Difference between revisions of "Shari'ah Governance Framework"

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The [[Bangko Sentral ng Pilipinas]] (abbreviated as "BSP") has approved Circular No. 1170 on the Shari'ah Governance Framework (abbreviated as "SGF"). The SGF was issued following the passage of '''[[Republic Act No. 11439 or the “Islamic Banking Act”]]''' and the ''''[[Guidelines on the Establishment of IBs and IBUs | Guidelines on the establishment of Islamic banks (IBs) and separate Islamic banking units (IBUs) within conventional banks]]'''. The circular was finalized a few months after the signing of a Memorandum of Agreement with the '''[[Accounting and Auditing Organization for Islamic Financial Institutions (AOOIFI)]]''', the international standard-setting body for Shari'ah auditing, accounting, and governance, to cover the possible adoption of relevant '''[[AAOIFI standards]]''' by the local Islamic banking and finance industry, and cooperation in the areas of capacity building and technical assistance.
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The BSP has imposed requirements on the SGFs of IBs or IBUs relating to the [[Board of Directors]] (BOD), [[Shari’ah Advisory Council]] (SAC), and Compliance and Internal Audit. These minimum requirements are summarized below.
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==Salient provisions of the SGF==
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===Effective BOD and management oversight over Shari’ah compliance===
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There should be a BOD that shall ensure the compliance of the IB or IBU with Shari’ah principles. The BOD shall introduce an effective mechanism and oversight on the SGF. The IB or IBU shall ensure continuous enhancement of the competency of the BOD, management and all personnel involved with lslamic banking operations. The senior management of the IB or IBU shall be responsible for implementation of the SGF. The relevant policies and procedures on lslamic banking products and services, at a minimum, shall be made available to concerned units and shall constantly be reviewed and updated to reflect current market practices and developments. The functions and responsibilities of members of the BOD and the SAC should be embedded in the bank’s policies and processes.
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===Independent and Effective SAC===
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There should be a SAC appointed by the majority stockholders upon the recommendation of the BOD pursuant to the IB or IBU’s qualification requirements and the minimum prudential requirements set by the BSP. The BOD shall have a vetting process to ensure the fitness and propriety of the members of the SAC before endorsing their appointment for approval by the stockholders. In appointing SAC members, the term of reference adopted by the BOD must include the SAC’s objective, duties and responsibilities, qualification requirements, and the authorities required by the SAC to effectively implement its Shari’ah rulings. The SAC shall discharge its duties independently and objectively. The SAC shall be empowered to consider, decide and oversee all Shari’ah-related matters of the IB or IBU.
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The BOD shall ensure that the SAC is not subject to any undue influence or pressure from the management and/or its own members in the performance of the following minimum functions:
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1. Approval and certification for the product structures and all the documentation thereon;
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2. Rendering opinions or clarifications on Shari’ah compliance matters; and
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3. Leading the Shari’ah compliance verification of lB or IBU’s transactions and operations through an effective internal and/or external Shari’ah audit and issuing an annual Shari’ah Compliance Statement thereon.
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===Independent and Effective Compliance and Internal Audit Functions===
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The compliance function shall, at a minimum, ensure that the rulings of the SAC when adopted by the BOD, are properly implemented. The internal audit must undertake a review of the Shari’ah compliance at least annually in support of the SAC’s annual Shari’ah Compliance Statement. the statement should be considered in the preparation of the Annual Report of the IB or the conventional bank, in the case of lBU. The IB or IBU may outsource the Shari’ah compliance and audit functions during the first three years of Islamic banking business upon approval thereon by the BOD and with prior notice to the appropriate supervising department of the BSP.
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The Shari’ah Governance Framework is an important step in the development of [[Islamic Finance in the Philippines]] as those seeking to establish IBs or IBUs now have regulatory guidance on the measures, arrangements, structures, and policies needed to be fulfilled  to ensure compliance with Shari’ah principles.
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==Related Issuances==
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These reporting guidelines where followed by the guidelines on the '''[[Management of Liquidity Risk by IBs and IBUs]]'''. The '''[[Shari’ah Supervisory Board in the BARMM]]''' was established by virtue of a [[joint circular]] issued by the BSP, the [[Department of Finance]], the [[National Commission on Muslim Filipinos]], and the Bangsamoro Government.
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The [[Insurance Commission]] also issued [[Circular Letter No. 2022-04]] on the '''Baseline Regulatory Framework for [[Takaful]] Undertakings''' in 2022, while the Bureau of Internal Revenue issued '''[[Revenue Regulations No. 17-2020]]''' and '''[[Revenue Memorandum Circular No. 35-2022]]''' to implement the '''[[tax neutrality]]''' provision in the Islamic Banking Act.
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Revision as of 20:43, 7 February 2023

