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Continuity Management Software
Updated September 1, 2023
More than a decade after the financial crisis of the late 2000s, operational resilience – the ability of firms and the financial sector as a whole to prevent, adapt, respond to, recover, and learn from operational disruptions – remains a key concern of central bankers and other prudential regulators. These stakeholders, of course, were already responsible for erecting a post-crisis regulatory infrastructure intended to bolster the stability of financial markets; so, one might ask, from where do their new resilience concerns issue?
It appears the interest in operational resilience, above and beyond levels demanded by existing regulation, is a product of the new risk picture, characterized by hostile cyber environment, technical innovation, increased system complexity, changing mobile behaviors, etc. Indeed, the working assumption of regulators is that as new risk triggers accumulate (see more below), disruption becomes more likely to occur at some point in the future. And that disruption, come as it will from newer risk factors, will not only prevent firms and FMIs (financial market infrastructures) from operating as usual but might also pose grave peril to the broader financial system.
So, given the changes to the industry-wide risk picture, regulators haven’t been quiet. In recent years, they have taken initial steps to collate pragmatic business continuity, operational resilience, and operational risk management best practices as well as build on existing regulation, all with the end-goal of mandating an industry-wide approach to operational resilience. In the U.K., specifically, the Bank of England (BoE), Prudential Regulatory Authority (PRA), and Financial Conduct Authority (FCA) put out a joint discussion paper, 2018’s “Building the UK financial sector’s operational resilience,” intended to jump-start a dialogue with the financial industry.
And a dialogue it began. Retail, commercial, custody, and wholesale financial institutions weighed in. The trade association, UK Finance, and consultancy, EY, culled together some of those responses in the July 2019 publication, “Perspectives: Operational Resilience in Financial Services.”
There, report drafters came away with important themes: (1) operational resilience comes from the effective management of risk; (2) response and recovery capabilities, particularly incident management and business continuity, have long been foundational to effective operational risk. What’s called for now, in the industry’s estimation, is the addition of broader risk management techniques that cut across siloes and focus on end-to-end business services, not just individual teams, systems, and/or facilities.
On that point, the industry and regulators prove to be in alignment. Case in point: at the end of 2019, the supervisory authorities, BoE, PRA, and FCA, put out a list of proposals to begin embedding a uniform, systematic approach to operational resilience into policy. The proposals consisted of the following:
Root causes of disruption
Top resilience concerns for bank functions
Source: UK Finance and EY, “Perspectives: Operational Resilience in Financial Services”
What’s come out so far are merely proposals, intended at this stage to solicit more industry feedback. And then? Well, the supervisory authorities have given the industry until April 2020 to respond to their proposals. That feedback will then be incorporated into final proposals, set for circulation in late 2020. After that, the industry will have until the second half of 2021 (Brexit, notwithstanding) to fully implement the final proposals. As the industry has every reason to believe that the proposals will require substantive, end-to-end modifications to the way resilience, this guide recaps what’s gone on so far, so as to preview what might be coming.
First, the original discussion paper. Published in July 2018, the joint discussion paper, “Building the UK financial sector’s operational resilience,” lays out what the supervisory authorities – charged as they are with safeguarding financial stability – think about operational resilience. important here is what those authorities determined constitutes operational resilience:
Given the broad definition, interventions to improve operational resilience will require complementary approaches to tackling the continuity of business services considered vital – in other words, services that if disrupted would lead to significant customer loss, financial loss, or reputational damagei.
What would improving operational resilience mean according to this approach? Foremost, it would entail identifying the most important business services and ascertaining how much disruption could be tolerated, in what circumstance. This concept is called setting impact tolerances. And according to the supervisory authorities, boards and senior management should play a key role in setting impact tolerances for the operational disruption of important business services in their firms or FMIs – the tolerances themselves are to be expressed by reference to specific outcomes and metrics.
Sill, setting these impact tolerances shouldn’t be an academic pursuit. The business benefits of doing so can be tangible. For one, setting tolerance for impact, or disruption, helps the firm or FMI to prioritize investment and resource allocation. What’s more, it clears the scope when firms and FMIs want to test reliance, as well as providing sharper focus for supervisory engagement.
Setting impact tolerances alone won’t ensure operational resilience, though. Business continuity and contingency planning help, as well. Some of that work might already be complete or ongoing; supervisory authorities already require firms and FMIs to undertake appropriate contingency planning and maintain continuity plans that suitably explain how they will respond to and recover from likely disruptions. But given new regulatory focus on important business services, contingency plans should be redrafted to give greater attention to a firm’s or FMI’s most important business services. Those services are often outsourced, a source of risk in and of itself; and so, contingency plans must also cover third-party providers.
