Risk management

Organization of risk management

For FMO, acting in its role as Fund Manager (hereafter ‘FMO’) to be able to carry out the Fund’s strategy, it is essential to have an adequate risk management system in place to identify, measure, monitor and mitigate financial and non- financial risks. Building Prospects (hereafter ‘the Fund’) has a pre-defined risk appetite translated into limits for group, client, country, region and currencies exposures. Limit usages are monitored on a monthly basis and for each proposed transaction.

The Fund Manager reviews each transaction and provides consent to eligible proposals. The Investment Committee, comprising of senior representatives of several departments, reviews financing proposals for new transactions. Each financing proposal is assessed in terms of specific counterparty, product risk as well as country risk. All financing proposals are accompanied by the advice of the Credit department. This department is responsible for credit risk assessment of both new transactions and the existing portfolio. For small exposures, Credit department has the authority to review new transactions.

In addition, financial exposures in emerging markets are subject to a periodic review, which are in general executed annually. Exposures that require specific attention are reviewed by the Investment Review Committee (IRC). The larger and higher risk exposures are accompanied by the advice of the Credit department. If the Investment Review Committee concludes that a client has difficulty in meeting its payment obligations, the client is transferred to the Special Operations department – responsible for the management of distressed assets – where it is intensely monitored.

Risk taxonomy framework FMO

Risk profile & appetite

The Fund actively seeks to take risk stemming from debt and equity investments in private institutions in developing countries. This risk profile is supported by maintaining prudent levels of capital and liquidity and strong diversification of the portfolio across regions and sectors.

Capital management

The Fund aims to optimize development impact. This can only be achieved with a sound financial framework in place, combining a healthy long-term revolvability of ≥100% and sound capital adequacy. Therefore, FMO seeks to maintain a strong capital position for the Fund. The Fund’s structure is based on a 100% contribution from the Dutch government. Total contribution from the Dutch government is €384.5 million at 31 December 2020 (31 December 2019: €354.5 million). Total fund capital – which is the sum of the contribution by the government, undistributed results from previous years, results from the current year, grant and evaluation costs – increased to €312 million in 2020 (2019: €331 million).

Financial risk

Investment risk

Investment risk is defined as the risk that actual investment returns will be lower than expected returns, and includes credit, equity, concentration and counterparty credit risks.

Credit risk

Credit risk is defined as the risk that the Fund will suffer economic loss because a counterparty cannot fulfill its financial or other contractual obligations arising from a financial contract. Credit risk is the main risk within the Fund and occurs in two areas of its operations: (i) credit risk in investments in emerging markets and off-balance instruments such as loan commitments; and (ii) credit risk in the treasury portfolio, only consisting of bank accounts and money market instruments.

Management of credit risk is FMO’s core business, both in the context of project selection and project monitoring. In this process, a set of investment criteria per sector is used that reflects benchmarks for the required financial strength of FMO’s clients. This is further supported by internal scorecards that are used for risk classification and the determination of economic capital use per transaction. As to project monitoring, the Fund’s clients are subject to periodic reviews. Credit policies and guidelines are reviewed regularly and approved by the IRC.

Developments

In March 2020, in response to the emerging COVID-19 pandemic, it was concluded that a crisis override (considered a management overlay) was required in the rating methodology, to be applied to the entire loan portfolio. Country ratings were considered the best proxy to estimate the increased risk of the individual clients. Risk ratings of a large number of clients were downgraded as the Fund temporarily implemented more stringent country caps with respect to client sectors in March 2020. As a result, significant financial impact of the country overrides was reflected in the ECL movement. This impact was observed in two ways: migration from Stage 1 to 2 due to significant increase in credit risk (namely 3 notch downgrade since origination) and increased Stage 1 and 2 impairments due to higher PDs (while the clients remained in the same stage). In the second half of 2020, the necessity and level of the override was again evaluated. Due to the remaining uncertainty about the impact of the crisis on the Fund's clients, it was deemed justified to maintain a crisis override. However, the Fund decided to gradually reduce the level of the crisis override, because a significant part of the COVID-19 impact already should be reflected in country ratings and individual client ratings. In addition, it also transpired that our clients have so far been able to do relatively well despite the crisis. Therefore, in the last quarter of 2020, a revised level of overrides was implemented. In addition, individual clients were assessed by the end of 2020 to assure the revised rating properly reflects the potential COVID impact. There was a total impact of €0.13 million decrease in stage 1 and 2 impairments in 2020 related to the revised level of overrides and reassessment of the individual clients in Q4. Of the €0.13 million decrease in impairments, all of it was due to the combined impact of rating changes without stage migration (€0.14 million release in stage 1 and less than €0.02 million increase in stage 2 impairments).

The ordinary country caps before COVID are summarized in the table below. The lower the credit rating, the higher the F-rating in FMO’s terminology and the worse the creditworthiness of the clients, and vice versa.

