
Banking (prudential standard) determination No. 4 of 2024
Prudential Standard APS 117 Capital Adequacy: Interest Rate Risk in the Banking Book (Advanced ADIs)
Banking Act 1959
I, Therese McCarthy Hockey, a delegate of APRA, under subsection 11AF(1) of the Banking Act 1959 (the Act) DETERMINE Prudential Standard APS 117 Capital Adequacy: Interest Rate Risk in the Banking Book (Advanced ADIs) in the form set out in the schedule, which applies to ADIs and authorised NOHCs to the extent provided in paragraphs 2 to 4 of the prudential standard.
This instrument commences on 1 April 2025.
Dated: 17 September 2024
Therese McCarthy Hockey
APRA Member
Interpretation
In this instrument:
APRA means the Australian Prudential Regulation Authority.
ADI and authorised NOHC have their respective meanings given in the Act.
Schedule
Prudential Standard APS 117 Capital Adequacy: Interest Rate Risk in the Banking Book (Advanced ADIs) comprises the document commencing on the following page.

Prudential Standard APS 117
Capital Adequacy: Interest Rate Risk in the Banking Book (Advanced ADIs)
Objective and key requirements of this Prudential Standard
This Prudential Standard sets out the requirements that an authorised deposit-taking institution with approval to use an internal model for interest rate risk in the banking book must meet for regulatory capital purposes, both at the time of initial implementation and on an ongoing basis.
The key requirements of this Prudential Standard are that an authorised deposit-taking institution must have:
a framework to manage, measure and monitor interest rate risk in the banking book commensurate with the nature, scale and complexity of the institution’s operations; and
approval from APRA to use an internal model for determining the institution’s capital requirement for interest rate risk in the banking book.
Table of contents
Authority...........................................................3
Application.........................................................3
Interpretation.......................................................3
Scope..............................................................3
Definitions..........................................................4
Key principles.......................................................5
Approval process....................................................5
Adoption of the internal model approach................................6
Interest rate risk in the banking book management framework.............7
Interest rate risk in the banking book measurement system................7
Attachments
Attachment A - Governance and the interest rate risk in the banking book management framework......10
Attachment B - Quantitative standards for measuring the capital requirement14
- This Prudential Standard is made under section 11AF of the Banking Act 1959 (the Banking Act).
- This Prudential Standard applies to authorised deposit-taking institutions (ADIs) that are seeking or have been given approval to use an internal model approach for interest rate risk in the banking book (IRRBB) for the purpose of determining Regulatory Capital.
- A reference to an ADI in this Prudential Standard shall be taken as a reference to:
- an ADI on a Level 1 basis; and
- a group of which an ADI is a member on a Level 2 basis.
- If an ADI to which the Prudential Standard applies is:
- the holding company for a group, the ADI must ensure that the requirements in this Prudential Standard are met on a Level 2 basis, where applicable; or
- a subsidiary of an authorised non-operating holding company (authorised NOHC), the authorised NOHC must ensure that the requirements in this Prudential Standard are met on a Level 2 basis, where applicable.
- Terms that are defined in Prudential Standard CPS 001 Defined terms appear in bold the first time they are used in this Prudential Standard.
- For the purposes of this Prudential Standard, an ADI’s banking book is comprised of the following items (banking book items):
- all on-balance sheet items with the exception of:
- items that are part of the ADI’s trading book. -balance sheet to Attachment A to Prudential Standard APS 116 Capital Adequacy: Market Risk (APS 116)). APS 116 provides details for the purpose of calculating ;
- items that are deducted from the ADI’s Common Equity Tier 1 Capital under Prudential Standard APS 111 Capital Adequacy: Measurement of Capital (APS 111);
- items included in the ADI’s Common Equity Tier 1 Capital (refer to APS 111); and
- all off-balance sheet items that alter the ADI’s exposure to interest rate risk, other than positions that are part of the ADI’s trading book. This includes derivatives transacted with other entities within the group of which an ADI is a member (and not part of the ADI’s Extended Licensed Entity), for the purpose of determining interest rate risk Regulatory Capital on a Level 1 basis, or with other entities within the group of companies of which an ADI is a member that do not form part of the group, for determining such capital on a Level 2 basis.
