
K.C. Chen
California State University, USA
Ephraim Clark
Middlessex University, UK
Georges Constantinides
University of Chicago, USA
Manuel Jos Da Rocha Armada
University of Minho, Portugal
Gabriel Desgranges
University of Cergy-Pontoise, France
Joao Duque, ISEG Portugal
Alain Finet
ULB, BelgiumPhilippe Foulquier
EDHEC Business School, France
Bertrand Jacquillat
IEP, France
Frank Janseen
Catholic University of Louvain, Belgium
Cuong Le Van
PSE & University of Paris 1, France
Michel Levasseur
University of Lille 2, France
Patrick Navatte
University of Rennes 1, France
Andr de Palma
University of Cergy-Pontoise, France
Bernard Paranque
Euromed Management, France
Kuntara Pukthuanthong
San Diego University
Franois Quittard-Pinon
University of Lyon 1, France
Richard RollUCLA, USA
Olivier Scaillet
HEC, Genve, Switzerland
Stefan Straetmans
Maastricht University, Netherlands
Hracles Vladimirou
University of Cyprus, Cyprus
Jose Scheinkman
Princeton University, USA
Paul Willmott
Editor Derivatives, UK
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VOLUME 8, NUMBER 5, 2014 SPECIAL ISSUE 3
EDITORIAL
Special Issue: Financial crisis in conventional and Islamic Banking
Guest Editor: Prof. Dr. Omar Masood
The current global financial crisis has affected both the conventional and the Islamic financial
system. The lessons learnt from the crisis need to be addressed for the betterment and stability of
both systems. This special issue will focus on three key areas. First, it will briefly set out the
various lessons learnt from the crisis. Secondly, it will expound on solutions derived from the
lessons learnt. Finally, it will explore the means to reshape the behavioural patterns and
responsibilities of economic agents in the financial system.
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TABLE OF CONTENTS Volume 8
Number 5
2014
EDITORIAL.................................................................................................................................................. 3
1 Role of Accountants and Fair Value accounting leading towards the Global Financial Crisis . 5
2 An Empirical Analysis of Credit Risk Management in Islamic Banks of Pakistan ................... 21
3 How do the historical perspective and systemic effects of house price movements help to
explain the pattern of consumption in the U.K? .................................................................................... 31
4 Significant role of derivatives in islamic capital market ............................................................... 45
5 The Stability Estimation and Growth Analysis of Islamic Banks: The case of OIC countries . 62
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VOLUME 8, NUMBER 5, 2014 SPECIAL ISSUE 5
1 Role of Accountants and Fair Value accounting leading
towards the Global Financial Crisis
Omar Masood *, Royal Docks Business School, University of East London, London, UnitedKingdom
Mondher Bellalah, University of Cergy and ISC Paris Business School, Paris, France
ABSTRACT
Since the 2007 market turmoil surrounding complex structured credit products, fair
value accounting and its application through the business cycle has/have been a topic of
considerable debate. As the illiquidity of certain products became more severe, financial
institutions turned increasingly to model-based valuations that, despite increased
disclosure requirements, were nevertheless accompanied by growing opacity in the
classification of products across the fair value spectrum. In this study, we make an
attempt to review an analysis regarding implications of the subprime crisis for
accounting. These implications depend on the interplay among attributes of subprime
mortgages and other positions, the evolution of market prices and illiquidity during the
crisis, and the requirements of the applicable accounting standards, while credit losses
on subprime positions are recorded under various standards. We focus on losses
recorded based on the fair value measurement guidance provided in FAS 157, Fair
Value Measurements. First, we overviewed the institutional and market aspects of
subprime mortgages and other positions, focusing on those with the greatest relevance
for accounting. Second, we discussed the critical aspects of FAS 157s definition of fair
value and guidance for fair value measurements. We focused on practical difficulties
that have arisen in applying that definition and guidance to subprime positions in the
current illiquid markets. We also raise potential Criticisms of Fair Value Accounting
during the Credit Crunch.
KEYWORDS: Subprime crisis; credit crunch; fair value accounting; securitization.
JEL Classification: M 00, M40, M41, M42
1. INTRODUCTION
Fair value accounting is a financial reporting approach in which companies are required or
permitted to measure and report on an ongoing basis certain assets and liabilities (generally
financial instruments) at estimates of the prices they would receive if they were to sell the assets
or would pay if they were to be relieved of the liabilities. Under fair value accounting, companies
report losses when the fair values of their assets decrease or liabilities increase. Those losses
reduce companies reported equity and may also reduce companies reported net income. Some
parties have strong opinion that fair value accounting has a major contribution in strengthen
credit crises, specially pointing to the obvious difficulties of measuring the fair values of
subprime positions in the current illiquid markets and the feedback effects noted above. This is
untenable. The subprime crisis was caused by firms and households making bad operating,
investing, and financing decisions, managing risks poorly, and in some instances committing
fraud. The best way to stem the credit crunch and damage caused by these actions is to speed the
* Omar Masood is at the Royal Docks Business School, University of East London, London, United
KingdomMondher Bellalah is at the University of Cergy and ISC Paris Business School, Paris, France
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price adjustment process by providing market participants with the most accurate and complete
information about subprime positions. While imperfect, fair value accounting provides better
information about these positions and is a better platform for mandatory and voluntary
disclosure than alternative measurement attributes, including any form of cost-based accounting.
This is not to say that guidance for the measurement of fair values in illiquid markets cannot be
improved. While FAS 157 provides a clearer definition of fair value and considerably expanded
guidance specifying how fair value should be measured than prior GAAP, the current market
illiquidity has raised significant challenges for the interpretability of this definition and guidance.
FAS 157s definition of fair value reflects the idea that there can be orderly transactions based
on the conditions that exist at the measurement date. During the subprime crisis, this idea has
become increasingly difficult to sustain even in thought experiments and, more importantly,
practically useless as a guide to preparers estimation of fair values. FAS 157s fair value
measurement guidance includes a hierarchy of inputs that favours observable market inputs over
unobservable firm-supplied inputs, but that ultimately requires preparers to employ the
assumptions that market participants would use in pricing the asset or liabili ty. This hierarchy
provides little help to preparers who have to decide whether to base their fair valuations on thepoor quality signals currently being generated by markets versus highly judgmental firm-
supplied inputs such as forecasts of house price depreciation. For the duration of the crisis,
preparers will need to exercise considerably more than the usual professional judgment to apply
FAS 157s language to their specific circumstances.
As the successive waves of the subprime crisis have hit, firms have repeatedly and sharply
revised upward their estimates of credit losses. These revisions are inevitable consequences of
how the subprime crisis evolved, and they do not imply there have been any problems either
with accounting standards or how preparers have applied them. However, these revisions and
the high potential for further upward revisions have contributed to the aforementioned feedback
effects between reported losses and market illiquidity. Needless to say, this market illiquidity isdamaging our real estate and credit markets and overall economy, and it needs to be cured
through means that do not simply push the problem into the future. As always, essential
components of such a cure are for firms to provide relevant, reliable, and understandable
financial report information and for users to conduct careful and dispassionate analysis of that
information.
The remainder of the essay is structured as follows. In Section II, we overview the short synopsis
of credit crises. In Section III, we describe the critical aspects of FAS 157s definition of fair value
and guidance for fair value measurements. We describe the practical difficulties that have arisen
in applying that definition and guidance to subprime positions in the current illiquid markets.
We also discuss a potential issue regarding the application of FAS 159, The Fair Value Option forFinancial Assets and Financial Liabilities, during credit crunch. Section IV reveals our findings
regarding potential Criticisms of Fair Value Accounting during the Credit Crunch Section V
contain our concluding remarks.
2. SHORT SYNOPSIS OF CREDIT CRISES
The International Monetary Fund (2008) estimates that the credit crisis will cost about $945 billion
dollars, the latest in a long list of estimates presented in Figure 1 below. No one knows the
ultimate cost of the crisis, but it certainly will exceed the costs of the last major financial crisis
presented by the collapse of the savings and loan industry. This problem began in the subprime
mortgage market and then quickly spilled over into other areas of the mortgage industry and the
capital markets, culminating in a liquidity and credit crisis that is still unfolding. Unsurprisingly,litigation has been on the rise.