Pre-COVID country caps

 
  

CRR type

Cap

Bank

If client rating >=F16: cap amounts to Country Rating to –3 [1]

 

If client rating <=F15: cap amounts to Country Rating –2

Non-banking financial institution

If client rating >=F16: cap amounts to Country Rating –3

 

If client rating <=F15: cap amounts to Country Rating –2

Corporate

Cap amounts to Country Rating –3

Project Finance

In case of Purchasing Power Agreement/Offtake Agreement with a government-related entity:
cap amounts to Country Rating –1

 

Other projects: cap amounts to Country Rating –2

  • 1 In this example, the final rating considering the country cap cannot be more than three notches better than the country rating.

The COVID-led country caps (initial and revised) are summarized in the table below.

Country crisis adjustment following COVID-19 pandemic

   
    

Sector

CRR type

Cap 30 June

Cap 31 December

Financial Institutions

Bank, Non-banking financial institution

Country Rating

Country Rating –1

Energy – Production

Corporate, Project Finance

Country Rating

Country Rating –1

Energy – Construction

Project Finance

Country Rating +1

Country Rating

Energy – Off-grid

Non-banking financial institution, Corporate

Country Rating +1

Country Rating

Agri/DS – Local market

Corporate, Project Finance

Country Rating

Country Rating –1

Agri/DS – Exporting companies

Corporate, Project Finance

Country Rating –1

Country Rating –2

If country ratings change, the impact on impairment charge at a portfolio level is expected to be more substantial under the new country caps for countries with low ratings. Country ratings have been regularly updated based on currently available information from external rating agencies and not all countries were downgraded at this point in time.

Credit risk in the emerging markets loan portfolio

The Fund offers loans in emerging market countries. Strong diversification within the Fund’s emerging market portfolio is ensured through stringent limits on individual counterparties (single client limit of 10% of the Fund’s capital), countries and sectors (max. 40% of the annually available budget to be invested in one sector, fund or country).

Internal credit approval process

Credit risk from loans in emerging market countries arises from a combination of counterparty risk, country risk and product specific risks. These types of risk are assessed during the credit approval and credit review process and administrated via internal scorecards. The lending process is based on formalized and strict procedures. Decisions on authorizations depend on both the amount of economic capital and the risk profile of the financing instrument. For distressed assets, the Special Operations department applies an advanced workout and restructuring approach.

In measuring the credit risk of the emerging market portfolio at counterparty level, the main parameters are the credit quality of counterparties and the expected recovery ratio in case of defaults. Counterparty credit quality is measured by scoring counterparties on various dimensions of financial strength. Based on these scores, FMO assigns ratings to each counterparty on an internal scale from F1 (lowest risk) to F20 (default), equivalent to a scale from AAA to C ratings.

Maximum exposure to credit risk

  
 

2020

2019

On balance

  

Banks

24,204

25,664

Short-term deposits

9,833

20

Loans to private sector

  

-of which: Amortized cost

175,036

180,796

-of which: Fair value through profit or loss

82,489

79,621

Current accounts

23

1,392

Other receivables

581

440

Total on-balance

292,166

287,933

   

Off-balance

  

Irrevocable facilities

34,637

60,496

Total off-balance

34,637

60,496

Total credit risk exposure

326,803

348,429

Credit quality analysis

In addition to on balance loans, irrevocable facilities (off-balance) represent commitments to extend finance to clients and consist of contracts signed but not disbursed yet which are usually not immediately and fully drawn.

The following tables provide insights in the credit risk allocation of loan portfolio and loan commitments according to internal ratings.

Loan portfolio measured at AC at December 31, 2020
Indicative counterparty credit rating scale of S&P

Stage 1

Stage 2

Stage 3

Fair Value

Total

F1-F10 (BBB- and higher)

-

-

-

1,230

1,230

F11-F13 (BB-,BB,BB+)

34,819

-

-

-

34,819

F14-F16 (B-,B,B+)

28,553

3,639

-

59,830

92,022

F17 and lower (CCC+ and lower)

-

8,306

108,965

12,961

130,232

Sub-total

63,372

11,945

108,965

74,021

258,303

Less: amortizable fees

-586

-68

-259

-

-913

Less: ECL allowance

-845

-759

-85,782

-

-87,386

Plus: FV adjustments

-

-

-

-1,862

-1,862

Carrying value

61,941

11,118

22,924

72,159

168,142

      
      
      

Loans commitments at December 31, 2020
Indicative counterparty credit rating scale of S&P

Stage 1

Stage 2

Stage 3

Other1

Total

F1-F10 (BBB- and higher)

-

-

-

-

-

F11-F13 (BB-,BB,BB+)

9,870

-

-

-

9,870

F14-F16 (B-,B,B+)

7,083

-

-

15,058

22,141

F17 and lower (CCC+ and lower)

-

-

-

2,044

2,044

Total nominal amount

16,953

-

-

17,102

34,055

ECL allowance

-135

-

-

-

-135

Total

16,818

-

-

17,102

33,920

  • 1 Other loan commitments consist of transactions for which no ECL is calculated.

