Thank you very much, and thank you for inviting me to appear today.
As you mentioned, I am joined by my colleague, Ben Gully, the assistant superintendent of the regulation sector at the Office of the Superintendent of Financial Institutions, or OSFI, as it's usually called.
OSFI is Canada's prudential regulator and supervisor. We promote financial stability by keeping a close eye on the solvency, liquidity, safety and soundness of federally regulated financial entities. Our core functions are regulation, which is setting rules and guidelines, and supervision, which is assessing adherence to these rules and making sure institutions close the gaps that we identify. We regulate and supervise about 400 financial institutions, mainly banks, insurance and trust companies, and over 1,200 private pension plans.
OSFI works closely with its federal counterparts, namely the Department of Finance, the Bank of Canada, the Canada Deposit Insurance Corporation, the Financial Consumer Agency of Canada, the Canada Mortgage and Housing Corporation, and its provincial counterparts.
It also exchanges information with the international bodies to which it belongs, such as the Financial Stability Board, the Basel Committee on Banking Supervision and the International Association of Insurance Supervisors.
I do not need to tell you that these are extraordinary times. COVID-19 has caused many tragedies and great disruption, as well as forcing us all to change how we live and work.
In these unprecedented times, Canadians can have confidence in our financial system because it is resilient and well prepared. Our role has always been to think about how to prepare for and how to respond to severe scenarios, whether they affect a single financial institution or the entire financial system.
While much of what is happening now is clearly extraordinary, many of the challenges facing the financial system are elements that OSFI has been preparing for for some time.
In particular, OSFI strengthened its regulation and supervision of financial institutions in the decade that followed the global financial crisis, even though the Canadian financial system had performed well during that period. This included new requirements in areas such as capital adequacy, which is the capacity to absorb significant losses and continue to function; liquidity adequacy, which is the ability to make good on cash outflows as they come due even in stressful financial market conditions; and operational resilience, the ability to function even during a serious disruption.
Not only did OSFI raise minimum capital and liquidity standards, it further required banks and insurers to exceed those standards under normal conditions, thereby building robust buffers for use when necessary.
One of OSFI's most important tools in the current situation is setting capital levels. You may wish to think of capital as a form of self-insurance which provides both a buffer against unforeseen losses and an incentive to manage risk-taking. Strong capital levels allow a financial institution to operate normally even if it experiences losses.
Part of our capital regime is the domestic stability buffer, which requires Canada's biggest banks to set aside additional capital during good times and then allows them to draw it down at a time like this. This positions banks to continue to support the economy during an economic downturn even though they face the prospect of losses on some of their loans.
We reduced the domestic stability buffer by 1.25 percentage points on March 13, which increased the lending capacity of Canada's largest banks by over $300 billion. OSFI will continue to monitor the economic situation and, if conditions warrant, is prepared to release the remaining 1.0 percentage points of the buffer.
As part of that mid-March announcement, OSFI instructed banks to not undertake dividend increases and share buybacks so that the additional capital will be used as intended.
In early April, I issued a further statement on bank capital and dividends to contribute to a broader understanding of the capital regime in Canada and the resilience that is already baked into the system before further actions are required.
While the actions we take in anticipation of an economic downturn are important, we must also respond to the downturn by adapting our supervision of financial institutions and pension plans and by adjusting our guidance and regulatory requirements as circumstances warrant.
Since the start of the pandemic, OSFI has been closely monitoring the financial condition of banks and insurers, reviewing their responses and maintaining ongoing communication with them.
My colleague, Mr. Gully, will describe the regulatory measures that we have taken recently.
Just before I call on Mr. Gully, let me reiterate that Canadians can be confident that OSFI is acting to meet its mandate of protecting depositors, policyholders, creditors and pension plan beneficiaries in these extraordinary times.
I will stop here so my colleague can deliver his remarks, and then we will be pleased to respond to your questions.