Systemically important financial institution
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A systemically important financial institution (SIFI) is a
bank A bank is a financial institution that accepts deposits from the public and creates a demand deposit while simultaneously making loans. Lending activities can be directly performed by the bank or indirectly through capital markets. Because ...
,
insurance Insurance is a means of protection from financial loss in which, in exchange for a fee, a party agrees to compensate another party in the event of a certain loss, damage, or injury. It is a form of risk management, primarily used to hedge ...
company, or other
financial institution Financial institutions, sometimes called banking institutions, are business entities that provide services as intermediaries for different types of financial monetary transactions. Broadly speaking, there are three major types of financial inst ...
whose failure might trigger a
financial crisis A financial crisis is any of a broad variety of situations in which some financial assets suddenly lose a large part of their nominal value. In the 19th and early 20th centuries, many financial crises were associated with banking panics, and man ...
. They are colloquially referred to as "
too big to fail "Too big to fail" (TBTF) and "too big to jail" is a theory in banking and finance that asserts that certain corporations, particularly financial institutions, are so large and so interconnected that their failure would be disastrous to the great ...
". As the
financial crisis of 2007–2008 Finance is the study and discipline of money, currency and capital assets. It is related to, but not synonymous with economics, the study of production, distribution, and consumption of money, assets, goods and services (the discipline of fi ...
unfolded, the international community moved to protect the
global financial system The global financial system is the worldwide framework of legal agreements, institutions, and both formal and informal economic actors that together facilitate international flows of financial capital for purposes of investment and trade finan ...
through preventing the failure of SIFIs, or, if one does fail, limiting the adverse effects of its failure. In November 2011, the
Financial Stability Board The Financial Stability Board (FSB) is an international body that monitors and makes recommendations about the global financial system. It was established after the G20 London summit in April 2009 as a successor to the Financial Stability Forum ...
(FSB) published a list of global systemically important financial institutions (G-SIFIs). Also in November 2010, the Basel Committee on Banking Supervision (BCBS) introduced new guidance (known as
Basel III Basel III is the third Basel Accord, a framework that sets international standards for bank capital adequacy, stress testing, and liquidity requirements. Augmenting and superseding parts of the Basel II standards, it was developed in response t ...
) that also specifically target SIFIs. The main focus of the Basel III guidance is to increase bank capital requirements and to introduce capital surcharges for G-SIFIs. However, some economists warned in 2012 that the tighter Basel III capital regulation, which is primarily based on
risk-weighted asset Risk-weighted asset (also referred to as RWA) is a bank's assets or off-balance-sheet exposures, weighted according to risk. This sort of asset calculation is used in determining the capital requirement or Capital Adequacy Ratio (CAR) for a financ ...
s, may further negatively affect the stability of the financial system. It is important to note that both the FSB and the BCBS are only policy research and development entities. They do not establish laws, regulations or rules for any financial institution directly. They merely act in an advisory or guidance capacity when it comes to non G-SIFIs. It is up to each country's specific lawmakers and regulators to enact whatever portions of the recommendations they deem appropriate for their own domestic systemically important banks (D-SIBs) or national SIFIs (N-SIFIs). Each country's internal financial regulators make their own determination of what is a SIFI. Once those regulators make that determination, they may set specific laws, regulations and rules that would apply to those entities. Virtually every SIFI operates at the top level as a holding company made up of numerous subsidiaries. It is not unusual for the subsidiaries to number in the hundreds. Even though the uppermost holding company is located in the home country, where it is subject, at that level, to that home regulator, the subsidiaries may be organized and operating in several different countries. Each subsidiary is then subject to potential regulation by every country where it actually conducts business. At present (and for the likely foreseeable future) there is no such thing as a global regulator. Likewise there is no such thing as global insolvency, global bankruptcy, or the legal requirement for a global bail out. Each legal entity is treated separately. Each country is responsible (in theory) for containing a financial crisis that starts in their country from spreading across borders. Looking up from a country prospective as to what is a SIFI may be different than when looking down on the entire globe and attempting to determine what entities are significant. The FSB hired
Mark Carney Mark Joseph Carney (born March 16, 1965) is a Canadian economist and banker who served as the governor of the Bank of Canada from 2008 to 2013 and the governor of the Bank of England from 2013 to 2020. Since October 2020, he is vice chairman an ...
to write the report that coined the term G-SIFI for this reason in 2011.