Loan portfolio measured at AC at December 31, 2019
Indicative counterparty credit rating scale of S&P

Stage 1

Stage 2

Stage 3

Fair Value

Total

F1-F10 (BBB- and higher)

-

-

-

-

-

F11-F13 (BB-,BB,BB+)

31,728

13,256

-

7,139

52,123

F14-F16 (B-,B,B+)

23,870

4,588

-

50,512

78,970

F17 and lower (CCC+ and lower)

1

22,351

91,985

15,718

130,055

Sub-total

55,599

40,195

91,985

73,369

261,148

Less: amortizable fees

-693

-397

-60

-

-1,150

Less: ECL allowance

-1,071

-3,466

-76,694

-

-81,231

Plus: FV adjustments

-

-

-

1,888

1,888

Carrying value

53,835

36,332

15,231

75,257

180,655

      
      
      

Loans commitments at December 31, 2019
Indicative counterparty credit rating scale of S&P

Stage 1

Stage 2

Stage 3

Other1

Total

F1-F10 (BBB- and higher)

-

-

-

-

-

F11-F13 (BB-,BB,BB+)

9,439

-

-

6,680

16,119

F14-F16 (B-,B,B+)

25,008

-

-

7,238

32,246

F17 and lower (CCC+ and lower)

-

6,614

-

4,858

11,472

Total nominal amount

34,447

6,614

-

18,776

59,837

ECL allowance

-276

-

-

-

-276

Total

34,171

6,614

-

18,776

59,561

  • 1 Other loan commitments consist of transactions for which no ECL is calculated.
Loans past due

Non-Performing Loans (NPL) are defined as loans with a specific impairment and/or loans with interest and/or principal payments that are past due 90 days or more. The Fund's NPL ratio increased from 35.2% (2019) to 45.4% (2020), mainly due to additional impairments.

Loans past due and impairments 2020

     
 

Stage 1

Stage 2

Stage 3

Fair value

Total

Loans not past due

54,762

11,945

5,519

61,060

133,286

Loans past due:

     

-Past due up to 30 days

8,610

-

-

8,363

16,973

-Past due 30-60 days

-

-

-

-

-

-Past due 60-90 days

-

-

-

4,598

4,598

-Past due more than 90 days

-

-

103,446

-

103,446

Subtotal1

63,372

11,945

108,965

74,021

258,303

Less: amortizable fees

-586

-68

-259

-

-913

Less: ECL allowance

-845

-759

-85,782

-

-87,386

Plus FV adjustments

-

-

-

-1,862

-1,862

Carrying value

61,941

11,118

22,924

72,159

168,142

Loans past due and impairments 2019

     
 

Stage 1

Stage 2

Stage 3

Fair value

Total

Loans not past due

55,599

40,195

-

73,369

169,163

Loans past due:

    

-

-Past due up to 30 days

-

-

-

-

-

-Past due 30-60 days

-

-

-

-

-

-Past due 60-90 days

-

-

-

-

-

-Past due more than 90 days

-

-

91,985

-

91,985

Subtotal1

55,599

40,195

91,985

73,369

261,148

Less: amortizable fees

-693

-397

-60

-

-1,150

Less: ECL allowance

-1,071

-3,466

-76,694

-

-81,231

Plus FV adjustments

-

-

-

1,888

1,888

Carrying value

53,835

36,332

15,231

75,257

180,655

Stage 3 loans - ECL distributed by regions and sectors

    

At December 31, 2020

Energy

Agribusiness

Infrastructure, Manufacturing, Services

Total

Africa

-44,515

-33,233

-

-77,748

Asia

-3,578

-

-

-3,578

Latin America & the Caribbean

-1,843

-

-2,613

-4,456

Total

-49,936

-33,233

-2,613

-85,782

Stage 3 loans - ECL distributed by regions and sectors

    

At December 31, 2019

Energy

Agribusiness

Infrastructure, Manufacturing, Services

Total

Africa

-44,341

-11,023

-21,330

-76,694

Asia

-

-

-

-

Latin America & the Caribbean

-

-

-

-

Total

-44,341

-11,023

-21,330

-76,694

Modified financial assets

Changes in terms and conditions usually include extending the maturity, changing the interest margin and changing the timing of interest payments. When the terms and conditions are modified due to financial difficulties, these loans are qualified as forborne. Refer to paragraph related to 'Modification of financial assets' in Accounting Policies section

The watch-list process and the Credit department review modified loans periodically. When a loan is deemed no longer collectible, it is written off against the related loss allowance. The write-offs amounted to €0.35 million in 2020 (2019: €12.3 million).

