Regulatory News Service • Nov 10, 2025
Regulatory News Service
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10 November 2025
Market Announcements Office ASX Limited Exchange Place Level 27 39 Martin Place SYDNEY NSW 2000
Australia and New Zealand Banking Group Limited (ANZ) today released its APS 330 Pillar 3 Disclosure as at 30 September 2025.
It has been approved for distribution by ANZ's Continuous Disclosure Committee.
Yours faithfully
Simon Pordage Company Secretary Australia and New Zealand Banking Group Limited
As at 30 September 2025 APS 330: Public Disclosure


This document has been prepared by ANZ BH Pty Ltd as the head of ANZ's Level 2 Banking Group (ANZ) to meet its disclosure obligations under the Australian Prudential Regulation Authority (APRA) ADI Prudential Standard (APS) 330 Public Disclosure.
| Introduction6 | |
|---|---|
| DIS20: Overview of risk management, key prudential metrics and RWA8 | |
| KM1: Key metrics (at consolidated group level)8 | |
| Key metrics - Suncorp Bank9 | |
| OVA: Bank risk management approach10 | |
| OV1: Overview of RWA17 | |
| Overview of EAD and RWA19 | |
| DIS21: Comparison of modelled and standardised RWA21 | |
| CMS1: Comparison of modelled and standardised RWA at risk level21 | |
| CMS2: Comparison of modelled and standardised RWA for credit risk at asset class level23 | |
| DIS25: Composition of capital24 | |
| CCA: Main features of regulatory capital instruments25 | |
| CC1: Composition of regulatory capital26 | |
| CC2: Reconciliation of regulatory capital to balance sheet29 | |
| DIS30: Links between financial statements and regulatory exposures31 | |
| LIA: Explanations of differences between accounting and regulatory exposure amounts31 | |
| LI1: Differences between accounting and regulatory scopes of consolidation and mapping of financial statement categories with regulatory risk categories32 |
|
| LI2: Main sources of differences between regulatory exposure amounts and carrying values in financial statements34 | |
| DIS31: Asset encumbrance35 | |
| ENC: Asset encumbrance35 | |
| DIS40: Credit risk36 | |
| CRA: General qualitative information about credit risk36 | |
| CR1: Credit quality of assets39 | |
| CR2: Changes in stock of non-performing loans and debt securities40 | |
| CRB: Additional disclosure related to the credit quality of assets41 | |
| CRC: Qualitative disclosure related to credit risk mitigation techniques46 | |
| CR3: Credit risk mitigation techniques – overview47 | |
| CRD: Qualitative disclosure on banks' use of external credit ratings under the standardised approach for credit risk48 | |
| CR4: Standardised approach – credit risk exposure and credit risk mitigation (CRM) effects49 | |
| CR5: Standardised approach – exposures by asset classes and risk weights51 | |
| CRE: Qualitative disclosure related to IRB models54 | |
| CR6: IRB – Credit risk exposures by portfolio and PD range57 | |
| CR7: IRB – Effect on RWA of credit derivatives used as CRM techniques65 | |
| CR8: RWA flow statements of credit risk exposures under IRB65 | |
| CR9: IRB – Back testing of probability of default (PD) per portfolio66 | |
| CR10: IRB (specialised lending under the slotting approach, other than HVCRE)70 | |
| DIS42: Counterparty credit risk71 |
1 Each table reference adopted in this document aligns to those required by APS 330, as defined by the Basel Committee on Banking Supervision (BCBS) and adjusted by APRA for the Australian context.
| С | CCRA: Qualitative disclosure related to CCR | 71 |
|---|---|---|
| С | CR1: Analysis of CCR exposures by approach | 73 |
| С | CR3: Standardised approach – CCR exposures by regulatory portfolio and risk weights | 74 |
| С | CR4: IRB – CCR exposures by portfolio and PD scale | 75 |
| С | CR5: Composition of collateral for CCR exposure | 79 |
| С | CR6: Credit derivatives exposures | 81 |
| С | CCR8: Exposures to central counterparties | 82 |
| DIS43: | Securitisation | 83 |
| S | ECA: Qualitative disclosure requirements related to securitisation exposures | 83 |
| S | EC1: Securitisation exposures in the banking book | 85 |
| S | EC2: Securitisation exposures in the trading book | 85 |
| S | EEC3: Securitisation exposures in the banking book and associated regulatory capital requirements – bank acting as originator or as sponsor | 86 |
| S | EC4: Securitisation exposures in the banking book and associated capital requirements – bank acting as investor | 88 |
| DIS50: | Market risk | 90 |
| T | able 1: Market risk – disclosures for ADIs using the standard method | 93 |
| T | able 2: Market risk – disclosures for ADIs using the internal models approach (IMA) for trading portfolios | 93 |
| DIS51: | Credit valuation adjustment risk | 95 |
| С | CVAA: General qualitative disclosure requirements related to CVA | 95 |
| С | CVAB: Qualitative disclosures for banks using the SA-CVA | 95 |
| DIS60: | Operational risk | 96 |
| 0 | PRA: General qualitative information on a bank's operational risk framework | 96 |
| 0 | DR1: Historical losses | 98 |
| 0 | PR2: Business indicator and subcomponent | 99 |
| 0 | PR3: Minimum required operational risk capital | 100 |
| DIS70: | Interest rate risk in the banking book | 101 |
| IF | RRBBA: IRRBB risk management objectives and policies | 101 |
| IF | RRBB1: Quantitative information on IRRBB | 102 |
| DIS75: | Macroprudential supervisory measures | 103 |
| С | CyB1: Geographical distribution of credit exposures used in the calculation of the bank-specific countercyclical capital buffer requirement | 103 |
| DIS80: | Leverage ratio | 105 |
| L | R1: Summary comparison of accounting assets vs leverage ratio exposure measure | 105 |
| L | R2: Leverage ratio common disclosure template | 106 |
| DIS85: | Liquidity | 107 |
| L | IQ1: Liquidity coverage ratio (LCR) | 109 |
| L | IQ2: Net stable funding ratio (NSFR) | 111 |
| Govern | nance and accountable person attestation | 113 |
| Р | Public disclosure of prudential information policy | 113 |
| Α | ccountable person attestation | 114 |
| Append | dix 1: Modification details | 115 |
| Append | dix 2: Entities excluded from regulatory consolidation | 118 |
| Glossary | 119 |
|---|---|
| Important information, forward-looking statements | 121 |
This document has been prepared in accordance with the Australian Prudential Regulation Authority (APRA) Prudential Standard (APS) 330: Public Disclosure.
APS 330 Public Disclosure Prudential Standard (APS 330) requires locally-incorporated authorised deposit-taking institutions (ADIs) to meet minimum requirements for the public disclosure of key information on their capital and risk exposures and, where applicable, leverage ratio, liquidity coverage ratio, net stable funding ratio and indicators for the identification of potential global systemically important banks, so as to contribute to the transparency of financial markets and to enhance market discipline.
This document is prepared for ANZ BH Pty Ltd (ANZ Bank HoldCo) in accordance with ANZ Board policy and the APS 330 reporting standard requirements. It presents information on Capital Adequacy and Risk Weighted Assets (RWA) calculations for credit risk, securitisation, traded market risk, interest rate risk in the banking book and operational risk.
Australia and New Zealand Banking Group Limited (ANZBGL) is an authorised deposit-taking institution (ADI) and a wholly owned subsidiary of ANZ Bank Holdco. The ultimate parent entity is ANZ Group Holdings Limited (ANZGHL). ANZGHL and its subsidiaries are collectively referred to as the ANZGHL Group.
The APS 330 disclosure has been prepared on the Level 2 basis being ANZ Bank HoldCo as the head of ANZ's Level 2 Banking Group.
Any reference to ANZ / the Group refers to ANZ's Level 2 Banking Group.
ANZ operates under capital adequacy requirements applying to Australian incorporated registered banks, which are set out in APRA's Banking Prudential Standard documents. The capital adequacy requirements were updated from 1 January 2023 and included changes to APS 110 Capital Adequacy (APS 110), APS 112 Capital Adequacy: Standardised Approach to Credit Risk (APS 112) and APS 113 Capital Adequacy: Internal Ratings-based Approach to Credit Risk (APS 113) with key features of the changes including:
In addition, operational RWA is calculated under APS 115 Capital Adequacy: Standardised Measurement Approach to Operational Risk (APS 115) which replaced the previous advanced methodology from December 2022.
On 31 July 2024, the Group acquired 100% of the shares in SBGH Limited, the immediate holding company of Suncorp Bank. The transaction was undertaken to accelerate the growth of the Group's retail and commercial businesses while also improving the geographic balance of its business in Australia. The reported figures at 30 September 2025 include Suncorp Bank for the period since ownership where applicable.
Suncorp Bank is the trading name of Norfina Limited ABN 66 010 831 722 (formerly Suncorp-Metway Limited). Norfina Limited is an ADI and a wholly owned subsidiary of Australia and New Zealand Banking Group Limited (ANZBGL).
Suncorp Bank is a standardised ADI with Credit RWA calculated based on APS 112. Suncorp Bank is exposed to a similar range of inter-related business risks as the pre-existing ANZ portfolio, although with a predominant Australia domestic focus and has its own Risk Management Framework, Risk Management Strategy, Risk Appetite Statement and supporting suite of policies and procedures to manage these risks. Work is in progress to ensure a smooth transition and integration of risk management frameworks and policies, and effective integration into the ANZ risk management operating model.
These Pillar 3 disclosures have been verified in accordance with Board-approved policy, including ensuring consistency with information contained in returns provided to APRA. In addition, ANZ's external auditor performs an agreed-upon procedures engagement with respect to the annual and semi-annual disclosures.
These disclosures have been produced in accordance with regulatory capital adequacy concepts and rules, rather than with accounting policies adopted in ANZBGL's financial reports. As such, there are different areas of focus and measures in some common areas of these disclosures. These differences are most pronounced in the credit risk disclosures, for instance:
Unless otherwise stated, all amounts are rounded to AUD millions.
In December 2022, APRA finalised the ADI public disclosure requirements (APS 330), effective 1 January 2025. Some of the key aims of the new requirements are to improve transparency and comparability and to align with updated international and domestic standards.
In accordance with APS 330, an ADI must make the prudential disclosures as set out in the Standard issued by the Basel Committee on Banking Supervision (BCBS Standard) titled "Disclosure requirements", subject to the modifications specified in Attachment A of APS 330. The BCBS Standard, including disclosure templates and tables that an ADI must complete and disclose, is available on the Bank of International Settlements website.
An ADI may make minor modifications to the content of its disclosures under the BCBS Standard where there are inconsistencies between the BCBS Standard and the applicable requirements in any Prudential Standards1 . These modifications are noted in the respective disclosure tables throughout this document and outlined in detail in Appendix 1.
Certain comparative period disclosures for the updated templates will be included over future reporting periods.
1 APS 330, Para. 19-20
The table below sets out the key regulatory metrics and ratios covering capital (including buffer requirements and ratios), RWA, Leverage ratio, Liquidity coverage ratio (LCR) and Net Stable Funding Ratio (NSFR).
This table has minor modifications from the original BCBS standard. Additional detail on these modifications has been provided in Appendix 1.
| Sep 25 | Jun 25 | Mar 25 | Dec 24 | Sep 24 | ||
|---|---|---|---|---|---|---|
| \$M | \$M | \$M | \$M | \$M | ||
| Available capital (amounts) | ||||||
| 1 | Common Equity Tier 1 (CET1) | 55,184 | 56,942 | 55,229 | 54,333 | 54,469 |
| 2 | Tier 1 | 62,541 | 64,322 | 62,672 | 62,699 | 62,676 |
| 3 | Total capital | 96,351 | 96,834 | 95,503 | 92,447 | 91,865 |
| Risk-weighted assets (amounts) | ||||||
| 4 | Total risk-weighted assets (RWA) | 458,547 | 476,830 | 468,999 | 472,434 | 446,582 |
| 4a | Total risk-weighted assets (pre-floor) | 455,048 | 465,879 | 456,940 | 461,059 | 441,710 |
| Risk-based capital ratios as a percentage of RWA | ||||||
| 5 | CET1 ratio (%) | 12.0% | 11.9% | 11.8% | 11.5% | 12.2% |
| 5b | CET1 ratio (%) (pre-floor ratio) | 12.1% | 12.2% | 12.1% | 11.8% | 12.3% |
| 6 | Tier 1 ratio (%) | 13.6% | 13.5% | 13.4% | 13.3% | 14.0% |
| 6b | Tier 1 ratio (%) (pre-floor ratio) | 13.7% | 13.8% | 13.7% | 13.6% | 14.2% |
| 7 | Total capital ratio (%) | 21.0% | 20.3% | 20.4% | 19.6% | 20.6% |
| 7b | Total capital ratio (%) (pre-floor ratio) | 21.2% | 20.8% | 20.9% | 20.1% | 20.8% |
| Additional CET1 buffer requirements as a percentage of RWA | ||||||
| 8 | Capital conservation buffer requirement (%) | 3.75% | 3.75% | 3.75% | 3.75% | 3.75% |
| 9 | Countercyclical buffer requirement (%) | 0.7199% | 0.7191% | 0.7219% | 0.7276% | 0.7247% |
| 10 | Bank G-SIB and/or D-SIB additional requirements (%) | 1.00% | 1.00% | 1.00% | 1.00% | 1.00% |
| 11 | Total of bank CET1 specific buffer requirements (%) | 5.47% | 5.47% | 5.47% | 5.48% | 5.47% |
| 12 | CET1 available after meeting the bank's minimum capital requirements (%) |
7.5% | 7.4% | 7.3% | 7.0% | 7.7% |
| Basel III Leverage ratio | ||||||
| 13 | Total Basel III leverage ratio exposure measure | 1,424,842 | 1,447,763 | 1,427,834 | 1,432,615 | 1,344,137 |
| 14 | Basel III leverage ratio (%) (including the impact of any applicable temporary exemption of central bank reserves) |
4.4% | 4.4% | 4.4% | 4.4% | 4.7% |
| Liquidity Coverage Ratio (LCR) | ||||||
| 15 | Total high-quality liquid assets (HQLA) | 314,879 | 324,230 | 316,323 | 295,673 | 275,264 |
| 16 | Total net cash outflow | 238,504 | 242,689 | 237,584 | 225,783 | 207,942 |
| 17 | LCR ratio (%) | 132.07% | 133.63% | 133.17% | 130.95% | 132.38% |
| Net Stable Funding Ratio (NSFR) | ||||||
| 18 | Total available stable funding | 730,141 | 744,791 | 737,456 | 721,838 | 704,909 |
| 19 | Total required stable funding | 637,319 | 642,418 | 630,563 | 634,312 | 607,169 |
| 20 | NSFR ratio | 114.56% | 115.94% | 116.95% | 113.80% | 116.10% |
Level 2 CET1 ratio of 12.0%, an increase of 25bps since March 2025. Key drivers were:
APRA leverage ratio is flat during the September 2025 half.
The Group's average LCR for the 3 months to 30 September 2025 has decreased -1.5% from 133.6% as at 30 June 2025 to 132.1% with total liquid assets exceeding net cash outflows by an average of \$76.4 billion.
Through the period the LCR has remained within the range 127% to 138%. The liquid asset portfolio was made up of on average 38% (\$119.4 billion) cash and central bank reserves and 56% (\$174.3 billion) HQLA1 securities, with the remaining mainly consisting of HQLA2 securities.
The Group's NSFR has decreased 1.4% over the quarter from 115.9% as at 30 June 2025 to 114.6% as at 30 September 2025. This was driven by a change in the proportion of wholesale funding in the less than 6-month maturity bucket, the July dividend payment and a movement in collateral composition.
The main sources of Available Stable Funding (ASF) at 30 September 2025 were deposits from Retail and SME customers, at 50%, with other wholesale funding at 27% and capital at 14% of the total ASF.
The majority of ANZ's Required Stable Funding (RSF) at 30 September 2025 was driven by mortgages at 51% and other lending to non-financial institution customers at 28% of the total RSF.
The table below sets out the key regulatory metrics and ratios covering capital and RWA for Suncorp Bank.
Following the acquisition of Suncorp Bank on 31 July 2024, the reported figures include Suncorp Bank for the period since ownership where applicable. As of March 2025, Suncorp Bank does not produce a separate Pillar 3 report. The table below sets out the key information on regulatory metrics and ratios covering capital and RWAs for Suncorp Bank.
Suncorp Bank is a standardised ADI with Credit RWA calculated based on APS 112 Standardised Approach to Credit Risk.
| Sep 25 | Jun 25 | Mar 25 | Dec 24 | Sep 24 | ||
|---|---|---|---|---|---|---|
| \$M | \$M | \$M | \$M | \$M | ||
| Available capital (amounts) | ||||||
| 1 | Common Equity Tier 1 (CET1) | 3,638 | 3,666 | 3,559 | 3,440 | 3,345 |
| 2 | Tier 1 | 4,198 | 4,226 | 4,119 | 4,000 | 3,905 |
| 3 | Total capital | 5,047 | 5,063 | 4,955 | 4,830 | 4,751 |
| Risk-weighted assets (amounts) | ||||||
| 4 | Total risk-weighted assets (RWA) | 33,821 | 34,060 | 33,356 | 33,516 | 33,422 |
| Risk-based capital ratios as a percentage of RWA | ||||||
| 5 | CET1 ratio (%) | 10.8% | 10.8% | 10.7% | 10.3% | 10.0% |
| 6 | Tier 1 ratio (%) | 12.4% | 12.4% | 12.3% | 11.9% | 11.7% |
| 7 | Total capital ratio (%) | 14.9% | 14.9% | 14.9% | 14.4% | 14.2% |
Aligned with APRA's CPS 220 Risk Management (CPS 220) standard, ANZ's Risk Management Framework (RMF) is designed to support ANZ's strategic objectives.
The Board is ultimately responsible for establishing and overseeing the ANZ Group's RMF which is supported by the Group's underlying systems, structures, policies, procedures, processes and people. The Board has delegated authority to the Board Risk Committee (BRC) to develop and monitor compliance with the Group's risk management policies.
The Committee reports regularly to the Board on its activities. The key pillars of ANZ's Group RMF include:
The Risk Management Strategy (RMS) outlines how risk management supports the Group's purpose and strategy, the responsibilities of the Group Chief Risk Officer and the risk function, and the values and behaviours that guide risk decision-making. The RMS describes each material risk and how it is managed, including policies, standards, and procedures. It also details how risks are identified, measured, evaluated, monitored, reported, and controlled or mitigated, along with the oversight mechanisms and committees in place.
The Risk Appetite Statement (RAS) articulates the maximum level of risk the Group is willing to accept in pursuing its strategic objectives and its operating plans considering its shareholders', depositors' and customers' interests.
The RAS, supported by other components of the RMF, also conveys the following:
The Group Strategic Planning Process outlines the approach to implementing ANZ Group's strategic objectives, considering the Material Risks the Bank might have to navigate to achieve its goals.
The governance and oversight of risk management, while embedded in day-to-day activities, is also the focus of committees and regular forums across the bank (see diagram next page). The committees and forums discuss and monitor known and emerging risks, review management plans and monitor progress to address known issues.
Risk management is operationalised using the Three Lines-of-Defence Model. Each line of defence has defined roles, responsibilities and escalation paths to support risk management at ANZ.
The first line of defence, comprising business and enablement functions, manages day-to-day risks and controls. The second line, the Risk function, provides independent oversight and challenges decisions affecting the Group's risk profile. Internal Audit, the third line, offers independent evaluation and assurance on the effectiveness of the Group's RMF.
Suncorp Bank currently operates an independent RMF. Suncorp Bank's Risk Management Framework (RMF) will no longer apply once legal transfer and migration are complete; from which point the ANZ RMF will apply.
In April 2025, ANZ confirmed it had entered into a court enforceable undertaking (CEU) with the Australian Prudential Regulation Authority (APRA) for matters relating to Non-financial risk management practices and risk culture across the Group.
In September 2025 the Group:
It is acknowledged that the risk management framework will be updated and strengthened, including to better reflect the importance of non-financial risks as part of the RCRP.
The material risks facing the Group and how these risks are managed, are summarised below.
ANZ's Risk function is responsible for the organisation's risk strategies, policies and processes. It has global authority for the effectiveness of the RMF, maintaining a strong risk, control, governance and compliance focus in line with ANZ's risk management framework and systems.
