group6 summary of paper 10 risk question for every mfi board

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  • 8/13/2019 Group6 Summary of Paper 10 Risk Question for Every Mfi Board

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    SUMMARY OF THE PAPER 10 RISK QUESTIONS FOR EVERY MFI BOARD

    Prepared by: Githin Thomas (12sdp705) & Kirti Chandra (12sdp706)

    Group: 6

    Background

    The paper titled Ten Risk Questions for Every MFI Board by Center for Financial Inclusion (CFI)

    highlights the importance of risk governance in MFIs (Microfinance Institutions). For formulating this

    Paper CFI asked questions related to risks in MFI to 10 microfinance experts. The answer to questions

    by the experts gives a clear cut idea board involvement in risk conversation, emerging risks,

    contingency plan for potential risks, risk management measures, risk management through

    technology, risk identification, measures to overcome client over-indebtedness, main risk

    responsibilities that board fail to address and efficient risk strategy and appetite .The views of these

    experts provides a concrete suggestion of warning signs and strategies for effectively managing or

    avoiding risks to board members of MFIs.

    The views of the experts for the ten topics related to risks are detailed below:

    1. Involvement of Board in Risk conversation

    Although MFIs begun to decentralize risk management in recent years, the involvement of board in

    risk conversation is still largely silent. This lack of attention to risk is not evolving from lack of interest.

    This is because of the following factors:

    Confusion of division of responsibility between board and management

    Lack of differentiation of methodologies ,tools and techniques according to degree of degree

    of Institutional development and sophistication of MFIs

    Quantitative involvement of board in risk management

    To cross the above factors board should involve in the risk conversation more proactively. They should

    find out right tools, procedures and outside help from corporate risk literature and tools to share beast

    practices in microfinance industry. The board also requires a formal and regular updates pertaining to

    risk, the regulatory frame work and compliance to improve the channel of communication between

    directors and senior managers, and correct identification, monitoring and triggering guidelines at the

    board level to amplify and complement effort of the risk management unit.

    Moreover board should involve in risk management more qualitatively. Involvement of board in risk

    management in quantitative way excludes the board from much day to day risk conversation. So to

    involve the board in risk conversation, the directors should elevate the risks that are bottom of the risk

    managers priorities. This bottom priority risks include political, regulatory and external shocks risks.

    These risks need a clear integrity and direction at top. So this will give an opportunity to board that will

    make their role in risk more qualitatively.

    2. Newer Risks Board be aware off

    Newer risks always impact the company and MFIs in some way. These risks can be defined in

    following way:

    Risks that have an increase severity

    Risks that have increase frequency

    Risks that are new

    Two significant new risks that boards of MFIs should be aware include reputation risk and new

    technologies.

    Reputation Risk: Always Boards of respective MFIs should be proactive about positive and negative

    informations that can impact organization reputation. Otherwise this positive and negative information

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    will spread instantaneously through communication channel and will affect the reputation of the

    organization. So if this headline risk is unhandled, the flow of fund from lenders and donors will

    decrease drastically.

    New Technologies: Adoption new technologies by the organizations always lead to emerging of new

    risks .For example, mobile and agent banking as product delivery channel by many MFIs lead to

    following risks

    Failure to get qualifying agents in rural areas where many operations are carried out

    Reduction in weekly group meetings and which lead to the reduction in client closeness.

    Product or technology challenges and errors aroused due to unfamiliarity of clients with

    electronic banking.

    3. Contingency Plans for Variety of Potential Risk Scenarios

    The performance of an organization when they are in the crisis and when they are not are totally

    different. So to tackle this crisis they should have a plan in place. They should formulate these plans

    by involving all the board members in strategic and annual planning process. Example of these plans

    includes Continuity of Business Plans (COB) and Continuity of Funding plans (CFP). Continuity

    business plan is a plan to keep the business going during an unexpected crisis or event. For execution

    of the COB, all the management and staff should know what they should do in crisis. Continuity ofFunds Plan is used during the disruption of the funding to continue the business as usually. MFIs

    should prepare in two levels: 1) CFP for disruption of funding limited to their institution and 2) CFP for

    disruption of funding for a large market event like natural disaster or political event.

    To formulate these plans MFIs always should conduct stress tests. This will help to anticipate potential

    negative impacts of any changes and agree. Moreover MFIs should continuously monitor the macro

    indicators and this will help them to change the plan according to the change in business environment.

    4. Risk Management Measures a Board should focus on

    The most important risk management measures that board should focus on falls on three categories

    like defining target markets, establishing clear goals and setting risk tolerance limit.

    Target markets can be defined based on indicators like average level of client income, average sale

    of client business rural or urban market and type of business.

    The goals should be established in a way to achieve both financial and social objectives since these

    goals are function of double bottom line orientation of microfinance institutions. Risk management

    measurement related to goal includes size of portfolio, asset quality, profit margin and growth rate.

    Board should set the tolerance limit not only for the credit extension but also for the enterprise risk

    including liquidity, market and reputational risks. Important tolerance limit with respect to credit

    exposure includes maximum and minimum exposure per customer, maximum exposure per group,

    maximum exposure per economic group and maximum exposure per type of credit.