The following table provides a summary of the Fund's forborne assets, both classified as performing and not, as of December 31.

December 31, 2020

Performing

of which: performing but past due > 30 days and <=90 days

of which: performing forborne

Non Performing

of which: non performing forborne

of which: impaired

Sub Total

Less: amortizable fees

Less: ECL allowance

Plus: fair value adjustments

Carrying value

            

Loan portfolio measured at AC

75,317

-

8,307

108,965

29,220

108,965

184,282

-913

-87,386

-

95,983

Loan portfolio measured at FVPL

65,658

4,598

-

8,363

-

-

74,021

-

-

-1,862

72,159

Total

140,975

4,598

8,307

117,328

29,220

114,601

258,303

-913

-87,386

-1,862

168,142

December 31, 2019

Performing

of which: performing but past due > 30 days and <=90 days

of which: performing forborne

Non Performing

of which: non performing forborne

of which: impaired

Sub Total

Less: amortizable fees

Less: ECL allowance

Plus: fair value adjustments

Carrying value

            

Loan portfolio measured at AC

95,794

-

23,198

91,985

-

91,985

187,779

-1,150

-81,231

-

105,398

Loan portfolio measured at FVPL

73,369

-

-

-

-

-

73,369

-

-

1,888

75,257

Total

169,163

-

23,198

91,985

-

91,985

261,148

-1,150

-81,231

1,888

180,655

Equity risk

Equity risk is the risk that the fair value of an equity investment decreases. It also includes exit risk, which is the risk that Fund’s stake cannot be sold for a reasonable price and in a sufficiently liquid market.

The Fund takes a long-term view of its equity portfolio, aiming to sell its equity stake within a period of five to ten years. The Fund can accommodate an increase in the average holding period of its equity investments and wait for markets to improve again to realize exits. We have no deadlines regarding the exit date of our equity investments. Equity investments are assessed by the Investment Committee in terms of specific obligor as well as country risk. The Investment Review Committee assesses the valuation of the majority of equity investments quarterly. The performance of the equity investments in the portfolio is periodically analyzed during the fair value process. Based on this performance and the market circumstances, exits are pursued in close cooperation with our co-investing partners. The total outstanding equity portfolio on December 31, 2020, amounts to €105.6 million (2019: €120.9 million) of which €50.6 million (2019: €50.9 million) is invested in investment funds.

Equity portfolio distributed by region and sector

          

At December 31, 2019

Energy

Agribusiness

Multi-Sector Fund Investments

Infrastructure, Manufacturing, Services

Total

 

Direct

Funds

Direct

Funds

Direct

Funds

Direct

Funds

Direct

Funds

Africa

9,737

11,559

993

1,354

-

12,161

34,086

-

44,816

25,074

Asia

20,273

1,838

-

658

-

11,166

-

-

20,273

13,662

Latin America & the Caribbean

1,523

-

-

1,003

-

-

-

-

1,523

1,003

Europe & Central Asia

    

-

 

-

-

-

-

Non-region specific

3,299

-

-

1,121

-

10,082

-

-

3,299

11,203

Total

34,832

13,397

993

4,136

-

33,409

34,086

-

69,911

50,942

Concentration risk

Country risk

Country risk arises from country-specific events that adversely impact the Fund’s exposure in a specific country. Within FMO, country risk is broadly defined. It includes all relevant factors that have a common impact on the Fund’s portfolio in a country such as economic, banking and currency crises, sovereign default and political risk events. The assessment of the country rating is based on a benchmark of external rating agencies and other external information.

In the fund risk appetite, the country risk exposure for BP is set at a maximum of 40% of the total portfolio.

The level of the country limits depends on the sovereign rating. FMO recognizes that the impact of country risk differs across the financial products it offers. In 2020 the ratings of Armenia, Colombia, Mali and Tanzania (representing 5% of BP’s Total Committed Portfolio) were downgraded by one notch, Zambia (1% of portfolio) defaulted and was downgraded by 2 notches. Nepal (2% of portfolio) was upgraded by one notch.

he following tables present how the Fund’s loan portfolio is concentrated according to country ratings. The comparison with FMO demonstrates that loan portfolio of the Fund is concentrated in countries with higher ratings and is relatively prone to higher credit risk.