The Bangko Sentral ng Pilipinas (abbreviated as "BSP") has approved Circular No. 1170 on the Shari'ah Governance Framework (abbreviated as "SGF"). The SGF was issued following the passage of Republic Act No. 11439 or the “Islamic Banking Act” and the ' Guidelines on the establishment of Islamic banks (IBs) and separate Islamic banking units (IBUs) within conventional banks. The circular was finalized a few months after the signing of a Memorandum of Agreement with the Accounting and Auditing Organization for Islamic Financial Institutions (AOOIFI), the international standard-setting body for Shari'ah auditing, accounting, and governance, to cover the possible adoption of relevant AAOIFI standards by the local Islamic banking and finance industry, and cooperation in the areas of capacity building and technical assistance.


The BSP has imposed requirements on the SGFs of IBs or IBUs relating to the Board of Directors (BOD), Shari’ah Advisory Council (SAC), and Compliance and Internal Audit. These minimum requirements are summarized below.


Salient provisions of the SGF

Effective BOD and management oversight over Shari’ah compliance

There should be a BOD that shall ensure the compliance of the IB or IBU with Shari’ah principles. The BOD shall introduce an effective mechanism and oversight on the SGF. The IB or IBU shall ensure continuous enhancement of the competency of the BOD, management and all personnel involved with lslamic banking operations. The senior management of the IB or IBU shall be responsible for implementation of the SGF. The relevant policies and procedures on lslamic banking products and services, at a minimum, shall be made available to concerned units and shall constantly be reviewed and updated to reflect current market practices and developments. The functions and responsibilities of members of the BOD and the SAC should be embedded in the bank’s policies and processes.

Independent and Effective SAC

There should be a SAC appointed by the majority stockholders upon the recommendation of the BOD pursuant to the IB or IBU’s qualification requirements and the minimum prudential requirements set by the BSP. The BOD shall have a vetting process to ensure the fitness and propriety of the members of the SAC before endorsing their appointment for approval by the stockholders. In appointing SAC members, the term of reference adopted by the BOD must include the SAC’s objective, duties and responsibilities, qualification requirements, and the authorities required by the SAC to effectively implement its Shari’ah rulings. The SAC shall discharge its duties independently and objectively. The SAC shall be empowered to consider, decide and oversee all Shari’ah-related matters of the IB or IBU.

The BOD shall ensure that the SAC is not subject to any undue influence or pressure from the management and/or its own members in the performance of the following minimum functions:

1. Approval and certification for the product structures and all the documentation thereon; 2. Rendering opinions or clarifications on Shari’ah compliance matters; and 3. Leading the Shari’ah compliance verification of lB or IBU’s transactions and operations through an effective internal and/or external Shari’ah audit and issuing an annual Shari’ah Compliance Statement thereon.

Independent and Effective Compliance and Internal Audit Functions

The compliance function shall, at a minimum, ensure that the rulings of the SAC when adopted by the BOD, are properly implemented. The internal audit must undertake a review of the Shari’ah compliance at least annually in support of the SAC’s annual Shari’ah Compliance Statement. the statement should be considered in the preparation of the Annual Report of the IB or the conventional bank, in the case of lBU. The IB or IBU may outsource the Shari’ah compliance and audit functions during the first three years of Islamic banking business upon approval thereon by the BOD and with prior notice to the appropriate supervising department of the BSP.

The Shari’ah Governance Framework is an important step in the development of Islamic Finance in the Philippines as those seeking to establish IBs or IBUs now have regulatory guidance on the measures, arrangements, structures, and policies needed to be fulfilled  to ensure compliance with Shari’ah principles.

Related Issuances

These reporting guidelines where followed by the guidelines on the Management of Liquidity Risk by IBs and IBUs. The Shari’ah Supervisory Board in the BARMM was established by virtue of a joint circular issued by the BSP, the Department of Finance, the National Commission on Muslim Filipinos, and the Bangsamoro Government.

The Insurance Commission also issued Circular Letter No. 2022-04 on the Baseline Regulatory Framework for Takaful Undertakings in 2022, while the Bureau of Internal Revenue issued Revenue Regulations No. 17-2020 and Revenue Memorandum Circular No. 35-2022 to implement the tax neutrality provision in the Islamic Banking Act.


You have followed a link to a page that is still under construction. To edit the page, you need to create an account with us (see the help page for more info). If you are here by mistake, click your browser's back button.

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