Definition

As of November 2011 when the G-SIFI paper was released by the FSB, a standard definition of N-SIFI had not been decided. However, the BCBS identified factors for assessing whether a financial institution is systemically important: its size, its complexity, its interconnectedness, the lack of readily available substitutes for the financial infrastructure it provides, and its global (cross-jurisdictional) activity. In some cases, the assessments of experts, independent of the indicators, will be able to move an institution into the N-SIFI category or remove it from N-SIFI status.


Banks


Asia

Banks in Japan deemed systemically important are stress tested by the
International Monetary Fund The International Monetary Fund (IMF) is a major financial agency of the United Nations, and an international financial institution, headquartered in Washington, D.C., consisting of 190 countries. Its stated mission is "working to foster glo ...
(IMF). Banks in China are mostly state run and are stress tested by the national banking authority.


Europe

Global Systemically Important Banks (G-SIBs) are determined based on four main criteria: (a) size, (b) cross-jurisdiction activity, (c) complexity, and (d) substitutability. The list of G-SIBs is published annually by the
Financial Stability Board The Financial Stability Board (FSB) is an international body that monitors and makes recommendations about the global financial system. It was established after the G20 London summit in April 2009 as a successor to the Financial Stability Forum ...
(FSB). The G-SIBs must maintain a higher capital level – capital surcharge – compared to other banks. In November 2021, the FSB updated the list of G-SIBs, and the following banks were included:
Agricultural Bank of China Agricultural Bank of China (ABC), also known as AgBank, is one of the " Big Four" banks in China. It was founded on 10 July 1951, and has its headquarters in Dongcheng District, Beijing. It has branches throughout mainland China, Hong Kong, ...
, Banco Bilbao Vizcaya Argentaria, S.A., Banco Santander, S.A.,
Bank of America The Bank of America Corporation (often abbreviated BofA or BoA) is an American multinational investment bank and financial services holding company headquartered at the Bank of America Corporate Center in Charlotte, North Carolina. The bank ...
,
Bank of China The Bank of China (BOC; ) is a Chinese majority state-owned commercial bank headquartered in Beijing and the fourth largest bank in the world. The Bank of China was founded in 1912 by the Republican government as China's central bank, repl ...
,
Bank of New York Mellon The Bank of New York Mellon Corporation, commonly known as BNY Mellon, is an American investment banking services holding company headquartered in New York City. BNY Mellon was formed from the merger of The Bank of New York and the Mellon Fina ...
, Barclays, BNP Paribas,
China Construction Bank China Construction Bank Corporation (CCB) is one of the " big four" banks in China. In 2015, CCB was the 2nd largest bank in the world by market capitalization and 6th largest company in the world. The bank has approximately 13,629 domestic branc ...
, Citigroup, Crédit Agricole Group, Credit Suisse Group AG, Deutsche Bank AG, Goldman Sachs,
Groupe BPCE Groupe BPCE (for Banque Populaire Caisse d'Epargne) is a major French banking group formed by the 2009 merger of two major retail banking groups, Groupe Caisse d'Épargne and Groupe Banque Populaire. As of 2021, it was France's fourth largest b ...
, HSBC Holdings plc, Industrial and Commercial Bank of China Limited,
ING Bank The ING Group ( nl, ING Groep) is a Dutch multinational banking and financial services corporation headquartered in Amsterdam. Its primary businesses are retail banking, direct banking, commercial banking, investment banking, wholesale banki ...
,
JPMorgan Chase JPMorgan Chase & Co. is an American multinational investment bank and financial services holding company headquartered in New York City and incorporated in Delaware. As of 2022, JPMorgan Chase is the largest bank in the United States, the ...
, Mitsubishi UFJ Financial Group, Inc, Mizuho Financial Group, Inc.,
Morgan Stanley Morgan Stanley is an American multinational investment management and financial services company headquartered at 1585 Broadway in Midtown Manhattan, New York City. With offices in more than 41 countries and more than 75,000 employees, the fir ...
, Nordea Bank Abp, Royal Bank of Canada, Royal Bank of Scotland plc, Société Générale S.A.,
Standard Chartered plc Standard Chartered plc is a multinational bank with operations in consumer, corporate and institutional banking, and treasury services. Despite being headquartered in the United Kingdom, it does not conduct retail banking in the UK, and around ...
, State Street, Sumitomo Mitsui Banking Corporation Group, UBS Group AG, UniCredit S.p.A.,
Wells Fargo Wells Fargo & Company is an American multinational financial services company with corporate headquarters in San Francisco, California; operational headquarters in Manhattan; and managerial offices throughout the United States and intern ...
. Compared with the group of G-SIBs published in 2011, three banks have been added: Banco Bilbao Vizcaya Argentaria, S.A., Standard Chartered plc, and Industrial and Commercial Bank of China Limited; and three banks removed: Dexia N.V./S.A., as it is undergoing an orderly resolution process, and Commerzbank AG and Lloyds Banking Group plc, as a result of a decline in their global systemic importance.