- The following definitions are used in this Prudential Standard:
- basis risk - the risk of loss in earnings or economic value arising from differences between the actual and expected interest margins on banking book items, where ‘margin’ means the difference between the interest rate on the items and the implied cost of funds for those items;
- earnings at risk - the potential impact of interest rate changes on the net interest income and non-interest income (and expense) earned on the ADI’s banking book;
- economic value sensitivity - the potential impact of interest rate changes on the present value of all future cashflows arising from the ADI’s banking book items, including the economic value of non-interest cashflows;
- IRRBB - the risk of loss in earnings or in the economic value on banking book items as a consequence of movements in interest rates. For the purposes of this Prudential Standard, reference is made to the IRRBB components of repricing risk, yield curve risk, basis risk and optionality risk;
- IRRBB capital requirement - the Regulatory Capital that an ADI is required to hold against its exposure to IRRBB in accordance with this Prudential Standard;
- IRRBB management framework - the organisational structures, processes and systems used in identifying, assessing, measuring, monitoring, controlling and mitigating IRRBB;
- IRRBB measurement system - the systems and data of the IRRBB management framework used to measure IRRBB;
- optionality risk - the risk of loss in earnings or economic value due to the existence of stand-alone or embedded options, to the extent that the potential for those losses is not included in the measurement of repricing, yield curve or basis risks;
- repricing risk - the risk of loss in earnings or economic value caused by a change in the overall level of interest rates. This risk arises from mismatches in the repricing datesof an ADI’s banking book items; and
- yield curve risk - the risk of loss in earnings or economic value caused by a change in the relative levels of interest rates for different tenors (that is, a change in the slope or shape of the yield curve). Yield curve risk arises from repricing mismatches between assets and liabilities.
- An ADI that has received model approval from APRA for IRRBB must:
- have in place a robust IRRBB framework and a conceptually sound IRRBB measurement system; and
- hold regulatory capital commensurate with its exposure to IRRBB.
- An ADI that has sought model approval from APRA to use an internal ratings-based approach to credit risk or an advanced measurement approach to operational risk must also apply for model approval to use an internal model approach to IRRBB for Regulatory Capital purposes.
- Any model approval granted may specify how the internal model is to apply in relation to the ADI, including approvals under other paragraphs of this Prudential Standard. APRA’s prior written approval is required for any material changes to the internal model. Prior notification to APRA is required for material changes to other components of the IRRBB management framework. APRA may impose conditions on a model approval.
- Once an ADI has obtained model approval, it must continue to employ that internal model unless APRA revokes the approval. Revocation at the request of the ADI may only occur in exceptional circumstances.
- APRA may, at any time in writing to the ADI, vary or revoke a model approval, or impose additional conditions on the approval if it determines that:
- the ADI does not comply with this Prudential Standard; or
- it is appropriate, having regard to the particular circumstances of the ADI, to impose the conditions or make the variation or revocation.
- Where an ADI’s model approval has been revoked or the ADI does not receive model approval from APRA for determining its IRRBB capital requirement, the ADI must determine that requirement based on an alternative approach that APRA specifies, in writing, taking into account the nature of the ADI’s interest rate risk.
- An ADI that has received model approval may rely on its own internal estimate based on the approved model of IRRBB for determining its IRRBB capital requirement. That estimate must be fundamentally sound and consistent with the scope of IRRBB defined in paragraph 7(d) of this Prudential Standard.
- APRA may, in writing, require an ADI with model approval to reduce its level of IRRBB or increase its capital if APRA considers that the ADI’s capital for IRRBB is not commensurate with the ADI’s risk profile.
- APRA will generally require an ADI that has model approval to apply this model across all relevant business activities of the ADI. APRA recognises, however, that for many ADIs it may not be practical to implement an internal model across all business activities. This may be the case, for instance, where an ADI undertakes a new business activity, has acquired a new business through merger or acquisition or has certain immaterial business activities (refer to paragraph 21 of this Prudential Standard). In such circumstances, APRA’s approval of the model may permit the ADI to use a combination of the internal model approach and an alternative APRA-agreed approach for regulatory capital purposes. This approach is referred to as ‘partial use’.
- An ADI must provide APRA with appropriate written information, both at the time of the initial application for use of the internal model approach and subsequent to the ADI obtaining model approval, on the business activities for which the ADI proposes not to use its internal model approach.
- Approval for partial use of an internal model approach will, at a minimum, require that:
- all sources of IRRBB across the ADI are captured within its total amount of IRRBB capital requirement; and
- a substantial majority of an ADI’s IRRBB is captured by its measurement system.
In the case of partial use of an internal model, diversification benefits for any part of the ADI’s operations that is excluded from the IRRBB measurement system will not be recognised.
- APRA may approve partial use of an ADI’s internal model approach on a short-term basis. In this case, the ADI must adopt a phased roll-out of the internal model approach across all material business activities of the ADI. A phased roll-out may include (but need not be limited to) adoption of the internal model approach, in accordance with a specified timetable, across business activities within a particular legal entity or legal entities within the Level 2 group.