For detailed description on the scope and main features of risk measurement systems and risk reporting, as well as processes to mitigate risks, refer to the respective sections noted for each risk type.
| Risk type | Description | Managing the risk |
|---|---|---|
| Capital adequacy risk | The risk of loss arising from the Group failing to maintain the level of capital required by prudential regulators and other key stakeholders (shareholders, debt investors, depositors, rating agencies, etc.) to support the Group's consolidated operations and risk appetite. |
ANZ pursues an active approach to capital management, which is designed to protect the interests of depositors, creditors and shareholders through ongoing review, and Board approval, of the level and composition of ANZ's capital base against key policy objectives. |
| Refer to DIS25: Composition of Capital for details on Capital Adequacy measurement and reporting. |
||
| Credit risk | The risk of financial loss resulting from: • a counterparty failing to fulfil its obligations; or • a decrease in credit quality of a counterparty resulting in a deterioration of value. |
ANZ's credit risk framework is top down, being defined by credit principles, policies and requirements. Credit policies, requirements and procedures cover all aspects of the credit life cycle from initial approval and risk grading, through to ongoing management and problem debt management. |
| Refer to CRA: General qualitative information on Credit Risk for details on Credit Risk measurement and reporting and CRC: Qualitative Disclosure related to Credit Risk mitigation on strategies and processes to mitigate Credit Risk. |
||
| Liquidity and funding risk |
The risk that the Group is unable to meet its payment obligations as they fall due, including: • repaying depositors or maturing wholesale debt; or |
The Group recognises the inherent liquidity and funding risk in the balance sheet and has established a set of key principles, to mitigate and control liquidity and funding risk. |
| • the Group having insufficient capacity to fund increases in assets. |
ANZ's framework is top down, being defined by liquidity principles and policies. A liquidity limit framework is in place with liquidity limits set based on a liquidity stress testing framework. |
|
| Refer to DIS85: Liquidity for details on Liquidity measurement and reporting. |
||
| Market risk | The risk stems from ANZ's trading and balance sheet activities and is the risk to the Group's earnings arising from: • changes in interest rates, foreign exchange rates, credit spreads, volatility, correlations; or • fluctuations in bond, commodity or equity prices. |
ANZ has a detailed market risk management and control framework which includes incorporating an independent risk measurement approach to quantify the magnitude of market risk within the trading and balance sheet portfolios. This approach identifies the range of possible outcomes, that can be expected over a given period of time and establishes the likelihood of those outcomes and allocates an appropriate amount of capital to support these activities. |
| Refer to DIS 50: Market Risk and IRRBBA: Interest Rate Risk in the Banking Book (IRRBB) risk management objectives and policies for details on Market Risk strategies and measurement and reporting and processes to mitigate and hedge Market Risk. |
||
| Strategic risk | The risk that ANZ may not achieve its key strategic objectives due to ineffective adaptation to changes in the operating environment undermining the bank's capacity to pivot or refine strategies in response to evolving conditions. |
ANZ's strategic risk management is underpinned by a rolling three-year business plan, updated annually to remain responsive to a changing environment. This plan is informed by structured analysis and reviewed by risk, Group Strategy and the Executive Committee to ensure alignment with ANZ's risk appetite and long-term goals. |
| Risk type | Description | Managing the risk |
|---|---|---|
| Regular reviews of strategic objectives and market conditions support ongoing alignment and adaptability. Insights from these processes are presented to the Board to guide strategic decision-making. |
||
| Climate risk | The financial and non-financial risks arising from climate change including: |
ANZ continue to integrate and embed climate risk within ANZ's Risk Management Framework |
| Physical risk – arising from both longer-term changes in climate (chronic risk) as well as changes to the frequency and magnitude of extreme weather events (acute risk). Examples of chronic physical risk drivers include rising sea levels, rising average temperatures and ocean acidification. Examples of acute physical risk drivers include heatwaves, floods, bushfires and cyclones; Transition risk – arising from the transition to a lower emissions economy, including changes in domestic and international policy and regulatory settings, technological innovation, social adaptation and market changes; or Liability risk – in the form of potential litigation or regulatory action that may arise as a consequence of a failure to adequately consider or respond to the impacts of climate change (including physical and transition risks). This includes for example, the risk of greenwashing, which may arise where an entity is alleged to have misrepresented its climate-related risks, business credentials or strategies. |
While climate risk can be a driver of credit risk through lending to ANZ's customers, it may also result in other financial risks. Climate risks are also considered to be a driver of other material risks within ANZ's RMF. Climate-related financial and non-financial risks are managed through the risk management strategies associated with these risks. |
|
| Financial crime risk | The risk of facilitating financial crime including non compliance with ANZ policies, or regulatory expectations. It includes the following non-financial risk themes: Financial Crime – The risk of facilitating money laundering, terrorism financing, sanctions evasion, or bribery and corruption events. Internal Fraud – Fraud / theft attempted or perpetrated by an internal party (or parties) (i.e. an ANZ employee or contingent worker, including instances where an employee is acting in collusion with external parties). External Fraud – Fraud attempted or perpetrated without the deliberate involvement of an ANZ employee or contingent worker. |
ANZ maintains a financial crime risk management program that anticipates and navigates criminal threats. The Financial Crime Portfolio continues to be responsible for ensuring that ANZ meets its regulatory obligations through its Anti-Money Laundering/Counter Terrorism Financing Sanctions, Anti-Bribery & Anti-Corruption and Anti-Fraud Programs and Policies. This allows ANZ to deliver detection, investigative and intelligence capability focused on identifying, mitigating, and managing financial crime risk to help protect the community. ANZ continues to maintain ANZ's partnership with the Australian Transaction Report and Analysis Centre (AUSTRAC) Fintel Alliance and through membership of the Financial Crime Prevention Network in New Zealand to increase the resilience of the financial sector to prevent exploitation by criminals, and support investigations into serious crime and national security. |
| Compliance & conduct risk |
The risks of legal or regulatory actions, material financial loss, or loss of reputation caused by ANZ failing to: • comply with laws, regulations, prudential standards, licences, codes or policies; • appropriately manage customer interests and market integrity. It includes the non-financial risk themes of conduct and regulatory risk. |
ANZ manages compliance and conduct risks pursuant to ANZ's Risk Management Strategy, ANZ Non-Financial Risk Framework and related policies. |
| Resilience risk | The risk of material adverse impacts of operational disruption events on ANZ Group, its customers, and the financial system. It includes the non-financial risk themes of operational resilience, data, third party, technology and information security (including cyber). |
ANZ manages resilience through ANZ's Non-Financial Risk Framework supported by resilience policies, standards and procedures designed to protect critical operations to safeguard customer interests and uphold financial stability. The framework covers the approach to business continuity and incident response management, |
| Risk type | Description | Managing the risk |
|---|---|---|
| and incorporates key controls such as risk assessments, scenario testing, and crisis management protocols. The framework is regularly reviewed to reflect emerging threats, operational dependencies, lessons learned from real events, regulatory expectations, and industry best practices. |
||
| Specifically, data risk is governed to ensure accuracy, integrity, and ethical use; information security and cyber risk are mitigated through layered controls, continuous monitoring, and enhanced cyber resilience strategies to defend against threats like AI-enabled attacks; operational resilience is maintained by identifying critical services and ensuring continuity within defined tolerance through monitoring, continuity planning and testing and Third Party Risk Management (TPRM) framework; and technology risk is managed by focusing on information technology (IT) systems resilience, stability, and secure change processes aligned with regulatory expectations. |
||
| Operational risk | The risk of loss resulting from inadequate or failed internal processes, people, systems, or from external events. This includes the non-financial risk themes of model, third party, physical security, transaction processing and execution, people, legal, statutory reporting & tax and change execution |
The management of operational risk is prescribed in the Non-Financial Risk Framework, which ANZ continues to review and evolve to ensure that it supports the delivery of consistent processes and repeatable outcomes for ANZ customers. There is an increased focus on change execution risk which refers to the risk that change initiatives may fail to deliver intended outcomes due to breakdowns in planning, delivery, stakeholder engagement, and adoption. This risk is linked to the Group's strategic priorities. The Group is adjusting its risk taxonomy to ensure risk management, governance, and oversight are concentrated where they are most needed. |
| Refer to ORA: General qualitative Information on a bank's operational risk framework for details on NFR measurement and reporting. |
The following lists the Board Committees, in accordance with ANZ Accountability Map under the Financial Accountability Regime (FAR). From time to time, other ad hoc committees of the Board may be formed.
The Board is responsible for setting a target risk culture, overseeing the establishment by management of an operational structure and the necessary resources to facilitate effective risk management throughout the Group. These responsibilities include:
The following lists the Board Committees, in accordance with ANZ Accountability Map under the Financial Accountability Regime (FAR). From time to time, other ad hoc committees of the Board may be formed.
Overseeing ANZ's approach to diversity and inclusion;
Monitoring and where appropriate approving matters relating to the development of a stakeholder engagement strategy for shareholder and regulator communication in relation to remuneration issues; and
The above Committees are exclusively comprised of Non-Executive directors. Members, including the Chair of each committee, are appointed by the Board and serve at the discretion of the Board and for such term or terms as the Board determines. Under ANZ's FAR arrangements, the chair and members of each committee are accountable persons with prescribed responsibility for oversight of ANZ, as a member of the Board.
Processes and procedures relating to the operation of each of the board committees are documented in the committee charters and in the Board Committees' Standing Rules which are on the ANZ corporate governance website: http://shareholder.anz.com/our-company/corporategovernance.
Executive Management Committees are responsible for co-ordination of risk matters for each of the areas of risk management. The following lists ANZ's key management committees and states their primary purpose, in accordance with ANZ's accountability map under FAR, and related subcommittees:
Group Executive Committee (ExCo) - headed by the CEO is ANZ's leadership team whose role is to support the CEO in delivering ANZ's purpose, to shape a world where people and communities thrive. It does this by focusing on:
Enterprise Accountability Group – reports to Board Human Resources Committee and is responsible for:
Group Asset and Liability Committee (GALCO) - is responsible for the oversight and strategic management of the Group's balance sheet activities including balance sheet structure, liquidity, funding, capital management, non-traded interest rate risk and non-traded FX risk.
Capital and Stress Testing Oversight Committee (CSTOC) - is a sub-committee of GALCO, with responsibility for the oversight and control of the Group's stress testing framework, modelling, processes and outcomes; economic profit methodology and framework; operational risk capital measurement framework, modelling, processes and outcomes; capital allocation framework and other capital management (apart from Group ICAAP) and portfolio measurement related recommendations.
Credit and Market Risk Committee (CMRC) - is the senior executive management forum responsible for the oversight and control of credit, market and other material financial risks across the ANZ Group. The purpose of CMRC is to assist the BRCs in the effective discharge of their responsibilities.
Credit Ratings System Oversight Committee (CRSOC) - is the senior management forum responsible for the oversight and control of the Internal Ratings System for credit risk including credit model approvals and performance monitoring. CRSOC is a sub-committee of the CMRC.
Operational Risk Executive Committee (OREC) - is the primary senior executive management forum responsible for oversight of Operational Risk and Compliance Risk expected and unexpected risk profile and the related control environment across the ANZ Group. The purpose of OREC is to assist the BRCs in the effective discharge of their responsibilities.
Investment Committee - is to carry out the responsibilities delegated by the CEO of ANZ, regarding the funding and delivery of value from ANZ's investments in change initiatives. The committee acts as the governance, oversight and advisory board for funding provided to the Divisions and enterprise priorities.
Group Executive People Committee (GEPC) - is a leadership and decision-making body charged with advancing ANZ's people strategy and priorities in line with the ANZ's purpose, strategy and aspirational culture.
Suncorp bank has its own Enterprise Risk Management Framework (ERMF) and Risk Management Strategy (RMS) which sets out how Suncorp Bank manages its risks utilising the ERMF, including risk appetite, policies, procedures, management responsibilities and controls.
Suncorp Bank's Risk Appetite Statement (RAS) is approved by its Board and sets the parameters within which the Suncorp Bank CEO and management are expected to operate. Any metrics outside tolerance are escalated to the Suncorp Bank CRO and tabled at the relevant management committee (Suncorp Bank Credit Risk Committee/ Suncorp Bank Non-Financial Risk Committee/Suncorp Bank Assets and Liability Committee) to determine management actions to address, which are then reported to its Board.
Risk culture is an important part of ANZ's organisational culture, influencing decision-making through shared values, behaviours, and practices. ANZ's Risk Principles form an important part of the RMF by guiding risk management and fostering an appropriate risk culture across the Group.
Despite ANZ's strong focus on risk culture there is still a requirement for further improvement. ANZ's expectations for continuous improvement in risk culture have not been met in key businesses across the Group. ANZ has committed under the RCRP to reviewing and strengthening the approach to risk culture, to support the Group to meet the evolving expectations of ANZ's customers, shareholders, the community and regulators.
Risk culture is driven across the Group through completion of risk culture plans, awareness activities and delivery of the Group wide non-financial risk framework. Divisional and Functional level maturity assessments assist the Board to form a view of ANZ's overall risk culture annually.
Risk culture is embedded in performance and remuneration (refer to the ANZBGL Remuneration Report within the ANZBGL Annual Report), and recognition programs such as Risk Role Models.
Capital and Stress Testing Oversight Committee (CSTOC) – is a sub-committee of GALCO, with responsibility for the oversight and control of the Group's stress testing framework. Refer to section (b) Risk governance structure for further details on CSTOC.
ANZ achieves its Capital management objectives through an Internal Capital Adequacy Assessment Process (ICAAP) whereby ANZ conducts detailed strategic and capital planning over a medium-term time horizon. The Capital Plan is maintained and updated through a monthly review of forecast financial performance, economic conditions and development of business initiatives and strategies. The Board and senior management are provided with monthly updates of ANZ's capital position. Any actions required to ensure ongoing prudent capital management are submitted to the Board for approval. ANZ annually conducts a detailed strategic planning process over a three-year time horizon, the outcomes of which are embodied in the Strategic Plan. This process involves forecasting key economic variables which Divisions use to determine key financial data for their existing business. New strategic initiatives to be undertaken over the planning period and their financial impact are then determined. These processes are used for the following:
ANZ also undertakes a wide range of stress tests on the Group trading portfolio and to individual trading portfolios. Refer to DIS50: Market Risk for further details.
Stress tests within ANZ include standard and extraordinary tests. These tests are used to highlight potential risk which may not be captured by VaR, and how the portfolio might behave under extraordinary circumstances. Refer to IRRBBA: IRRBB risk management objectives and policies for further details.
The table below shows RWA and minimum capital requirements by risk type and approach. For the purpose of this table, the minimum capital requirement is defined to be 8% of RWA.
This table has minor modifications from the original BCBS standard. Additional detail on these modifications has been provided in Appendix 1.
| RWA | Minimum capital requirements |
||||
|---|---|---|---|---|---|
| Sep 25 | Jun 25 | Mar 25 | Sep 25 | ||
| \$M | \$M | \$M | \$M | ||
| 1 | Credit risk (excluding counterparty credit risk) | 350,098 | 361,775 | 357,140 | 28,008 |
| 2 | of which: standardised approach (SA) | 40,401 | 41,363 | 42,612 | 3,232 |
| 3 | of which: foundation internal ratings-based (FIRB) approach | 67,702 | 73,363 | 69,351 | 5,416 |
| 4 | of which: supervisory slotting approach | 13,787 | 14,827 | 15,360 | 1,103 |
| 5 | of which: advanced internal ratings-based (AIRB) approach1, 2 | 228,208 | 232,222 | 229,817 | 18,257 |
| 6 | Counterparty credit risk (CCR) | 13,226 | 14,345 | 13,809 | 1,058 |
| 7 | of which: standardised approach for counterparty credit risk | 12,616 | 13,645 | 13,097 | 1,009 |
| 8 | of which: IMM | - | - | - | - |
| 9 | of which: other CCR | 610 | 700 | 712 | 49 |
| 10 | Credit valuation adjustment (CVA) | 3,768 | 4,991 | 4,736 | 301 |
| 16 | Securitisation exposures in banking book | 2,491 | 2,535 | 2,396 | 199 |
| 17 | of which: securitisation IRB approach (SEC-IRBA) | - | - | - | - |
| 18 | of which: securitisation external ratings-based approach (SEC-ERBA), including internal assessment approach (IAA) |
776 | 870 | 780 | 62 |
| 19 | of which: securitisation standardised approach (SEC-SA) | 1,715 | 1,665 | 1,616 | 137 |
| 20 | Market risk | 6,895 | 7,719 | 6,854 | 551 |
| 21 | of which: standardised approach (SA) | 1,518 | 1,193 | 1,288 | 121 |
| 22 | of which: internal model approach (IMA) | 5,377 | 6,526 | 5,566 | 430 |
| 24 | Operational risk3 | 53,773 | 53,773 | 50,648 | 4,302 |
| 25a | IRRBB regulatory RWA | 24,797 | 20,741 | 21,357 | 1,984 |
| 26 | Output floor applied (%) | 72.5% | 72.5% | 72.5% | |
| 28 | Floor adjustment | 3,499 | 10,951 | 12,059 | 280 |
| 29 | Total | 458,547 | 476,830 | 468,999 | 36,683 |
________________________________ 1 Includes a \$3.1 billion RWA overlay relating to the Australian Residential Mortgages PD model introduced from 30 June 2024 reporting period.
The minimum capital requirement is based on an 8% capitalisation rate, however ANZ's current CET1 ratio is 12.0% as at 30 September 2025.
Credit RWA for 30 September 2025 totalled \$369.6 billion (which includes Credit Risk, Counterparty Credit Risk, CVA and Securitisation), an \$8.5 billion decrease half on half. Key drivers of this movement include:
Traded Market Risk RWA remained broadly stable, increasing marginally by \$0.04 billion half-on-half. This movement was primarily driven by higher bond holdings.
IRRBB RWA increased over the half primarily due to higher Repricing and Yield Curve Risk combined with incorporating IRRBB risk for Suncorp Bank.
Operational risk RWA increased from \$50.6 billion to \$53.8 billion, driven by increase in the Operational risk overlay from \$750 million to \$1 billion capital, applied to both Level 1 and Level 2, from 30 April 2025.
2 Includes a \$4.2 billion RWA overlay relating to an Income Producing Real Estate (IPRE) risk weight floor.
3 Reporting periods 30 September 2025 and 30 June 2025 include \$12.5 billion (\$1 billion capital) operational risk RWA overlay, applied to both Level 1 and Level 2. Corresponding overlay for 31 March 2025 was \$9.4 billion RWA (\$750 million capital).
The RWA floor adjustment is the additional RWA required after comparing the total actual RWA to the Output Floor of 72.5% of RWA calculated under the full standardised approach. For 30 September 2025, the RWA floor adjustment was \$3.5 billion, a decrease of \$8.6 billion over the half. The decrease in the RWA floor adjustment included:
The table below shows a summary of EAD and RWA by asset class.
| Sep | 25 | ||||||
|---|---|---|---|---|---|---|---|
| EAD Po | st-CCF and Pos | st-CRM | RWA | ||||
| Credit risk | Counterparty credit risk | Total | Credit risk | Counterparty credit risk | Total | ||
| \$m | \$m | \$m | \$m | \$m | \$m | ||
| 1 | Subject to AIRB approach | 697,803 | 3,123 | 700,926 | 228,208 | 1,282 | 229,490 |
| 2 | of which Corporate (including SME) 1 | 138,656 | 1,476 | 140,132 | 63,726 | 651 | 64,377 |
| 3 | of which Retail SME | 16,515 | - | 16,515 | 9,419 | - | 9,419 |
| 4 | of which Residential mortgage 2 | 373,535 | - | 373,535 | 94,135 | - | 94,135 |
| 5 | of which Qualifying revolving retail | 12,465 | - | 12,465 | 3,032 | - | 3,032 |
| 6 | of which Other retail | 1,450 | - | 1,450 | 1,642 | - | 1,642 |
| 7 | of which RBNZ regulated banking subsidiary | 155,182 | 1,647 | 156,829 | 56,254 | 631 | 56,885 |
| 8 | Subject to FIRB approach | 403,354 | 38,337 | 441,691 | 67,702 | 10,561 | 78,263 |
| 9 | of which Corporate | 84,651 | 6,226 | 90,877 | 34,388 | 2,477 | 36,865 |
| 10 | of which Sovereign | 230,008 | 3,335 | 233,343 | 10,107 | 175 | 10,282 |
| 11 | of which Financial institution | 88,695 | 28,776 | 117,471 | 23,207 | 7,909 | 31,116 |
| 12 | Subject to supervisory slotting (including RBNZ) | 16,427 | 370 | 16,797 | 13,787 | 285 | 14,072 |
| 13 | Subject to standardised approach | 131,242 | 12,766 | 144,008 | 40,401 | 1,098 | 41,499 |
| 14 | of which Corporate (including SME) | 15,984 | 80 | 16,064 | 12,456 | 84 | 12,540 |
| 15 | of which Residential mortgage | 64,727 | - | 64,727 | 22,407 | - | 22,407 |
| 16 | of which Sovereign | 10,949 | 175 | 11,124 | 10 | 175 | 185 |
| 17 | of which Other exposures | 13,711 | 9,550 | 23,261 | 3,698 | 420 | 4,118 |
| 18 | of which RBNZ regulated banking subsidiary | 25,871 | 2,961 | 28,832 | 1,830 | 419 | 2,249 |
| 19 | Total credit and counterparty credit risk 3 | 1,248,826 | 54,596 | 1,303,422 | 350,098 | 13,226 | 363,324 |
| 20 | Credit valuation adjustment | 3,768 | |||||
| 21 | Securitisation exposures in banking book | 15,678 | 2,491 | ||||
| 22 | Total subject to calculation of RWA for credit risk | 1,319,100 | 369,583 | ||||
| 23 | Market risk | 6,895 | |||||
| 24 | Operational risk | 53,773 | |||||
| 25 | Interest rate risk in the banking book | 24,797 | |||||
| 26 | Floor adjustment | 3,499 | |||||
| 27 | Total RWA | 458,547 |
1 Includes a \$4.2 billion RWA overlay relating to an IPRE risk weight floor.
Includes a \$3.1 billion RWA overlay relating to the Australian Residential Mortgages PD model introduced from 30 June 2024 reporting period.