United States


Stress testing

In the USA, the largest banks are regulated by the
Federal Reserve The Federal Reserve System (often shortened to the Federal Reserve, or simply the Fed) is the central banking system of the United States of America. It was created on December 23, 1913, with the enactment of the Federal Reserve Act, after a ...
(FRB) and the Office of the Comptroller of Currency (OCC). These regulators set the selection criteria, establish hypothetical adverse scenarios and oversee the annual tests. 19 banks operating in the U.S. (at the top tier) have been subject to such testing since 2009. Banks showing difficulty under the stress tests are required to postpone share buybacks, curtail dividend plans and if necessary raise additional capital financing.


G-SIB capital requirements

In December 2014, the Federal Reserve Board (FRB) issued a long-awaited proposal to impose additional capital requirements on the U.S.’s global systemically important banks (G-SIBs). The proposal implements the Basel Committee on Banking Supervision’s (BCBS) G-SIB capital surcharge framework that was finalized in 2011, but also proposes changes to BCBS’s calculation methodology resulting in significantly higher surcharges for US G-SIBs compared with their global peers. The proposal has not been finalized, and leading experts such a PwC believe it will be finalized in 2015.CN The proposal, which industry experts expect will be finalized in 2015, requires U.S. G-SIBs to hold additional capital (Common Equity Tier 1 (CET1) as a percentage of risk-weighted assets (RWA)) equal to the greater of the amount calculated under two methods. The first method is consistent with BCBS’s framework, and calculates the amount of extra capital to be held based on the G-SIB’s size, interconnectedness, cross-jurisdictional activity, substitutability, and complexity. The second method is introduced by the U.S. proposal, and uses similar inputs but replaces the substitutability element with a measure based on a G-SIB’s reliance on short-term wholesale funding (STWF).


Market-based bank capital regulation ERNs

Stress testing has limited effectiveness in risk management. Dexia passed the European stress tests in 2011. Two months later it requested a €90 billion bailout guarantee. Goldfield, a former Senior Partner of Goldman Sachs and Economics Professors, Jeremy Bulow at Stanford and Paul Klemperer at Oxford, argue that ''Equity Recourse Notes (ERNs), similar in some ways to contingent convertible debt, (CoCos), should be used by all banks rated SIFI, to replace non-deposit existing unsecured debt. "ERNs would be long-term bonds with the feature that any interest or principal payable on a date when the stock price is lower than a pre-specified price would be paid in stock at that pre-specified price." Through ERNs, distressed banks would have access to much-needed equity as willing investors purchase tranches of ERNs similar to pooling tranches of subprime mortgages. In this case, however, the market, not the public takes the risks. Banking can be pro-cyclical by contributing to booms and busts. Stressed banks become reluctant to lend since they are often unable to raise capital equity through new investors. claim that ERNs would provide a "counterweight against pro-cyclicality."


Resolution plans

The Dodd–Frank Wall Street Reform and Consumer Protection Act requires that bank holding companies with total consolidated assets of $50 billion or more and nonbank financial companies designated by the Financial Stability Oversight Council for supervision by the Federal Reserve submit resolution plans annually to the Federal Reserve (FRB) and the
Federal Deposit Insurance Corporation The Federal Deposit Insurance Corporation (FDIC) is one of two agencies that supply deposit insurance to depositors in American depository institutions, the other being the National Credit Union Administration, which regulates and insures cr ...
(FDIC). Each plan, commonly known as a living will, must describe the company's strategy for rapid and orderly resolution under the Bankruptcy Code in the event of material financial distress or failure of the company. Starting in 2014, category 2 firms will be required to submit resolution plans while category 1 firms will submit their third resolution plans. The resolution plan requirement under the Dodd Frank Act in Section 165(d), is in addition to the FDIC's requirement of a separate covered insured depository institution ("CIDI") plan for CIDIs of large bank holding companies. The FDIC requires a separate CIDI resolution plan for US insured depositories with assets of $50 billion or more. Most of the largest, most complex BHCs are subject to both rules, requiring them to file a 165(d) resolution plan for the BHC that includes the BHC’s core businesses and its most significant subsidiaries (i.e., “material entities”), as well as one or more CIDI plans depending on the number of US bank subsidiaries of the BHC that meet the $50 billion asset threshold. Similar to the assumptions made for resolution plans, the FDIC recently issued assumptions to be made in CIDI plans including the assumption that the CIDI will fail.