Overview country ratings BP Portfolio

  

Indicative external rating equivalent 2020

BP (%)

FMO-A (%)

F9 and higher (BBB and higher ratings)

9.1

3.4

F10 (BBB-)

7.8

8.5

F11 (BB+)

0.0

2.3

F12 (BB)

2.2

5.9

F13 (BB-)

0.0

7.5

F14 (B+)

30.1

30.1

F15 (B)

31.4

24.2

F16 (B-)

11.1

8.1

F17 and lower (CCC+ and lower ratings)

8.3

10.0

Total

100.0

100.0

Overview country ratings BP Portfolio

  

Indicative external rating equivalent 2019

BP (%)

FMO-A (%)

F9 and higher (BBB and higher ratings)

3.3

4.5

F10 (BBB-)

5.1

8.5

F11 (BB+)

-

3.4

F12 (BB)

2.4

6.5

F13 (BB-)

-

10.5

F14 (B+)

38.4

26.3

F15 (B)

27.0

20.1

F16 (B-)

12.1

11.2

F17 and lower (CCC+ and lower ratings)

11.7

9.0

Total

100.0

100.0

Gross exposure of loan portfolio distributed by region and sector

    
 

Energy

Agribusiness

Infrastructure, Manufacturing, Services

Total

     

At December 31, 2020

    

Africa

55,266

74,279

8,622

138,167

Asia

19,770

24,846

24,025

68,641

Latin America & the Caribbean

17,366

18,556

5,902

41,824

Non-region specific

9,669

2

-

9,671

Total

102,071

117,683

38,549

258,303

     

At December 31, 2019

    

Africa

73,371

44,462

31,686

149,519

Asia

20,935

22,966

24,050

67,951

Latin America & the Caribbean

20,001

3,970

6,559

30,530

Non-region specific

7,139

6,010

-

13,149

Total

121,445

77,408

62,295

261,148

Single and group risk exposures

In the fund risk appetite the maximum customer exposure for BP is set at 10% of the total portfolio.

Counterparty credit risk

Credit risk in the treasury portfolio stems from bank account holdings and placements in money market instruments to manage the liquidity in the Fund. The Risk department approves each obligor to which the Fund is exposed through its treasury activities and sets a maximum limit for the credit exposure of that obligor. Depending on the obligor’s short and long-term rating, limits are set for the total and long-term exposure. The Fund pursues a conservative investment policy.

Liquidity risk

Liquidity risk is the risk of not being able to fulfil the financial obligations and meet financial commitments due to insufficient availability of liquid means. The Fund aims to maintain adequate liquidity buffers, enough to support the implementation of the Fund’s development agenda and impact objectives while avoiding putting pressure on Dutch Ministry of Foreign Affairs DGIS subsidy budget allocated to the Fund. To realize this ambition, the Fund benefits from the experience of FMO’s treasury and risk management functions in managing the liquidity risk, which primarily involves periodical forecasting of the Fund’s liquidity position under normal and stress scenarios. During these periodical exercises, the assumptions underlying the liquidity model are reviewed and changes in expected cashflows, stemming from updated portfolio management strategies and changes in the Fund’s operating environment, are reflected on the said assumptions. As a result of the forecasting activity, the predicted liquidity shortfall is avoided through arrangements in investments portfolio, if possible; through the utilisation of the subsidies available from the budget allocated to the Fund by Dutch Ministry of Foreign Affairs DGIS (‘beschikkingsruimte’); and lastly, through the request of a loan from FMO, not exceeding 10% of the Fund’s net committed portfolio. In requesting subsidies that will be made available to the Fund’s utilisation from Dutch Ministry of Foreign Affairs (‘MoFA’), the Fund administrators strictly follow MoFA’s directives.

Market risk

Interest rate risk

Interest rate risk is the risk of potential loss due to adverse movements in interest rates. Changing interest rates mainly have an effect on the fair value of fixed interest balance sheet items. Given the balance sheet and capital structure of the Fund interest rate risks are considered limited.

Interest re-pricing characteristics

      

December 31, 2020

<3 months

3-12 months

1-5 years

>5 years

Non-interest-bearing

Total

Assets

      

Banks

24,204

-

-

-

-

24,204

Short-term deposits

9,833

-

-

-

-

9,833

Derivative financial instruments1

-

-

-

-

2,780

2,780

Loan portfolio

      

-of which: Amortized cost

19,614

21,578

10,794

43,997

-

95,983

-of which: Fair value through profit or loss

3,870

16,585

25,144

26,560

-

72,159

Equity investments: Fair value through profit or loss

-

-

-

-

108,115

108,115

Investments in associates

-

-

-

-

-

-

Current accounts with State funds and other programs

-

-

-

-

23

23

Other receivables

-

-

-

-

651

651

Total assets

58,195

38,163

35,938

70,557

110,895

313,748

Liabilities and Fund capital

      

Accrued liabilities

-

-

-

-

1,990

1,990

Provisions

-

-

-

-

135

135

Other liabilities

-

-

-

-

-

-

Fund Capital

-

-

-

-

311,623

311,623

Total liabilities and Fund capital

1,990

-

-

-

311,758

313,748

Interest sensitivity gap 2020

56,205

38,163

35,938

70,557

-200,863

 

Interest re-pricing characteristics

      

December 31, 2019

<3 months

3-12 months

1-5 years

>5 years

Non-interest-bearing

Total

Assets

      

