The stock market reaction to the Banking Regulation (Amendment) Ordinance, 2017
has been positive for banks and their high quality borrowers but negative for distressed
firms, suggestive of its potential to rejuvenate banking sector health and to improve
capital allocation across firms.
The Context
The Banking Regulation (Amendment) Ordinance, 2017 was promulgated on May 4th, 2017.
This Ordinance empowered the Reserve Bank of India (RBI) to direct banking companies
to initiate insolvency proceedings in respect of a default under the provisions
of the Insolvency and Bankruptcy Code, 2016 (IBC). It also enabled the RBI to constitute
committee/s to advise banking companies on resolution of stressed assets.
The RBI released a detailed action plan on May 22nd, 2017
to implement the ordinance. An Internal Advisory Committee (IAC) constituted by
the RBI held its first meeting on June 12th, 2017. The IAC recommended that all
accounts with an outstanding amount greater than ₹ 5,000 crore, and with more
than 60% classified as non-performing by banks (as on March 31st, 2016) would qualify
for reference under the Insolvency and Bankruptcy Code (IBC)1. Using these criteria, 12 accounts
aggregating around 25% of the current gross Non Performing Assets (NPAs) were identified
and banks were directed to file for insolvency proceedings under IBC in respect
of these accounts.
This study answers two questions: (i) How the capital market perceived the passage
of the Ordinance empowering the RBI, and (ii) How the stakeholders reacted to the
news of identification of default accounts.
Methodology
The Ordinance was promulgated post the trading hours on May 4th, 2017. Thus, for
the purpose of the event study analysis, we take May 5th, 2017 as the event date.
The event window around which the market response is analysed starts nine trading
days before the event date and ends nine trading days post the event date. One week
prior to approval of the Ordinance, while speaking at the Council for Foreign Relations
on April 24th, 2017, the Finance Minister Shri Arun Jaitley hinted at empowering
the central bank to address the problem of NPAs in the Indian banking system2. Since it was likely that the stock
market might have reacted to this announcement prior to the actual event date, the
empirical analysis captures a possible early response of the market, seven trading
days prior to the event.
The response of the market is analysed by computing abnormal returns. An abnormal
return is defined as the difference between realised returns and expected returns.
The market model is used to estimate the expected returns wherein for each company
or bank, its stock returns are regressed on market returns separately over the estimation
window starting 250 days prior to the event window and ending 30 days before the
event date. The equation used for estimation is:
where, Ri is the individual stock returns over the estimation window,
and RM is the NIFTY 50 index return. The coefficients αi
and βi computed over the estimation window are used to compute expected
returns during the event window. The daily abnormal return (AR) is computed as a
difference between the actual stock return and expected return calculated from Equation
1:
The cumulative abnormal returns (CAR) are computed by cumulating the abnormal returns
across time during the event window.
The analysis focuses on the 36 scheduled commercial banks for which stock market
data is available. Those banks that have a non-performing assets to advances ratio
(NPAR) above the sample median value for NPAR for all banks in FY 2016 are classified
as stressed banks. The remaining are classified as non-stressed
banks3. The firm sample is divided into three
sets on the basis of interest coverage ratio (ICR) in FY 2016: (i) low quality
(ICR < 1) – 671 firms, (ii) intermediate quality (1 <
ICR < 2) – 513 firms, and (iii) high quality
(ICR > 2) – 1,432 firms.
The event study analysis for all firms and associated banks is structured as follows:
(i) comparison of stressed banks and non-stressed banks; (ii) comparison of low
quality, intermediate quality, and high quality firms; and, (iii) comparison of
low and high quality firms, segregated on whether their lead banks are stressed
or non-stressed banks4. The second event study uses June 12th,
2017, the date of the IAC's first meeting as the second event date. It
examines stock price reactions of the 12 defaulter firms that were referred to NCLT
for resolution, and the lead banks of these firms. To study the relative market
perception of these firms, all exchange listed firms in the same industry as the
defaulter firms are used as control firms5. For the bank analysis, the 36 banks in
the sample are divided into those that are the lead banks of any of these 12 defaulter
firms and the remaining banks.