The percentage of credit risk EAD (excluding CCR) covered by the AIRB, FIRB, supervisory slotting and standardised approaches was 56%, 32%, 1%, 11%, respectively.
| Jun | 25 | |
|---|---|---|
| EAD Po | st-CCF and Po | st-CRM | - | RWA | |||
|---|---|---|---|---|---|---|---|
| Credit risk | Counterparty credit risk | Total | Credit risk | Counterparty credit risk | Total | ||
| \$m | \$m | \$m | \$m | \$m | \$m | ||
| 1 | Subject to AIRB approach | 704,540 | 2,722 | 707,262 | 232,222 | 1,210 | 233,432 |
| 2 | of which Corporate (including SME) | 140,491 | 1,719 | 142,210 | 65,978 | 764 | 66,742 |
| 3 | of which Retail SME | 16,781 | - | 16,781 | 9,527 | - | 9,527 |
| 4 | of which Residential mortgage 1 | 371,200 | - | 371,200 | 95,516 | - | 95,516 |
| 5 | of which Qualifying revolving retail | 12,576 | - | 12,576 | 3,101 | - | 3,101 |
| 6 | of which Other retail | 1,483 | - | 1,483 | 1,675 | - | 1,675 |
| 7 | of which RBNZ regulated banking subsidiary | 162,009 | 1,003 | 163,012 | 56,425 | 446 | 56,871 |
| 8 | Subject to FIRB approach | 446,003 | 40,257 | 486,260 | 73,363 | 11,449 | 84,812 |
| 9 | of which Corporate | 97,480 | 6,637 | 104,117 | 38,458 | 2,743 | 41,201 |
| 10 | of which Sovereign | 254,360 | 4,032 | 258,392 | 10,055 | 287 | 10,342 |
| 11 | of which Financial institution | 94,163 | 29,588 | 123,751 | 24,850 | 8,419 | 33,269 |
| 12 | Subject to supervisory slotting (including RBNZ) | 17,803 | 420 | 18,223 | 14,827 | 320 | 15,147 |
| 13 | Subject to standardised approach | 130,297 | 14,835 | 145,132 | 41,363 | 1,366 | 42,729 |
| 14 | of which Corporate (including SME) | 16,223 | 243 | 16,466 | 12,728 | 216 | 12,944 |
| 15 | of which Residential mortgage | 64,343 | - | 64,343 | 22,385 | - | 22,385 |
| 16 | of which Sovereign | 11,080 | 239 | 11,319 | - | 239 | 239 |
| 17 | of which Other exposures | 13,032 | 11,328 | 24,360 | 4,222 | 465 | 4,687 |
| 18 | of which RBNZ regulated banking subsidiary | 25,619 | 3,025 | 28,644 | 2,028 | 446 | 2,474 |
| 19 | Total credit and counterparty credit risk | 1,298,643 | 58,234 | 1,356,877 | 361,775 | 14,345 | 376,120 |
| 20 | Credit valuation adjustment | 4,991 | |||||
| 21 | Securitisation exposures in banking book | 15,963 | 2,535 | ||||
| 22 | Total subject to calculation of RWA for credit risk | 1,372,840 | 383,646 | ||||
| 23 | Market risk | 7,719 | |||||
| 24 | Operational risk | 53,773 | |||||
| 25 | Interest rate risk in the banking book | 20,741 | |||||
| 26 | Floor adjustment | 10,951 | |||||
| 27 | Total RWA | 476,830 |
The table below outlines the comparison of modelled and standardised RWA at Risk level.
| Sep 25 | ||||||||
|---|---|---|---|---|---|---|---|---|
| RWA | ||||||||
| RWA for modelled approaches that banks have supervisory approval to use |
RWA for portfolios where standardised approaches are used |
Total Actual RWA | RWA calculated using full standardised approach |
|||||
| \$M | \$M | \$M | \$M | |||||
| 1 | Credit risk (excluding counterparty credit risk) | 309,697 | 40,401 | 350,098 | 539,346 | |||
| 2 | Counterparty credit risk | 12,128 | 1,098 | 13,226 | 26,205 | |||
| 3 | Credit valuation adjustment | 3,768 | 3,768 | 3,768 | ||||
| 4 | Securitisation exposures in the banking book | - | 2,491 | 2,491 | 2,491 | |||
| 5 | Market risk | 5,377 | 1,518 | 6,895 | 6,895 | |||
| 6 | Operational risk | 53,773 | 53,773 | 53,773 | ||||
| 7a | IRRBB | 24,797 | 24,797 | |||||
| 7 | Residual RWA1 | - | 3,499 | 3,499 | - | |||
| 8 | Total | 351,999 | 106,548 | 458,547 | 632,478 |
1 Reflects the standardised floor adjustment.
| Jun 25 RWA |
|||||||
|---|---|---|---|---|---|---|---|
| RWA for modelled approaches that banks have supervisory approval to use |
RWA for portfolios where standardised approaches are used |
Total Actual RWA | RWA calculated using full standardised approach |
||||
| \$M | \$M | \$M | \$M | ||||
| 1 | Credit risk (excluding counterparty credit risk) | 320,412 | 41,363 | 361,775 | 561,941 | ||
| 2 | Counterparty credit risk | 12,979 | 1,366 | 14,345 | 26,737 | ||
| 3 | Credit valuation adjustment | 4,991 | 4,991 | 4,991 | |||
| 4 | Securitisation exposures in the banking book | - | 2,535 | 2,535 | 2,535 | ||
| 5 | Market risk | 6,526 | 1,193 | 7,719 | 7,719 | ||
| 6 | Operational risk | 53,773 | 53,773 | 53,773 | |||
| 7a | IRRBB | 20,741 | 20,741 | ||||
| 7 | Residual RWA | - | 10,951 | 10,951 | - | ||
| 8 | Total | 360,658 | 116,172 | 476,830 | 657,696 |
| Mar 25 | |||||
|---|---|---|---|---|---|
| RWA | |||||
| RWA for modelled approaches that banks have supervisory approval to use |
RWA for portfolios where standardised approaches are used |
Total Actual RWA | RWA calculated using full standardised approach |
||
| \$M | \$M | \$M | \$M | ||
| 1 | Credit risk (excluding counterparty credit risk) | 314,528 | 42,612 | 357,140 | 554,974 |
| 2 | Counterparty credit risk | 12,604 | 1,205 | 13,809 | 27,287 |
| 3 | Credit valuation adjustment | 4,736 | 4,736 | 4,736 | |
| 4 | Securitisation exposures in the banking book | - | 2,396 | 2,396 | 2,396 |
| 5 | Market risk | 5,566 | 1,288 | 6,854 | 6,854 |
| 6 | Operational risk | 50,648 | 50,648 | 50,648 | |
| 7a | IRRBB | 21,357 | 21,357 | ||
| 7 | Residual RWA | - | 12,059 | 12,059 | - |
| 8 | Total | 354,055 | 114,944 | 468,999 | 646,895 |
In accordance with current prudential regulations, APRA (and Reserve Bank of New Zealand (RBNZ) in the New Zealand context) has approved ANZ's use of the internal ratings-based approach for calculating the required capital for the majority of credit risk and counterparty credit risk exposures, with the standardised approach used for only a relatively small proportion of credit exposures. Noting the Suncorp Bank portfolio continues to calculate required capital under the standardised approach.
Methodological differences primarily arise due to the measurement of exposure at default (EAD) and the risk weights applied. In both cases, the treatment of credit risk mitigation, such as collateral, can have a significant effect. In line with the BCBS objectives, the internal model approach aims to balance the maintaining of prudent levels of capital while encouraging, where appropriate, the use of advanced risk management techniques.
Under the internal ratings-based approach, internal estimates of the probability of default (PD) and the loss given default (LGD), and for wholesale exposures the maturity, are used as inputs to the risk-weight formula for calculating RWA. Additionally, a 1.1 scaling factor is applied to internal ratings-based exposures. Under the standardised approach, risk weights are less granular and are driven by ratings provided by external credit assessment institutions (ECAIs) or the amount of collateral with which an exposure is secured which is used in the loan to value ratio (LVR).
The material divergences between the Standardised and Internal Ratings-Based approaches are in the Corporate and Financial Institutions asset classes. Much of this comes about due to the limited availability of external credit ratings across the portfolios, including for high-quality Institutional customers. Under the Standardised rules for unrated exposures, the risk-weight outcome is relatively conservative with only minor difference in treatment between customer credit profiles, resulting in a material divergence to the Internal Ratings-Based outcome for the same portfolios.
The Retail Residential Mortgage sub-asset class also exhibits conservatism in the standardised approach driven by the prescribed risk weights primarily using LVR.
Prescribed credit conversion factors (CCF's) applied to off-balance sheet amounts are mostly consistent across internal ratings-based and standardised approaches. Some differences are observed in non-revolving retail exposures (requiring 100% CCF in internal ratings-based) and revolving retail exposures (allowing an internal estimate under internal ratings-based).
The table below outlines the comparison of modelled and standardised RWA at asset class level.
This table has minor modifications from the original BCBS standard. Additional detail on these modifications has been provided in Appendix 1.
| Sep 25 | |||||
|---|---|---|---|---|---|
| RWA for modelled approaches that banks have supervisory approval to use |
RWA for portfolios where standardised approaches are used |
Total Actual RWA | RWA calculated using full standardised approach |
||
| \$M | \$M | \$M | \$M | ||
| 1 | Sovereign | 10,107 | 10 | 10,117 | 11,532 |
| 2 | Financial Institutions | 23,207 | 170 | 23,377 | 54,635 |
| 5 | Corporates | 98,114 | 12,237 | 110,351 | 192,132 |
| of which: FIRB is applied | 34,388 | 34,388 | 66,678 | ||
| of which: AIRB is applied1 | 63,726 | 63,726 | 113,154 | ||
| 6 | Retail | 108,228 | 22,495 | 130,723 | 180,192 |
| of which: qualifying revolving retail | 3,032 | - | 3,032 | 6,335 | |
| of which: other retail | 1,642 | 88 | 1,730 | 1,403 | |
| of which: retail residential mortgages2 | 94,135 | 22,407 | 116,542 | 162,051 | |
| of which: retail SME | 9,419 | - | 9,419 | 10,403 | |
| 7 | Specialised lending3 | 5,901 | 219 | 6,120 | 8,423 |
| 8 | Others | - | 3,440 | 3,440 | 3,440 |
| 9 | RBNZ regulated entities | 64,140 | 1,830 | 65,970 | 88,992 |
| 10 | Total | 309,697 | 40,401 | 350,098 | 539,346 |
1 Includes a \$4.2 billion RWA overlay relating to an IPRE risk weight floor.
3 Specialised Lending exposures subject to supervisory slotting approach are those where the main servicing and repayment is from the asset being financed and includes project finance.
| Mar 25 | |||||
|---|---|---|---|---|---|
| RWA for modelled approaches that banks have supervisory approval to use |
RWA for portfolios where standardised approaches are used |
Total Actual RWA | RWA calculated using full standardised approach |
||
| \$M | \$M | \$M | \$M | ||
| 1 | Sovereign | 10,983 | - | 10,983 | 12,634 |
| 2 | Financial Institutions | 23,781 | 170 | 23,951 | 58,042 |
| 5 | Corporates | 101,166 | 13,828 | 114,994 | 202,614 |
| of which: FIRB is applied | 34,587 | 34,587 | 70,824 | ||
| of which: AIRB is applied | 66,579 | 66,579 | 117,962 | ||
| 6 | Retail | 109,096 | 22,137 | 131,233 | 177,453 |
| of which: qualifying revolving retail | 3,155 | - | 3,155 | 6,434 | |
| of which: other retail | 1,636 | 167 | 1,803 | 1,479 | |
| of which: retail residential mortgages | 94,747 | 21,970 | 116,717 | 159,147 | |
| of which: retail SME | 9,558 | - | 9,558 | 10,393 | |
| 7 | Specialised lending | 6,929 | 143 | 7,072 | 10,006 |
| 8 | Others | - | 4,329 | 4,329 | 4,329 |
| 9 | RBNZ regulated entities | 62,573 | 2,005 | 64,578 | 89,896 |
| 10 | Total | 314,528 | 42,612 | 357,140 | 554,974 |
For key drivers of differences between the internally modelled amounts and those that would be disclosed under the standardised approach, see Table CMS1.
Suncorp Bank is a standardised ADI with Credit RWA calculated based on APS 112 and as such is reflected in the above table under RWA for portfolios where standardised approaches are used, predominantly in the Corporates and Residential Mortgages Asset Classes.
2 Retail Residential Mortgages RWA include a \$3.1 billion overlay for the PD model introduced from 30 June 2024 reporting period.
The head of the Level 2 Group to which this prudential standard applies is ANZ BH Pty Ltd (ANZ Bank HoldCo).
Table CC1 of this chapter consists of a Common Disclosure template that assists users in understanding the differences between the application of the Basel III reforms in Australia and those rules as detailed in the document Finalised Basel III post-crisis reforms issued by the Bank for International Settlements. The capital disclosure template in this chapter is the post January 2018 version as ANZ is fully applying the Basel III regulatory adjustments, as implemented by APRA.
The information in the lines of the template has been mapped to ANZ's Level 2 balance sheet, which adjusts for non-consolidated subsidiaries as required under APS 001 Definitions.
ANZ operates branches and locally incorporated subsidiaries in many countries. These operations are capitalised at an appropriate level to cover the risks in the business and to meet local prudential requirements. This level of capitalisation may be enhanced to meet local taxation and operational requirements. Any repatriation of capital from subsidiaries or branches is subject to meeting the requirements of the local prudential regulator and/or the local central bank. Apart from ANZ's operations in New Zealand, local country capital requirements do not impose any material call on ANZ's capital base.
ANZ undertakes banking activities in New Zealand principally through its wholly owned subsidiary, ANZ Bank New Zealand Limited (ANZ New Zealand), which is subject to minimum capital requirements as set by the Reserve Bank of New Zealand (RBNZ). ANZ New Zealand maintains a buffer above the minimum capital base required by the RBNZ. This capital buffer has been calculated via the ICAAP undertaken for ANZ New Zealand, to ensure ANZ New Zealand is appropriately capitalised under stressed economic scenarios.
To ensure that an Authorised Deposit-taking Institution (ADI) is adequately capitalised on both a standalone and group basis, APRA adopts a tiered approach to the measurement of an ADI's capital adequacy by assessing the ADI's financial strength at three levels:
Level 1 - being the ADI i.e., ANZBGL, consolidated with APRA-approved subsidiaries, to form the ADI's Extended Licensed Entity (ELE).
Level 2 - being the consolidated ANZBGL group for financial reporting purposes adjusted to exclude associates' activities and certain subsidiaries referenced under APS 001 Definitions that undertake the following business activities:
Level 3 – the consolidated ANZGHL group for financial reporting purposes.
ANZ measures capital adequacy monthly and reports for prudential purposes on a Level 1 and Level 2 basis. This Pillar 3 report is based on the Level 2 prudential structure.
APRA's authority for ANZGHL to be a non-operating holding company (NOHC) of an ADI includes five conditions for ANZ's capital management framework. Two of these are quantitative requirements being:
For further details on Level 3 Capital, refer to Note 24 Capital Management of ANZGHL's 2025 Annual Report.
For details on key regulatory capital management developments, refer to Capital Management – Other Developments section of the Results Announcement.
For a list of all material subsidiaries and a brief description of their key activities, refer to Note 24 Controlled Entities of ANZBGL's 2025 Annual Report.

Details of the main features of the ANZ Group's regulatory capital instruments, together with the terms and conditions of those capital instruments, are available at https://www.anz.com/shareholder/centre/reporting/regulatory-disclosure/regulatory-capital-instruments/.
1 Beneficial interests in 1835i trusts were divested in October 2025.
The table below shows the components of regulatory capital.
This table has minor modifications from the original BCBS standard. Additional detail on these modifications has been provided in Appendix 1.
| Amounts | Amounts | Source based on reference of the balance sheet under the regulatory scope |
||
|---|---|---|---|---|
| Sep 25 \$M |
Mar 25 \$M |
of consolidation | ||
| Common Equity Tier 1 capital: instruments and reserves | ||||
| 1 | Directly issued qualifying common share (and equivalent for non-joint stock companies) | 26,750 | 26,725 | |
| 2 | capital plus related stock surplus Retained earnings |
43,884 | 43,638 | a |
| 3 | Accumulated other comprehensive income (and other reserves) | (1,173) | (750) | |
| 4 | Directly issued capital subject to phase-out from CET1 capital (only applicable to non joint stock companies) |
- | - | |
| 5 | Common share capital issued by subsidiaries and held by third parties (amount allowed in group CET1 capital) |
2 | 2 | |
| 6 | Common Equity Tier 1 capital before regulatory adjustments | 69,463 | 69,615 | |
| Common Equity Tier 1 capital: regulatory adjustments | ||||
| 7 | Prudent valuation adjustments | - | - | |
| 8 | Goodwill (net of related tax liability) | 4,165 | 4,117 | b |
| 9 | Other intangibles other than mortgage servicing rights (MSR) (net of related tax liability) | 1,434 | 1,482 | |
| 10 | Deferred tax assets (DTA) that rely on future profitability, excluding those arising from temporary differences (net of related tax liability) |
- | - | |
| 11 | Cash flow hedge reserve | 170 | (219) | c |
| 12 | Shortfall of provisions to expected losses | 25 | 304 | |
| 13 | Securitisation gain on sale (as set out in [CAP30.14]) | - | - | |
| 14 | Gains and losses due to changes in own credit risk on fair valued liabilities | 231 | 257 | |
| 15 | Defined benefit pension fund net assets | 134 | 130 | |
| 16 | Investments in own shares (if not already subtracted from paid-in capital on reported balance sheet) |
- | - | |
| 17 | Reciprocal cross-holdings in common equity | - | - | |
| 18 | Investments in the capital of banking, financial and insurance entities that are outside the scope of regulatory consolidation, where the bank does not own more than 10% of the issued share capital (amount above 10% threshold) |
- | - | |
| 19 | Significant investments in the common stock of banking, financial and insurance entities that are outside the scope of regulatory consolidation (amount above 10% threshold) |
- | - | |
| 20 | MSR (amount above 10% threshold) | - | - | |
| 21 | DTA arising from temporary differences (amount above 10% threshold, net of related tax liability) |
- | - | |
| 22 | Amount exceeding the 15% threshold | - | - | |
| 23 | of which: significant investments in the common stock of financials | - | - | |
| 24 | of which: MSR | - | - | |
| 25 | of which: DTA arising from temporary differences | - | - | |
| 26 | National specific regulatory adjustments | 8,120 | 8,315 | |
| 26a | of which: treasury shares | - | - | |
| 26b | of which: Offset to dividends declared under a dividend reinvestment plan (DRP), to the extent to that the dividends are used to purchase new ordinary shares issued by the ADI |
- | - | |
| 26c | of which: deferred fee income | (546) | (496) | d |
| 26d | of which: equity investment in financial institutions not reported in rows 18, 19 and 23 |
2,333 | 2,926 | |
| 26e | of which: deferred tax assets not reported in rows 10, 21 and 25 | 3,720 | 3,412 | |
| 26f | of which: capitalised expenses | 2,550 | 2,430 | |
| 26g | of which: investments in commercial (non-financial) entities that are deducted under APRA rules |
5 | 5 | |
| 26h | of which: covered bonds in excess of asset cover in pools | - | - | |
| 26i 26j |
of which: undercapitalisation of a non-consolidated subsidiary of which: other national specific regulatory adjustments not reported in rows 26a to |
- 58 |
- 38 |
|
| 27 | 26i Regulatory adjustments applied to Common Equity Tier 1 capital due to insufficient |
- | - | |
| 28 | Additional Tier 1 and Tier 2 capital to cover deductions Total regulatory adjustments to Common Equity Tier 1 capital |
14,279 | 14,386 | |
| 29 | Common Equity Tier 1 capital (CET1) | 55,184 | 55,229 |
| Amounts | Amounts | Source based on reference of the balance sheet under |
||
|---|---|---|---|---|
| Sep 25 \$M |
Mar 25 \$M |
the regulatory scope of consolidation |
||
| Additional Tier 1 capital: instruments | ||||
| 30 | Directly issued qualifying additional Tier 1 instruments plus related stock surplus | 7,526 | 7,602 | |
| 31 | of which: classified as equity under applicable accounting standards | - | - | |
| 32 | of which: classified as liabilities under applicable accounting standards | 7,526 | 7,602 | |
| 33 | Directly issued capital instruments subject to phase out from Additional Tier 1 Capital | - | - | |
| 34 | Additional Tier 1 instruments (and CET1 instruments not included in row 5) issued by subsidiaries and held by third parties (amount allowed in group additional Tier 1 capital) |
- | - | |
| 35 | of which: instruments issued by subsidiaries subject to phase out | - | - | |
| 36 | Additional Tier 1 capital before regulatory adjustments | 7,526 | 7,602 | |
| Additional Tier 1 capital: regulatory adjustments | ||||
| 37 | Investments in own additional Tier 1 instruments | - | - | |
| 38 | Reciprocal cross-holdings in additional Tier 1 instruments | - | - | |
| 39 | Investments in the capital of banking, financial and insurance entities that are outside the scope of regulatory consolidation, where the bank does not own more than 10% of the issued common share capital of the entity (amount above 10% threshold) |
- | - | |
| 40 | Significant investments in the capital of banking, financial and insurance entities that are outside the scope of regulatory consolidation |
155 | 155 | e |
| 41 | National specific regulatory adjustments | 14 | 4 | |
| 41a | of which: holdings of capital instruments in group members by other group members on behalf of third parties |
- | - | |
| 41b | of which: investments in the capital of financial institutions that are outside the scope of regulatory consolidations not reported in rows 39 and 40 |
14 | 4 | |
| 41c | of which: other national specific regulatory adjustments not reported in rows 41a and 41b Regulatory adjustments applied to additional Tier 1 capital due to insufficient Tier 2 |
- | - | |
| 42 43 |
capital to cover deductions Total regulatory adjustments to additional Tier 1 capital |
- 169 |
- 159 |
|
| 44 | Additional Tier 1 capital (AT1) | 7,357 | 7,443 | |
| 45 | Tier 1 capital (T1 = CET1 + AT1) | 62,541 | 62,672 | |
| Tier 2 capital: instruments and provisions | ||||
| 46 | Directly issued qualifying Tier 2 instruments plus related stock surplus | 32,397 | 31,492 | |
| 47 | Directly issued capital instruments subject to phase out from Tier 2 Capital | - | - | |
| 48 | Tier 2 instruments (and CET1 and AT1 instruments not included in rows 5 or 34) issued by subsidiaries and held by third parties (amount allowed in group Tier 2) |
- | - | |
| 49 | of which: instruments issued by subsidiaries subject to phase out | - | - | |
| 50 | Provisions | 1,710 | 1,639 | |
| 51 | Tier 2 capital before regulatory adjustments | 34,107 | 33,131 | |
| Tier 2 capital: regulatory adjustments | ||||
| 52 | Investments in own Tier 2 instruments | 100 | 100 | |
| 53 | Reciprocal cross-holdings in Tier 2 instruments and other TLAC liabilities | - | - | |
| 54 | Investments in the capital and other TLAC liabilities of banking, financial and insurance entities that are outside the scope of regulatory consolidation, where the bank does not own more than 10% of the issued common share capital of the entity (amount above 10% threshold) |
- | - | |
| 55 | Significant investments in the capital and other TLAC liabilities of banking, financial and insurance entities that are outside the scope of regulatory consolidation (net of eligible short positions) |
- | - | |
| 56 | National specific regulatory adjustments | 197 | 200 | |
| 56a | of which: holdings of capital instruments in group members by other group members on behalf of third parties |
- | - | |
| 56b | of which: investments in the capital of financial institutions that are outside the scope of regulatory consolidation not reported in rows 54 and 55 |
174 | 192 | |
| 56c | of which: other national specific regulatory adjustments not reported in rows 56a and 56b |
23 | 8 | |
| 57 | Total regulatory adjustments to Tier 2 capital | 297 | 300 | |
| 58 | Tier 2 capital | 33,810 | 32,831 | |
| 59 | Total regulatory capital (= Tier 1 + Tier2) | 96,351 | 95,503 | |
| 60 | Total risk-weighted assets | 458,547 | 468,999 |
CC1: Composition of regulatory capital (continued)
| Amounts | Amounts | Source based on reference of the |
||
|---|---|---|---|---|
| Sep 25 | Mar 25 | balance sheet under the regulatory scope |
||
| \$M | \$M | of consolidation | ||
| Capital adequacy ratios and buffers | ||||
| 61 | Common Equity Tier 1 capital (as a percentage of risk-weighted assets) | 12.0% | 11.8% | |
| 62 | Tier 1 capital (as a percentage of risk-weighted assets) | 13.6% | 13.4% | |
| 63 | Total capital (as a percentage of risk-weighted assets) | 21.0% | 20.4% | |
| 64 | Institution-specific buffer requirement (capital conservation buffer plus countercyclical buffer requirements plus higher loss absorbency requirement, expressed as a percentage of risk-weighted assets) |
9.970% | 9.972% | |
| 65 | of which: capital conservation buffer requirement1 | 4.75% | 4.75% | |
| 66 | of which: bank-specific countercyclical buffer requirement | 0.7199% | 0.7219% | |
| 67 | of which: higher loss absorbency requirement | - | - | |
| 68 | Common Equity Tier 1 capital (as a percentage of risk-weighted assets) available after meeting the bank's minimum capital requirements |
7.5% | 7.3% | |
| National minima (if different from Basel III) | ||||
| 69 | National minimum Common Equity Tier 1 capital adequacy ratio (if different from Basel III minimum) |
- | - | |
| 70 | National minimum Tier 1 capital adequacy ratio (if different from Basel III minimum) | - | - | |
| 71 | National minimum Total capital adequacy ratio (if different from Basel III minimum) | - | - | |
| Amounts below the thresholds for deduction (before risk-weighting) | ||||
| 72 | Non-significant investments in the capital and other TLAC liabilities of other financial entities |
263 | 270 | |
| 73 | Significant investments in the common stock of financial entities | 2,258 | 2,852 | |
| 74 | MSR (net of related tax liability) | - | - | |
| 75 | DTA arising from temporary differences (net of related tax liability) | 3,720 | 3,412 | |
| Applicable caps on the inclusion of provisions in Tier 2 capital | ||||
| 76 | Provisions eligible for inclusion in Tier 2 capital in respect of exposures subject to standardised approach (prior to application of cap) |
351 | 352 | |
| 77 | Cap on inclusion of provisions in Tier 2 capital under standardised approach | 531 | 570 | |
| 78 | Provisions eligible for inclusion in Tier 2 capital in respect of exposures subject to internal ratings-based approach (prior to application of cap) |
1,359 | 1,287 | |
| 79 | Cap for inclusion of provisions in Tier 2 capital under internal ratings-based approach | 1,948 | 1,980 | |
Includes 1.0% buffer applied by APRA to ADIs deemed as domestic systemically important.