Banks

25,664

-

-

-

-

25,664

Short-term deposits

20

-

-

-

-

20

Derivative financial instruments1

-

-

-

-

3,118

3,118

Loan portfolio

      

-of which: Amortized cost

17,857

31,002

5,925

54,709

-4,094

105,399

-of which: Fair value through profit or loss

4,147

21,389

-

28,082

21,638

75,256

Equity investments: Fair value through profit or loss

-

-

-

-

120,853

120,853

Investments in associates

-

-

-

-

-

-

Current accounts with State funds and other programs

-

-

-

-

1,392

1,392

Other receivables

-

-

-

-

440

440

Total assets

47,688

52,391

5,925

82,791

143,347

332,142

Liabilities and Fund capital

      

Accrued liabilities

-

-

-

-

916

916

Provisions

-

-

-

-

276

276

Other liabilities

-

-

-

-

-

-

Fund Capital

-

-

-

-

330,950

330,950

Total liabilities and Fund capital

-

-

-

-

332,142

332,142

Interest sensitivity gap 2019

47,688

52,391

5,925

82,791

-188,795

 

Currency risk

Currency risk is defined as the risk of having an adverse effect on the value of the Fund’s financial position and future cash flows due to changes in foreign currency exchange rates. The Fund offers debt, equity and guarantee instruments in denominated in USD, EUR and partly in emerging market currencies, while the main source of funding to the Fund, subsidies received from Dutch Ministry of Foreign Affairs is in EUR. The Fund targets to invest in USD as a risk-averse alternative to investing in local currencies when possible; additionally, cash inflows denominated in local currencies are converted to hard currencies when received. Due to its commitment to the implementation of the Fund’s development agenda and impact objectives, the Fund does not exclusively look for investments that counter-balance this currency risk exposure in its portfolio; the Fund also does not use derivatives and other financial instruments to hedge against the currency risk, and avoids bearing the cost of these engineered measures. The Fund does not take active positions in any currency for the purpose of making a profit.

Currency risk exposure (at carrying values)

      

December 31, 2020

EUR

USD

XOF

GTQ

Other

Total

Assets

      

Banks

18,239

5,965

-

-

-

24,204

Short-term deposits

21

9,812

-

-

-

9,833

Derivative financial instruments

-

2,780

-

-

-

2,780

Loan portfolio

      

-of which: Amortized cost

29,437

59,842

-

3,677

3,027

95,983

-of which: Fair value through profit or loss

1,194

70,965

-

-

-

72,159

Equity investments: Fair value through profit or loss

14,451

89,337

3,019

-

1,308

108,115

Investments in associates

-

-

-

-

-

-

Current account with state funds

23

-

-

-

-

23

Other receivables

94

557

-

-

-

651

Accrued income

-

-

-

-

-

-

Total assets

63,459

239,258

3,019

3,677

4,335

313,748

Liabilities and Fund capital

      

Accrued liabilities

1,990

-

-

-

-

1,990

Provisions

95

40

-

-

-

135

Other liabilities

-

 

-

-

-

-

Fund Capital

311,623

-

-

-

-

311,623

Total liabilities and Fund capital

313,708

40

-

-

-

313,748

Currency sensitivity gap 2020

 

239,218

3,019

3,677

4,335

 

Currency sensitivity gap 2020 excluding equity investments and investments in associates

 

149,881

-

3,677

3,027

 

Currency risk exposure (at carrying values)

      

December 31, 2019

EUR

USD

BDT

GTQ

Other

Total

Assets

      

Banks

20,903

4,761

-

-

-

25,664

Short-term deposits

20

-

-

-

-

20

Derivative financial instruments

-

3,118

-

-

-

3,118

Loan portfolio

      

-of which: Amortized cost

17,255

83,876

-

4,268

-

105,399

-of which: Fair value through profit or loss

2,832

72,424

-

-

-

75,256

Equity investments: Fair value through profit or loss

14,859

90,908

12,007

-

3,079

120,853

Investments in associates

-

-

-

-

-

-

Current account with state funds

1,392

-

-

-

-

1,392

Other receivables

283

157

-

-

-

440

Accrued income

-

-

-

-

-

-

Total assets

57,544

255,244

12,007

4,268

3,079

332,142

Liabilities and Fund capital

      

Accrued liabilities

916

-

-

-

-

916

Provisions

179

97

-

-

-

276

Other liabilities

-

-

-

-

-

-

Fund Capital

330,950

-

-

-

-

330,950

Total liabilities and Fund capital

332,045

97

-

-

-

332,142

Currency sensitivity gap 2019

 

255,147

12,007

4,268

3,079

-

Currency sensitivity gap 2019 excluding equity investments and investments in associates

 

164,239

-

4,268

-

 

Sensitivity of profit & loss account and fund capital to main foreign currencies

  
 

IFRS 9 December 31, 2020

 