=Qualified financial contracts

= When a company enters insolvency (either through bankruptcy or FDIC receivership), an automatic stay is triggered that generally prohibits creditors and counterparties from terminating, offsetting against collateral, or taking any other mitigating action with respect to their outstanding contracts with the insolvent company. However, under US law counterparties to qualified financial contracts (QFCs) are exempt from this stay and may usually begin to exercise their contractual rights after the close of business the next day. In case of receivership, the FDIC must decide within this time period whether to transfer the QFC to another institution, retain the QFC and allow the counterparty to terminate it, or repudiate the QFC and pay out the counterparty. In January 2015, the
US Secretary of the Treasury The United States secretary of the treasury is the head of the United States Department of the Treasury, and is the chief financial officer of the federal government of the United States. The secretary of the treasury serves as the principal a ...
issued a notice of proposed rulemaking (NPR) that would establish new recordkeeping requirements for QFCs. The NPR requires US systemically important financial institutions and certain of their affiliates to maintain specific information electronically on end-of-day QFC positions and to be able to provide this information to regulators within 24 hours if requested. The NPR is intended to help the FDIC with decision-making by making available detailed information on a failed company’s QFCs, given the FDIC’s expanded receivership powers under Dodd–Frank’s Orderly Liquidation Authority (OLA).