1
See commentary on drivers of changes in Capital over the reporting period in table KM1: Key Metrics.
The table below shows the bank's regulatory balance sheet and shows the link between a bank's balance sheet in its published financial statements and the numbers that are used in the composition of capital disclosure template set out in CC1.
This table has minor modifications from the original BCBS standard. Additional detail on these modifications has been provided in Appendix 1.
| Balance sheet as in published financial statements |
Under regulatory scope of consolidation |
Reference | ||
|---|---|---|---|---|
| As at Sep 25 | As at Sep 25 | |||
| Assets | \$M | \$M | ||
| 1 | Cash and Cash Equivalents | 155,209 | 155,208 | |
| 2 | Settlement Balances owed to ANZ | 23,394 | 23,394 | |
| 3 | Collateral Paid | 9,831 | 9,831 | |
| 4 | Trading securities | 48,248 | 48,248 | |
| 4a | of which: Financial Institutions capital instruments | - | ||
| 5 | Derivative financial instruments | 47,480 | 47,480 | |
| 6 | Investment Securities | 165,540 | 165,390 | |
| 6a | of which: significant investment in financial institutions equity instruments | 843 | ||
| 6b | of which: non-significant investment in financial institutions equity instruments | 75 | ||
| 6c | of which: Other entities equity investments | 5 | ||
| 6d | of which: collectively assessed provision | (34) | ||
| 8 | Net loans and advances | 829,986 | 824,588 | |
| 8a | of which: deferred fee income | (546) | d | |
| 8b | of which: collectively assessed provision | (3,512) | ||
| 8c | of which: individual provisions | (362) | ||
| 8d | of which: capitalised brokerage & Loan/Lease origination fees | 4,500 | ||
| 8f | of which: CET1 margin lending adjustment | - | ||
| 8g | of which: AT1 margin lending adjustment | - | ||
| 9 | Regulatory deposits | 541 | 541 | |
| 11 | Due from controlled entities | - | 57 | |
| 11a | of which: Significant investments in the Tier 2 capital of banking, financial and insurance entities that are outside the scope of regulatory consolidation |
- | ||
| 12 | Shares in controlled entities | - | 490 | |
| 12a | of which: Investment in deconsolidated financial subsidiaries | 335 | ||
| 12b | of which: AT1 significant investment in banking, financial and insurance entities that are outside the scope of regulatory consolidation |
155 | e | |
| 13 | Investment in associates | 1,140 | 1,140 | |
| 13a | of which: Financial Institutions | 1,140 | ||
| 14 | Current tax assets | 25 | 25 | |
| 15 | Deferred tax assets | 3,327 | 3,322 | |
| 16 | Goodwill and other intangible assets | 5,762 | 5,703 | |
| 16a | of which: Goodwill | 4,165 | b | |
| 16b | of which: Software | 996 | ||
| 16c | of which: other intangible assets (WDv) | 542 | ||
| 18 | Premises and equipment | 2,283 | 2,283 | |
| 19 | Other assets | 4,905 | 4,754 | |
| 19a | of which: Defined benefit superannuation fund net assets | 184 | ||
| 19b | of which: Capitalised Costs of Disposal | 58 | ||
| Total assets | 1,297,671 | 1,292,454 |
Balances under "of which" are disclosed in column: Under regulatory scope of consolidation.
| Balance sheet as in published financial statements |
Under regulatory scope of consolidation |
Reference | ||
|---|---|---|---|---|
| As at Sep 25 | As at Sep 25 | |||
| Liabilities | \$M | \$M | ||
| 20 | Settlement Balances owed by ANZ | 31,144 | 31,144 | |
| 21 | Collateral Received | 7,428 | 7,428 | |
| 22 | Deposits and other borrowings | 956,401 | 956,436 | |
| 23 | Derivative financial instruments | 43,902 | 43,902 | |
| 24 | Due to controlled entities | - | 698 | |
| 25 | Current tax liabilities | 537 | 475 | |
| 26 | Deferred tax liabilities | 226 | 226 | |
| 26a | of which: related to intangible assets | 162 | ||
| 26b | of which: related to capitalised expenses | 8 | ||
| 26c | of which: related to defined benefit superannuation fund | 50 | ||
| 30 | Payables and other liabilities | 15,147 | 14,879 | |
| 31 | Employee Entitlements | 688 | 688 | |
| 32 | Provisions | 2,479 | 2,482 | |
| 32a | of which: collectively assessed provision | 832 | ||
| 32b | of which: individually assessed provision | 37 | ||
| 33 | Debt Issuances | 169,274 | 163,877 | |
| 33a | of which: Directly issued qualifying Additional Tier 1 instruments | 7,452 | ||
| 33b | of which: Additional Tier 1 Instruments | - | ||
| 33d | of which: Directly issued qualifying Tier 2 instruments | 33,811 | ||
| Total liabilities | 1,227,226 | 1,222,235 | ||
| Net Assets | 70,445 | 70,219 | ||
| Shareholders' equity | \$M | \$M | ||
| 34 | Ordinary Share Capital | 27,053 | 26,976 | |
| 34a | of which: Share reserve | 226 | ||
| 35 | Reserves | (1,379) | (1,380) | |
| 35a | of which: Cash flow hedging reserves | 170 | c | |
| 36 | Retained earnings | 44,032 | 43,884 | a |
| 37 | Share capital and reserves attributable to shareholders of the company | 69,706 | 69,480 | |
| 38 | Non-controlling interests | 739 | 739 | |
| 39 | Total shareholders' equity | 70,445 | 70,219 |
Balances under "of which" are disclosed in column: Under regulatory scope of consolidation.
Refer to Appendix 2 for details of entities included within the accounting scope of consolidation but excluded from regulatory consolidation.
The table below outlines the differences in the basis of consolidation for accounting and regulatory purposes. It provides an allocation of the balance sheet line items reported under the scope of regulatory consolidation between the different regulatory risk frameworks.1
| Sep 25 | ||||||||
|---|---|---|---|---|---|---|---|---|
| Carrying values as | Carrying values under scope of |
Carrying values of items: | ||||||
| reported in published financial statements |
Subject to credit risk regulatory consolidation |
Subject to counterparty credit risk framework |
Subject to the securitisation framework |
Subject to the market risk framework |
Not subject to capital requirements or subject to deduction from capital |
|||
| \$M | \$M | \$M | \$M | \$M | \$M | \$M | ||
| Assets | ||||||||
| 1 | Cash and Cash Equivalents | 155,209 | 155,208 | 101,420 | 56,428 | - | 49,989 | - |
| 2 | Settlement Balances owed to ANZ | 23,394 | 23,394 | - | - | - | 17,559 | 5,835 |
| 3 | Collateral Paid | 9,831 | 9,831 | - | 9,831 | - | - | - |
| 4 | Trading securities | 48,248 | 48,248 | 21,460 | - | - | 33,613 | - |
| 5 | Derivative financial instruments | 47,480 | 47,480 | - | 47,424 | 56 | 46,170 | - |
| 6 | Investment Securities | 165,540 | 165,390 | 162,997 | - | 1,470 | - | 923 |
| 8 | Net loans and advances | 829,986 | 824,588 | 783,608 | 25,390 | 11,635 | 34,047 | 3,954 |
| 9 | Regulatory deposits | 541 | 541 | 541 | - | - | - | - |
| 10 | Assets held for sale | - | - | - | - | - | - | - |
| 11 | Due from controlled entities | - | 57 | 57 | - | - | - | - |
| 12 | Shares in controlled entities | - | 490 | - | - | - | - | 490 |
| 13 | Investment in associates | 1,140 | 1,140 | - | - | - | - | 1,140 |
| 14 | Current tax assets | 25 | 25 | 25 | - | - | - | - |
| 15 | Deferred tax assets | 3,327 | 3,322 | - | - | - | - | 3,322 |
| 16 | Goodwill and other intangible assets | 5,762 | 5,703 | - | - | - | - | 5,703 |
| 18 | Premises and equipment | 2,283 | 2,283 | 2,283 | - | - | - | - |
| 19 | Other assets | 4,905 | 4,754 | 4,512 | - | - | - | 242 |
| 20 | Total assets | 1,297,671 | 1,292,454 | 1,076,903 | 139,073 | 13,161 | 181,378 | 21,609 |
______________________________________ 1 Exposures may be subject to more than one risk framework and when this occurs the carrying value is reported in all columns that it attracts a capital charge. As a result, the sum of values in columns corresponding to the risk frameworks does not always equal the total carrying value under the scope of regulatory consolidation.
Sep 25 Carrying values as reported in published financial statements Carrying values under scope of regulatory consolidation Carrying values of items: Subject to credit risk framework Subject to counterparty credit risk framework Subject to the securitisation framework Subject to the market risk framework Not subject to capital requirements or subject to deduction from capital \$M \$M \$M \$M \$M \$M \$M Liabilities 1 Settlement Balances owed by ANZ 31,144 31,144 - - - 19,991 11,153 2 Collateral Received 7,428 7,428 - 7,428 - - - 3 Deposits and other borrowings 956,401 956,436 - 56,139 - 101,951 854,485 4 Derivative financial instruments 43,902 43,902 - 43,902 - 42,202 - 5 Due to controlled entities - 698 - - - - 698 6 Current tax liabilities 537 475 - - - - 475 7 Deferred tax liabilities 226 226 - - - - 226 11 Employee Entitlements 688 688 - - - - 688 12 Provisions 2,479 2,482 - - - - 2,482 13 Payables and other liabilities 15,147 14,879 - - - 3,960 10,919 14 Debt Issuances 169,274 163,877 - - - 103 163,774
15 Total liabilities 1,227,226 1,222,235 - 107,469 - 168,207 1,044,900
______________________________________ 1 Exposures may be subject to more than one risk framework and when this occurs the carrying value is reported in all columns that it attracts a capital charge. As a result, the sum of values in columns corresponding to the risk frameworks does not always equal the total carrying value under the scope of regulatory consolidation.
The table below reconciles the main differences between the accounting carrying values under the regulatory scope of consolidation and the exposures used for regulatory purposes, split as per the regulatory risk framework.1 The regulatory risk framework includes the following additional components:
| Sep 25 | ||||||
|---|---|---|---|---|---|---|
| Items subject to: | ||||||
| Total | Credit risk framework |
Counterparty credit risk framework |
Securitisation framework |
Market risk framework |
||
| \$M | \$M | \$M | \$M | \$M | ||
| 1 | Asset carrying value amount under scope of regulatory consolidation (as per Template LI1) |
1,270,845 | 1,076,903 | 139,073 | 13,161 | 181,378 |
| 2 | Liabilities carrying value amount under regulatory scope of consolidation (as per Template LI1) |
177,335 | - | 107,469 | - | 168,207 |
| 3 | Total net amount under regulatory scope of consolidation (Row 1 – Row 2) |
1,093,510 | 1,076,903 | 31,604 | 13,161 | 13,171 |
| 4 | Off-balance sheet amounts | 291,027 | 288,621 | - | 2,406 | |
| 5 | Differences in valuations | 43,451 | 2,233 | 41,108 | 111 | |
| 6 | Differences due to different netting rules, other than those already included in row 2 |
(18,117) | - | (18,116) | - | |
| 7 | Differences due to consideration of provisions | 3,870 | 3,870 | - | - | |
| 8 | Differences due to prudential filters | - | - | - | - | |
| 9 | Differences due to credit conversion factors | (122,801) | (122,801) | - | - | |
| 10 | Other Differences | - | - | - | - | |
| 11 | Exposure amounts considered for regulatory purposes |
1,290,940 | 1,248,826 | 54,596 | 15,678 |
1 The total reflects carrying values under regulatory consolidation, excluding items not subject to capital requirements or deducted from capital (LI1). Accordingly, the total will not align to the sum of the Credit, Securitisation, Counterparty Credit, and Market Risk frameworks.
The table below differentiates assets which are used to support funding or collateral needs ("encumbered assets") as at 30 September 2025 from those assets which are "unencumbered". Each of the reported values in the table is based on the carrying amount on the balance sheet using period-end values.
The Group mainly has the following sources of encumbrance:
As at 30 September 2025, ANZ Group has \$111.0 billion of encumbered assets, which is predominantly Debt securities \$57.6 billion and Net loans and advances of \$37.9 billion.
The Group has updated its March 2025 disclosures related to collateral paid and other assets. The collateral paid disclosure used a conservative method that showed the full gross collateral posted. As part of the update, \$7,345 million has been reclassified from Encumbered collateral paid to Unencumbered other assets. Additionally, \$1,579 million in certain property assets under a sale and leaseback arrangement have been reclassified as encumbered in other assets, following an assessment of the transaction's accounting treatment.
| Sep 25 | |||||
|---|---|---|---|---|---|
| Encumbered assets |
Unencumbered assets |
Total3 | |||
| \$M | \$M | \$M | |||
| 1 | Assets of the reporting institution | 110,958 | 1,186,713 | 1,297,671 | |
| 2 | Debt securities1 | 57,574 | 238,033 | 295,607 | |
| 3 | Net Loans and advances | 37,882 | 766,714 | 804,596 | |
| 4 | of which: Covered Bonds | 32,510 | - | 32,510 | |
| 5 | of which: Securitisations | 5,372 | - | 5,372 | |
| 6 | Collateral posted in connection with derivatives contracts2 | 13,912 | - | 13,912 | |
| 7 | Other assets | 1,590 | 181,966 | 183,556 |
Including securities held by reverse repurchase agreements.
________________________________
3 Total Assets from the consolidated balance sheet as reported in the ANZBGL Group's financial statements.
| Mar 25 | ||||||
|---|---|---|---|---|---|---|
| Encumbered assets4 |
Unencumbered assets4 |
Total4 | ||||
| \$M | \$M | \$M | ||||
| 1 | Assets of the reporting institution | 111,959 | 1,191,012 | 1,302,971 | ||
| 2 | Debt securities | 59,658 | 222,380 | 282,038 | ||
| 3 | Net Loans and advances | 37,059 | 767,352 | 804,411 | ||
| 4 | of which: Covered Bonds | 32,403 | - | 32,403 | ||
| 5 | of which: Securitisations | 4,656 | - | 4,656 | ||
| 6 | Collateral posted in connection with derivatives contracts | 13,663 | - | 13,663 | ||
| 7 | Other assets | 1,579 | 201,280 | 202,859 |
4 March comparative numbers have been restated to align with the change in methodology in the current period.
Initial margins required to open the position and any collateral placed for the market value of derivatives transactions (cash and non-cash collateral).
ANZ operates a diverse business structure with three major customer segments (retail banking, commercial banking, and institutional banking), across six divisions, 29 markets, and a broad cross-section of industries. Credit risk frameworks and policies are adopted across all segments and geographies in which ANZ operates, but align as necessary to accommodate the local regulatory, business and customer environment.
Credit risk is the risk of financial loss resulting from a counterparty failing to fulfil its obligations or a decrease in credit quality of a counterparty resulting in a deterioration of value.
ANZ has APRA approval to use the four approaches under the Internal Ratings based approach to credit risk, within APS 113.
As an IRB bank, ANZ's internal models generate the inputs into regulatory capital adequacy under the four approaches (see below), to determine the risk weighted asset calculations for both on and off-balance sheet committed exposures and expected loss (EL) calculations.
ANZ's internal models are used to generate three key risk components that serve as inputs to the IRB approach to credit risk:
Effective maturity (M) is also calculated as an input to the risk weighted asset calculation for wholesale asset classes.
Internal Rating Based Approaches:
Foundation IRB (FIRB) - ANZ provide its own estimates of PD and M, and use APRA supervisory estimates for LGD and EAD;
Advanced IRB (AIRB) (Wholesale) - ANZ use its own estimates of PD, LGD (excluding senior unsecured and subordinated corporate exposures) and M, and use APRA supervisory estimates for EAD;
Advanced IRB (AIRB) (Retail) - ANZ use its own estimates of PD, LGD and EAD (excluding non-revolving retail exposures for which ANZ use APRA supervisory EAD estimates); and
Supervisory slotting approach - ANZ use its own mapping of credit exposures to the supervisory slotting categories, and APRA supervisory risk weights and APRA supervisory estimates for EAD.
Exposures are either prescribed the standardised approach, such as Non-standard mortgages, Margin lending and Fixed Assets, or are subject to the standardised approach on the basis ANZ is not approved to use the IRB approach to credit risk.
Where ANZ does not have APRA approval to apply the IRB approach to specific portfolios, ANZ applies the Standardised approach to credit risk, under APS 112. This relates to portfolios where available data does not enable development of advanced internal models for PD, LGD and EAD estimates.
Suncorp Bank is a standardised ADI and calculates Credit Risk Capital per APS 112.
Under the Standardised approach, exposures are mapped to regulatory risk weights, mainly based on:
For these counterparties, external ratings are used as inputs into the RWA calculation. Refer to table CRD: Qualitative disclosure on banks' use of external credit rating for further details.
ANZ applies its full normal risk measurement and management framework to these segments for internal management purposes. Standardised segments will be migrated to IRB (AIRB or FIRB) if they reach a volume that generates sufficient data for development of advanced internal models.
ANZ also applies the above approach to meeting the new requirement that IRB ADIs calculate and disclose RWA under the standardised approach.
ANZ has a comprehensive framework to manage Credit Risk. The framework is top-down, being defined by credit principles and policies. Credit policies, requirements and procedures cover all aspects of the credit life cycle such as transaction structuring, risk grading, initial approval, ongoing management and problem debt management, as well as specialist policy topics.
The effectiveness of the credit risk management framework is assessed through various compliance and monitoring processes. These, together with portfolio selection and risk appetite setting, define and guide the credit process, organisation and staff. Refer to table OVA: Bank risk management approach for further details on the Risk Appetite Statement (RAS).
