毕博上海银行咨询Sime Bank Operational Risk Report.doc
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1、SIME BANK BERHADOPERATIONAL RISK REVIEW(Excluding Human Resources and Information Technology)November 1997CONTENTSPage NoIINTRODUCTION1IIFINDINGS AND RECOMMENDATIONS62.1Overview62.2Operational Risk Management Framework132.3Customer Service212.4Policies and Procedures312.5Regulatory Compliance372.6 N
2、ew Project Co-ordination and Control442.7 Corporate Image502.8Physical Security552.9Fraud58Appendix ContentsA-RISK PROFILE MAPSB-RISK REGISTERSC-OPERATIONAL RISK CATEGORIES AND DEFINITIONSD-GUIDE VALUES/LOSS PARAMETERSIINTRODUCTION1.1OverviewThe purpose of this report is to summarise our draft findi
3、ngs and recommendations from the operational risk review carried out within Sime Bank Berhad (“Bank”). This excludes our findings and recommendations on human resources and information technology which have been incorporated in separate reports given their importance to the Bank.Our approach to cond
4、ucting the operational risk review has involved holding a series of workshops and interviews with senior management, business managers and branch managers in order to: identify the operational risks facing the Bank; evaluate the causes and consequences of the risks identified; assess the quality of
5、controls to manage these risks in order to determine the overall severity of the risks; and develop action plans to address the major risks.The findings from the workshops and interviews have been aggregated for the purposes of this report. Detailed findings from our workshops and interviews are set
6、 out in the Appendix to this report.1.2ApproachA summary of the project approach is set out in the diagram below:DevelopAction PlansControlsAssessmentRiskIdentificationDiagnosticReview Develop action plans for key residual risks Identify key controls Establish residual risks based on effectiveness o
7、f controls Conduct workshops in order to identify risks Understand processes and activities of the Bank1.3Operational risk profileThe findings from our review indicate that the Bank is exposed to a number of major operational risks. The risk profile map below reflects the severity of these risks aft
8、er taking into account the effectiveness of existing controls.INHERENT RISKMEDIUMCATASTROPHIC/HIGHOrganisationCustomer ServiceOperational Error Policy & ProceduresRegulatory CompliancePhysical Security - GuardsNew Project Co-ordination and ControlFraudCorporate ImageSome WeaknessesSatisfactoryLOWWea
9、kCONTROL EFFECTIVENESSIn summary, the major operational risks facing the Bank are as follows: Organisation Responsibilities for managing operational risks are unclear. A lack of a “sales orientated” culture within the branches is hindering the delivery of customer service; In addition, manual proces
10、ses which are extensive in the branches is affecting the efficiency of customer service. Branch policies and procedures appear to be cumbersome and not user friendly. There appears to be a lack of clarity in written communication of policies and procedures which can result in inconsistencies through
11、out the branches. There is currently no centralised unit to facilitate regulatory (internal and external) compliance or communicate regulatory guidelines. No formalised procedures exist to introduce/co-ordinate projects and authorise the introduction of new products. The design, layout and location
12、of certain branches is hampering business growth opportunities and adversely affecting the image of the Bank. The quality of existing security services provided by external parties is of a poor standard. This may result in financial loss, destruction of property and physical harm to staff and custom
13、ers. There appears to be no strategy for pro-actively managing fraud.Although organisation was not identified as a major risk by the workshops, we have included this in the report because we believe that the Bank requires an operational risk management infrastructure to continue the process of manag
14、ing operational risk.1.4 Structure of reportThe remainder of this report is structured to discuss these risks in more detail and outlines action plans to address these risks. Section II of this report sets out these risks under the following sub-sections: Operational Risk Management Framework Custom
15、er Service Policies and Procedures Regulatory Compliance New Project Co-ordination and Control Corporate Image Physical Security FraudThe final section (Section III) summarises our recommendations and outlines an overall implementation plan for addressing these risks.IIFINDINGS AND RECOMMENDATIONS2.
16、1OverviewA summary of the findings and recommendations arising from the operational risk review is set out below:RISKRECOMMENDATIONOperational Risk Management Framework Responsibilities for managing operational risk are unclear. An operational risk committee should be set up to sponsor the managemen
17、t of operational risk Internal Audit (IAD) should expand its existing role to facilitate the management of operational risk A process based approach to evaluating operational risk and designing appropriate controls should be implemented(Further details are set out in Section 2.2)Benefit: Ongoing res
18、ponsibilities for managing operational risk will be clarified A comprehensive method of evaluating risks and designing control systems will exist to support expected ongoing change to internal processes Management can take greater assurance that all operational risks are being addressedRISKRECOMMEND
19、ATIONCustomer Service A lack of a sales orientated culture is hindering the delivery of customer service Top management should promote a sales culture within the organisation Key performance indicators (KPIs) should be introduced to measure customer service levels Relationship Banking should be intr
20、oduced for all customers at branches Branches and business units should be involved in developing their own business and financial plans Manual processes which are extensive in the branches are affecting the efficiency of customer service The retail banking systems should be upgraded to include all
21、products and facilitate reporting to regulators(Further details are set out in Section 2.3)Benefit: Creates ability to monitor and respond to customer satisfaction as a minimum requirement for keeping pace with competitors Improves staff morale and promotes responsibility Reduces manual effort and i
22、ncreases time for customer serviceRISKRECOMMENDATIONPolicies and Procedures Policies and procedures manuals are cumbersome and not user friendly There appears to be a lack of clarity in the written communication of policies and procedures which can result in inconsistent application A compliance off
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