Non-bank entities

The concept of a systemically important financial institution in the U.S. extends well beyond traditional banks and is often included under the term
Non-banking financial company A non-banking financial institution (NBFI) or non-bank financial company (NBFC) is a financial institution that does not have a full banking license or is not supervised by a national or international banking regulatory agency. NBFC facilitate ba ...
. It includes large hedge funds and traders, large insurance companies, and various and sundry systemically important financial market utilities. For historical background see Arguments for a systemic risk regulator. Regarding which entities will be so designated the Dodd–Frank Act of 2010 contains the following in Title I—Financial Stability, Subtitle A—Financial Stability Oversight Council, Sec. 113. ''Authority to require supervision and regulation of certain nonbank financial companies'' (2) considerations: * the extent of the leverage of the company; * the extent and nature of the off-balance-sheet exposures of the company; * the extent and nature of the transactions and relationships of the company with other significant nonbank financial companies and significant bank holding companies; * the importance of the company as a source of credit for households, businesses, and State and local governments and as a source of liquidity for the United States financial system; * the importance of the company as a source of credit for low-income, minority, or underserved communities, and the impact that the failure of such company would have on the availability of credit in such communities; * the extent to which assets are managed rather than owned by the company, and the extent to which ownership of assets under management is diffuse; * the nature, scope, size, scale, concentration, interconnectedness, and mix of the activities of the company; * the degree to which the company is already regulated by 1 or more primary financial regulatory agencies; * the amount and nature of the financial assets of the company; * the amount and types of the liabilities of the company, including the degree of reliance on short-term funding; and * any other risk-related factors that the Council deems appropriate. FSOC subsequently issued clarification unde
Final Rule on Authority to Designate Financial Market Utilities as Systemically Important
which includes the following chart recasting the above statutory requirements into a six-category FSOC analytical framework including: * size * interconnectedness * lack of substitutes * leverage * liquidity risk and maturity mismatch * existing regulatory scrutiny The following are quotes from the FSOC final rule regarding each element of the six factor framework. Interconnectedness Interconnectedness captures direct or indirect linkages between financial companies that may be conduits for the transmission of the effects resulting from a nonbank financial company's material financial distress or activities. Substitutability Substitutability captures the extent to which other firms could provide similar financial services in a timely manner at a similar price and quantity if a nonbank financial company withdraws from a particular market. Substitutability also captures situations in which a nonbank financial company is the primary or dominant provider of services in a market that the Council determines to be essential to U.S. financial stability. Size Size captures the amount of financial services or financial intermediation that a nonbank financial company provides. Size also may affect the extent to which the effects of a nonbank financial company's financial distress are transmitted to other firms and to the financial system. Leverage Leverage captures a company's exposure or risk in relation to its equity capital. Leverage amplifies a company's risk of financial distress in two ways. First, by increasing a company's exposure relative to capital, leverage raises the likelihood that a company will suffer losses exceeding its capital. Second, by increasing the size of a company's liabilities, leverage raises a company's dependence on its creditors' willingness and ability to fund its balance sheet. Leverage can also amplify the impact of a company's distress on other companies, both directly, by increasing the amount of exposure that other firms have to the company, and indirectly, by increasing the size of any asset liquidation that the company is forced to undertake as it comes under financial pressure. Leverage can be measured by the ratio of assets to capital, but it can also be defined in terms of risk, as a measure of economic risk relative to capital. The latter measurement can better capture the effect of derivatives and other products with embedded leverage on the risk undertaken by a nonbank financial company. Liquidity risk and maturity mismatch Liquidity risk generally refers to the risk that a company may not have sufficient funding to satisfy its short-term needs, either through its cash flows, maturing assets, or assets salable at prices equivalent to book value, or through its ability to access funding markets. For example, if a company holds assets that are illiquid or that are subject to significant decreases in market value during times of market stress, the company may be unable to liquidate its assets effectively in response to a loss of funding. In order to assess liquidity, the Council may examine a nonbank financial company's assets to determine if it possesses cash instruments or readily marketable securities, such as Treasury securities, which could reasonably be expected to have a liquid market in times of distress. The Council may also review a nonbank financial company's debt profile to determine if it has adequate long-term funding, or can otherwise mitigate liquidity risk. Liquidity problems also can arise from a company's inability to roll maturing debt or to satisfy margin calls, and from demands for additional collateral, depositor withdrawals, draws on committed lines, and other potential draws on liquidity. A maturity mismatch generally refers to the difference between the maturities of a company's assets and liabilities. A maturity mismatch affects a company's ability to survive a period of stress that may limit its access to funding and to withstand shocks in the yield curve. For example, if a company relies on short-term funding to finance longer-term positions, it will be subject to significant refunding risk that may force it to sell assets at low market prices or potentially suffer through significant margin pressure. However, maturity mismatches are not confined to the use of short-term liabilities and can exist at any point in the maturity schedule of a nonbank financial company's assets and liabilities. Existing regulatory scrutiny The Council will consider the extent to which nonbank financial companies are already subject to regulation, including the consistency of that regulation across nonbank financial companies within a sector, across different sectors, and providing similar services, and the statutory authority of those regulators.


Global systemically important insurers

* Allianz *
AIG American International Group, Inc. (AIG) is an American multinational finance and insurance corporation with operations in more than 80 countries and jurisdictions. , AIG companies employed 49,600 people.https://www.aig.com/content/dam/aig/amer ...
* Aegon * Aviva * Axa * MetLife * Ping An * Prudential Aegon replaced
Assicurazioni Generali Assicurazioni Generali S.p.A. ( , ; meaning 'general insurances') or simply Generali Group is an Italian insurance company based in Trieste. As of 2019, it is the largest of its kind in Italy and among the top ten largest insurance companies in ...
on the list in November 2015. FSB plan to expand the above list also to include G-SII status for the world's largest reinsurers, pending a further development of the G-SII assessment methodology, to be finalized by IAIS in November 2015. The revised G-SII assessment methodology will be applied from 2016. In October 2014, IAIS published the first-ever global insurance capital standard entitled ''Basic Capital Requirements (BCR)'', to apply to all group activities (incl. non-insurance activities) of G-SIIs, as a foundation for the ''higher loss absorbency'' (HLA) requirements. Beginning in 2015, the BCR ratio will be reported on a confidential basis to group-wide supervisors - and be shared with the IAIS for purposes of refining the BCR as necessary. IAIS currently work to develop the methodology for the introduction of HLA requirements, to be published by end-2015, and to be applied starting from January 2019 towards those G-SIIs being identified in November 2017. From January 2019, all G-SIIs will be required to hold capital no lower than the BCR plus HLA. Subjecting insurers to enhanced supervisory oversight is not up to FSB/IAIS, but up to individual jurisdictions. When MetLife—the United States’s largest life insurer—was designated as a systemically important institution in late 2014 by the Financial Stability Oversight Council (FSOC) which had been established by the Dodd–Frank Act, they challenged the designation as "arbitrary and capricious" in federal court and won. In April 2016 when judge
Rosemary Collyer Rosemary Mayers Collyer (born November 19, 1945) is an inactive Senior United States district judge of the United States District Court for the District of Columbia, and a Judge of the United States Foreign Intelligence Surveillance Court. ...
, found in favor of Metlife in a federal district court decision, the value of MetLife stocks rose sharply. On January 23, 2018 a panel of judges on the US Court of Appeals dropped the appeal after the Financial Stability Oversight Council dropped the appeal at the request of the Trump administration.


