In February, the Bank of England (BofE) published its latest proposals for new regulations, which are openly stated to continue the implementation of the global Basel III banking standards. This 87-page Consultation Paper is presented as the next phase of reforms which respond to the 2007-8 Great Financial Crisis (GFC), the express intention of the paper being to prevent a recurrence. Buried within the array of proposals is a seemingly innocuous point:
“This chapter sets out the [BofE’s] proposal to require all intangible assets, including software assets classified as intangible assets under International Financial Reporting Standard (IFRS), to be fully deducted from CET1 [core] capital.”