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VOLUME 8, NUMBER 5, 2014 SPECIAL ISSUE 7
Figure 1. Estimates of Losses Due to the Subprime and Credit Crises
3. CRISES
Just as in the credit crisis, the lawsuits initially started in the mortgage industry. For the most
part, these were suits against mortgage lenders. The subjects of litigation then moved on to be the
issuers and underwriters of securities whose cash flows are backed by the principal and interest
payments of mortgages. Now, the litigation has also engulfed investors who either purchasedthese securities or packaged them into other securities. As the liquidity crisis intensifies, areas
that are not directly related to the subprime mortgage sector are starting to suffer losses,
including the commercial paper market, the leveraged buyout industry, and auction-rate
securities, to name a few examples. As the write-downs continue to accumulate, additional types
of lawsuits are expected to emerge.
The value of asset-backed securities (ABS) backed by subprime products has fallen as the
performance of the subprime loans has continued to worsen. Figure 2 illustrates the value of two
indices tracking the BBB rated and BBB- rated tranches of home equity deals based on loans from
the last six months of 2006. An initial investment of $100 (on 19 January 2007) in the BBB index
would have been worth only $5.46 by 8 May 2008; both indices showed a decline of almost 95%as of 8 May 2008.
Figure 2. Index Values of Subprime Home Equity ABS Deals from the Second Half of 2006, 19
January 2007 to 8 May 2008
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Subprime Mortgage-Related Securities Lawsuits
Almost every market participant in the securitization processwhich transforms illiquid assets
such as mortgages, auto loans, and student loans into tradable securitieshas been named as a
defendant. The list of defendants includes lenders, issuers, underwriters, rating agencies,
accounting firms, bond insurers, hedge funds, CDOs, and many more.As of 21 April 2008, there
had been 132 securities lawsuits related to subprime and credit issues, of which 56 were filed
since January 2008. New York has the most filings, with 48%, while California follows with 14%
and Florida wraps up the top three with 7%. Filings in other states range between 1% and 5%
(lawsuits by state are shown in Figure 3 below). This is consistent with recent trends in
shareholder class actions, where the US circuit courts encompassing New York (Second Circuit),
California (Ninth Circuit), and Florida (Eleventh Circuit) have seen the most activity in recent
years.
Figure 3. Partial Count of Subprime-Related Lawsuits by State (through 21 April 2008)
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VOLUME 8, NUMBER 5, 2014 SPECIAL ISSUE 9
The majority of the early lawsuits have been against mortgage lenders. As various other market
participants reveal the extent of their losses and exposure, they too are being dragged into
litigation. The plaintiffs include shareholders, investors, issuers and underwriters of securities,
plan participants, and others. Figure 4 gives a breakdown of securities defendants and plaintiffs.
Figure 4. The Players: Plaintiffs and Defendants (through 21 April 2008)
Scope of Fair Value Accounting
As depicted in Figure 6, the valuation attributes required by the accounting standards governing
the accounting for subprime positions can be subdivided into the following broad categories.
Some of these standards require or allow subprime positions to be fair valued on the balance
sheet (e.g., FAS 115 for trading and AFS securities, FAS 133 for derivatives, FIN 45 for guarantees
at inception, and FAS 159 for positions for which the fair value option is chosen). When fair value
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is the valuation attribute, unrealized gains on the positions may be recorded either on the income
statement (e.g., FAS 115 for trading securities, FAS 133 for non hedge and fair value hedge
derivatives, and FAS 159 for financial instruments for which the fair value option is elected) or in
other comprehensive income (FAS 115 for AFS securities and FAS 133 for cash flow hedge
derivatives).
Other of these standards requires subprime positions to be recorded at amortized cost (possibly
zero) on the balance sheet. Assets accounted for at amortized cost generally are subject to
impairment write-downs if criteria specified in the standards are met. Assets deemed impaired
based on the relevant criteria are required to be written down to fair value under some standards
(e.g., FAS 115 for HTM securities and SOP 01-6 for held-for-sale loans) and to other valuation
attributes that generally are higher than fair value under other standards (e.g., FAS 5 and FAS 114
for held-for-investment loans). Similarly, under FAS 115 unrealized gains and losses on AFS
securities that previously were recorded in other comprehensive income are recorded in income
when the AFS are deemed impaired.
Critical Aspects of the Definition of Fair Value
FAS 157 defines fair value as the price that would be received to sell an asset or paid to transfer
a liability in an orderly transaction between market participants at the measurement date. In this
section, we unpack and discuss the constituent elements of this definition, indicating the practical
difficulties involved in applying each element and the slippage among the elements given the
current market illiquidity for subprime positions. The definition reflects an optimal exit value
notion of fair value, that is, the highest values of assets and the lowest values of liabilities
currently held by the firm. This notion corresponds to firms solvency more than do the possible
alternative fair value notions of entry value (the price that would be paid to buy an asset or
received from issuing a liability) or value in use (the entity-specific value to the current holder
of an item). In particular, if all assets and liabilities on a firms balance sheet were perfectly
measured at exit value, then owners equity would equal the cash expected to remain if the firm
liquidated all of those items in orderly transactions between market participants at the
measurement date, that is, not in fire sales. Given the paramount importance of maintaining
solvency during the subprime crisis, this element of the definition of fair value is well suited to
users of financial reports current informational needs.
At the measurement date means that fair value should reflect the conditions that exist at the
balance sheet date. If markets are illiquid and credit spreads are at historically high levels, as is
now the case, then the fair values should reflect those conditions. In particular, firms should not
incorporate their expectations of market liquidity and credit spreads returning to normal over
some horizon, regardless of what historical experience, statistical models, or expert opinion
indicates. While one can question this element of the fair value definition, it has considerable
precedent in the accounting literaturenotably FAS 107, Disclosures about Fair Value of
Financial Instruments, and SEC enforcement actions20 and it is hard to imagine the FASB
proposing a definition of fair value without it.
An orderly transaction is one that is unforced and unhurried. The firm is expected to conduct
usual and customary marketing activities to identify potential purchasers of assets and assumers
of liabilities, and these parties are expected to conduct usual and customary due diligence. Each
of these activities could take months in the current environment, because of the few and noisy
signals about the values of subprime positions currently being generated by market transactions
and because of parties natural skepticism regarding those values. Hence, the earliest such an
orderly transaction might occur could easily be a quarter or more after the balance sheet date. At
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VOLUME 8, NUMBER 5, 2014 SPECIAL ISSUE 11
that time, market conditions almost certainly will differ from those that exist at the balance sheet
date, for better or, as been the case lately, worse.
The Fair Value Hierarchy
FAS 157 creates a hierarchy of inputs into fair value measurements, from most to least reliable.
Level 1 input is unadjusted quoted market prices in active markets for identical items. Whilesome accounting academics, bank regulators, and others worry that market values might be
incorrect or their use in accounting might have undesirable incentive or feedback effects, in our
opinion pure mark-to-market measurements using such maximally reliable inputs are the rough
equivalent of accounting nirvana. Even in times of normal market liquidity, this nirvana does not
exist for most subprime positions, however, and so we can safely ignore such philosophical
disputes in this essay. Level 2 inputs are other directly or indirectly observable market data.
There are two broad subclasses of these inputs. The first and generally preferable subclass is
quoted market prices in active markets for similar items or in inactive markets for identical items.
These inputs yield adjusted mark-to-market measurements that are less than ideal but usually
still pretty good, depending on the nature and magnitude of the required adjustments. The
second subclass is other observable inputs such as yield curves, exchange rates, empirical
correlations, et cetera. These inputs yield mark-to-model measurements that are disciplined by
market information but that can only be as good as the models employed. In our view, this
second subclass usually has less in common with the first subclass than with better quality level 3
measurements described below.
In times of normal market liquidity, many subprime positions would be fair valued using level 2
measurements. For example, while most subprime MBS trade over-the-counter and rarely, in
normal markets dealers generally do their best to provide bid and ask prices for these securities.
There are also price and yield indices for portfolios of subprime positions available from Market
and other sources. The price transparency offered by these sources has substantially evaporated
during the subprime crisis, however. Dealers are reluctant to provide bid and ask quotes for
subprime positions, and when they do the bid-ask spread is very wide. Very few truly orderly
transactions are occurring, and those that do occur typically are privately negotiated principal-to-
principal transactions for which the terms and positions involved are largely opaque to market
participants. Market has announced that there will be no indices for the first half of 2008 vintage,
due to an insufficient number of securitizations.