The Credit and Market Risk Committee (CMRC) is a senior executive level committee responsible for the oversight and control of credit, market and material financial risks across the ANZ Group. The Credit Rating System Oversight Committee (CRSOC) supports the CMRC, by providing oversight and control of the internal ratings system for credit risk in the wholesale and retail sectors, including credit model approvals and performance monitoring.
The primary responsibility for prudent and profitable management of credit risk assets and customer relationships rests with the business units. Business units are supported by an independent credit risk management function which is staffed by risk specialists. Independence is achieved by having all second line credit risk staff ultimately report to the Chief Risk Officer (CRO). ANZ's Risk function (Risk) performs key roles in portfolio management such as approving sector and customer appetite, development and validation of credit risk measurement systems, loan asset quality reporting, sensitivity analysis and stress testing in response to economic scenarios and development of the overall governance framework including credit policies and requirements, and adherence to regulations.
The authority to make credit decisions is delegated by the Board to the CEO who in turn delegates authority to the CRO. The CRO in turn delegates some of their credit discretion to individuals as part of a 'cascade' of authority from senior to the most junior credit officers via the Credit Approval Discretion (CAD) Framework. Within ANZ's wholesale business, credit approval for material judgemental lending is made on a 'dual approval' basis, jointly by the business writer in the business unit and the respective independent credit risk officer. Individuals must be suitably skilled and accredited in order to be granted and retain Credit Approval Discretion. Credit Approval Discretions are reviewed on an annual basis and may be varied based on the holder's performance. Credit decisions are subject to Division level hind sighting using a risk-based approach, with material approvals oversighted by the Group CRO, CRO Institutional and the BRC.
Programmed credit assessment typically covers Retail and some small business lending and refers to the automated assessment of credit applications using a combination of scoring (application and behavioural), policy rules and external credit reporting information. Where an application does not meet the automated assessment criteria it will be referred out for manual assessment.
Credit Risk Authorities that are delegated by the Suncorp Bank Board in the Credit Risk Management Policy (CRMP) to the ANZ Group CRO are, in turn, delegated to the CRO Suncorp Bank to facilitate credit risk management and day to day operations of Suncorp Bank. Authorities delegated by the Suncorp Bank Board in the CRMP to the CEO Suncorp Bank are partially delegated to the CRO Suncorp Bank. The CEO Suncorp Bank is ultimately accountable for the acceptance of credit risk through execution of credit risk authority on behalf of the Bank.
The Chief Risk Officer Suncorp Bank (CRO Suncorp Bank) establishes, approves, and oversees all Credit Policies and Underwriting Standards, the Credit Risk Authority Framework (CRAF), the Delegated Credit Authority Framework (DCAF) and the Concentration Risk Management Framework (CRMF). This authority has been delegated to the CRO Suncorp Bank by the ANZ Group CRO. The CEO Suncorp Bank and ANZ Group CRO delegate credit authorities to suitability accredited employees within the parameters of the CRMP and CRAF.
The credit risk management framework contains several portfolio direction and performance tools which enable Risk to play a fundamental role in monitoring the direction and performance of the portfolio. These include:
ANZ uses portfolio monitoring and analysis tools, technologies and techniques to assist with portfolio risk assessment and management. These assist in:
The credit risk management function at ANZ interacts closely with the broader Risk, compliance and internal audit functions to ensure a robust control environment.
The Group has an independent risk management function, headed by the CRO- the second line of defence. The Risk function at both divisional/functional and group levels, undertakes oversight, independent review, and assurance of business activities. The Group Compliance function develop and maintain relevant policies, provide subject matter expertise, and monitor compliance with the Group's Risk Appetite Statements.
The third line of defence, Internal Audit, provides independent and objective assurance regarding policy and regulatory compliance, performing objective assessments across all geographies and divisions, and independently reviewing the adequacy of the frameworks. Additionally, Internal Audit reports directly to the Board Audit Committee, evaluating the Risk Management Framework annually and facilitating comprehensive reviews every three years. Collectively, these functions monitor and report to executive management, the Board, and regulators, ensuring effective credit risk management within ANZ.
Credit risk management information systems, reporting and analysis are managed centrally and at the divisional and business unit level.
Periodic reporting provides confirmation of the effectiveness of processes, highlights emerging issues, and allows monitoring of portfolio trends by all levels of management and the Board.
Examples of reports include EAD, portfolio mix, risk grade profiles and migrations, RWAs, large exposure reporting, credit early alerts, watch and control lists, policy or appetite exceptions, impaired assets and provisions.
The table below presents a view of the credit quality of on- and off-balance sheet assets. Non-performing exposures are exposures captured by the definition of default (refer below table).
| Sep 25 Gross carrying values of Of which ECL accounting | Of which | |||||||
|---|---|---|---|---|---|---|---|---|
| Gross carryii | oross carrying values or | provisions for credit losses on SA exposures |
ECL accounting provisions | |||||
| Non- performing exposures |
Performing exposures | Allowances/ impairments 2 |
Allocated in regulatory category of Specific |
Allocated in regulatory category of General |
for credit losses on IRB exposures |
Net values | ||
| \$M | \$M | \$M | \$M | \$M | \$M | \$M | ||
| 1 | Loans | 8,181 | 816,422 | (3,874) | (89) | (286) | (3,499) | 820,729 |
| 2 | Debt Securities | - | 164,470 | (34) | - | (1) | (33) | 164,436 |
| 2a | of which: measured at amortising cost | - | 7,404 | (34) | - | (1) | (33) | 7,370 |
| 2b | of which: measured at fair value | - | 157,066 | - | - | - | - | 157,066 |
| 3 | Off-balance sheet exposures | 229 | 241,865 | (870) | (5) | (64) | (801) | 241,224 |
| За | Other financial assets | - | 254,953 | - | - | - | - | 254,953 |
| 4 | Total | 8,410 | 1,477,710 | (4,778) | (94) | (351) | (4,333) | 1,481,342 |
Gross carrying values exclude capitalised brokerage & loan/lease origination fees and unearned income.
Allowances/impairments of \$4,778 million include Collectively Assessed Provision for Credit Impairment of \$4,379 million, and Individually Assessed Provisions for Credit Impairment of \$399 million.
| Mar 25 | ||||||||
|---|---|---|---|---|---|---|---|---|
| Gross carryi | • | Of which ECL accounting provisions for credit losses on SA exposures |
Of which ECL accounting provisions for credit |
|||||
| Non- performing exposures |
Performing exposures | Allowances/ impairments |
Allocated in regulatory category of Specific |
Allocated in regulatory category of General |
losses on IRB exposures |
Net values | ||
| \$M | \$M | \$M | \$M | \$M | \$M | \$M | ||
| 1 | Loans | 8,077 | 808,198 | (3,761) | (53) | (292) | (3,416) | 812,514 |
| 2 | Debt Securities | - | 153,730 | (31) | - | - | (31) | 153,699 |
| 2a | of which: measured at amortising cost | - | 6,783 | (31) | - | - | (31) | 6,752 |
| 2b | of which: measured at fair value | - | 146,947 | - | - | - | - | 146,947 |
| 3 | Off-balance sheet exposures | 229 | 251,825 | (852) | (4) | (60) | (788) | 251,202 |
| 3a | Other financial assets | - | 298,501 | - | - | - | - | 298,501 |
| 4 | Total | 8,306 | 1,512,254 | (4,644) | (57) | (352) | (4,235) | 1,515,916 |
The table below presents the non-performing exposure balances, the flows between performing and non-performing exposure categories and reductions in the non-performing exposure balances due to write-offs.1
| Sep 25 | Mar 25 | ||
|---|---|---|---|
| \$M | \$M | ||
| 1 | Non-performing loans and debt securities at end of the previous reporting period | 8,306 | 7,451 |
| 2 | Loans and debt securities that have defaulted since the last reporting period | 3,963 | 4,179 |
| 3 | Returned to performing status | (1,816) | (1,499) |
| 4 | Amounts written off | (174) | (172) |
| 5 | Other changes2 | (1,869) | (1,653) |
| 6 | Non-performing loans and debt securities at end of the reporting period | 8,410 | 8,306 |
________________________________ Includes off-balance sheet exposures.
2 Other changes include repayments and foreign exchange impacts.
A facility is past due:
Days past due are the number of calendar days that have elapsed since the facility became past due.
ANZ uses the following definition of default:
A non-performing exposure is an exposure that is in default. An exposure will only be re-classified as performing when the exposure no longer meets the definition of default, and when repayments have been made when due over a continuous repayment period of at least 90 days (or over 6 months, per revised contractual terms, for restructured exposures), as required by APS 220 Credit Risk Management.
The measurement of expected credit losses reflects an unbiased, probability weighted prediction which evaluates a range of scenarios and takes into account the time value of money, past events, current conditions and forecasts of future economic conditions.
Expected credit losses are either measured over 12 months or the expected lifetime of the financial asset, depending on credit deterioration since origination, according to the following three-stage approach:
In determining what constitutes a SICR, ANZ considers both qualitative and quantitative information, including probability of default at origination and at the reporting date.
Expected credit losses are estimated on a collective basis for exposures in Stage 1 and Stage 2, and on either a collective or individual basis when transferred to Stage 3.
The definition of default used in measuring ECL is aligned to the definition used for internal credit risk management purposes across all portfolios. This definition is also in line with the regulatory definition of default.
Financial assets, including those that are well-secured, are considered credit-impaired for financial reporting purposes when they default. These assets are reported as Stage 3.
For regulatory purposes, specific provisions are defined as the provisions for credit-impaired exposures (i.e. stage 3 ECL). Specific provisions include individually assessed provisions, and stage 3 collectively assessed provisions.
Collectively assessed ECL is calculated as the product of the following credit risk factors at a facility level, discounted to incorporate the time value of money:
• Loss given default (LGD) - the expected loss in the event of the borrower defaulting, expressed as a percentage of the facility's EAD, taking into account direct and indirect recovery costs.
These credit risk factors are adjusted for current and forward-looking information through the use of macroeconomic variables.
Individually assessed ECL is assessed on a case-by-case basis for individually managed assets where doubt exists as to whether the full contractual amount will be received in a timely manner, taking into consideration factors such as the realisable value of security (or other credit mitigants), the likely return available upon liquidation or bankruptcy, legal uncertainties, estimated costs involved in recovery, the market price of the exposure in secondary markets and the amount and timing of expected receipts and recoveries.
When there is no realistic probability of recovery, loans are written off against the related impairment allowance on completion of the Group's internal processes and when all reasonably expected recoveries have been collected. In subsequent periods, any recoveries of amounts previously written-off are recorded as a release to the credit impairment charge in the Income Statement.
A restructured exposure is an exposure where a concession has been granted:
Restructures can be granted on performing and non-performing facilities. ANZ ensures that non-performing exposures, and exposures that are non-performing due to a restructure, maintain the non-performing status for a minimum of 6 months after being restructured.
| data used for comparatives for the purposes of this le Run | Sep 25 | ||||||||
|---|---|---|---|---|---|---|---|---|---|
| Gross carrying amount | of which: non-performing | Accounting provisions for non performing exposures |
|||||||
| Total of which: loans | of which: off balance sheet exposures |
of which: other financial assets |
Total | of which: individually assessed for ECL |
Total | of which: individual provision1 |
|||
| \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | ||
| 1 | Agriculture, Forestry, Fishing & Mining | 55,628 | 41,326 | 13,517 | 785 | 671 | 171 | 83 | 33 |
| 2 | Business & Property Services | 23,532 | 14,348 | 8,888 | 296 | 111 | 30 | 38 | 21 |
| 3 | Commercial Property | 80,758 | 62,782 | 16,593 | 1,383 | 462 | 228 | 64 | 36 |
| 4 | Construction | 13,211 | 6,508 | 6,657 | 46 | 148 | 44 | 43 | 19 |
| 5 | Electricity, Gas & Water Supply | 23,658 | 11,590 | 11,192 | 876 | 4 | 3 | 1 | 1 |
| 6 | Entertainment, Leisure & Tourism | 17,670 | 13,750 | 3,829 | 91 | 151 | 30 | 33 | 16 |
| 7 | Financial, Investment & Insurance | 402,472 | 86,293 | 51,424 | 264,755 | 23 | 8 | 9 | 6 |
| 8 | Government & Official Institutions | 146,648 | 2,436 | 1,173 | 143,039 | - | - | - | - |
| 9 | Manufacturing | 50,831 | 26,053 | 23,205 | 1,573 | 216 | 78 | 43 | 28 |
| 10 | Personal Lending | 20,788 | 6,897 | 13,853 | 38 | 99 | 22 | 81 | 15 |
| 11 | Residential Mortgage | 554,118 | 498,599 | 54,108 | 1,411 | 5,987 | 257 | 436 | 57 |
| 12 | Retail Trade | 17,969 | 11,480 | 6,418 | 71 | 219 | 122 | 101 | 83 |
| 13 | Transport & Storage | 21,170 | 11,644 | 8,736 | 790 | 62 | 34 | 18 | 12 |
| 14 | Wholesale Trade | 25,252 | 12,706 | 11,439 | 1,107 | 55 | 20 | 18 | 11 |
| 15 | Other | 32,415 | 18,191 | 11,062 | 3,162 | 202 | 98 | 82 | 61 |
| 16 | Total | 1,486,120 | 824,603 | 242,094 | 419,423 | 8,410 | 1,145 | 1,050 | 399 |
1 Losses from lower risk IPRE lending and total losses from IPRE lending are less than 0.3% and 0.5% of total IPRE exposures respectively in each of the past three years to 30 September 2025.
________________________________
| Sep 25 | |||||||||
|---|---|---|---|---|---|---|---|---|---|
| Gross carrying amount | of which: non-performing | Accounting provisions for non performing exposures |
|||||||
| Total of which: loans | of which: off balance sheet exposures |
of which: other financial assets |
Total | of which: individually assessed for ECL |
Total | of which: individual provision |
|||
| \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | ||
| 1 | Australia | 968,320 | 615,118 | 140,876 | 212,326 | 6,823 | 757 | 851 | 297 |
| 2 | New Zealand | 198,199 | 139,702 | 26,180 | 32,317 | 1,444 | 314 | 147 | 60 |
| 3 | International | 319,601 | 69,783 | 75,038 | 174,780 | 143 | 74 | 52 | 42 |
| 4 | Total | 1,486,120 | 824,603 | 242,094 | 419,423 | 8,410 | 1,145 | 1,050 | 399 |
| Sep 25 | |||||||||
|---|---|---|---|---|---|---|---|---|---|
| Gross carrying amount | |||||||||
| 30-59 Days | 60-89 Days | 90+ Days | Total | ||||||
| \$M | \$M | \$M | \$M | ||||||
| 1 | Corporate, SME and Other Lending | 331 | 279 | 999 | 1,609 | ||||
| 2 | Personal Lending | 40 | 24 | 65 | 129 | ||||
| 3 | Residential Mortgage | 1,512 | 994 | 4,231 | 6,737 | ||||
| 4 | Total | 1,883 | 1,297 | 5,295 | 8,475 |
1 Credit exposures that are 1 – 29 days past due are not disclosed separately as these do not substantially contribute to an elevated level of credit risk.
______________________________________
| Sep 25 | ||||||
|---|---|---|---|---|---|---|
| Gross carrying amount | ||||||
| Within 1 year |
1 to 5 years | More than 5 years |
No maturity specified2 |
Total | ||
| \$M | \$M | \$M | \$M | \$M | ||
| 1 | Loans | 132,675 | 153,282 | 527,856 | 10,790 | 824,603 |
| 2 | Off-balance sheet exposures | 78,806 | 87,807 | 46,812 | 28,669 | 242,094 |
| 3 | Other financial assets | 210,895 | 111,039 | 97,489 | - | 419,423 |
| 4 | Total | 422,376 | 352,128 | 672,157 | 39,459 | 1,486,120 |
2 No Maturity Specified predominately includes credit cards and residential mortgage equity manager accounts.
________________________________
| Sep 25 | ||
|---|---|---|
| \$M | ||
| 1 | Total Restructured Exposures | 1,393 |
Collateral is used to mitigate credit risk, as the secondary source of repayment in case the counterparty cannot meet its contractual repayment obligations1 . Types of collateral typically taken by ANZ include:
In some cases, such as where the customer risk profile is considered very sound or by the nature of the product, a transaction may not be supported by collateral.
ANZ's credit policy, requirements and processes set out the acceptable types of collateral, as well as a process by which additional instruments and/or asset types can be considered for approval.
For derivative transactions, APRA's CPS 226 "Margining and risk mitigation for non-centrally cleared derivatives" (CPS 226) has mandated Variation Margin and Initial Margin arrangements between covered entities, subject to trading volume thresholds. The operation of collateral agreements falls under a policy which establishes the control framework designed to ensure a robust and globally consistent approach to the management of collateralised exposures, as well as compliance with CPS 226 obligations.
For non-derivative and repo transactions, ANZ's credit risk modelling teams use historical internal loss data and other relevant external data to assist in determining the discount that each type of collateral would be expected to incur in a forced sale. The discounted value is used in the determination of the Security Indictor (SI) and LGD. For derivative transactions, ANZ haircuts the value of cash and securities collateral under CSA or GMRA to calculate the regulatory EAD, as per APRA's APS 112 and APS 180 Capital Adequacy: Counterparty Credit Risk (APS 180).
ANZ has well established policies, requirements and processes around collateral valuation and management that are reviewed regularly. The concepts of legal enforceability, certainty and current valuation are central to collateral management.
To achieve legal enforceability and certainty, ANZ uses standard collateral instruments or has specific documentation drawn up by external legal advisers, and where applicable, security interests are registered. The use of collateral management systems also provides certainty that the collateral has been properly taken, registered and stored.
In order to rely on the valuation of collateral assets, ANZ has developed comprehensive rules around acceptable types of valuations (including who may value an asset), frequency of revaluations and standard extension ratios for typical asset types. Upon receipt of a new valuation, the information is used to recalculate the SI (or to reassess the adequacy of the provision, in the case of an impaired asset) and in the calculation of LGD and LVR.
ANZ use guarantees for credit risk mitigation, which include but are not limited to, credit risk insurance and risk participation agreements. ANZ's credit policy stipulates the minimum requirements to qualify for credit risk mitigation.
For a guarantee to be recognised as eligible CRM, the guarantor must be unconditionally obliged to pay out in a timely manner in the event that the underlying counterparty fails to make a payment. The guarantor would have no direct control on the enforceability of the guarantee.
Netting is a form of credit risk mitigation in that it reduces EAD, by offsetting a customer's positive and negative balances with ANZ.
In order to apply on-balance sheet netting, the arrangement must be specifically documented with the customer and meet a number of legally enforceable requirements.
Netting is also used where the credit exposure arises from off-balance sheet market related transactions. For close-out netting to be utilised with counterparties, a legally enforceable eligible netting agreement in an acceptable jurisdiction must be in place. This means that each transaction is aggregated into a single net amount, and transactions are netted to arrive at a single overall sum.
1 For some products, the collateral provided is fundamental to its structuring so is not strictly the secondary source of repayment. For example, lending secured by trade receivables is typically repaid by the collection of those receivables.
ANZ uses market instruments, mainly interest rate and foreign exchange derivatives, as well as CDS Indices to hedge the Credit value adjustment (CVA) mark to market volatility of the markets derivative portfolio.
Besides collateral, guarantee support and derivatives described above, credit risk mitigation can also be achieved by prudent transaction structuring. For example, the risk in project finance lending can be mitigated by lending covenants, loan syndication and political risk insurance.
Taking collateral raises the possibility that ANZ may inadvertently increase its risk by becoming exposed to collateral concentrations. For example, in the same way that an over-exposure to a particular industry may mean that a bank is more sensitive to the performance of that industry, an overexposure to a particular collateral asset type may make ANZ more sensitive to the performance of that asset type.
ANZ does not believe that it has any material concentrations of collateral types, given the well diversified nature of its portfolio and diverse range of pledged collateral, and well embedded collateral review processes.
Right to break clauses are used in master agreement or in trade confirmation to reduce the term of long dated derivative trades. Additional termination triggers (close out of exposure) such as credit rating downgrade clauses and change in ownership clauses included in documentation are used to reduce credit exposure under specific credit events. ANZ uses central clearing houses to clear certain derivative transactions and reduce bilateral exposure. Settlement through Continuous Linked Settlement (CLS) is used to eliminate settlement risk for foreign exchange transactions with CLS members. In addition to the exchange of Variation margin and Initial Margin, APRA's CPS 226 also requires the following risk mitigation practices to be established for un-cleared derivatives between covered counterparties: trading relationship documentation; trade confirmation; portfolio reconciliation; portfolio compression; valuation processes; and dispute resolution processes.
The following table presents a detailed breakdown of ANZ's unsecured and secured loan and debt securities exposures.
The change in exposures secured by financial guarantees from \$9.4 billion in March 2025 to \$6.3 billion in September 2025 includes a reduction of \$1.8b due to a methodology change in the application of guarantees.
| Sep 25 | ||||||
|---|---|---|---|---|---|---|
| Exposures unsecured: carrying amount |
Exposures to be secured1 |
Exposures secured by collateral2 |
Exposures secured by financial guarantees |
Exposures secured by credit derivatives |
||
| \$M | \$M | \$M | \$M | \$M | ||
| 1 | Loans | 148,445 | 672,284 | 665,977 | 6,307 | - |
| 2 | Debt securities | 159,040 | 5,396 | 5,396 | - | - |
| 3 | Total | 307,485 | 677,680 | 671,373 | 6,307 | - |
| 4 | of which: non-performing | 103 | 7,095 | 7,095 | - | - |
Includes exposures partly or totally secured by collateral, financial guarantees, or credit derivatives.