Change of value relative to the euro

Sensitivity of profit & loss account

Sensitivity of shareholders’ equity

USD value increase of 10%

23,922

-

USD value decrease of 10%

-23,922

-

XOF value increase of 10%

302

-

XOF value decrease of 10%

-302

-

GTQ value increase of 10%

368

-

GTQ value decrease of 10%

-368

-

Sensitivity of profit & loss account and fund capital to main foreign currencies

  
 

IFRS 9 December 31, 2019

 

Change of value relative to the euro

Sensitivity of profit & loss account

Sensitivity of shareholders’ equity

USD value increase of 10%

25,515

 

USD value decrease of 10%

-25,515

 
   

BDT value increase of 10%

1,201

 

BDT value decrease of 10%

-1,201

 
   

GTQ value increase of 10%

427

 

GTQ value decrease of 10%

-427

 

Non financial risk

Environmental, social and governance risk

Environmental & Social (E&S) risk refers to potential adverse impacts of the Fund’s investments on the environment, employees, communities, or other stakeholders. Corporate Governance (G) risks refers primarily to risk to client business. ESG risks can lead to non-compliance with applicable regulation, NGO and press attention or reputation damage. These risks stem from the nature of the Fund’s projects in difficult markets, where regulations on ESG are less institutionalized.

The Fund has an appetite for managed risk in portfolio, accepting ESG performance below standards when starting to work with a client, with the goal that performance is brought in line with our ESG risk mitigation requirements within a credible and reasonable period. ESG risks are mitigated through environmental and social action plans and monitoring. The risk appetite for deviations from the exclusion list and human rights violations is zero.

As part of the investment process, all clients are screened on ESG risk and categorizes them according to the ESG risk that their activities represent. FMO assesses in detail customers with a high ESG risk category to identify ESG impact and risks and to assess the quality of existing risk management and mitigation measures. Due diligence also includes an analysis of contextual and human rights risk. In case of gaps in ESG risk management, FMO works with clients to develop and implement an Action Plan to avoid adverse ESG impacts and/or to improve ESG risk management over time. Key ESG risk items are tracked during the tenor of the engagement. FMO’s ESG risk management support to clients is an important part of development impact ambitions.

In addition, for customers with a high ESG category, FMO monitors customer performance on key ESG risk themes (against the IFC Performance Standards) using the ESG Performance Tracker (ESG-PT). The ESG-PT keeps track of key ESG risks and client performance level, enabling FMO to have a portfolio-wide view of its ESG risks.

Compliance risk

Compliance Risk is the risk of failure to comply with laws, regulations, rules, related self-regulatory organization, standards and codes of conduct applicable to FMO’s services and activities.

Fund’s customers  follow FMO’s procedures to mitigate compliance risk. FMO’s standards and policies and good business practices foster acting with integrity. FMO is committed to its employees, customers and counterparties, to adhering to high ethical standards. FMO has a Compliance framework which entails identifying risks, designing policies, monitoring, training, raising awareness and providing advice. FMO has policies on topics such as combatting financial economic crime (including KYC, sanctions, anti-bribery and corruption), conflicts of interest, anti-fraud, private investments, privacy and speak-up procedures. FMO also regularly trains its employees to raise awareness by means of e.g. (virtual) classroom trainings and mandatory compliance related e-learnings. Employees are also encouraged to speak up in case of suspected integrity violations involving an FMO employee. Management is periodically informed via the Compliance Committee or when required on an ad-hoc basis, on integrity related matters at client or employee levels. In case of violations, management will take appropriate actions. The governance of compliance also entails the following key risks:

Financial Economic Crime, incl. sanctions

FMO’s financial economic crime procedures include, amongst others, screening of customers on compliance with applicable anti-money laundering, counter financing of terrorism and international sanctions laws and regulations. Due diligence is performed on customers, which includes checks such as identifying and verifying the ultimate beneficial owners of the customer we finance, identifying politically exposed persons, and screening against relevant international sanctions lists. These checks are also performed regularly during the relationship with existing customers. Following a DNB onsite inspection in 2018, DNB identified several shortcomings in the way FMO conducts Customer Due Diligence/Know Your Customer checks. As FMO sees this as an area where the risk of non-compliance with Wwft and Sanctions Law is present, a FEC Enhancement program was set up to work towards full compliance by the end of 2021. In 2019 FMO started with the execution of the FEC EP  which consisted of a.o. conducting the Systematic Integrity Risk Assessment (SIRA), the Risk Appetite Statement on Integrity, which was updated to include Tax Integrity Risk as well, and enhancing the CDD-AML Policy, CDD-AML Manual and a wide range of supporting guidance notes. It became clear in September 2020 that the progress of the FEC Enhancement program could be improved. The updated FEC Framework has meanwhile been implemented. Part of the FEC EP consists of remediation of the customer KYC files and bringing them in line with the updated framework. The remediation of customer KYC files will continue in 2021 and progress is closely monitored by the Management Board. As agreed with DNB, the remediation is to be finalized on December 31, 2021.