Level 3 inputs are unobservable, firm-supplied estimates. While these inputs should reflect the
assumptions that market participants would use, they yield mark-to-model valuations that are
largely undisciplined by market information. Due to the declining price transparency described
above, many subprime positions that previously were fair valued using level 2 inputs must now
be fair valued using level 3 inputs. While many firms have been criticized in the popular press for
this migration of fair value measurements down the hierarchy, this migration is an inevitable
result of the deterioration of price transparency in the subprime crisis.
Level 3 inputs usually are based on historical data in some fashion. Historical data is only useful
for fair valuation purposes to the extent that the future is expected to be similar, or at least
capable of being related, to the past. For subprime positions, a critical level 3 input is house price
depreciation. Most of the historical data to date (and a fortiori up to earlier points in the subprime
crisis) reflect a period in which house price appreciation was robust and so defaults were few,
uncorrelated, and yielded small percentage losses given default. Hence, this historical data is of
little use for the purposes of determining this input and thus the fair values of subprime
positions. Instead, firms must forecast future house price depreciation, as well as other primitive
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variables such as future interest rates and the time when subprime mortgagors will be able to
refinance again. These variables are critical determinants of the future number and correlation of
defaults and the percentage magnitude of losses given default.
4. REQUIRED DISCLOSURES
Subprime positions are subject to the disclosure requirements of the governing accounting
standards (e.g., FAS 115 for securities) that we do not mention here.22 Instead, we discuss threeoverarching disclosure requirements of particular relevance to subprime positions during the
subprime crisis.
First, FAS 157 requires disclosures of fair value measurements by level of the hierarchy. The
required disclosures are considerably more detailed for level 3 fair value measurements than for
level 1 or 2 measurements. In particular, for level 3 measurements firms most provide
quantitative reconciliations of beginning and end-of period fair values, distinguishing total
(realized and unrealized) gains and losses from net purchases, sales, issuances, settlements, and
transfers. The line-item location of gains and losses on the income statement must be indicated.
Qualitative descriptions of measurement inputs and valuation techniques must be provided.
These disclosure requirements make the effects of level 3 measurements on the financialstatements considerably more transparent than they would have been under prior GAAP, and
users of financial reports are fortunate to have them available during the subprime crisis.
Second, SOP 94-6, Disclosure of Certain Significant Risks and Uncertainties, requires disclosures
regarding an uncertain estimate such as a fair value when it is reasonably possible the estimate
will change in the near term (one year or less) and the effect of the change would be material to
the financial statements. The disclosure should indicate the nature of the uncertainty. Disclosures
of the factors that cause the estimate to be sensitive to change are encouraged but not required.
Neither FAS 157 nor SOP 94-6 requires quantitative disclosures of the forecasted values of the
primitive variables that underlie level 3 fair valuations or of the sensitivities of the fair valuations
to movements in those primitive variables. In the absence of such quantitative disclosures, duringthe subprime crisis I have found level 3 fair values to be very difficult to interpret for a given firm
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VOLUME 8, NUMBER 5, 2014 SPECIAL ISSUE 13
and to compare across firms. To enhance the interpretability of level 3 fair values, I/we suggest
the FASB consider requiring disclosures of firms forecasts of primitive variables when those
forecasts have material effects on their level 3 fair valuations.
Third, SAS 1 requires disclosures of type 2 subsequent events, i.e., events that occur between the
balance sheet date and the financial report filing date, if these events render the financial
statements misleading as of the filing date. Very significant type 2 subsequent events occurred for
many firms holding large subprime positions in the third and fourth quarters of 2007.
Specifically, the third and fourth waves of the subprime crisis described above hit after the end of
the third and fourth fiscal quarters of many firms, respectively, but before the filing dates for
those quarters. Citigroups previously discussed third quarter 2007 subsequent events disclosure
is a good example.
Fair Value Option
FAS 159 allows firms to elect to fair value individual financial instruments upon the adoption of
the standard or at the inception of the instruments. One type of exercise of the fair value option
with particular salience in the subprime crisis is the decision by many securities firms to fairvalue the liabilities of their consolidated securitization entities. Securities firms have made this
choice primarily because they are required by industry or other GAAP to record the entities
assets at fair value, and so electing the fair value option for the entities liabilities yields
symmetric accounting. In general, such symmetry is a desirable thing, as offsetting gains and
losses on these economically matched positions are recorded in the same period.
A concern, however, is that these firms may have the incentive to provide moral recourse to the
securitization entities. When this is the case, the firms may bear the losses on the entities assets
without benefiting from offsetting gains on the entities liabilities. At a minimum, the fair values
of the entities liabilities would have to be adjusted for any expected provision of moral recourse,
a problematic valuation exercise given the non contractual nature of moral recourse.Potential Criticisms of Fair Value Accounting
During the Credit Crunch
Unrealized Gains and Losses Reverse
There are two distinct reasons why unrealized gains and losses may reverse with greater than
50% probability. First, the market prices of positions may be bubble prices that deviate from
fundamental values. Second, these market prices may not correspond to the future cash flows
most likely to be received or paid because the distribution of future cash flows is skewed. For
example, the distribution of future cash flows on an asset may include some very low probability
but very high loss severity future outcomes that reduce the fair value of the asset.
Bubble Prices
The financial economics literature now contains considerable theory and empirical evidence that
markets sometimes exhibit bubble prices that either are inflated by market optimism and
excess liquidity or are depressed by market pessimism and illiquidity compared to fundamental
values. Bubble prices can result from rational short horizon decisions by investors in dynamically
efficient markets, not just from investor irrationality or market imperfections. Whether bubble
prices have existed for specific types of positions during the credit crunch is debatable, but it
certainly is possible.
In FAS 157s hierarchy of fair value measurement inputs, market prices for the same or similarpositions are the preferred type of input. If the market prices of positions currently are depressed
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below their fundamental values as a result of the credit crunch, then firms unrealized losses on
positions would be expected to reverse in part or whole in future periods. Concerned with this
possibility, some parties have argued that it would be preferable to allow or even require firms to
report amortized costs or level 3 mark-to model fair values for positions rather than level 2
adjusted mark-to-market fair values that yield larger unrealized losses. If level 1 inputs are
available, then with a few narrow exceptions FAS 157 requires firms to measure fair values atthese active market prices for identical positions without any adjustments for bubble pricing.
However, if only level 2 inputs are available and firms can demonstrate that these inputs reflect
forced sales, then FAS 157 (implicitly) allows firms to make the argument that level 3 mark-to-
models based fair values are more faithful to FAS 157s fair value definition.
If we agree with the FASBs decision in FAS 157 that the possible existence of bubble price s in
liquid markets should not affect the measurement of fair value. It is very difficult to know when
bubble prices exist and, if so, when the bubbles will burst. Different firms would undoubtedly
have very different views about these matters, and they likely would act in inconsistent and
perhaps discretionary fashions. To be useful, accounting standards must impose a reasonably
high degree of consistency in application. It should also be noted that amortized costs reflect anybubble prices that existed when positions were incepted. In this regard, the amortized costs of
subprime-mortgage related positions incepted during the euphoria preceding the subprime crisis
are far more likely to reflect bubble prices than are the current fair values of those positions.
Future Cash Flows
Fair values should reflect the expected future cash flows based on current information as well as
current risk-adjusted discount rates for positions. When a position is more likely to experience
very unfavourable future cash flows than very favourable future cash flows, or vice-versa
statistically speaking, when it exhibits a skewed distribution of future cash flowsthen the
expected future cash flows differ from the most likely future cash flows. This implies that over
time the fair value of the position will be revised in the direction of the most likely future cash
flows with greater than 50% probability, possibly considerably greater. While some parties
appear to equate this phenomenon with expected reversals of unrealized gains and losses such as
result from bubble prices, it is not the same thing. When distributions of future cash flows are
skewed, fair values will tend to be revised by relatively small amounts when they are revised in
the direction of the most likely future cash flows but by relatively large amounts when they are
revised in the opposite direction. Taking into account the sizes and probabilities of the possible
future cash flows, the unexpected change in fair value will be zero on average.