2 Eligible Collateral could include physical collateral, cash collateral (cash, certificates deposits and bank bills issued by the lending ADI), gold bullion and highly rated debt securities.
| Mar 25 | ||||||
|---|---|---|---|---|---|---|
| Exposures unsecured: carrying amount |
Exposures to be secured |
Exposures secured by collateral |
Exposures secured by financial guarantees |
Exposures secured by credit derivatives |
||
| \$M | \$M | \$M | \$M | \$M | ||
| 1 | Loans | 139,021 | 673,493 | 664,074 | 9,419 | - |
| 2 | Debt securities | 148,538 | 5,161 | 5,161 | - | - |
| 3 | Total | 287,559 | 678,654 | 669,235 | 9,419 | - |
| 4 | of which: non-performing | 133 | 7,100 | 7,100 | - | - |
As noted in Table CRA General qualitative information about credit risk, under the Standardised approach, specific portfolios are mapped to regulatory risk weights, mainly based on the type of counterparty such as: Sovereign, Bank, Corporate and its external rating where the borrower is externally rated.
For these counterparties, external ratings by Standard & Poor's, Moody's Investors Service and Fitch Ratings are used as inputs into the RWA calculation. ANZ has mapped its master scale to the grading of these three External Credit Assessment Institutions (ECAIs).
Currently, external ratings are used to determine the RWA amounts associated with the exposures under the asset classes of Corporate, Sovereign and Bank.
External ratings utilised are either an issuer rating or an issue-specific rating. We rely on an issue-specific rating if it is available for the purposes of determining RWA for the exposures we hold. We utilise the issuer rating only for our exposures which rank pari-passu with senior claims of the issuer.
ANZ's rating system mapping to the gradings of external rating agencies is outlined in Table CRE.
The table below presents on-balance sheet and off-balance sheet exposures before and after credit conversion factors (CCF) and CRM as well as associated RWA and RWA density by asset classes.
This table has minor modifications from the original BCBS standard. Non performing exposures have been incorporated into the respective asset classes, providing further consistency with other tables. March 2025 comparative information has been restated accordingly (RWA of \$1.2 billion as at March 2025)1 . Refer also to Appendix 1.
| Sep 25 | ||||||
|---|---|---|---|---|---|---|
| Exposures before CCF and before CRM | Exposures post-CCF and post-CRM | RWA and RWA density | ||||
| On-balance sheet amount |
Off-balance sheet amount |
On-balance sheet amount |
Off-balance sheet amount |
RWA | RWA density | |
| \$M | \$M | \$M | \$M | \$M | % | |
| 1 Sovereigns |
10,939 | 10 | 10,939 | 10 | 10 | 0% |
| 4 Banks |
808 | - | 808 | - | 170 | 21% |
| 6 Corporate Exposures |
1,328 | 1,776 | 1,320 | 899 | 1,950 | 88% |
| 6a Specialised lending |
144 | 106 | 144 | 55 | 219 | 110% |
| 6b Commercial Property |
12,016 | 1,390 | 12,005 | 724 | 9,039 | 71% |
| 6c ADC |
495 | 349 | 495 | 342 | 1,248 | 149% |
| 8 Other Retail |
77 | 18 | 75 | 11 | 88 | 102% |
| 9 Residential Property |
59,908 | 10,210 | 59,906 | 4,821 | 22,407 | 35% |
| 11 Other Exposures |
9,709 | 26 | 9,708 | 26 | 357 | 4% |
| 11a Fixed Assets | 3,083 | - | 3,083 | - | 3,083 | 100% |
| 12 RBNZ regulated entities |
24,987 | 1,588 | 24,985 | 886 | 1,830 | 7% |
| 14 Total |
123,494 | 15,473 | 123,468 | 7,774 | 40,401 | 31% |
______________________________________ 1 March comparative numbers have been restated to align with the change in methodology in the current period.
Suncorp Bank is a standardised ADI with Credit RWA calculated based on APS 112 and as such is reflected in the above table, predominantly in the Sovereign, Residential and Commercial Property Asset Classes.
Residential Property 57,917 10,238 57,909 4,995 21,968 35% Other Exposures 7,452 1 7,452 1 912 12% 11a Fixed Assets 3,417 - 3,417 - 3,417 100% RBNZ regulated entities 26,050 1,795 26,080 1,003 2,005 7% Total 122,183 16,459 122,162 9,050 42,612 32%
| Mar 25 | |||||||
|---|---|---|---|---|---|---|---|
| Exposures before CCF and before CRM | Exposures post-CCF and post-CRM | RWA and RWA density | |||||
| On-balance sheet amount |
Off-balance sheet amount |
On-balance sheet amount |
Off-balance sheet amount |
RWA | RWA density | ||
| \$M | \$M | \$M | \$M | \$M | % | ||
| 1 | Sovereigns | 11,854 | - | 11,834 | - | - | 0% |
| 4 | Banks | 850 | - | 850 | - | 170 | 20% |
| 6 | Corporate Exposures | 1,626 | 2,455 | 1,620 | 1,838 | 3,194 | 92% |
| 6a | Specialised lending | 78 | 71 | 78 | 52 | 143 | 110% |
| 6b | Commercial Property | 12,327 | 1,465 | 12,315 | 786 | 9,398 | 72% |
| 6c | ADC | 510 | 340 | 508 | 333 | 1,239 | 147% |
| 8 | Other Retail | 102 | 94 | 99 | 42 | 166 | 118% |
The table below shows exposure at default post-CCF and CRM, broken down by Credit Exposure Class and risk weight.
This table has minor modifications from the original BCBS standard. Non performing exposures have been incorporated into the respective asset classes, providing further consistency with other tables. March 2025 comparative information has been restated accordingly (RWA of \$1.2 billion as at March 2025)1 . Refer also to Appendix 1.
| Sep 25 | ||||||||||||||||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Risk Weight % | 0 | 20 | 25 | 30 | 35 | 40 | 45 | 50 | 60 | 65 | 70 | 75 | 80 | 85 | 90 | 100 | 105 | 110 | 130 | 150 | 250 | 400 | 1,250 | Other | Total | |
| Credit exposure amount (post-CCF and post-CRM) \$M | ||||||||||||||||||||||||||
| 1 | Sovereigns | 10,938 | - | - | - | - | - | - | - | - | - | - | - | - | - | - | 11 | - | - | - | - | - | - | - | - | 10,949 |
| 4 | Banks | - | 723 | - | 85 | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | 808 |
| 6 | Corporate Exposures |
- | 152 | - | - | - | - | - | 112 | - | - | - | 101 | - 1,057 | - | 113 | - | 627 | - | 57 | - | - | - | - | 2,219 | |
| 6a Specialised lending |
- | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | 199 | - | - | - | - | - | - | 199 | |
| 6b Commercial Property |
- | - | - | - | - | - | - | - 5,844 | - 3,506 | 528 | - 1,420 | 806 | 194 | - | 222 | - | 209 | - | - | - | - | 12,729 | ||||
| 6c ADC | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | 14 | - | - | - | 823 | - | - | - | - | 837 | |
| 8 | Other Retail | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | 82 | - | - | - | 4 | - | - | - | - | 86 |
| 9 | Residential Property |
- 11,470 12,031 11,386 12,382 5,668 6,425 1,065 | 209 1,483 | 130 | - | 151 | 189 | - 1,659 | 273 | - | 139 | 67 | - | - | - | - | 64,727 | |||||||||
| 11 Other Exposures | 9,423 | 22 | - | - | - | - | - | - | - | - | - | - | - | - | - | 223 | - | 25 | - | - | 41 | - | - | - | 9,734 | |
| 11a Fixed Assets | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - 3,083 | - | - | - | - | - | - | - | - | 3,083 | ||
| 12 | RBNZ regulated entities |
21,666 2,452 | - | - | - | - | - | 829 | - | - | - | - | - | - | - | 924 | - | - | - | - | - | - | - | - | 25,871 | |
| 14 Total | 42,027 14,819 12,031 11,471 12,382 5,668 6,425 2,006 6,053 1,483 3,636 | 629 | 151 2,666 | 806 6,303 | 273 1,073 | 139 1,160 | 41 | - | - | - | 131,242 |
1 March comparative numbers have been restated to align with the change in methodology in the current period.
______________________________________
| Mar 25 | ||||||||||||||||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Risk Weight % | 0 | 20 | 25 | 30 | 35 | 40 | 45 | 50 | 60 | 65 | 70 | 75 | 80 | 85 | 90 | 100 | 105 | 110 | 130 | 150 | 250 | 400 | 1,250 | Other | Total | |
| Credit exposure amount (post-CCF and post-CRM) \$M | ||||||||||||||||||||||||||
| 1 | Sovereigns | 11,834 | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | 11,834 |
| 4 | Banks | - | 850 | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | 850 |
| 6 | Corporate Exposures |
- | - | - | - | - | - | - | 112 | - | - | - | 112 | - 1,990 | - | 147 | - 1,080 | - | 17 | - | - | - | - | 3,458 | ||
| 6a Specialised lending |
- | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | 130 | - | - | - | - | - | - | 130 | |
| 6b Commercial Property |
- | - | - | - | - | - | - | - 5,675 | - 3,579 | 566 | - 1,832 | 845 | 141 | - | 223 | - | 240 | - | - | - | - | 13,101 | ||||
| 6c ADC | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | 46 | - | - | - | 795 | - | - | - | - | 841 | |
| 8 | Other Retail | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - | 90 | - | - | - | 51 | - | - | - | - | 141 |
| 9 | Residential Property |
- 10,944 11,621 11,052 12,004 5,717 5,887 1,165 | 255 1,518 | 149 | - | 175 | 189 | - 1,713 | 290 | - | 153 | 72 | - | - | - | - | 62,904 | |||||||||
| 11 Other Exposures | 6,592 | 16 | - | - | - | - | - | - | - | - | - | - | - | - | - | 804 | - | - | - | - | 41 | - | - | - | 7,453 | |
| 11a Fixed Assets | - | - | - | - | - | - | - | - | - | - | - | - | - | - | - 3,417 | - | - | - | - | - | - | - | - | 3,417 | ||
| 12 | RBNZ regulated entities |
22,785 2,325 | - | - | - | - | - | 867 | - | - | - | - | - | - | - 1,106 | - | - | - | - | - | - | - | - | 27,083 | ||
| 14 Total | 41,211 14,135 11,621 11,052 12,004 5,717 5,887 2,144 5,930 1,518 3,728 | 678 | 175 4,011 | 845 7,464 | 290 1,433 | 153 1,175 | 41 | - | - | - | 131,212 |
CR5: Standardised approach – exposures by asset classes and risk weights (continued)
| Sep 25 | |||||
|---|---|---|---|---|---|
| On-balance sheet exposure | Off-balance sheet exposure | Weighted average CCF1 | Exposure | ||
| Risk weight | (pre-CCF) | (post-CCF and post-CRM) | |||
| 1 | Less than 40% | 88,120 | 10,101 | 46% | 92,730 |
| 2 | 40–70% | 23,994 | 2,141 | 60% | 25,270 |
| 3 | 75% | 536 | 137 | 68% | 629 |
| 4 | 85% | 2,365 | 914 | 49% | 2,817 |
| 5 | 90–100% | 6,575 | 1,015 | 53% | 7,110 |
| 6 | 105–130% | 1,070 | 743 | 56% | 1,485 |
| 7 | 150% | 788 | 422 | 88% | 1,160 |
| 8 | 250% | 41 | - | - | 41 |
| 9 | 400% | 5 | - | - | - |
| 10 | 1250% | - | - | - | - |
| 11 | Total exposures | 123,494 | 15,473 | 50% | 131,242 |
________________________________ Weighting is based on off-balance sheet exposure (pre-CCF).
| Mar 25 | |
|---|---|
| On-balance sheet exposure | Off-balance sheet exposure | Weighted average CCF | Exposure | ||
|---|---|---|---|---|---|
| Risk weight | (pre-CCF) | (post-CCF and post-CRM) | |||
| 1 | Less than 40% | 85,205 | 10,186 | 47% | 90,023 |
| 2 | 40–70% | 23,593 | 2,247 | 59% | 24,924 |
| 3 | 75% | 577 | 148 | 68% | 678 |
| 4 | 85% | 3,014 | 1,442 | 81% | 4,186 |
| 5 | 90–100% | 7,712 | 1,101 | 54% | 8,309 |
| 6 | 105–130% | 1,213 | 938 | 71% | 1,876 |
| 7 | 150% | 828 | 397 | 87% | 1,175 |
| 8 | 250% | 41 | - | - | 41 |
| 9 | 400% | - | - | - | - |
| 10 | 1250% | - | - | - | - |
| 11 | Total exposures | 122,183 | 16,459 | 55% | 131,212 |
Scope of the supervisor's acceptance of approach: Portfolios subject to the advanced IRB (AIRB) and foundation IRB (FIRB) approach
The following table summarises the types of borrowers and the rating approach adopted within each of ANZ's IRB portfolios:
| IRB Asset Class | Borrower Type | Rating Approach |
|---|---|---|
| Corporate | Corporations, partnerships or proprietorships that do not fit into any other | AIRB or |
| asset class. | FIRB where annual |
|
| Income Producing Real Estate | revenue > \$750m | |
| Sovereign | Central governments | FIRB |
| Central banks | ||
| Certain multilateral development banks | ||
| Residential Mortgages | Exposures secured by residential property | AIRB |
| Qualifying Revolving Retail | Australian consumer credit cards <\$100,000 limit | AIRB |
| Other Retail | Other lending to consumers | AIRB |
| Specialised Lending subject to | Project finance | IRB – Supervisory |
| supervisory slotting | Slotting | |
| Retail SME | Small business lending | AIRB |
| Financial Institutions | Banks, securities firms, insurance companies and leveraged funds | FIRB |
| Exposures of New Zealand |
Includes all exposures in all asset classes for New Zealand banking | AIRB and Supervisory |
| banking subsidiaries | subsidiaries. | Slotting |
In addition, where ANZ is not accredited to use the IRB based approach to credit risk, ANZ applies the Standardised approach to credit risk as detailed in table CRA.
On 31 July 2024 ANZ added Suncorp Bank to the ANZ Banking Group. Suncorp Bank is a standardised ADI with Credit RWA calculated based on APS 112 and as such will not be reflected in IRB specific disclosure tables.
As an IRB bank, ANZ's internal models generate the inputs into the risk weighted asset calculations for both on- and off-balance sheet committed exposures and expected loss (EL) calculations. ANZ's internal models are used to generate the three key risk components that serve as inputs to the IRB approach to credit risk: PD, EAD and LGD. Refer to table CRA General Qualitative Information about credit risk for definitions.
For wholesale asset classes, ANZ's rating system has two separate and distinct dimensions that:
ANZ's corporate PD master scale is APRA approved and comprises 27 rating grades. Each level/grade is separately defined and has a range of default probabilities attached to it. The PD master scale enables ANZ's rating system to be mapped to the grading's of external rating agencies, using the PD as a common element after ensuring that default definitions and other key attributes are aligned.
The following table demonstrates this alignment (for one-year PDs):
| ANZ CCR | Moody's | Standard & Poor's | PD Range |
|---|---|---|---|
| 0+ to 1- | Aaa to Aa3 | AAA to AA- | 0.0000 - 0.0346% |
| 2+ to 3+ | A1 to Baa1 | A+ to BBB+ | 0.0347 - 0.1636% |
| 3= to 4+ | Baa2 to Baa3 | BBB to BBB- | 0.1637 - 0.4004% |
| 4= to 6= | Ba1 to B1 | BB+ to B+ | 0.4005 – 2.7550% |
| 6- to 7= | B2 to B3 | B to B- | 2.7551 – 9.7980% |
| 7- to 8+ | Caa1 to Caa3 | CCC+ to CCC- | 9.7981 – 27.1109% |
| 8= | Ca to C | CC to C | 27.1110 – 99.9999% |
| 8-, 9 and 10 | Default | Default | 100% |
In the retail asset classes, most facilities utilise credit rating scores. The scores are calibrated to PDs, and used to allocate exposures to homogenous pools, along with LGD and EAD.
Across the Retail and Wholesale asset classes the Group uses a range of PD models to rate IRB exposures. There are 16 models with more than \$10bn of IRB EAD, accounting for 91% of total IRB exposures.
ANZ's rating system is a fundamental part of credit management and plays a key role in:
Regulatory capital, collectively assessed provisions and internal expected loss are calculated from the same data sources and starting from the same basis, however there are some differences between the factors used because several aspects of ANZ's rating system are adjusted in accordance with requirements for regulatory capital purposes. The most significant of these adjustments are the use for regulatory capital purposes of downturn LGDs; probability of default floors; the application of regulatory prescribed scalars such as the mortgage's scalars of 1.4, 1.7 and 2.5 and the mandatory use of the supervisory slotting approach for project finance and IPRE in NZ.
ANZ's rating system and credit risk estimates are governed by the BRC and several executive management committees and are underpinned by a comprehensive framework of controls that operate throughout ANZ. All policies, methodologies, model designs, model reviews, validations, responsibilities, systems and processes supporting the ratings systems are documented, and subject to review by Internal Audit.
The design, build and implementation of credit rating models resides with a specialist Group-level team. Credit rating models are owned by Risk teams. The use (including rating overrides) and performance of credit rating models is monitored by the relevant business and their counterparts in Risk and validated regularly by a separate specialist Group- level function. This cycle of design, build, implementation, monitoring and validation is overseen by the CRSOC and informs the need for new models or recalibration of existing models.
Internal Audit provides third line independent credit-related assurance activities, including providing an independent assessment of both the asset quality in the portfolio and the quality of credit decision making. It also assesses management controls from a "top down" portfolio oversight perspective as well as credit risk processes from a "bottom up" perspective based on individual customer file reviews.
Risk grades are an integral part of periodic reporting to the Board and executives. Refer to table CRA: General qualitative information on Credit Risk, section (c) Structure and organisation of the credit risk management and control function, for details on the committees responsible for oversight and control of the internal ratings system, including credit model approvals and performance monitoring.
In addition, the use of the rating system's outputs in key business unit performance measures in processes such as provisioning and the allocation of capital ensure that the rating system receives robust input from the business units, not just the specialist modelling teams.
Building reliable and accurate rating tools requires balancing of many factors including data availability (external data may be used in some circumstances, where it is relevant), the size of the segment (the more customers within the segment, the more likely that statistically reliable models can be built), and the need to be able to validate the model. Rating tool approaches include:
Regardless of what credit risk rating tool is used, lending staff rating a customer are required to review the model- generated PD (or CCR) and take into account any out-of-model factors or policy overlays in deciding whether or not to override the model rating. Overrides of a rating model to a better rating require approval from the independent credit risk function. The significance of the model for risk grading varies with the customer segment: models will dominate risk grading of homogenous, simple and data-rich segments such as in Retail, however for complex, specialised business segments expert knowledge and the highly customised nature of transactions will influence the rating outcome.
The table below provides the key parameters used for the calculation of capital requirements for credit risk exposures under the IRB approach.1 2 3
This table has minor modifications from the original BCBS standard. Additional detail on this modification has been provided in Appendix 1.
| Sep 25 | ||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Original on balance sheet gross exposure |
Off-balance sheet exposures |
Average CCF |
EAD post CRM and post CCF |
Average PD |
Number of Borrowers |
Average LGD |
Average maturity |
RWA RWA density | EL | Provisions | ||
| Portfolio/ PD scale |
||||||||||||
| AIRB | \$M | \$M | % | \$M | % | % | Yr | \$M | % | \$M | \$M | |
| Corporates | ||||||||||||
| 1 0.00 to <0.15 |
13,062 | 7,391 | 42% | 16,145 | 0.10% | 561 | 37% | 2.55 | 4,571 | 28% | 6 | |
| 2 0.15 to <0.25 |
7,290 | 5,478 | 42% | 9,570 | 0.20% | 1,157 | 34% | 2.50 | 3,876 | 41% | 9 | |
| 3 0.25 to <0.50 |
32,865 | 12,683 | 54% | 39,710 | 0.36% | 5,944 | 25% | 2.19 | 15,355 | 39% | 35 | |
| 4 0.50 to <0.75 |
24,865 | 6,025 | 58% | 28,352 | 0.65% | 7,619 | 21% | 2.10 | 12,516 | 44% | 40 | |
| 5 0.75 to <2.50 |
33,930 | 8,303 | 64% | 39,205 | 1.36% | 16,492 | 21% | 2.31 | 21,838 | 56% | 111 | |
| 6 2.50 to <10.00 |
3,373 | 600 | 61% | 3,737 | 4.34% | 2,296 | 22% | 2.32 | 2,870 | 77% | 37 | |
| 7 10.00 to <100.00 |
752 | 275 | 43% | 870 | 24.81% | 3,174 | 30% | 2.10 | 1,644 | 189% | 70 | |
| 8 100.00 (Default) |
1,010 | 103 | 55% | 1,067 | 100.00% | 784 | 28% | 2.57 | 1,056 | 99% | 277 | |
| 9 Sub-Total AIRB Corporates | 117,147 | 40,858 | 53% | 138,656 | 1.69% | 38,027 | 25% | 2.28 | 63,726 | 46% | 585 | 1,271 |
| Residential Mortgages | ||||||||||||
| 10 0.00 to <0.15 |
133,419 | 21,576 | 100% | 155,041 | 0.07% | 412,929 | 13% | - | 10,594 | 7% | 16 | |
| 11 0.15 to <0.25 |
22,691 | 1,374 | 100% | 24,067 | 0.18% | 43,664 | 14% | - | 2,369 | 10% | 6 | |
| 12 0.25 to <0.50 |
71,521 | 2,728 | 100% | 74,251 | 0.36% | 176,571 | 14% | - | 11,728 | 16% | 39 | |
| 13 0.50 to <0.75 |
14,299 | 1,234 | 100% | 15,536 | 0.64% | 40,739 | 16% | - | 4,031 | 26% | 16 | |
| 14 0.75 to <2.50 |
67,079 | 7,306 | 100% | 74,385 | 1.26% | 173,808 | 17% | - | 31,632 | 43% | 155 | |
| 15 2.50 to <10.00 |
23,235 | 115 | 100% | 23,350 | 4.15% | 56,808 | 15% | - | 17,476 | 75% | 148 | |
| 16 10.00 to <100.00 |
2,564 | 25 | 100% | 2,589 | 18.90% | 6,472 | 18% | - | 4,121 | 159% | 90 | |
| 17 100.00 (Default) |
4,300 | 15 | 100% | 4,316 | 100.00% | 10,064 | 28% | - | 12,184 | 282% | 331 | |
| 18 Sub-Total AIRB Residential Mortgages | 339,108 | 34,373 | 100% | 373,535 | 1.94% | 921,055 | 15% | - | 94,135 | 25% | 801 | 841 |
________________________________ 1 Excludes Specialised Lending subject to supervisory slotting.
2 Average maturity has been excluded for retail as it is not used in the RWA calculation.
3 The definition of a "borrower" differs across portfolios. In some instances, a wholesale borrower can be reported across more than one PD band.