Besides business continuity, operational resilience initiatives must be in alignment with other activities that are likely already occurring across the organization; those include financial resilience, disaster recovery, cyber response (a top risk), and operational continuity in resolution.
The original discussion paper also addresses the need for effective crisis communications, as a means of mitigating consumer harm (not to mention, reputational damage). What measures should be undertaken, specifically? To be effective, business continuity interventions require prompt and meaningful communications, targeted to both internal and external parties – examples of the latter include supervisory authorities, consumers, other clients, and the press. At a basic level, viable plans will specify how to get hold of key constituencies, operational staff, as well as consumers, suppliers, and authorities.
With the rise of new risks in finance, achieving operational resilience can be more challenging than ever. But developing effective business continuity management (BCM) protocols with the help of pragmatic business continuity management software can help, especially with forthcoming mandates to invest in the ability to respond to and recover from disruptions by having appropriate systems, oversight, and training. Here are some of the technology factors to consider:
So, what changed from the original discussion to the operational resilience proposals that came out December 2019? The proposals themselves are less prescriptive than generic. For the most part, the statutory authorities avoid introducing definitive lists or taxonomies; instead, they counsel taking a firm, yet pragmatic, approach to achieve operational resilience. In the main, the proposals set out three key directives to meet the objective – the directives having already been previewed in the 2018 discussion paper:
Following, at more depth, the authorities again define important business services, as activities provided by a firm or FMI to an external end user or participant whose disruption could cause the following: intolerable harm to consumers or market participants, harm to market integrity, a threat to policyholder protection, financial instability.
Where authorities declined to identify specific activities that would fit the above criteria, they did refine their approach to setting impact tolerances – tolerances within which firms will be required to remain, according to the new rulebook. For one, under governance provisions, authorities will require boards and senior managers to approve the impact tolerances to be set for each of the firm’s important business services. Secondly, the authorities establish a conceptual distinction between impact tolerances and risk appetite – the former assumes that a particular risk has crystallized. Then, they stipulate that time-based impact metrics, though helpful, might be in and of themselves insufficient to gauge the maximum tolerable level of disruption, just how long an impact can be tolerated and how quickly a contingency arrangement will need to be able to come into effect.
Proposed activities to ensure the delivery of operational resilience again hewed closely to pragmatic business-continuity best practices, with examples including replacing outdating infrastructure, increasing system capacity, achieving full fail-over capability, addressing key-person dependencies, being able to communicate with all affected parties, also taking action to address vulnerabilities in legacy systems. Scenario-testing provisions were similarly pragmatic, stipulating as they did that the firm or FMI must identify a practicable range of relevant, adverse circumstances of varying nature, severity, and duration.
And to ensure that an important business service remains within its impact tolerance, firms must understand the totality of how the service is itself delivered and how it can be disrupted. Identifying and documenting the resources required to deliver an important business service within its impact tolerance calls for comprehensive mapping, which facilitates later robust, scenario testing as well as helps firms and FMIs identify existing vulnerabilities (to correct). According to the proposal, mapping, already a business-continuity best practice, will become a firm requirement in addition to scenario testing.
What’s the enforcement mechanism for these proposals? For the most part, the authorities are allowing firms and FMIs to self-police and self-assess, with boards and senior management held principally accountable for key activities. Specifically, senior stakeholders must be satisfied that their firm or FMI is meeting the requirement for having suitable strategies, processes, and systems for identifying important business services, setting tolerances, and performing mapping and testing.
The firms themselves must take “prompt and effective” action to improve operational resilience where the firm or FMI is not able to remain within the set tolerance, including taking action to address vulnerabilities in legacy systems. Again, mapping, scenario-testing (proportionate to the firm’s size and complexity), and preparing a self-assessment will be mandated, with the relevant methodology used to meet requirements documented.
Finally, firms and FMIs might have some time to go before these proposals become firm policy with a compliance due date. But to the extent that these proposals are pragmatic, institutions should get started heeding the directives, so as to mitigate risk and achieve operational resilience.
i Indeed, important business services might already be under regulatory scrutiny. For instance, because of Internal Capital Adequacy Assessments and Risk Controls, firms and FMIs must already articulate the circumstances that may lead the firm or FMI to failure.