Financial instruments that are options or that contain embedded options exhibit skewed
distributions of future cash flows. Many financial instruments have embedded options, and in
many cases the credit crunch has accentuated the importance of these embedded options. Super
senior CDOs, which have experienced large unrealized losses during the credit crunch, are a
good example. At inception, super senior CDOs are structured to be near credit riskless
instruments that return their par value with accrued interest in almost all circumstances. Super
senior CDOs essentially are riskless debt instruments with embedded written put options on
some underlying set of assets. Super senior CDOs return their par value with accrued interest as
long as the underlying assets perform above some relatively low threshold (reflecting the riskless
debt instruments),but they pay increasingly less than this amount the more the underlying assets
perform below that threshold (reflecting the embedded written put options). As a result of the
embedded written put options, the fair values of super senior CDOs typically are slightly less
than the values implied by the most likely cash flows. During the credit crunch, the underlyingassets (often subprime mortgage-backed securities) performed very poorly, increasing the
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importance of the embedded put option and decreasing the fair value of super senior CDOs
further below the value implied by the most likely outcome, which for some super seniors may
still be to return the par value with accrued interest. To illustrate this subtle statistical point,
assume that the cash flows for a super senior CDO are driven by home price depreciation, and
that the distribution of percentage losses is modestly skewed with relatively small probability of
large losses, as indicated in the following table.
Estimated loss on
Home price depreciation Probability occurs (Value of) super senior CDO
as a percentage of par value
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5. MARKET ILLIQUIDITY
Together, the orderly transaction and at the measurement date elements of FAS 157s fair
value definition reflect the semantics behind the fair in fair value. Fair values are not
necessarily the currently realizable values of positions; they are hypothetical values that reflect
fair transaction prices even if current conditions do not support such transactions. When markets
are severely illiquid, as they have been during the credit crunch, this notion yields significant
practical difficulties for preparers of firms financial statements. Preparers must imaginehypothetical orderly exit transactions even though actual orderly transactions might not occur
until quite distant future dates. Preparers will often want to solicit actual market participants for
bids to help determine the fair values of positions, but they cannot do so when the time required
exceeds that between the balance sheet and financial report filing dates. Moreover, any bids that
market participants might provide would reflect market conditions at the expected transaction
date, not the balance sheet date.
When level 2 inputs are driven by forced sales in illiquid markets, FAS 157 (implicitly) allows
firms to use level 3 model-based fair values. For firms to be able to do this, however, their
auditors and the SEC generally require them to provide convincing evidence that market prices
or other market information are driven by forced sales in illiquid markets. It may be difficult forfirms to do this, and if they cannot firms can expect to be required to use level 2 fair values that
likely will yield larger unrealized losses. In our view, the FASB can and should provide
additional guidance to help firms, their auditors, and the SEC individually understand and
collectively agree what constitutes convincing evidence that level 2 inputs are driven by forced
sales in illiquid markets. The FASB could do this by developing indicators of market illiquidity,
including sufficiently large bid-ask spreads or sufficiently low trading volumes or depths.
These variables could be measured either in absolute terms or relative to normal levels for the
markets involved. When firms are able to show that such indicators are present, the FASB should
explicitly allow firms to report level 3 model-based fair values rather than level 2 valuations as
long as they can support their level 3 model-based fair values as appropriate in theory and withadequate statistical evidence. Requiring firms to compile indicators of market illiquidity and to
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provide support for level 3 mark-to-model valuations provides important discipline on the
accounting process and cannot be avoided. Relatedly, we also believes that the FASB should
require firms to disclose their significant level 3 inputs and the sensitivities of the fair values to
these inputs for all of their material level 3 model-based fair values. If such disclosures were
required, then level 3 model-based fair values likely would be informationally richer than poor
quality level 2 fair values.
6. ADVERSE FEEDBACK EFFECTS AND SYSTEMIC RISK
By recognizing unrealized gains and losses, fair value accounting moves the recognition of
income and loss forward in time compared to amortized cost accounting. In addition, as
discussed in Section IV.A.1 unrealized gains and losses may be overstated and thus subsequently
reverse if bubble prices exist. If firms make economically suboptimal decisions or investors
overreact because of reported unrealized gains and losses, then fair value accounting may yield
adverse feedback effects that would not occur if amortized cost accounting were used instead.
For example, some parties have argued that financial institutions write-downs of subprime and
other assets have caused further reductions of the market values of those assets and possibly
even systemic risk.
These parties argue that financial institutions reporting unrealized losses has caused them to sell
the affected assets to raise capital, to remove the taint from their balance sheets, or to comply
with internal or regulatory investment policies. These parties also argue that financial
institutions issuance of equity securities to raise capital have crowded out direct investment in
the affected assets. It is possible that fair value accounting-related feedback effects have
contributed slightly to market illiquidity, although he is unaware of any convincing empirical
evidence that this has been the case. However, it is absolutely clear that the subprime crisis that
gave rise to the credit crunch was primarily caused by firms, investors, and households making
bad operating, investing, and financing decisions, managing risks poorly, and in some instances
committing fraud, not by accounting. The severity and persistence of market illiquidity during
the credit crunch and any observed adverse feedback effects are much more plausibly explained
by financial institutions considerable risk overhang10 of subprime and other positions and their
need to raise economic capital, as well as by the continuing high uncertainty and information
asymmetry regarding those positions. Financial institutions actually selling affected assets and
issuing capital almost certainly has mitigated the overall severity of the credit crunch by allowing
these institutions to continue to make loans. Because of its timeliness and informational richness,
fair value accounting and associated mandatory and voluntary disclosures should reduce
uncertainty and information asymmetry faster over time than amortized cost accounting would,
thereby mitigating the duration of the credit crunch.
Moreover, even amortized cost accounting is subject to impairment write-downs of assets under
various accounting standards and accrual of loss contingencies under FAS 5. Hence, any
accounting-related feedback effects likely would have been similar in the absence of FAS 157 and
other fair value accounting standards.
CONCLUDING REMARKS
Financial history contains many examples of the cycle characteristic of the subprime market
discovery of profitability, expansion of credit activity, weakening of credit standards as
competitive pressures to maintain volumes increase, followed by subsequent collapse. The
subprime cycle is unique mainly in the lack of clarity regarding the distribution of mortgage
default risks, especially in the failure to recognize that even the mortgage trusts might sufferenough write offs that their own securities could be wholly or partially defaulted. The principal
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lesson from each of these cycles is that risk control needs to be tougher during the upswing of the
cycle, just when everyone believes it to be unnecessary. If the industry cannot control risks on its
own regardless of how confusing the allocation of the risks might be then regulators must
ensure they do so. Sadly, in the many cycles where the foregoing effects have been observed,
regulatory corrective action is almost always too little and too late to offset some painful losses.
Like all of the severe crises that have periodicallybe/been(?) set our remarkably flexible economy,
the subprime crisis is not and could not be the fault of any one set of parties. The entire economic
system failed to appreciate the risks of the rapid growth in risk-layered subprime mortgages, the
inevitable end of house price appreciation, and unprecedented global market liquidity. These
factors combined to enable all-too-human undisciplined behaviours in lenders, borrowers, and
investors, all of whom were unquestioningly optimistic for as long as the sun shined upon home
equity. Economic policy, bank regulation, corporate governance, financial reporting, common
sense, fear of debt and bankruptcy, and all of our other protective mechanisms were insufficient
to curb these behaviours.
This passage also captures how divorced the process was from the economic and statistical
concepts, such as fair value, that underlie accounting.
Accounting, fair value or otherwise, will never eliminate such behaviours. It can only play two
roles. It can provide periodic financial reports that inform relatively rational and knowledgeable
market participants on an ongoing basis, thereby mitigating the adverse effects of these
behaviours. It can provide a common information set upon which market participants can
recalibrate their valuations and risk assessments when the economic cycle turns. In our view, fair
value accounting plays an essential part in both of these roles, but especially in allowing such
recalibrations to occur as quickly and efficiently as possible, as it is now doing in the subprime
crisis. By comparison, any form of historical cost accounting would drag out these recalibrations
over considerably longer period, likely worsening the ultimate economic cost of the crisis.