CR6: IRB – Credit risk exposures by portfolio and PD range (continued)
| Sep 25 | ||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Portfolio/ | Original on balance sheet gross exposure |
Off-balance sheet exposures |
Average CCF |
EAD post CRM and post CCF |
Average PD |
Number of Borrowers |
Average LGD |
Average maturity |
RWA RWA density | EL | Provisions | |
| PD scale AIRB |
\$M | \$M | % | \$M | % | % | Yr | \$M | % | \$M | \$M | |
| Retail SME | ||||||||||||
| 19 0.00 to <0.15 |
20 | 104 | 83% | 105 | 0.12% | 1,176 | 15% | - | 5 | 5% | - | |
| 20 0.15 to <0.25 |
22 | 47 | 81% | 60 | 0.19% | 549 | 18% | - | 5 | 8% | - | |
| 21 0.25 to <0.50 |
345 | 469 | 78% | 711 | 0.39% | 9,087 | 27% | - | 136 | 19% | 1 | |
| 22 0.50 to <0.75 |
226 | 287 | 63% | 406 | 0.65% | 10,575 | 38% | - | 146 | 36% | 1 | |
| 23 0.75 to <2.50 |
4,037 | 1,184 | 79% | 4,977 | 1.60% | 39,978 | 26% | - | 1,873 | 38% | 18 | |
| 24 2.50 to <10.00 |
7,420 | 1,461 | 93% | 8,784 | 4.43% | 55,765 | 29% | - | 4,923 | 55% | 109 | |
| 25 10.00 to <100.00 |
883 | 91 | 92% | 966 | 17.19% | 28,717 | 51% | - | 1,213 | 126% | 75 | |
| 26 100.00 (Default) |
475 | 31 | 98% | 506 | 100.00% | 5,375 | 39% | - | 1,118 | 221% | 163 | |
| 27 Sub-Total AIRB Retail SME | 13,428 | 3,674 | 84% | 16,515 | 6.95% | 151,222 | 29% | - | 9,419 | 57% | 367 | 511 |
| Qualifying Revolving Retail (QRR) | ||||||||||||
| 28 0.00 to <0.15 |
1,507 | 6,164 | 73% | 6,018 | 0.11% | 653,111 | 74% | - | 313 | 5% | 5 | |
| 29 0.15 to <0.25 |
162 | 843 | 73% | 774 | 0.19% | 108,566 | 74% | - | 64 | 8% | 1 | |
| 30 0.25 to <0.50 |
593 | 1,937 | 77% | 2,075 | 0.36% | 253,401 | 75% | - | 292 | 14% | 6 | |
| 31 0.50 to <0.75 |
152 | 256 | 95% | 396 | 0.65% | 37,024 | 74% | - | 88 | 22% | 2 | |
| 32 0.75 to <2.50 |
1,045 | 880 | 98% | 1,905 | 1.36% | 186,468 | 79% | - | 787 | 41% | 20 | |
| 33 2.50 to <10.00 |
778 | 223 | 125% | 1,057 | 4.07% | 107,310 | 82% | - | 997 | 94% | 35 | |
| 34 10.00 to <100.00 |
168 | 28 | 129% | 204 | 19.92% | 28,790 | 81% | - | 430 | 211% | 33 | |
| 35 100.00 (Default) |
34 | 2 | 100% | 36 | 100.00% | 4,490 | 76% | - | 61 | 166% | 25 | |
| 36 Sub-Total AIRB QRR | 4,439 | 10,333 | 78% | 12,465 | 1.32% | 1,379,160 | 75% | - | 3,032 | 24% | 127 | 192 |
| Other Retail | ||||||||||||
| 37 0.00 to <0.15 |
5 | 34 | 97% | 38 | 0.09% | 18,169 | 78% | - | 7 | 19% | - | |
| 38 0.15 to <0.25 |
- | 1 | 75% | 1 | 0.19% | 8 | 81% | - | - | 35% | - | |
| 39 0.25 to <0.50 |
5 | 17 | 117% | 25 | 0.36% | 38,825 | 77% | - | 12 | 49% | - | |
| 40 0.50 to <0.75 |
2 | 3 | 114% | 6 | 0.65% | 13,284 | 76% | - | 4 | 69% | - | |
| 41 0.75 to <2.50 |
637 | 60 | 109% | 704 | 1.28% | 189,954 | 77% | - | 670 | 95% | 7 | |
| 42 2.50 to <10.00 |
521 | 24 | 105% | 546 | 3.95% | 102,891 | 78% | - | 669 | 122% | 17 | |
| 43 10.00 to <100.00 |
79 | 3 | 106% | 81 | 30.33% | 22,146 | 79% | - | 166 | 204% | 19 | |
| 44 100.00 (Default) |
49 | - | 100% | 49 | 100.00% | 25,437 | 81% | - | 114 | 231% | 37 | |
| 45 Sub-Total AIRB Other Retail | 1,298 | 142 | 106% | 1,450 | 7.25% | 410,714 | 78% | - | 1,642 | 113% | 80 | 124 |
| 46 Total AIRB | 475,420 | 89,380 | 75% | 542,621 | 2.03% | 2,900,178 | 19% | 2.28 | 171,954 | 32% | 1,960 | 2,939 |
CR6: IRB – Credit risk exposures by portfolio and PD range (continued)
| Sep 25 | ||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Portfolio/ PD scale |
Original on balance sheet gross exposure |
Off-balance sheet exposures |
Average CCF |
EAD post CRM and post CCF |
Average PD |
Number of Borrowers |
Average LGD |
Average maturity |
RWA RWA density | EL | Provisions | |
| FIRB | \$M | \$M | % | \$M | % | % | Yr | \$M | % | \$M | \$M | |
| Corporates | ||||||||||||
| 47 0.00 to <0.15 |
23,609 | 53,848 | 41% | 45,537 | 0.08% | 769 | 46% | 2.03 | 11,890 | 26% | 18 | |
| 48 0.15 to <0.25 |
11,159 | 17,236 | 37% | 17,544 | 0.20% | 433 | 49% | 2.16 | 8,428 | 48% | 17 | |
| 49 0.25 to <0.50 |
10,326 | 15,601 | 40% | 16,620 | 0.33% | 555 | 47% | 2.00 | 10,019 | 60% | 26 | |
| 50 0.50 to <0.75 |
1,643 | 2,646 | 32% | 2,498 | 0.61% | 110 | 40% | 2.39 | 1,833 | 73% | 6 | |
| 51 0.75 to <2.50 |
1,205 | 1,409 | 42% | 1,799 | 1.31% | 114 | 35% | 1.52 | 1,419 | 79% | 8 | |
| 52 2.50 to <10.00 |
124 | 188 | 46% | 210 | 3.37% | 6 | 60% | 0.96 | 359 | 171% | 4 | |
| 53 10.00 to <100.00 |
173 | 191 | 71% | 307 | 20.17% | 14 | 29% | 0.69 | 440 | 143% | 16 | |
| 54 100.00 (Default) |
115 | 44 | 49% | 136 | 100.00% | 32 | 45% | 0.38 | - | 0% | 61 | |
| 55 Sub-Total FIRB Corporates | 48,354 | 91,163 | 40% | 84,651 | 0.44% | 2,033 | 47% | 2.04 | 34,388 | 41% | 156 | 485 |
| Sovereign | ||||||||||||
| 56 0.00 to <0.15 |
223,259 | 5,478 | 21% | 224,405 | 0.02% | 173 | 9% | 2.71 | 4,544 | 2% | 5 | |
| 57 0.15 to <0.25 |
875 | 49 | 40% | 895 | 0.20% | 5 | 50% | 1.11 | 377 | 42% | 1 | |
| 58 0.25 to <0.50 |
1,314 | 2 | 62% | 1,315 | 0.26% | 4 | 50% | 0.82 | 607 | 46% | 2 | |
| 59 0.50 to <0.75 |
130 | 40 | 40% | 146 | 0.58% | 5 | 50% | 1.28 | 114 | 79% | - | |
| 60 0.75 to <2.50 |
1,281 | 22 | 40% | 1,289 | 1.32% | 16 | 50% | 0.09 | 1,275 | 99% | 9 | |
| 61 2.50 to <10.00 |
1,929 | - | 0% | 1,929 | 5.00% | 6 | 50% | 0.31 | 3,109 | 161% | 48 | |
| 62 10.00 to <100.00 |
27 | 306 | 1% | 29 | 22.26% | 8 | 50% | 0.13 | 81 | 276% | 3 | |
| 63 100.00 (Default) |
- | - | 0% | - | 0.00% | - | 0% | - | - | 0% | - | |
| 64 Sub-Total FIRB Sovereign | 228,815 | 5,897 | 20% | 230,008 | 0.07% | 217 | 10% | 2.65 | 10,107 | 4% | 68 | 35 |
| Financial Institutions | ||||||||||||
| 65 0.00 to <0.15 |
56,334 | 51,814 | 49% | 81,652 | 0.06% | 763 | 48% | 1.34 | 18,661 | 23% | 22 | |
| 66 0.15 to <0.25 |
1,200 | 1,916 | 25% | 1,687 | 0.20% | 72 | 46% | 1.43 | 820 | 49% | 2 | |
| 67 0.25 to <0.50 |
3,253 | 2,342 | 29% | 3,932 | 0.36% | 144 | 47% | 1.08 | 2,570 | 65% | 6 | |
| 68 0.50 to <0.75 |
672 | 380 | 40% | 826 | 0.58% | 109 | 43% | 1.51 | 624 | 76% | 2 | |
| 69 0.75 to <2.50 |
433 | 767 | 19% | 576 | 1.27% | 226 | 37% | 1.81 | 500 | 87% | 3 | |
| 70 2.50 to <10.00 |
9 | 7 | 78% | 14 | 5.24% | 20 | 38% | 2.22 | 22 | 154% | - | |
| 71 10.00 to <100.00 |
4 | 612 | 0% | 4 | 35.00% | 146 | 45% | 2.55 | 10 | 286% | 1 | |
| 72 100.00 (Default) |
4 | - | 73% | 4 | 100.00% | 9 | 50% | 2.84 | - | 0% | 2 | |
| 73 Sub-Total FIRB Financial Institutions | 61,909 | 57,838 | 46% | 88,695 | 0.09% | 1,489 | 47% | 1.34 | 23,207 | 26% | 38 | 187 |
| 74 Total FIRB | 339,078 | 154,898 | 41% | 403,354 | 0.15% | 3,739 | 26% | 2.24 | 67,702 | 17% | 262 | 707 |
CR6: IRB – Credit risk exposures by portfolio and PD range (continued)
| Sep 25 | ||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Portfolio/ PD scale |
Original on balance sheet gross exposure |
Off-balance sheet exposures |
Average CCF |
EAD post CRM and post CCF |
Average PD |
Number of Borrowers |
Average LGD |
Average maturity |
RWA RWA density | EL | Provisions | |
| RBNZ regulated entities | \$M | \$M | % | \$M | % | % | Yr | \$M | % | \$M | \$M | |
| Corporates | ||||||||||||
| 75 0.00 to <0.15 |
4,645 | 3,909 | 92% | 8,173 | 0.07% | 266 | 52% | 2.81 | 2,172 | 27% | 3 | |
| 76 0.15 to <0.25 |
1,241 | 1,163 | 91% | 2,282 | 0.20% | 331 | 44% | 1.97 | 1,025 | 45% | 2 | |
| 77 0.25 to <0.50 |
6,043 | 2,468 | 87% | 8,110 | 0.37% | 3,632 | 32% | 2.25 | 3,423 | 42% | 9 | |
| 78 0.50 to <0.75 |
5,678 | 1,282 | 85% | 6,745 | 0.66% | 3,741 | 30% | 2.07 | 3,459 | 51% | 14 | |
| 79 0.75 to <2.50 |
8,996 | 1,594 | 91% | 10,425 | 1.42% | 6,929 | 31% | 2.07 | 7,055 | 68% | 46 | |
| 80 2.50 to <10.00 |
1,744 | 290 | 91% | 2,007 | 4.85% | 1,010 | 32% | 1.71 | 2,131 | 106% | 31 | |
| 81 10.00 to <100.00 |
906 | 219 | 91% | 1,105 | 21.29% | 1,758 | 39% | 1.29 | 2,293 | 208% | 95 | |
| 82 100.00 (Default) |
224 | 19 | 95% | 242 | 100.00% | 190 | 31% | 0.94 | 549 | 227% | 41 | |
| 83 Sub-Total NZ Corporates | 29,477 | 10,944 | 90% | 39,089 | 2.06% | 17,857 | 37% | 2.21 | 22,107 | 57% | 241 | 463 |
| Residential Mortgages | ||||||||||||
| 84 0.00 to <0.15 |
14,967 | 6,903 | 105% | 22,207 | 0.08% | 160,950 | 16% | - | 856 | 4% | 3 | |
| 85 0.15 to <0.25 |
4,742 | 117 | 105% | 4,865 | 0.19% | 29,600 | 17% | - | 387 | 8% | 2 | |
| 86 0.25 to <0.50 |
33,149 | 801 | 105% | 33,989 | 0.37% | 166,381 | 18% | - | 4,797 | 14% | 23 | |
| 87 0.50 to <0.75 |
6,824 | 844 | 101% | 7,675 | 0.66% | 34,569 | 20% | - | 1,825 | 24% | 10 | |
| 88 0.75 to <2.50 |
29,743 | 295 | 106% | 30,056 | 1.38% | 132,660 | 21% | - | 11,565 | 38% | 85 | |
| 89 2.50 to <10.00 |
9,768 | 41 | 105% | 9,811 | 3.97% | 37,328 | 21% | - | 7,245 | 74% | 82 | |
| 90 10.00 to <100.00 |
425 | 12 | 106% | 438 | 11.38% | 1,817 | 21% | - | 535 | 122% | 10 | |
| 91 100.00 (Default) |
948 | 1 | 100% | 949 | 100.00% | 4,195 | 21% | - | 1,947 | 205% | 64 | |
| 92 Sub-Total NZ Residential Mortgage | 100,566 | 9,014 | 105% | 109,990 | 1.82% | 567,500 | 19% | - | 29,157 | 27% | 279 | 151 |
| Other Retail | ||||||||||||
| 93 0.00 to <0.15 |
42 | 1,568 | 101% | 1,618 | 0.11% | 171,575 | 77% | - | 885 | 55% | 25 | |
| 94 0.15 to <0.25 |
111 | 834 | 101% | 954 | 0.19% | 126,469 | 78% | - | 553 | 58% | 14 | |
| 95 0.25 to <0.50 |
298 | 694 | 101% | 1,002 | 0.34% | 157,772 | 78% | - | 674 | 67% | 15 | |
| 96 0.50 to <0.75 |
216 | 289 | 110% | 533 | 0.61% | 53,635 | 81% | - | 404 | 76% | 5 | |
| 97 0.75 to <2.50 |
622 | 321 | 89% | 907 | 1.29% | 146,161 | 78% | - | 833 | 92% | 11 | |
| 98 2.50 to <10.00 |
658 | 260 | 104% | 928 | 4.58% | 162,923 | 86% | - | 1,251 | 135% | 35 | |
| 99 10.00 to <100.00 |
121 | 5 | 112% | 127 | 18.22% | 101,438 | 85% | - | 231 | 182% | 18 | |
| 100 100.00 (Default) |
31 | 4 | 100% | 34 | 100.00% | 7,223 | 81% | - | 159 | 465% | 18 | |
| 101 Sub-Total NZ Other Retail | 2,099 | 3,975 | 101% | 6,103 | 1.98% | 927,196 | 79% | - | 4,990 | 82% | 141 | 73 |
| 102 Total RBNZ regulated entities | 132,142 | 23,933 | 97% | 155,182 | 1.89% | 1,512,553 | 26% | 2.21 | 56,254 | 36% | 661 | 687 |
CR6: IRB – Credit risk exposures by portfolio and PD range (continued)
| Mar 25 | |||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Portfolio/ PD scale |
Original on balance sheet gross exposure |
Off-balance sheet exposures |
Average CCF |
EAD post CRM and post CCF |
Average PD |
Number of Borrowers |
Average LGD |
Average maturity |
RWA RWA density | EL | Provisions | ||
| AIRB | \$M | \$M | % | \$M | % | % | Yr | \$M | % | \$M | \$M | ||
| Corporates | |||||||||||||
| 1 | 0.00 to <0.15 | 13,641 | 10,658 | 44% | 18,296 | 0.11% | 685 | 40% | 2.25 | 4,979 | 27% | 8 | |
| 2 | 0.15 to <0.25 | 8,498 | 6,398 | 40% | 11,076 | 0.20% | 1,204 | 34% | 2.38 | 4,309 | 39% | 8 | |
| 3 | 0.25 to <0.50 | 30,967 | 13,336 | 57% | 38,622 | 0.37% | 6,033 | 26% | 2.10 | 14,366 | 37% | 36 | |
| 4 | 0.50 to <0.75 | 24,672 | 6,714 | 65% | 29,060 | 0.65% | 7,793 | 22% | 2.19 | 12,919 | 44% | 42 | |
| 5 | 0.75 to <2.50 | 34,311 | 8,728 | 67% | 40,185 | 1.35% | 16,952 | 23% | 2.44 | 23,944 | 60% | 121 | |
| 6 | 2.50 to <10.00 | 3,328 | 588 | 53% | 3,639 | 4.30% | 2,253 | 21% | 2.12 | 2,632 | 72% | 33 | |
| 7 | 10.00 to <100.00 | 1,106 | 600 | 24% | 1,250 | 25.05% | 3,475 | 32% | 2.27 | 2,387 | 191% | 105 | |
| 8 | 100.00 (Default) | 964 | 53 | 66% | 999 | 100.00% | 864 | 30% | 2.80 | 1,043 | 104% | 247 | |
| 9 Sub-Total AIRB Corporates | 117,487 | 47,075 | 54% | 143,127 | 1.66% | 39,259 | 27% | 2.26 | 66,579 | 47% | 600 | 1,245 | |
| Residential Mortgages | |||||||||||||
| 10 | 0.00 to <0.15 | 126,780 | 21,426 | 100% | 148,255 | 0.08% | 407,409 | 13% | - | 10,133 | 7% | 15 | |
| 11 | 0.15 to <0.25 | 21,678 | 1,320 | 100% | 22,999 | 0.18% | 43,055 | 14% | - | 2,270 | 10% | 6 | |
| 12 | 0.25 to <0.50 | 70,184 | 2,688 | 100% | 72,873 | 0.36% | 176,852 | 14% | - | 11,546 | 16% | 38 | |
| 13 | 0.50 to <0.75 | 14,203 | 1,273 | 100% | 15,479 | 0.64% | 41,718 | 16% | - | 4,014 | 26% | 16 | |
| 14 | 0.75 to <2.50 | 68,637 | 6,915 | 100% | 75,552 | 1.26% | 179,890 | 17% | - | 32,177 | 43% | 158 | |
| 15 | 2.50 to <10.00 | 24,362 | 112 | 100% | 24,474 | 4.15% | 60,234 | 15% | - | 18,285 | 75% | 156 | |
| 16 | 10.00 to <100.00 | 2,524 | 20 | 100% | 2,543 | 18.53% | 6,405 | 18% | - | 3,886 | 153% | 84 | |
| 17 | 100.00 (Default) | 3,937 | 9 | 100% | 3,945 | 100.00% | 9,443 | 28% | - | 12,436 | 315% | 220 | |
| 18 Sub-Total AIRB Residential Mortgages | 332,305 | 33,763 | 100% | 366,120 | 1.88% | 925,006 | 15% | - | 94,747 | 26% | 693 | 651 | |
CR6: IRB – Credit risk exposures by portfolio and PD range (continued)
| Mar 25 | ||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Portfolio/ PD scale |
Original on balance sheet gross exposure |
Off-balance sheet exposures |
Average CCF |
EAD post CRM and post CCF |
Average PD |
Number of Borrowers |
Average LGD |
Average maturity |
RWA RWA density | EL | Provisions | |
| AIRB | \$M | \$M | % | \$M | % | % | Yr | \$M | % | \$M | \$M | |
| Retail SME | ||||||||||||
| 19 0.00 to <0.15 |
21 | 107 | 83% | 110 | 0.12% | 1,217 | 14% | - | 5 | 4% | - | |
| 20 0.15 to <0.25 |
19 | 50 | 81% | 60 | 0.19% | 553 | 17% | - | 4 | 7% | - | |
| 21 0.25 to <0.50 |
347 | 480 | 78% | 723 | 0.39% | 9,250 | 27% | - | 137 | 19% | 1 | |
| 22 0.50 to <0.75 |
226 | 278 | 63% | 402 | 0.65% | 10,364 | 38% | - | 143 | 35% | 1 | |
| 23 0.75 to <2.50 |
4,029 | 1,214 | 80% | 4,996 | 1.60% | 41,267 | 26% | - | 1,901 | 38% | 19 | |
| 24 2.50 to <10.00 |
7,475 | 1,415 | 93% | 8,796 | 4.42% | 57,940 | 29% | - | 4,877 | 55% | 109 | |
| 25 10.00 to <100.00 |
917 | 90 | 91% | 999 | 16.78% | 28,661 | 50% | - | 1,260 | 126% | 77 | |
| 26 100.00 (Default) |
487 | 36 | 98% | 523 | 100.00% | 5,757 | 40% | - | 1,231 | 235% | 174 | |
| 27 Sub-Total AIRB Retail SME | 13,521 | 3,670 | 84% | 16,609 | 7.02% | 155,009 | 30% | - | 9,558 | 58% | 381 | 517 |
| Qualifying Revolving Retail (QRR) | ||||||||||||
| 28 0.00 to <0.15 |
1,495 | 6,004 | 74% | 5,938 | 0.11% | 641,900 | 74% | - | 308 | 5% | 5 | |
| 29 0.15 to <0.25 |
175 | 875 | 73% | 811 | 0.19% | 111,495 | 74% | - | 68 | 8% | 1 | |
| 30 0.25 to <0.50 |
630 | 1,973 | 77% | 2,148 | 0.36% | 259,648 | 75% | - | 302 | 14% | 6 | |