There is always a risk that a client is involved or alleged to be involved in illicit acts (e.g. money laundering, fraud or corruption). If such an event occurs, FMO will initiate a dialogue with the client, if possible and appropriate given the circumstances, to understand the background in order to be able to assess and investigate the severity. When FMO is of the opinion that there is a breach of law that cannot be remedied or that no improvement by the client will be achieved (e.g. awareness, implementing controls) or that the risk to FMO’s reputation is unacceptably high, FMO may be able to exercise certain remedies under the contract such as the right to cancel a loan or suspend upcoming disbursements and will report to regulatory authorities if deemed necessary.

General Data Protection Act (GDPR)

FMO continues its effort towards the protection of personal data related to its employees, customers and other stakeholders. GDPR has FMO’s full attention

Corruption

Corruption is a global problem, requiring a global response. FMO is guided by the OECD Convention on Combating Bribery and the UN Convention against Corruption and is dedicated to fighting corruption and bribery not only to adhere to the law, but also because such acts undermine sustainable development and the achievement of higher levels of economic and social welfare. Good governance, fair business practices and public trust in the private sector is necessary to unlock the full potential of an economy and its citizens. Corruption can be best prevented collaboratively and FMO actively supports the Transparency International’s Netherlands branch and the International Chamber of Commerce in order to share best practices and stimulate the dialogue between Dutch corporates on best practices in doing international business.

Operational risk

Operational risk is defined as the risk of loss resulting from inadequate or failed internal processes, people and systems, or from external events, including legal risks, excluding strategic risks. Operational risks are not actively sought and have no direct material upside in terms of return/income generation, yet operational risk events are inherent in operating a business. Operational risk events can result in non-compliance with applicable (internal and external) standards, losses, misstatements in the financial reports, and reputational damage.

Overall, FMO is cautious with operational risks. Safe options, with low inherent risk are preferred, despite consequence of limited rewards (or higher costs). There is no appetite for high residual risk. Risk metrics are reported on a quarterly basis. These metrics cover operational risks in general, such as the amount of loss per quarter and timely follow-up of management actions, and specific metrics for risk-(sub)types.

Management of the first line of defense is primarily responsible for managing (embedded) risks in the day-to-day business processes. The first line acts within the risk management framework and supporting guidelines defined by specialized risk functions that make up the second line of defense. Internal Audit in its role of the third line of defense provides independent assurance on the effectiveness of the first and second lines.

Departmental risk control self-assessments are conducted annually in order to identify and assess risks and corresponding controls. The strategy and business objectives are also reviewed annually by the Directors in a risk perspective. Based on among others these Risk and Control Self Assessments, the Directors sign a departmental In Control Statement at the year-end, which provides the underpinning for the management declaration in the Annual Report. Despite all preventive measures, operational risk events cannot always be eliminated. FMO, however, systematically collects risk event information and analyses such events in order to take appropriate actions. Furthermore, operational risks resulting from changes in activities are assessed in FMO’s Change Risk Assessment Process and could trigger the Product Approval and Review Process. No risk events outside FMO’s risk appetite have been reported.

Legal risk

Legal risk is defined as the risk of a counterparty (client, supplier, stakeholder or otherwise) not being liable to meet its obligations under law or FMO being liable at law for obligations not intended or expected, caused by lack of awareness or misunderstanding of, ambiguity in, or indifference to the way law and regulation apply to business, relationships, processes, products and services, leading to financial or reputational loss.

Given the specific nature of legal risks that can occur, no risk appetite metrics are assigned to this risk type. Instead, the most relevant developments on this risk type are included in the risk appetite report on a quarterly basis. FMO’s Legal team is responsible for the review of the legal aspects of Fund’s contracts with its clients and for mitigating legal risks arising from Fund’s businesses and operations. The members of the team are qualified in a variety of jurisdictions and competent to provide expert and professional advice on a wide range of legal areas. Where applicable, the team seeks external expertise, particularly for legal analyses in emerging market jurisdictions, or in the event of particularly complex matters. Members of the team also serve on several cross-departmental committees, enabling them to address legal risks at an early stage and share their knowledge where needed.

Tax risk

Tax risk includes Tax Accounting risk and Tax Integrity risk. Tax Accounting risk is defined as the risk of paying or filing an incorrect amount of tax (direct and indirect). Tax Integrity risk is defined as the risk of facilitating or involvement in unlawful tax evasion or undesirable tax avoidance by clients or investees. Through its investments, FMO is indirectly exposed to the tax matters of its investees and clients. FMO could unwittingly support or be perceived to support aggressive tax structures. FMO is averse to Tax structures that are clearly aggressive and is cautious with accepting structures that have been set up for multiple underlying purposes and where the principle purpose is not tax. FMO seeks to transpose its Responsible Tax Principles to its clients.