Americas

The U.S. government legislation defines the term ''financial market utilities'' (FMU) for other organizations that play a key part in
financial markets A financial market is a market in which people trade financial securities and derivatives at low transaction costs. Some of the securities include stocks and bonds, raw materials and precious metals, which are known in the financial ma ...
such as
clearing house Clearing house or Clearinghouse may refer to: Banking and finance * Clearing house (finance) * Automated clearing house * ACH Network, an electronic network for financial transactions in the U.S. * Bankers' clearing house * Cheque clearing * Cl ...
s settlement systems. They are entities whose failure or disruption could threaten the stability of the financial system.


Asset managers


United States

It is widely anticipated that the Financial Stability Oversight Council will eventually designate certain significant asset managers as nonbank systematically important financial institutions (nonbank SIFIs). The FSOC recently asked the U.S. Treasury Department’s Office of Financial Research (OFR) to undertake a study that provides data and analysis on the asset management industry. The study analyzed the industry and describes potential threats to U.S. financial stability from vulnerabilities of asset managers. The study suggested the industry’s activities as a whole make it systemically important and may pose a risk to financial stability. Furthermore, it identified the extent of assets managed by the major industry players. This request for the study is considered by some as a first step in by the FSOC in reviewing the industry and individual player to determine which are systematically important. Once designated as systematically important those entities will be subject to additional oversight and regulatory requirements. In 2013, the Treasury Department's Office of Financial Research released its report on ''Asset Management and Financial Stability'', the central conclusion was that the activities of the asset management industry as a whole make it systemically important and may pose a risk to US financial stability. Furthermore, in 2014 the Financial Stability Board and the International Organization of Securities Commissions issued the Consultative Document which proposed methodologies for identifying globally active systemically important investment funds. Both reports further the conclusion that is likely the U.S. Financial Stability Oversight Council will designate a few large US asset managers as systemically important.


See also

*
International lender of last resort International lender of last resort (ILLR) is a facility prepared to act when no other lender is capable or willing to lend in sufficient volume to provide or guarantee liquidity in order to avert a sovereign debt crisis or a systemic crisis. No ...
*
List of systemically important banks Certain large banks are tracked and labelled by several authorities as Systemically Important Financial Institutions (SIFIs), depending on the scale and the degree of influence they hold in global and domestic financial markets. Since 2011, the ...
*
List of bank stress tests :''This list covers formal bank stress testing programs, as implemented by major regulators worldwide. It does not cover bank proprietary, internal testing programs.'' A bank stress tests is an analysis of a bank's ability to endure a hypothetical ...
* Federal Deposit Insurance Corporation#Resolution of insolvent banks * Systemically important financial market utility *
Systemic risk In finance, systemic risk is the risk of collapse of an entire financial system or entire market, as opposed to the risk associated with any one individual entity, group or component of a system, that can be contained therein without harming the ...
* :Systemic risk * Too connected to fail *
MetLife Inc. v. Financial Stability Oversight Council ''MetLife Inc. v. Financial Stability Oversight Council'', 177 F. Supp. 3d 219 (D.D.C. 2016), is a case that challenged the systemically important financial institution, or SIFI rules in Dodd-Frank. U.S. District Judge Rosemary Collyer ruled that ...


Notes


References


External links

* * * {{cite journal , title=OECD study on regulation of systemically important banks , publisher=OECD , date=12 Dec 2011 , author=Slovik, Patrick, doi = 10.1787/5kg0ps8cq8q6-en, series = OECD Economics Department Working Papers, doi-access=free Systemic risk Financial regulation Economic globalization