Implications of proposed recapitalisation of Nigerian Banks

Mon, Apr 1, 2024
By editor
5 MIN READ

Essay

Centre For The Promotion of Private Enterprise [CPPE]

By Muda Yusuf 

THE purpose of adequate capitalization is to ensure efficiency and stability of the financial system.  Capital adequacy measures the capacity of a bank to meet its financial obligations and absorb any shocks related to losses.  It measures the financial soundness of a bank, ensures the safety of depositors’ funds, deepens financial intermediation and enhances the capacity to support economic growth through the funding of investments. 

Current Status of Bank Capitalization

The current minimum statutory capital requirements for banks are as follows:

International Banks N50 billion

National Banks N25 Billion

Regional Banks N10 billion

The last major review of minimum capital requirement was done in 2005, some 18 years ago.  That was under President Olusegun Obasanjo, with Prof Charles Soludo as CBN governor.  But since then, the value of the minimum capital has been significantly eroded by inflation.  For instance, official exchange rate in 2005 was about N130 to the dollar.  This meant that the N25 billion for a national bank, for instance, was equivalent to $192 million.  The naira equivalent today is about N250 billion.  For the International Banking license, it would be about $384 million, an equivalent of about  N500 billion.  The reality is that the capitalization requirement has not increased materially in real terms, that is when adjusted for inflation.

The real issue is that inflation had weakened the value of money overtime which makes recapitalization imperative and  inevitable.  The essence is to ensure the safety of depositors’ fund, strengthen the stability of the financial system, deepen resilience of the banking system and reposition the bank to support growth.

FINANCIAL SOUNDNESS OF THE NIGERIAN BANKING SECTOR

Reports from the central bank of Nigeria attests to the fact that Nigerian banks have good soundness indicators. The industry Capital Adequacy Ratio as at January was 13.7%, which was above the prudential threshold of 10%.  The Non-Performing Loans as a ratio of total loan assets was 4.81% as against the prudential threshold of 5%, which is also  positive. Liquidity ratio of 40.14 as against the prudential minimum of 30%, which also reflects a healthy position. 

The summary is that based on the financial soundness metrics, Nigeria banks are adjudged to be generally healthy. But this does not diminish the need for regulatory authority to ensure that this soundness and stability is preserved and improved upon, especially because of the recent macroeconomic headwinds.  This, perhaps, is what informed the current policy of the CBN to review the capital base.

NEED TO ENSURE MINIMUM DISRUPTION OF THE BANKING SYSTEM IN THE PROPOSED REVIEW OF MINIMUM CAPITAL REQUIRMENTS FOR BANKS.

The proposed recapitalization of banks should be done in a manner that would minimize shocks and disruptions to the banking system and the economy at large. We commend the CBN for giving a timeline of 24 months for banks to comply.  This would minimize disruptions and dislocations in the financial system.  It would also ensure a smooth transition to the new capitalization regime for banks. 

With the current approach and timeline given by the CBN, the risk of banks collapse or hasty mergers and acquisitions should be minimized. It is also laudable that the current categorization of banks with differential capital requirements has been maintained – international, national and regional.  This is necessary to allow for inclusion and reduce the risk of dominance of the banking space by a few big banks.

Meanwhile, it is imperative for the CBN to assure depositors of the safety of their funds in the banking system, irrespective of the current level of capitalizations of banks. It is important to sustain the confidence of the banking public about the soundness and stability of the Nigerian banking system, especially because of the perception and vulnerable risks of smaller banks.   

We implore the CBN to ensure minimum risk to shareholders and employees in the banking system, across board.  It is also imperative to guide against elevated concentration risks and the deepening of oligopolistic structure in the banking system.  There are also concerns around the large interest rate spreads in the Nigeria banking system.  Spread between deposits and lending rates are sometimes as high as 20%, which is one of the highest globally. 

The tenure of funds in the banking system is extremely short. Over 80% of funds are of one year tenure or less, which explains the high level of assets and liability tenure mismatch in the banking system. 

Access to credit by small businesses remains a major inhibition to economic growth and economic inclusion.  Small businesses account for over 50% of GDP, but get less than 5% of credit in the banking system.  Financing gap in the Nigeria SME space is about $32.2 billion [over N40 trillion], according to IFC estimates.  De-risking the credit space for small businesses should be accorded high priority in the new dispensation. This is essential to boost growth, create jobs and deepen economic inclusion.

The apex bank should caution all players in the banking sector against predatory and other anti-competitive practices in the industry on account of the recapitalization policy.

***Muda Yusuf is the chief executive officer of Centre for the Promotion of Private Enterprise (CPPE).

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