This is not to say that fair value accounting and other aspects of GAAP have worked perfectly
during the subprime crisis. The crisis has made clear that financial statement preparers need
additional guidance regarding how to calculate fair values in illiquid markets. Users of financial
reports need better disclosures about the critical estimates underlying level 3 fair values and how
sensitive fair values are to those estimates. Accounting standard setters need to consider what
guidance and disclosures to require. Preparers need to provide these disclosures in an
informative fashion, and users must analyze them carefully and dispassionately. Accounting
researchers and teachers can contribute to all of these processes. Indeed, for all of us who care
about accounting and its role in our economy, there is much work to be done.
REFERENCES
American Institute of Certified Public Accountants. 1994. SOP 94-6, Disclosure of Certain
Significant Risks and Uncertainties, New York, NY.
Bloomfield, R., M. Nelson, and S. Smith. 2006. Feedback Loops, Fair Value Accounting, and
Correlated Investments. Review of Accounting Studies 11(2/3): 377-416,
Stephen R. Stubben, 2008, Fair Value Accounting for Liabilities and Own Credit Risk, The
Accounting Review, Vol.83, No.3.
Basel Committee on Banking Supervision, 2006, Results of the Fifth Quantitative Impact Study
http://www.treasury.gov/press/releases/reports/pwgpolicystatemktturmoil_03122008.pdf
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VOLUME 8, NUMBER 5, 2014 SPECIAL ISSUE 19
2006, Sound Credit Risk Assessment and Valuation for Loans (Basel: Bank for
International Settlements).
Borio, Claudio, and Kostas Tsatsaronis, 2005, Accounting, Prudential Regulations and
Financial Stability: Elements of a Synthesis, BIS Working Papers No. 180 (Basel: Bank
for International Settlements).
http://www.sec.gov/litigation/admin/34-50632.htm.
Bruche, Max and Carlos Gonzlez-Aguado, 2008, Recovery Rates, Default Probabilities, and the
Credit Cycle, CEMFI Working Paper, (Madrid:Centro de Estudios Monetarios Financieros).
Calza, Alessandro, Tommaso Monacelli and Livio Stracca, 2006, Mortgage Markets,
Anderson, R. C., Mansi, S. A., & Reeb, D. M. (2004). Board characteristics, accounting report
Integrity and the cost of debt. Journal of Accounting & Economics, 37, 315342
Bantel, K. A., & Jackson., S. E. (1989). Top management and innovations in banking: Does theComposition of the top team make a difference? Strategic Management Journal, 10, 107124
Bank of England. 2008. Financial Stability Report. Issue No. 23. April.
Barlevy, G. 2007. Economic Theory and Asset Bubbles. Economic Perspectives, Third Quarter, 44-
59.
Bies, S. 2008. Fair Value Accounting. Speech to the International Association of Credit
Portfolio Managers General Meeting, New York, New York, November 18.
CFA Institute. 2005. A Comprehensive Business Reporting Model: Financial Reporting
for Investors. Center for Financial Market Integrity.
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Financial Accounting Standards Board (FASB). 1975. Accounting for Contingencies.
Statement of Financial Accounting Standards No. 5. Norwalk, CT: FASB.
1982. Accounting for Certain Mortgage Banking Activities. Statement of
Financial Accounting Standards No. 65. Norwalk, CT: FASB.
1991. Disclosures about Fair Value of Financial Instruments. Statement of Financial Accounting
Standards No. 107. Norwalk, CT: FASB.
1993. Accounting for Certain Investments in Debt and Equity Securities.
Statement of Financial Accounting Standards No. 115. Norwalk, CT: FASB.1998. Accounting for
Derivative Instruments and Hedging Activities. Statement of
Financial Accounting Standards No. 133. Norwalk, CT: FASB.
http://www.newyorkfed.org/newsevents/news/banking/2008/SSG_Risk_Mgt_doc_final.pdf
2000. Accounting for Transfers and Servicing of Financial Assets and
Extinguishments of Liabilities. Statement of Financial Accounting Standards No. 140.
Norwalk, CT: FASB.
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http://www.americansecuritization.com/uploadedFiles/FinalASFStatementonStreamlinedServicin
gProcedures.pdf
International Monetary Fund. April 2008. Containing Systemic Risks and Restoring Financial
Soundness.
Johnson, S. 2008a. The fair-value blame game. 1www.cfo.com. March 19.
Understanding Accounting related Allegation, By Dr. Faten Sabry, Anmol Sinha, and Sungi Lee,
July 3, 2008
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Accounting in and for the Subprime Crisis, by Stephen G. Ryan, March 2008, Stern School of
Business, New York University
Fair value Accounting, understanding the issue, raised by credit crunch, by Stephen G. Ryan, July
2008
The Subprime Crisis -- Cause, Effect and Consequences, by R. Christopher
Value Relevance of FAS 157 Fair Value Hierarchy Information and the Impact of
Corporate Governance Mechanisms by: Chang Joon Song, Wayne Thomas, Han Yi: June 2004
Fair Value Accounting and Gains from Asset Securitizations: A Convenient Earnings
Management Tool with Compensation Side-Benefits: By Patricia M,Dechow,Linda
Pennington-Cross, A. Subprime and Prime Mortgages: Loss Distributions, working paper 03-1,
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The Presidents Working Group on Financial Markets. 2008. Policy Statement on Financial
Market Developments,http://www.treasury.gov/press/releases/reports/pwgpolicystatemktturmoil_03122008.pdf
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VOLUME 8, NUMBER 5, 2014 SPECIAL ISSUE 21
2 An Empirical Analysis of Credit Risk Management in
Islamic Banks of Pakistan
Asma Abdul Rehman*, Cardiff Metropolitan University
Abstract
The purpose of this study is to investigate the banks factors which have significantly
influence the credit risk of Islamic banks operating in Pakistan. Secondary data is
obtained from annual reports of the Islamic banks from 2007 to 2011. Data is analyzed
by using descriptive statistics, correlation matrix and multiple regression analysis.
Findings reveal that total debt equity ratio and capital adequacy ratio have positive and
significant relationship with credit risk whereas asset utilization has a negative and
significant relationship with credit risk. Considering the importance of credit Risk
management in Islamic banks, this research has determined the credit risk management
in Pakistani Islamic banks. This study would be helpful as a base study for future
conceptual model.
Keywords: Credit risk, Non-performing loan, capital adequacy, debt to equity ratio,
asset utilization ratio, Islamic banks, Pakistan
G21 : Banks; Other Depository Institutions; Micro Finance Institutions; Mortgages
1. INTRODUCTION
Islamic banking industry has been significantly growing over the last three decades and now has
total assets of around $1.2 trillion with annual growth rate over 20 percent.
Credit risk is considered the major risk in banking industry. Credit risk management is an
integral part of banks loan process. In developing countries, the development process depends a
lot on financial intermediaries. Empirical researches have shown that a good financial sector
contributes to the development of economy. Financial institutions should have a credit risk
management system in place to identify measure, monitor and control credit risk which in turn
prevents distress or collapse of the financial institutions. The concepts of a sound risk
management system in financial institutions and regulations provide a mechanism to strengthen
and improve the supervision and risk management system. A successful system for risk
management needs a positive risk culture.
The financial crisis of 2007 have provided a golden opportunity to Islamic banks for the
expansion in the other parts of the world because Islamic banks are considered as much safer as
they do not include risky products offerings (Lahem 2009, Cihak and Hesse 2008). Islamic banks
have managed to survive during financial crisis due to uniqueness of Islamic banking products
(Zeitun, 2012).
Today, there is unstable circumstances in Pakistan that has put banks both Islamic banks and
conventional banks to face numerous barrier to grow. Islamic banks are new to the industry that
is the reason they are more obvious to the unstable conditions. There is not a specific study that
has been conduct specifically on credit Risk management in Islamic banks of Pakistan. So, this
study will add value to literature and will be useful for Islamic Banks, practitioner as well as for
academic point of view.
*Asma Abdul Rehman is at Cardiff Metropolitan University, Email: [email protected]
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OBJECTIVES OF THE STUDY
The aim of this paper is to investigate empirically the internal factors that have an impact on the
capital risk ratio in Islamic banks operating in Pakistan.
