GUIDELINES FOR PORTFOLIO AT RISK ANALYSIS
Possible causes
/Indicators
/ Actions to be takenIF PAR7 < 3% BUT GROWING OVER THE PAST THREE MONTHS / Rapid portfolio expansion while loan procedures still cumbersome / Productivity per AO below 150 clients
Disbursement/processing of first loans >7days
Disbursement/processing of repeat loan > 2 days
Approval centralized in a Credit Committee / Review loan procedures to eliminate redundancies
Reduce info requirements for repeat loans
Eliminate unnecessary documentation and paperwork
Simplify loan application
Simplify CIBI
Decentralize loan approval/ discretionary approval at branches with PAR7 <3%
Rapid portfolio expansion while understaffed
Weakening client monitoring and collection
Weakening management supervision / Productivity p/ AO near or above 150 clients
Client visits below 1 per month
Proof of loan collection (e.g. collection letters) are non existent / Hire additional AOs
Staff training
Rapid portfolio expansion while poor MIS / MIS reports are not timely/accurate/
MIS reports are not broken-down by AO
MIS reports are not broken-down by branch / If problems with timeliness and accuracy can not be solved within 30 days:
The bank needs to resort to manual reporting on portfolio quality
Slow down expansion until MIS if full operation
Break down reports by branch and AO
IF PAR7 IS > 3% IN ALL BRANCHES
(Something is wrong with the methodology, there is a need to review it) / Likely problems with the credit policies and procedures
Ranges or limits on loan amounts are not well defined
Loan increases (percentages) for repeat loans are too high
Terms are excessive or too short
Weak guarantee structures
Policies on loan follow up and collection are not well defined,
Poor procedures on loan analysis / PAR concentrated on repeat loans
PAR concentrated on large amounts (10,000+)
Manual does not define how often clients are to be visited or steps to be taken in case of arrears. / Review credit policies to ensure they are well defined
Review credit policies to ensure they follow best practices
Review and adjust policies on amounts
Reduce limits on first loans
Reduce increases of repeat loans
Review and clearly define steps on loan monitoring and collection
Review and clearly define steps on loan analysis
Policies and procedures (P&P) are OK but banks do not apply them at all or correctly due to
Lack of adequate training of AOs, branch managers, bank managers
Lack of MABS follow-up on implementation. / PAR concentrated on new or untrained AOS
PAR concentrated on new or untrained branches
P&P compliance analysis indicate high deviation across AOS and branches
Amount and/or quality of training are deficient. / Training of AOS, supervisors, and branch managers on P&P
Strengthen monitoring of branches to ensure compliance and early problem detention
Supervisors, branch managers and credit committee needs to monitor compliance with P&P
IF PAR7 WITHIN A PARTICULAR BANK IS OVER 3% IN ALL PARTICIPATING BRANCHES. / Banks do not comply with defined P&P due to:
Lack of adequate training of AOs, branch managers, bank managers.
Lack of Supervisory follow up on implementation
Weak supervision
Lack of will of bank managers to comply with P&P
Management has introduced unauthorized changes to P&P
Lack of supervision of upper management on branch managers and compliance with P&P / P&P compliance analysis indicate high deviation across AOS and branches
PAR concentrated on repeat loans
PAR concentrated on large amounts (10,000+)
AOs and branches do not have a credit manual available. / Review credit policies to ensure they are well defined
Review credit policies to ensure they follow best practices
Review and adjust policies on amounts
Reduce limits on first loans
Reduce increases of repeat loans
Review and clearly define steps on loan monitoring and collection
Review and clearly define steps on analysis
Training of AOS, supervisors, and branch managers on P&P
Poor collection and client monitoring / Client visits below 1 per month
Proof of loan collection (e.g. collection letters) are non existent / Strengthen Main office monitoring on branches to ensure compliance and early problem detention
Supervisors, branch managers and credit committee needs to monitor compliance with P&P
Deficient MIS / MIS reports are not timely/accurate/
MIS reports are not broken-down by AO
MIS reports are not broken-down by branch / If problems with timeliness and accuracy can not be solved within 30 days:
The bank need to resort to manual reporting on portfolio quality
Slow down expansion until MIS if full operation
Break down reports by branch and AO
IF PAR7 OF A PARTICULAR BANK IS OVER 3% IN JUST ONE OR TWO OF ALL PARTICIPATING BRANCHES / Deviation from P&P
Lack of adequate training of AOs, branch managers and supervisors
Poor branch supervision from main office / PAR concentrated on new or untrained branch managers and AOs
PAR concentrated on new or untrained branches
P&P compliance analysis indicate high deviation among the high PAR branches and AOs / Strengthen Main office monitoring on affected branches to ensure compliance and early problem detention
Supervisors, branch managers and credit committee needs to monitor compliance with P&P
IF PAR7 OF A PARTICULAR BRANCH IS OVER 3% BUT AFFECTING A FEW ACCOUNT OFFICERS ONLY, / Deviation from P&P
Lack of adequate training of AOs
Poor supervision from branch manager and supervisor / PAR concentrated on new or untrained AOs
P&P compliance analysis indicate high deviation among those high PAR AOs / Training of AOS, supervisors
Strengthen monitoring of branch manager, product manager and supervisors on the high PAR AOS to ensure compliance and early problem detention
Strengthen approval/review of loans submitted by high PAR AOS
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