    5. Technology Help in Managing Risks

    Technology cannot manage the risk at all but it can be used as a facilitating tool. As a facilitating tool

    it is absolutely necessary in portfolio risk management. In portfolio risk management the MFImanagement easily miss the emerging risks if they depend on basic delinquency report. They should

    have an insight to find out the driving trends and hiding factors. For this good portfolio insight we need

    standard good technologies. But to use this technology effectively MFIs should have a good data

    collection, a solid analytical platform and good risk managers.

    6. MFIs fraud Identification and Prevention

    For Identification of the fraud, MFIs should:

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    create a culture of transparency and integrity among staff members and clients and

    Educate the clients on their rights and ensure there is a mechanism of Whistle blowing.

    Transparency can be achieved by providing a platform where client can speak effectively and also

    by promoting client feedback. The complaints of the clients should analyze periodically to find out

    trends and red flags. MFIs should also use customer forums, market research, and client satisfaction

    surveys for identifying the causes of fraud.

    Operational spot checks should conduct regularly to find out fraudulent transactions. Monitoring

    system should implement in such a way that supervisor continuously check out the work of

    subordinates. Financial audits and methodology should use effectively for identification of frauds.

    MFIs should establish Subcommittee at board level to check the risk reports, specific ratios and

    variance.

    For preventing the fraud there should be clear policies for all operation of MFIs. This include policies

    and procedures for credit processing, approval and disbursement of limit for each level cash handling,

    IT, delinquency ,purchasing or buying, rescheduling and writing of loan. Operational policies should

    clearly say segregation of duties and human resource policies should outline what constitute fraud,

    how fraud cases are treated and penalties for different fraud activities. Moreover MFIs should create

    recruitment policy to ensure that people with integrity are hired.

    7. Preparation of MFIs for Risk Identification

    By the help of a well functioning risk management system, expertise and skills to process the risk

    information appropriately and rising of awareness among all employees MFIs can ensure that

    necessary information about risks are identified. Institution should execute some regular activities to

    ensure risks are identified and information is collected. Risk assessment is a good example of this

    regular activity where business and risk experts can review current business processes to identify

    possible gaps that would allow risks to materialize. New risk approval process is another way to

    identify the risk. But this process is in the pipeline of implementation for new products, process or

    system. Another tool is a risk event management system, which ensures professional management of

    risks once they have materialized.

    After the implementation of risk identification, Institutions should have qualified people to evaluate the

    severity of the risk identified and then to support management for taking appropriate measures to

    deal with risks. Lastly without fail MFIs should raise awareness and understanding about risk and riskmanagement in institution. For this they should conduct regular training for all whom working in the

    organization.

    8. Factors Leading to client over-indebtedness and Preventative Measures

    Competition is the main factor which is leading to Client over-indebtedness. This competition will

    broadens product offering and services, benefitting the end user. But when the desire of lenders will

    cross the limit the debt of borrowers will increase and as a result cycle of over-indebtedness will start.

    Character of the client is the factor related to over-Indebtedness. Capacity will vary from client to

    client but it is the character that prevents the client from getting into too much debt.

    So MFIs should take proactive measures to prevent over-Indebtedness among the clients. They

    should keep the willingness to pay of the client always high. For this they should keep the consistency

    in collection through constantly monitoring client through tools and payment systems. They should

    portray a message that if client is doing well, then he or she will receive the loan in future. Moreover

    MFIs should promote client education in order to foster loyalty and willingness to pay.

    9. Main Risk responsibilities that Board Fail to Address

    Involvement in MFIs actively is one the risk responsibility board members always fail to address. For

    this they should participate in more meetings, pay visit to institutions and test the product MFI is

    offering. Changing of the nature of the board member from defensive to approachable, acceptations

    of personal limitations and use them to involve more experts, making sharp decision when a specific

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    risk do not go as expected, maintaining a positive relation with regulators and taking decision to step-

    down and free the space for someone if there are more challenges are the main risk responsibilities

    all the board members fail to address.

    The high willingness that the board members should have to identify the challenges that are shared

    among all members in all sector of the country is the another risk responsibility that board member

    always fail to address. To address this issue they should use the social networks like to contact other

    board members and share questions and concerns.

    10. Methods to Explicit about Risk strategy and Appetite

    Board should follow some on-going risk guiding principles to being explicit about risk strategy and

    appetite. These guiding principles should cover setting of risk culture, creating risk boundaries, know

    what you dont know and realization of risk is a part of business. Risk culture can be set up by

    matching MFI performance against the expected performance of shareholders and stakeholders. This

    culture should be in a way that it should trickle down throughout the entire institution i.e. .from board

    to management to the individual, daily staff decision.

    Board should create the boundaries around the business based on the risk-trade off. These

    boundaries should be set across clients, products, geography, operational platform etc. These

    boundaries should provide direction to management about business risk tolerance. Board also should

    conduct strategic updates and discussion regularly to know how changes will impact the business.Lastly board should consider risk as an integral part of business and should be part of every

    discussion and decision.