The overall objectives of the current study are as follows:
1. To investigate the impact of total debt equity ratio on credit risk ration of Islamic banks
operating in Pakistan.
2. To examine the effect of NPL ratio on credit risk ratio of Islamic banks of Pakistan.
3. To determine the effect of capital adequacy ratio on credit risk of Islamic banks.
4. To investigate the effect of banks size on credit risk of Islamic banks.
5. To examine the impact of asset utilization ratio on credit risk of Islamic banks operating
in Pakistan.
The remaining paper has been organized as follows: Section 2 discusses the Islamic banking
system in Pakistan briefly, section 3 through light on previous studies related to Islamic bankingand credit Risk management, section 4 explains the Methodology in detail, Section 5 is related to
the Data Analysis and finally section 6 presents the conclusion of the study.
2. OVERVIEW OF ISLAMIC BANKING IN PAKISTAN
Islamic banking is growing significantly in Pakistan as it constitute of over 10% of banking
system in Pakistan with 903 billion rupees of assets and with 1115 branches of Islamic banks
operating all over Pakistan (SBP, 2013). Islamic banking is having profits of 4.3 billion rupees as
the end of June 2013. Islamic bankings share of assets in banking industry is reached to 9%. It is
estimated that with this growing trend Islamic banking industry will reach double of its market
share by 2020. There are 19 Islamic banks working in Pakistan out of these banks five banks are
full-fledge Islamic banks in Pakistan such as Meezan bank, Bank Islami, Dubai Islamic bank, Burj
bank and Al-Baraka bank and remaining are Islamic windows of conventional banks working in
Pakistan.
Following table shows the statistics of Islamic banking industry of Pakistan:
Table 1: Islamic banking industry
Industry progress (billion RS.) Share in industry
June 2012 March 2013 June 2013 June
2012
March 2013 June
2013
Total Assets 711 847 903 8.2% 8.7% 9.0%
Deposits 603 704 771 8.9% 9.7% 9.9%
Net Financing &
investment
543 666 700 7.9% 8.9% 8.8%
NPL 18.3 19.5 19.4 - - -
Branches 886 1100 1115 - - -
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3. LITERATURE REVIEW
Credit risk is the most prominent risk in banking industry. According to Drzik et al. (1998), credit
risk is comprised of 60% of total risks in commercial banks. Credit risk refers to defaulting of
counterparty on debt payment or meeting contractual obligation. Fraser et al. (2001) pointed out
that credit risk is considered the major reason of banks failure in recent years, and it is most
evident risk that is faced by banks.
Khan and Ahmad (2001) states that the nature of the risk goes to change due to change in the
composition of its assets & liabilities as well as profit and loss sharing ratio. Their analysis
highlights that credit risk depends upon profit and loss sharing model of financing. The most
important risk that seriously affects the banks viability is credit risk. In order to maintain
sustainable growth of Islamic banking is to identify the key factors which influence Islamic
banking credit risk. They investigate that according to bankers point of view there is lack of
understanding the risk which is involved in the Islamic banks.
Brewer (1994) has studied the impact of loan activities on bank risk. He have used ratio of loan to
asset for banks risks because loans are illiquid and considered as higher default risk than anyother banking asset. Findings of the study reveal that there is a positive relationship between loan
to asset ratio and banks risk measure. Whereas Altunbas (2005) is of the view point that credit
risk management strategies suggest that there is negative relationship between loan to asset ratio
and bank risk.
Bashir (1999) examines the effects of scale (total assets) on the performance of Islamic banks. And
there findings revealed that there is negative and statistically significant relationship between
size of banks and the risk index indicates that large size is economically efficient.
Hayati et al. (2002) conduct a study on factors influencing credit risk in Islamic banking. This
study emphasis on that, operating side by side with conventional banks, Islamic banks are
equally vulnerable to risks. The future of Islamic financial institutions will depend to a largeextent on how well they manage risks. This ability could be enhanced if the factors affecting these
risks are systematically identified.
Ahmad and Arif (2007) investigate the key determinants of credit risk of banks. The study
compares the emerging economys credit risk with developed economies. Eight key factors are
taken as potential risk determinants in the two test models to find out which are the factors that
have major contribution in the credit risk. The study finds that regulatory capital, loan loss
provision, loan to deposit ratio are significantly related to the credit risk. In other words, these
are the key determinants of credit risk. Whereas, leverage is not a significant determinant of
credit risk. The study concludes that emerging economys banks are facing more credit risk as
compared to developed economys banks.
Martin and Hesse (2008) analyze whether small Islamic banks tend to be more financially strong
as compared to large Islamic banks, which may affect credit risk management issues of large
Islamic banks. The study uses z-score as a dependent variable to measure the banks risk
individually. The study conducts using data of 20 banks. The study finds that small Islamic banks
are stronger as compared to small commercial banks. Stability of small Islamic banks is high as
compared to large Islamic banks. Islamic banks are more stable when operating on small scale
and facing low risk than large Islamic banks.
Farida Najuna (2011) examines the relationship between bank specific variables and credit risk
and analyzes the financing structure. The study conducted using the data of Malaysian Islamic
banks. Five bank specific variables are used including financing expansion, financing quality,
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capital buffer, bank size and capital ratio. Three dummy variables which are regressed against
credit risk. The findings show that four bank specific variables: capital ratio, capital buffer,
financing expansion and financing quality have significant relationship with credit risk.
Financing structure also has a significant influence on the level of credit risk.
Ahmed et al. (2011) conduct a comprehensive study to determine the firms level factors which
have significantly influence the risk management practices of Islamic banks in Pakistan. For this
purpose, the current study selects credit, operational and liquidity risks as dependent variables
while size, leverage, NPLs ratio, capital adequacy and asset management are used as explanatory
variable for the period of four years from 2006 to 2009. The results indicate that size of Islamic
banks have a positive and statistically significant relationship with financial risks (credit and
liquidity risk), whereas its relation with operational risk is found to be negative and insignificant.
The asset management establishes a positive and significant relationship with liquidity and
operational risk.
Nawaz et al (2012) have conducted research on credit risk and performance of Nigerian banks by
using secondary data from 2004 to 2008. Results showed that no-performing loan has a negative
relationship with return on assets.
Ogboi and Unuafe (2013) have studied impact of credit risk management of performance of
Nigerian commercial banks. They have used panel data for the years 2004 to 2009. They have
used return on asset as a proxy for credit risk in their study. Findings illustrate that NPL has a
negative relationship with credit risk whereas Capital adequacy ratio has a positive and
significant relationship with credit risk.
Masoud et al (2013) have studied risk management in Iranian banks. The purpose of their study
was to investigate relationship between banking ratio with credit, liquidity and operational risks.
They have used banks secondary data for the year2006 to 2011. Their findings reveal that capital
adequacy have a negative relationship with credit risk whereas debt to equity ratio has a positiverelationship with credit risk.
4. METHODOLOGY
To comply with the objective of this research, the paper is primarily based on quantitative
research, which constructed an econometric model. This research paper attempts to investigate
the effect of specific factors on credit risk in Islamic banks. This study has used secondary data
that were taken from annual reports of Islamic banks operating in Pakistan. There are 5 full-
fledge Islamic banks operating in Pakistan such as: Meezan bank, Bank Islami Pakistan ltd., Burj
Bank, Dubai Islamic bank, Al-Baraka bank. This study has used data from year 2007 to year 2011.
E-views 5.0 are used for data analysis. Data is analyzed by applying descriptive and inferential
statistics. The descriptive statistics apply to find the mean and standard deviation of the
variables.
Pearson correlation is calculated to indicate the relationship between independent variables and
to examine if there is any problem of autocorrelation between independent variables. And finally
regression analysis is applied to derive the significance and relationship between dependent and
independent variables.
4.1. Research Models
Following table shows the dependent and independent variables, their abbreviations and their
proxies used in this study.