Results and Inference
Figure 1 displays the market response to the promulgation
of the Banking Regulation (Amendment) Ordinance. Following conclusions emerge:
-
Cumulative abnormal returns of stressed banks increased sharply following the Finance
Minister's announcement (dashed red line at -7 in Figure
1, Panel A). This pattern continues till the event date, which is the date
of promulgation of the Ordinance. In contrast, non-stressed banks witnessed a more
modest increase in abnormal returns.
-
Strikingly, abnormal returns between stressed and non-stressed banks widened to
almost 5% between the time of Finance Minister’s announcement and promulgation
of the Ordinance, indicating that markets perceived the Ordinance would help the
stressed banks in resolving their NPA problem.
-
Panel B shows that low and intermediate quality firms performed worse than high
quality firms.
Overall, these results indicate that the promulgation of Ordinance amending the
existing Banking Regulation Act has been perceived by the market as being positive
for stressed banks, but negative for low and intermediate quality firms.
In Figure 1, Panel C and Panel D further explore
which firms are driving these results, based on whether the firm's lead bank is
classified as stressed or non-stressed. Thus, the analysis focuses on the linkage
between banks and firms lying in the extreme segments of the performance spectrum
(i.e. low and high quality firms). Panel C and Panel D examine the market reaction
on low and high quality firms, separating firms that are related to stressed banks
vis-a-vis non-stressed banks.
- Low quality firms linked to stressed banks performed worse than low quality firms
linked to non-stressed banks. In contrast, high quality firms linked to stressed
banks performed better than high quality firms linked to non-stressed banks, at
least in the days immediately following the event date.
It appears, therefore, that the market lost confidence in low quality firms linked
to stressed banks but high quality firms linked to stressed banks are seen in a
positive light. One possible explanation for this is that high quality firms linked
to stressed banks benefit from a balance sheet clean-up of stressed banks. The market
may also be reflecting long term benefits to high quality firms, possibly through
the reallocation of resources away from low quality firms6.
The second event study focusses on the date of the IAC's first meeting during which
defaulter accounts were identified (June 12th, 2017). To look at the immediate impact
of the IAC’s first meeting, we restrict our analysis to a tighter event window
of 6 days for the purpose of this second event study. Figure
2 above displays the response of the market to the RBI announcement with
reference to the defaulter accounts and reveals that:
-
Panel A shows that defaulter firms registered a decline in abnormal stock returns
compared to the other firms belonging to the same industry as the defaulter firm.
The identification of these firms by the RBI was a clear indication of their poor
financial health and it is evident that market lost confidence in these firms during
the span of the event window.
-
Panel B displays how the market responded to the lead banks of defaulter firms vis-à-vis
other banks. In general, the abnormal returns increased for both the sets of banks
immediately after the event, possibly reflecting that the market perceived that
the Ordinance will help clean up NPAs from banks’ balance sheets.
To summarize, the event studies point to a positive market reaction for banks but
a negative market reaction for distressed firms. In other words, the Ordinance appears
to have been good news for stressed banks as well as high quality borrowers, suggesting
that as it has the potential to improve capital allocation in the Indian economy
with significant positive spillover effects for healthy firms and to rejuvenate
the banking sector.
References
(2017a). “RBI identifies Accounts for Reference by Banks under the Insolvency
and Bankruptcy Code (IBC)." Press Release.
(2017b). “Reserve Bank of India Outlines the action plan to implement the
Banking Regulation (Amendment) Ordinance.” Press Release.
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Caballero R., Hammour M. (2001). “Creative destruction and development: Institutions,
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on Development Economics.
Hsieh C., Klenow P, (2009). “Misallocation and manufacturing TFP in China
and India.” The Quarterly Journal of Economics, 1124(4), 1403-1448.
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