- An ADI that has received approval to adopt a phased roll-out of the internal model approach must have a written APRA-approved implementation plan in place that specifies the extent and timing of roll-out of the internal model approach across all material business activities.
- Permanent partial use of an internal model approach will be approved only in exceptional circumstances and where the ADI is able to demonstrate to APRA that those business activities to which the internal model does not apply are immaterial in terms of size and perceived risk profile. The calculated IRRBB capital requirement for such business activities, if considered necessary by APRA, may be subject to additional capital.
- An ADI with internal model approval must have in place an IRRBB management framework that is sufficiently robust to facilitate quantitative estimates of its IRRBB capital requirement that are sound, relevant and verifiable. APRA must be satisfied that the ADI’s IRRBB management framework is suitably rigorous and consistent with the complexity of its business. Where industry risk modelling practices evolve and improve over time, the ADI must consider these developments in assessing its own practices. Furthermore, the IRRBB measurement system must play an integral role in the ADI’s risk management and decision-making processes and meet the requirements detailed in Attachment A. An ADI must also comply with the requirements relating to the Board of directors (Board) and senior management responsibilities in that Attachment.
- An ADI’s IRRBB measurement system must:
- be conceptually sound, comprehensive, consistently implemented, transparent and capable of independent review and validation;
- be sufficiently comprehensive to capture all material sources of IRRBB across the ADI, including those events that can lead to rare and severe losses; and
- monitor the ADI’s IRRBB risk profile in terms of earnings at risk and economic value sensitivity.
- The IRRBB capital requirement under the internal model approach must cover repricing and yield curve risks and, unless APRA approves an exemption in writing (refer to paragraphs 25 and 26 of this Prudential Standard), basis risk and optionality risk.
- Where an ADI is able to demonstrate to APRA that the potential loss from its exposure to basis and/or optionality risks is not significant when compared to the potential loss arising from repricing and yield curve risks, APRA may approve (at the time of approving the ADI’s proposed internal model, or subsequently in writing) the exclusion of basis and/or optionality risks, as relevant, from the ADI’s IRRBB regulatory capital.
- An ADI with approval from APRA to exclude basis and/or optionality risks from its IRRBB regulatory capital must, at a minimum:
- review the level of its exposure to basis and/or optionality risks, as relevant, at least annually and provide the results of that review to APRA; and
- assess the impact of new products and changes to existing products, on its exposure to basis and/or optionality risks, as relevant, and report the details of that assessment to APRA where a significant change in its total exposure to basis risk and/or optionality risk is indicated.
- For the purpose of determining the IRRBB capital requirement under the internal model approach, an ADI must use the economic value sensitivity approach to measure repricing and yield curve risks. For basis and optionality risks, APRA recognises that ADIs’ measurement approaches are evolving. Accordingly, where an ADI is required to hold regulatory capital for these risks, no particular measurement technique is prescribed (although APRA may do so under paragraph 19 of Attachment B in certain cases).
- An ADI’s IRRBB measurement system must take into account the impact that past interest rate movements may have on its future earnings. In particular, the ADI must give consideration to embedded gains or losses in banking book items that are not accounted for on a marked-to-market basis. The IRRBB regulatory capital must include the effect of embedded gains or losses.
- As part of the model approval process, an ADI must be able to demonstrate the appropriateness of the IRRBB capital requirement as determined by its internal model and commensurate with its IRRBB profile. An ADI must justify to APRA any changes in the calculated capital requirement as part of its ongoing use of an internal model.
- An ADI must be able to demonstrate that its IRRBB capital requirement, as determined by its internal model, meets a soundness standard based on a 99 per cent confidence level and a one-year holding period (the soundness standard). This soundness standard provides significant flexibility for an ADI to develop an IRRBB measurement system that best suits the nature and complexity of its activities.
- To estimate repricing and yield curve risks, an ADI must make repricing assumptions regarding the repricing of banking book items that do not have a contractually defined repricing date or where there is potential for significant variation between contractual and actual repricing dates due to, for example, embedded optionality in banking book products. These repricing assumptions must:
- specify one or more repricing dates and the principal amounts assumed to reprice on each of those dates; and
- be clearly documented and supported by appropriate analysis.
APRA will review the appropriateness of an ADI’s repricing assumptions and may, in writing, determine that an ADI must use different assumptions for the purpose of determining its IRRBB capital requirement.
- An ADI’s IRRBB capital requirement must be calculated on at least a quarterly basis to ensure it adequately reflects its risk profile.
- An ADI with model approval must meet the quantitative standards for measuring the capital requirement for IRRBB as detailed in Attachment B.