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Table 2: Variables and Proxies
Variables Abbreviations Proxies
Credit Risk
CR Ratio of Total Debt to Total
Assets
Predictor variables
Total Debt equity ratio DER Total Debt/ Total equity
NPLs RatioNPL Non-Performing Loans/Total
Loans
Capital Adequacy RatioCAR Tier 1 Capital + Tier 2 Capital /
Risk Weighted Assets
Bank's Size BS Logarithm of Total Assets
Asset Utilization RatioAUR
Operating Income/Total Assets
Following Regression Equation is to be estimated in this research study:
CRit = 0 + 1 (DERit) + 2 (NPLit) + 3 (CARit) + 4 (BSit) + 5 (AURit) + it (1)
4.2. Variables and hypothesis development:
1. Credit Risk
Credit risk refers to delayed, deferred and default in principal amount or interest amount by
counterparties which it is obligated to do. In this study the ratio of total debt to total assets is
used as a proxy to depict credit risk. Because the higher the ratio the greater risk will be
associated with banks operation. This ratio is an indicator of financial leverage of banks.
2. Bank's Size
Bank size is the major issue in calculating the risk about the banks. In this study, Log of total
assets is used as a proxy for estimating banks size.H1: There exists a relationship between banks size (BS) and credit risk of Islamic banks.
3. NPLs Ratio
Non-performing loans are credits which are perceived as possible losses of funds due to loan
default by banks. In this study, NPL ration is calculated through non-performing loans /total
loans. It is expected that NPL has negative relationship with credit risk ratio (Ahmad et al., 2011;
Ogboi and Unuafe, 2013)
H2: There exists a relationship between non-performing loans (NPL) and credit risk of Islamic
banks.
4. Capital Adequacy ratio
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CAR refers to a percentage of a bank's risk weighted credit exposures. The formula to calculate
CAR is as follows:
Tier 1 Capital + Tier 2 Capital / Risk Weighted Assets
This ratio is used to protect depositors and promote the stability and efficiency of financial
systems around the world. It is expected that CAR has a positive relationship with Credit riskratio (OGBOI and UNUAFE, 2013)
H3: There exists a relationship between capital adequacy ratio (CAR) and credit risk of Islamic
banks.
5. Debt to Equity Ratio
It is a measure of financial leverage of a bank which is calculated by dividing its total liabilities
with stockholders' equity. It is an indication of the proportion of equity and debt the bank is
using to finance its assets. Literature illustrates that debt to equity ratio has a positive relationship
with credit risk (Masoud et al., 2013)
H4: There exists a relationship between debt to equity ratio (DER) and the credit risk of Islamicbanks.
6. Asset utilization ratio
In this study, asset utilization ratio is calculated through by dividing Operating Income with total
Assets of banks. Literature suggests that there is a negative relationship between credit risk and
asset utilization ratio (Ahmed et al., 2011).
H5: There is a relationship between asset utilization ratio (AUR) and credit risk of Islamic banks
operating in Pakistan.
5. Data analysis
Descriptive Statistics
Table 3: Descriptive Statistics
Variables Mean Standard deviation
Credit Risk (CR) 0.7818 0.2766
Total Debt Equity Ratio (DER) 4.1817 4.3208
NPL Ratio (NPL) 0.0292 0.0341
Capital Adequacy Ratio (CAR) 0.3424 0.2786
Bank size (BS) 6.7892 2.1986
Asset utilization ratio (AUR) 0.0088 0.0445
Table 3 shows the descriptive statistics (mean and standard deviation) of data variables. Mean value
tells us about the central tendency of the data whereas standard deviations gives idea by measuring
data that how much a typical data value differs or deviate from the mean value. It can be seen from
the table that banks size has a greater mean value of 6.7892 with a standard deviation of 2.1986. Total
debt equity ratio has a second highest mean value of 4.1817 with standard deviation of 4.3208. Credit
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risk has a mean value of 0.7818 with a standard deviation of 0.2766 followed by NPL has mean value
of 0.0292, capital adequacy has 0.3424 mean value, and asset utilization ratio has 0.0088 as mean value.
Table 4: Correlation Matrix
Table 4: Correlation Matrix
Total Debt
Equity Ratio
(DER)
NPL Ratio
(NPL)
Capital
Adequacy
Ratio
(CAR)
Bank size
(BS)
Asset
utilization
ratio
(AUR)
Total Debt Equity Ratio
(DER)
1
NPL Ratio (NPL) 0.310* 1
Capital Adequacy Ratio(CAR)
-0.422** 0.44 1
Bank size (BS) 0.525** 0.281* 0.316* 1
Asset utilization ratio
(AUR)
0.544* -1.11** -3.88** 0.125** 1
* Correlation is significant at 5% level (2-tailed).
** Correlation is significant at 1% level
Table 4 shows the correlation matrix of the research variables in order to determine the problem ofmulti-co-linearity among variables. Results exhibits that NPL and DER; BS and NPL; BS and CAR; and
AUR and DER are significant at 5% level whereas CAR and DER; BS and DER; AUR and CAR; AUR
and BS are significant at 1% level. Moreover, CAR and DER; AUR and NPL; AUR and CAR are
negative correlated. Overall, results showed that there exists no correlation among predictor variables.
Table 5: Regression Analysis
Model Unstandardized Coefficient T Significance (p-
value)
B Standard
deviation
Constant -0.070 -0.76 -0.211 0.833
Total Debt Equity
Ratio (DER)0.066 0.013 5.110 0.000**
NPL Ratio (NPL) -3.40 1.111 -0.308 0.759
Capital Adequacy
Ratio (CAR)0.411 0.200 2.111 0.041*
Bank size (BS) 0.040 0.014 2.222 0.321
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Asset utilization
ratio (AUR)-5.112 2.223 -2.441 0.021**
R-Square 0.89 F-Statistics 29.11
Adjusted R2 0.87 Significance 0.000**
Durbin Watson 1.693
Dependent Variable:Credit Risk (CR)
** Coefficient is significant at 1% level
* Coefficient is significant at 5% level
Table 5 illustrates the regression analysis results of research variables. R-square value shows thatmodel is good-fit as 89% of the variation in dependent variable i.e. Credit risk can be explained
by predictor variables i.e. total debt equity ratio, NPL ratio, capital adequacy ratio, bank size and
asset utilization ratio and remaining 11% variation is due to other factors. Durbin Watson value is
1.693 which means there is no problem of serial-correlation between data because rule of thumb
about Durbin Watson test says that if value is below 2 then there seems no problem of auto
correlation. F-statistics show the goodness of the model. F-value (29.11) is significant at 1% level.
So, it can be said that this model is a good fit.
T-statistic shows that hypothesis 1 is accepted as DER has a positive and significant relationship
with credit risk ratio at 1% level. This means, the higher the debt equity ratio, the higher will be
the credit risk ratio of Islamic banks operating in Pakistan. Hypothesis 2 is rejected because p-value is more than 0.05 significance level. But NPL ratio shows a positive relationship with credit
risk ration of Islamic banks. Hypothesis 3 is significant and accepted because CAR has a positive
and significant relationship with CR ratio. This means that credit risk ratio will be more when
capital adequacy ratio of bank is more. Hypothesis 4 is rejected as bank size shows positive but
insignificant relationship with credit risk ratio of Islamic banks. Hypothesis 5 is accepted as AUR
has a negative and significant relationship with CR ratio of Islamic banks. This means credit risk
will be more when asset management of Islamic banks operating in Pakistan is weak.
Calculated Regression Equation
CR = -0.070 + 0.066 (DER) - 3.40 (NPL) + 0.411 (CAR) + 0.044 (BS) - 5.112 (AUR) --- ---- (2)
Table 5 also illustrates the values of beta used in regression equation. Constant value is -0.070
which means credit risk ratio will decrease by 0.07 degree considering all other explanatory
variables constant. Beta value of DER is 0.066 which means CR ratio will increase by 0.066 units
when DER increases by 1 unit. NPL beta value is 3.4 which mean CR ratio will increase by 3.40
units with 1 unit decrease in NPL ratio. CAR beta value is 0.411 which shows that CR ratio will
increase by 0.411 units when CAR increases by 1 unit. BS beta value is 0.040 which means CR
ratio will increase 0.04 units with every single unit increase in banks size. And lastly, AUR beta
value is -5.112 which means that CR ratio will decrease by 5.112 units with every single unit
increase in AUR.
6. CONCLUSION
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VOLUME 8, NUMBER 5, 2014 SPECIAL ISSUE 29
The aim of this study is to investigate the firm level variables that are affecting credit risk of
Islamic banks operating in Pakistan. For that purpose secondary data is taken from annual
reports of Islamic banks for the period of 2007 to 2011. This study has employed credit risk as a
dependent variable whereas debt equity ratio, NPL ratio, bank size, asset utilization ratio and
capital adequacy ratio is taken as independent variables. Results show that credit risk has a
positive and significant relationship with debt equity ratio and capital adequacy ratio. Besides,asset utilization ratio has negative and significant relationship with credit risk.
The current study was conducted on credit risk management of Islamic banks operating in
Pakistan. This study can be conduct on different countries using the same methodology. It is
expected that different countries will have different findings which will be interesting to know.
Future studies can also be conducted by comparing credit risk of conventional and Islamic banks
of a country or different countries.
REFERENCES
Ahmad, N. H. and Arif, M. (2007). Multi-country study of bank credit risk determinants. TheInternational Journal of banking & finance, Volume 5, pp. 135-152.
Ahmed, N., Akhtar, F. M., and Usman, M., (2011). Risk Management practices and Islamic banks:
As Empirical investigation from Pakistan. Interdisciplinary Journal of Research in Business, 1(6),
pp. 50-57.
Altunbas (2005), Mergers and Acquisitions and Bank Performance in Europe- The Role of
Strategic Similarities. European Central Bank, working paper series, No. 398.
Brewer, Elijah III, and Thomas H. Mondschean. (1994). An Empirical Test of the Incentive Effects
of Deposit Insurance. Journal of Money, Credit, and Banking, 26(1): pp. 146-164.
Bashir, A. H. M. (1999). Risk and Profitability Measures in Islamic Banks: The Case of Two
Sudanese Banks. Islamic Economic Studies, 6(2), pp: 1-24.
Cihak, Martin & Hesse, Heiko (2008) Larger Islamic Banks Need Prudential Eye IMF Working
Paper, European Department
Drzik, J. 1998. CFO Survey: Moving Towards Comprehensive Risk Management. Bank
Management, Vol. 71, pp.40.
Faridah, N.M. (2005). Financing structure, bank specific variables and credit risk: Malaysian
Islamic banks. Journal of Banking and Finance, 4(2), pp. 36-41.
Fraser, D., Gup, B. and Kolari, J., (2001). Commercial Banking: The Management of Risk. 2nd Ed.Cincinnati, Ohio: South-Western College Publishing.
Hayati, N.A. and Shahrul N.A. (2002). Key factors influencing credit risk of Islamic Banks: A
Malaysian Case. University of Utara Malaysia. Working Paper Series 4012.
Khan, T. and Ahmed, H., (2001). Risk Management An Analysis of Issues in Islamic Financial
Industry. Islamic Development Bank-Islamic Research and Training Institute, Occasional Paper
(No.5), Jeddah.
Martin. C. and Heiko hesse, (2008). Islamic banks and financial stability: an empirical analysis.
IMF working paper 2008.
Masoud, B., Iman, D., Zahra, B., and Samira, Z., (2013). A study of risk management in IranianBanks. Research Journal of Recent Sciences 2(7), pp. 1-7.
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Ogboi, C., and Unuafe, O. K., (2013). Impact of credit Risk Management and Captal Adequacy on
the Financial Performance of Commercial Banks in Nigeria. Journal of Emerging Issues in
Economics, Finance and Banking, 2(3, pp. 703-717.
State Bank of Pakistan, Islamic Banking Department (June, 2013). Islamic Banking Bulletin (June)
2013.
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VOLUME 8, NUMBER 5, 2014 SPECIAL ISSUE 31
3 How do the historical perspective and systemic effects of
house price movements help to explain the pattern of
consumption in the U.K?
Priya Darshini Pun Thapa*, South London College, Equitable House
Abstract
The purpose of this research paper is to investigate whether the historical perspective of
house price movements can help to explain the recent pattern of consumption in the
UK. In addition to this, the document evaluates how strong the correlation between
those variables within a specific period of time can be. This paper also attempts to
investigate to which extent the current crisis, well-known as the subprime market crash,
could have affected future expectations about house prices and consumer habits,considering the following three housing market hypotheses: 1) The wealth effect: an
expected increase in house prices raises the desired level of expenditure; 2) the lower
credit constraints, the higher consumption and 3) common causality model: factors such
as changes in expected income growth, tax changes or changes in credit market
conditions lead to increases in both household expenditure and house prices. Its
findings about the coincidence of house prices and consumption during the last two
decades have corroborated the hypothesis that an increase in house prices movements
can help to explain the followed pattern of consumption.
JEL Classification: C3, E3
Key words: House prices, consumption, wealth effect, housing
market.
1. INTRODUCTION
The global financial downturn in 2007 has remarkably affected the historical perspective of house
price movements in the UK. Since then, this financial turmoil which had its origins in a previous
credit crisis called the sub-prime mortgage market crash, can be considered to be the first domino
in a whole chain. This type of lending practice, which presumably has changed the relationship
between house prices and consumption, has not only clearly marked a historic turning point in
the UK economy, but it has also set in motion fundamental changes in the credit market in terms
of consumer habits, peoplesexpectations and government regulations.
It is often believed that this phenomenon, accompanied by a strong fluctuation in house prices,has also helped to multiply its devastating snowball effects on the economy, especially for those
household victims of the credit crunch, who saw their consumer spending fall as a cascade after
2006.
Therefore, the subprime market crash, led by financial institutions in the mortgage market such
as HBOS, nationwide, Northern Rock etc, could be the most recent explicative fact that
presumably could have changed the connection between house prices and consumption in the
UK since the 1980s according to Pricewaterhousecoopers[20]). However, and based on previous
downturns in the UK economy as seen in 1991, it has not yet occurred. Arguably, one may tacitly
*Priya Darshini Pun Thapa is Lecturer at South London College, 10 Woolwich New Rd, London SE186AB, [email protected]
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suggest that the magnitude of this lending practice can only have a major impact on countries
where the credit market is weak and not well developed; unlike the UK where financial
institutions are more concerned about financial stability and the well-being of the economy
through regulation.
Bearing this in mind, the following three housing market hypotheses will be considered: 1) a
wealth effect [16]: an expected increase in house prices raises the desired level of expenditure; 2)
the lower credit constrains, the higher consumption [13] and 3) common causality model: factors
such as changes in expected income growth, tax changes or changes in credit market conditions
lead to increases in both household expenditure and house prices [13]. In addition, a historical
perspective of two decades will also be used to investigate how some observable facts from the
past have led and influenced the relationship between house prices and consumption, and also
how some endogenous variables have accentuated the crisiseffects to a larger extent. Finally, the
analysis will run a test on the response of household consumption to house prices; considering
both housing as a major component of wealth and credit access as a source of liquidity.
2. LITERATURE REVIEW
According to the literature there are three main key housing market hypotheses that could
explain the link between house prices and consumer spending: 1) a wealth effect
[16] i. e. an expected increase in house prices raises the desired level of expenditure; 2) the lower
credit constrains the higher consumption [13]; and 3) common causality model: factors such as
changes in expected income growth, tax changes or changes in credit market conditions, could
lead to increases in both household expenditure and house prices [13]
Recent studies show that consumer expenditure is not only the dominant component of
aggregate demand, but is also the key factor for understanding the behaviour of the housing
market. In recent years there has been increasing interest in the role of housing and its interaction
with consumption. Benito and Haroon *4 point out that houses are a significant part ofhousehold wealth and this higher wealth is typically associated with higher consumption, at
least among those who own houses.
In the same way *20 remarks the importance that houses bring to the market by quoting an
increase in house price arguably makes non-home owners worse off via higher rents or the higher
savings required for future house purchases. Hence the consumption of this group may
decrease and the overall wealth effect may be insignificant as a result of being non-home owners.
Secondly, households may borrow vastly more cheaply if they own housing equity which may be
used as collateral. Then an increase in house price raises housing equity and cheaper borrowing
typically results in increased consumption. Thirdly, both house prices and household
consumption tend to be positively related to household expectations of future earnings.
Additionally, [4] and [17] assert another view that there is an important causal effect of housing
in providing collateral which allows credit to be obtained on more favourable terms to finance
consumption. That role may be particularly strong, or only exist at all, for those who might well
be less constrained by the availability of easy access to credit