| 31 0.50 to <0.75 |
164 | 267 | 96% | 420 | 0.65% | 38,814 | 74% | - | 94 | 22% | 2 | |
| 32 0.75 to <2.50 |
1,095 | 894 | 99% | 1,976 | 1.35% | 192,619 | 79% | - | 814 | 41% | 21 | |
| 33 2.50 to <10.00 |
827 | 235 | 125% | 1,121 | 4.07% | 112,903 | 82% | - | 1,057 | 94% | 37 | |
| 34 10.00 to <100.00 |
177 | 30 | 130% | 215 | 19.77% | 30,378 | 81% | - | 453 | 210% | 34 | |
| 35 100.00 (Default) |
38 | 2 | 100% | 40 | 100.00% | 4,817 | 76% | - | 59 | 148% | 27 | |
| 36 Sub-Total AIRB QRR | 4,601 | 10,280 | 78% | 12,669 | 1.38% | 1,392,574 | 76% | - | 3,155 | 25% | 133 | 214 |
| Other Retail | ||||||||||||
| 37 0.00 to <0.15 |
5 | 36 | 99% | 41 | 0.09% | 20,891 | 78% | - | 8 | 19% | - | |
| 38 0.15 to <0.25 |
- | 1 | 72% | 1 | 0.19% | 4 | 84% | - | - | 36% | - | |
| 39 0.25 to <0.50 |
7 | 21 | 116% | 31 | 0.36% | 43,514 | 77% | - | 15 | 49% | - | |
| 40 0.50 to <0.75 |
3 | 2 | 124% | 6 | 0.65% | 14,311 | 76% | - | 4 | 69% | - | |
| 41 0.75 to <2.50 |
620 | 62 | 111% | 689 | 1.26% | 198,812 | 77% | - | 650 | 94% | 7 | |
| 42 2.50 to <10.00 |
527 | 23 | 105% | 551 | 3.89% | 109,932 | 78% | - | 673 | 122% | 17 | |
| 43 10.00 to <100.00 |
82 | 3 | 105% | 85 | 30.02% | 23,756 | 78% | - | 174 | 204% | 20 | |
| 44 100.00 (Default) |
53 | - | 100% | 54 | 100.00% | 20,709 | 80% | - | 112 | 209% | 41 | |
| 45 Sub-Total AIRB Other Retail | 1,297 | 148 | 107% | 1,458 | 7.54% | 431,929 | 78% | - | 1,636 | 112% | 85 | 130 |
| 46 Total AIRB | 469,211 | 94,936 | 75% | 539,983 | 1.99% | 2,943,777 | 20% | 2.26 | 175,675 | 33% | 1,892 | 2,757 |
CR6: IRB – Credit risk exposures by portfolio and PD range (continued)
| Mar 25 | ||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Portfolio/ PD scale |
Original on balance sheet gross exposure |
Off-balance sheet exposures |
Average CCF |
EAD post CRM and post CCF |
Average PD |
Number of Borrowers |
Average LGD |
Average maturity |
RWA RWA density | EL | Provisions | |
| FIRB | \$M | \$M | % | \$M | % | % | Yr | \$M | % | \$M | \$M | |
| Corporates | ||||||||||||
| 47 0.00 to <0.15 |
28,377 | 56,618 | 41% | 51,525 | 0.09% | 732 | 46% | 1.94 | 12,769 | 25% | 20 | |
| 48 0.15 to <0.25 |
11,493 | 15,232 | 39% | 17,372 | 0.20% | 442 | 49% | 2.07 | 7,894 | 45% | 17 | |
| 49 0.25 to <0.50 |
11,070 | 13,970 | 41% | 16,796 | 0.34% | 477 | 47% | 2.11 | 10,085 | 60% | 27 | |
| 50 0.50 to <0.75 |
1,267 | 4,118 | 27% | 2,377 | 0.59% | 120 | 42% | 1.84 | 1,702 | 72% | 6 | |
| 51 0.75 to <2.50 |
1,381 | 1,326 | 43% | 1,951 | 1.22% | 108 | 37% | 1.59 | 1,541 | 79% | 8 | |
| 52 2.50 to <10.00 |
11 | 149 | 72% | 119 | 7.74% | 15 | 3% | 1.02 | 11 | 9% | - | |
| 53 10.00 to <100.00 |
193 | 64 | 54% | 228 | 21.23% | 15 | 46% | 1.17 | 584 | 256% | 22 | |
| 54 100.00 (Default) |
264 | 104 | 48% | 314 | 100.00% | 29 | 48% | 0.43 | 1 | 0% | 150 | |
| 55 Sub-Total FIRB Corporates | 54,056 | 91,581 | 40% | 90,682 | 0.60% | 1,938 | 46% | 1.98 | 34,587 | 38% | 250 | 487 |
| Sovereign | ||||||||||||
| 56 0.00 to <0.15 |
245,516 | 5,893 | 29% | 247,227 | 0.02% | 220 | 9% | 2.39 | 4,699 | 2% | 5 | |
| 57 0.15 to <0.25 |
1,275 | 80 | 40% | 1,307 | 0.20% | 6 | 50% | 1.14 | 554 | 42% | 1 | |
| 58 0.25 to <0.50 |
1,432 | 44 | 41% | 1,450 | 0.27% | 5 | 50% | 0.81 | 684 | 47% | 2 | |
| 59 0.50 to <0.75 |
126 | 26 | 40% | 137 | 0.58% | 5 | 50% | 1.63 | 111 | 81% | - | |
| 60 0.75 to <2.50 |
1,221 | 173 | 89% | 1,375 | 1.32% | 44 | 50% | 1.28 | 1,360 | 99% | 9 | |
| 61 2.50 to <10.00 |
2,183 | - | 0% | 2,183 | 5.00% | 6 | 50% | 0.29 | 3,519 | 161% | 55 | |
| 62 10.00 to <100.00 |
16 | 161 | 2% | 20 | 23.91% | 7 | 50% | 0.09 | 56 | 278% | 2 | |
| 63 100.00 (Default) |
- | - | 100% | - | 100.00% | - | 50% | - | - | 0% | - | |
| 64 Sub-Total FIRB Sovereign | 251,769 | 6,377 | 30% | 253,699 | 0.07% | 293 | 10% | 2.35 | 10,983 | 4% | 74 | 34 |
| Financial Institutions | ||||||||||||
| 65 0.00 to <0.15 |
58,041 | 53,624 | 51% | 85,161 | 0.06% | 764 | 48% | 1.27 | 19,046 | 22% | 24 | |
| 66 0.15 to <0.25 |
902 | 2,443 | 33% | 1,701 | 0.20% | 67 | 51% | 1.41 | 917 | 54% | 2 | |
| 67 0.25 to <0.50 |
3,082 | 2,753 | 32% | 3,972 | 0.35% | 149 | 48% | 0.82 | 2,601 | 65% | 7 | |
| 68 0.50 to <0.75 |
823 | 350 | 18% | 886 | 0.59% | 96 | 49% | 0.72 | 750 | 85% | 3 | |
| 69 0.75 to <2.50 |
325 | 568 | 19% | 432 | 1.28% | 210 | 42% | 2.02 | 402 | 93% | 2 | |
| 70 2.50 to <10.00 |
5 | 7 | 78% | 11 | 4.09% | 19 | 41% | 2.48 | 18 | 162% | - | |
| 71 10.00 to <100.00 |
15 | 551 | 0% | 15 | 34.86% | 174 | 48% | 4.40 | 47 | 316% | 3 | |
| 72 100.00 (Default) |
4 | - | 83% | 4 | 100.00% | 16 | 50% | 4.28 | - | 0% | 2 | |
| 73 Sub-Total FIRB Financial Institutions | 63,197 | 60,296 | 48% | 92,182 | 0.09% | 1,495 | 48% | 1.25 | 23,781 | 26% | 43 | 214 |
| 74 Total FIRB | 369,022 | 158,254 | 43% | 436,563 | 0.19% | 3,726 | 25% | 2.04 | 69,351 | 16% | 367 | 735 |
CR6: IRB – Credit risk exposures by portfolio and PD range (continued)
| Mar 25 | ||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Portfolio/ PD scale |
Original on balance sheet gross exposure |
Off-balance sheet exposures |
Average CCF |
EAD post CRM and post CCF |
Average PD |
Number of Borrowers |
Average LGD |
Average maturity |
RWA RWA density | EL | Provisions | |
| RBNZ regulated entities | \$M | \$M | % | \$M | % | % | Yr | \$M | % | \$M | \$M | |
| Corporates | ||||||||||||
| 75 0.00 to <0.15 |
4,097 | 5,457 | 76% | 8,206 | 0.07% | 254 | 52% | 2.94 | 2,216 | 27% | 3 | |
| 76 0.15 to <0.25 |
680 | 1,066 | 93% | 1,636 | 0.20% | 333 | 50% | 1.93 | 807 | 49% | 2 | |
| 77 0.25 to <0.50 |
6,126 | 2,288 | 88% | 8,078 | 0.37% | 3,557 | 29% | 2.11 | 3,095 | 38% | 9 | |
| 78 0.50 to <0.75 |
6,064 | 1,408 | 88% | 7,284 | 0.65% | 3,849 | 31% | 2.07 | 3,881 | 53% | 15 | |
| 79 0.75 to <2.50 |
9,118 | 1,856 | 88% | 10,733 | 1.40% | 6,790 | 32% | 1.91 | 7,253 | 68% | 48 | |
| 80 2.50 to <10.00 |
1,745 | 198 | 96% | 1,935 | 4.79% | 1,116 | 30% | 1.62 | 1,899 | 98% | 28 | |
| 81 10.00 to <100.00 |
940 | 139 | 93% | 1,068 | 22.71% | 1,728 | 40% | 1.14 | 2,356 | 221% | 104 | |
| 82 100.00 (Default) |
260 | 20 | 96% | 279 | 100.00% | 192 | 32% | 0.75 | 451 | 162% | 60 | |
| 83 Sub-Total NZ Corporates | 29,030 | 12,432 | 83% | 39,219 | 2.17% | 17,819 | 37% | 2.15 | 21,958 | 56% | 269 | 477 |
| Residential Mortgages | ||||||||||||
| 84 0.00 to <0.15 |
14,747 | 6,918 | 105% | 22,005 | 0.08% | 155,497 | 16% | - | 825 | 4% | 3 | |
| 85 0.15 to <0.25 |
4,545 | 117 | 105% | 4,667 | 0.19% | 28,478 | 17% | - | 355 | 8% | 1 | |
| 86 0.25 to <0.50 |
33,628 | 836 | 105% | 34,506 | 0.37% | 163,141 | 18% | - | 4,727 | 14% | 23 | |
| 87 0.50 to <0.75 |
6,839 | 827 | 101% | 7,674 | 0.66% | 33,808 | 19% | - | 1,747 | 23% | 10 | |
| 88 0.75 to <2.50 |
30,308 | 304 | 106% | 30,631 | 1.37% | 132,375 | 20% | - | 11,481 | 37% | 85 | |
| 89 2.50 to <10.00 |
10,177 | 41 | 106% | 10,219 | 4.00% | 38,316 | 21% | - | 7,379 | 72% | 84 | |
| 90 10.00 to <100.00 |
437 | 14 | 106% | 451 | 11.50% | 1,873 | 20% | - | 516 | 114% | 10 | |
| 91 100.00 (Default) |
1,034 | 1 | 100% | 1,035 | 100.00% | 4,405 | 20% | - | 156 | 15% | 203 | |
| 92 Sub-Total NZ Residential Mortgage | 101,715 | 9,058 | 105% | 111,188 | 1.91% | 557,893 | 18% | - | 27,186 | 24% | 419 | 174 |
| Other Retail | ||||||||||||
| 93 0.00 to <0.15 |
43 | 1,566 | 101% | 1,617 | 0.11% | 164,163 | 77% | - | 884 | 55% | 25 | |
| 94 0.15 to <0.25 |
120 | 936 | 101% | 1,064 | 0.19% | 132,119 | 78% | - | 615 | 58% | 16 | |
| 95 0.25 to <0.50 |
302 | 717 | 101% | 1,030 | 0.34% | 156,215 | 78% | - | 691 | 67% | 15 | |
| 96 0.50 to <0.75 |
228 | 307 | 109% | 564 | 0.62% | 54,005 | 81% | - | 430 | 76% | 5 | |
| 97 0.75 to <2.50 |
655 | 311 | 90% | 934 | 1.28% | 149,414 | 78% | - | 871 | 93% | 12 | |
| 98 2.50 to <10.00 |
662 | 253 | 104% | 926 | 4.59% | 170,368 | 86% | - | 1,258 | 136% | 36 | |
| 99 10.00 to <100.00 |
128 | 4 | 113% | 133 | 18.46% | 109,909 | 86% | - | 246 | 185% | 20 | |
| 100 100.00 (Default) |
35 | 3 | 100% | 38 | 100.00% | 7,335 | 81% | - | 3 | 8% | 28 | |
| 101 Sub-Total NZ Other Retail | 2,173 | 4,097 | 101% | 6,306 | 2.03% | 943,528 | 79% | - | 4,998 | 79% | 157 | 92 |
| 102 Total RBNZ regulated entities | 132,918 | 25,587 | 94% | 156,713 | 1.98% | 1,519,240 | 26% | 2.15 | 54,142 | 35% | 845 | 743 |
The table below shows the effect of credit derivatives on the IRB credit risk approach.1
| Sep 25 | Mar 25 | ||||
|---|---|---|---|---|---|
| Pre-credit derivatives RWA |
Actual RWA | Pre-credit derivatives RWA |
Actual RWA | ||
| \$M | \$M | \$M | \$M | ||
| 1 | Sovereign – FIRB | 10,107 | 10,107 | 10,983 | 10,983 |
| 3 | Financial Institutions – FIRB | 23,207 | 23,207 | 23,781 | 23,781 |
| 5 | Corporate – FIRB | 34,388 | 34,388 | 34,587 | 34,587 |
| 6 | Corporate – AIRB | 63,726 | 63,726 | 66,579 | 66,579 |
| 8 | Specialised lending | 5,901 | 5,901 | 6,929 | 6,929 |
| 9 | Retail – qualifying revolving (QRRE) | 3,032 | 3,032 | 3,155 | 3,155 |
| 10 | Retail – residential mortgage exposures | 94,135 | 94,135 | 94,747 | 94,747 |
| 11 | Retail – SME | 9,419 | 9,419 | 9,558 | 9,558 |
| 12 | Other retail exposures | 1,642 | 1,642 | 1,636 | 1,636 |
| 17 | RBNZ regulated entities | 64,140 | 64,140 | 62,573 | 62,573 |
| 18 | Total | 309,697 | 309,697 | 314,528 | 314,528 |
________________________________ 1 ANZ does not have any credit derivatives with CRM impact in the banking book. Hence both columns are identical.
The table below presents the changes in IRB RWA amounts over the reporting period for the key drivers of credit risk1 .
| Sep 25 | Jun 25 | Mar 25 | ||
|---|---|---|---|---|
| RWA Amount | RWA Amount | RWA Amount | ||
| \$M | \$M | \$M | ||
| 1 | RWA as at end of previous reporting period | 320,412 | 314,528 | 313,949 |
| 2 | Asset size | (5,524) | 5,083 | 409 |
| 3 | Asset quality | (1,628) | (28) | 613 |
| 4 | Model updates | - | - | - |
| 5 | Methodology and policy | 1,312 | 939 | (340) |
| 6 | Acquisitions and disposals | - | - | - |
| 7 | Foreign exchange movements | (4,271) | (110) | (103) |
| 8 | Other2 | (604) | - | - |
| 9 | RWA as at end of reporting period | 309,697 | 320,412 | 314,528 |
_______________________________ 1 The attribution of Credit RWA movements requires assumptions and judgement; different assumptions could lead to different attributions. This table presents the contribution of changes in Credit RWA amounts under the IRB approach only and hence may not directly reconcile to Group level Credit RWA attributions.
2 The September 2025 reduction relates to a new securitisation of residential mortgages eligible for capital relief under APS 120.
The table below presents a comparison of the PD used in IRB models with the effective default rates of the bank's borrowers in order to validate the reliability of PD calculations for the exposures under the IRB approach.1 2 3 4
| Sep 25 | ||||||||||
|---|---|---|---|---|---|---|---|---|---|---|
| External rating | External rating | Weighted | Arithmetic | Number of | Defaulted | of which: new | Average historical | |||
| F | Portfolio/ PD scale |
equivalent | equivalent | average PD | average PD by Borrowers |
End of previous year |
End of the year | Borrowers in the year |
defaulted Borrowers in the year | annual default rate |
| AIRB | S&P | Moody's | % | % | you | • | % | |||
| Corporates | - | |||||||||
| 1 | 0.00 to <0.15 | AAA to BBB+ | Aaa to Baa1 | 0.10% | 0.10% | 783 | 595 | 2 | - | 0.23% |
| 2 | 0.15 to <0.25 | BBB | Baa2 | 0.20% | 0.20% | 1,240 | 1,185 | 8 | - | 0.50% |
| 3 | 0.25 to <0.50 | BBB- | Baa3 | 0.36% | 0.38% | 5,980 | 5,818 | 22 | - | 0.36% |
| 4 | 0.50 to <0.75 | BB+ | Ba1 | 0.65% | 0.66% | 7,863 | 7,504 | 48 | - | 0.51% |
| 5 | 0.75 to <2.50 | BB to B+ | Ba2 to B1 | 1.35% | 1.45% | 17,427 | 16,153 | 321 | 5 | 1.76% |
| 6 | 2.50 to <10.00 | B to B- | B2 to B3 | 4.37% | 4.29% | 2,134 | 2,265 | 171 | - | 9.15% |
| 7 | 10.00 to <100.00 | CCC+ to C | Caa1 to C | 21.67% | 32.28% | 2,523 | 3,074 | 134 | 9 | 5.77% |
| 8 | 100.00 (Default) | Default | Default | 100.00% | 100.00% | 794 | 753 | |||
| 10 5 | Sub-Total AIRB Corporates | 1.90% | 5.24% | 38,744 | 37,347 | 706 | 14 | 1.88% | ||
| F | Residential Mortgages | |||||||||
| 11 | 0.00 to <0.15 | AAA to BBB+ | Aaa to Baa1 | 0.08% | 0.07% | 407,779 | 415,956 | 542 | 27 | 0.08% |
| 12 | 0.15 to <0.25 | BBB | Baa2 | 0.18% | 0.19% | 43,446 | 43,990 | 154 | 11 | 0.18% |
| 13 | 0.25 to <0.50 | BBB- | Baa3 | 0.36% | 0.36% | 180,424 | 177,353 | 953 | 40 | 0.34% |
| 14 | 0.50 to <0.75 | BB+ | Ba1 | 0.64% | 0.63% | 43,813 | 41,658 | 331 | 8 | 0.52% |
| 15 | 0.75 to <2.50 | BB to B+ | Ba2 to B1 | 1.30% | 1.31% | 176,253 | 165,613 | 2,717 | 38 | 1.06% |
| 16 | 2.50 to <10.00 | B to B- | B2 to B3 | 4.13% | 4.12% | 61,172 | 57,792 | 2,317 | 5 | 2.99% |
| 17 | 10.00 to <100.00 | CCC+ to C | Caa1 to C | 18.63% | 19.09% | 6,032 | 6,697 | 826 | - | 11.19% |
| 18 | 100.00 (Default) | Default | Default | 100.00% | 100.00% | 8,879 | 10,121 | |||
| 70 | Sub-Total AIRB Residential Mortgage |
0.82% | 0.79% | 927,798 | 919,180 | 7,840 | 129 | 0.62% |
1 External Ratings have been mapped to the PD bands reported in table CR9, where the midpoints of the PD range align with the External Rating.
The 5-year default rate history requires aligning asset classes prior to the definitions under the APS 113 capital reforms. Corporate exposures are included only from March 2023 onward, resulting in a 2.5-year average for September 2025, building up to a full 5-year average by September 2027.
Excludes Specialised Lending subject to supervisory slotting.
The historical average default rate calculation is aligned with APS 113 guidelines, excluding technical defaults from the numerator, and exited obligors from the denominator.
CR9: IRB – Back testing of probability of default (PD) per portfolio (continued)
| 80 | 'n | 25 |
|---|---|---|
| - SE | :О | 20 |
| Sep 25 | ||||||||||
|---|---|---|---|---|---|---|---|---|---|---|
| External rating | External rating | Weighted | Arithmetic | Number of | Defaulted | of which: new | Average historical | |||
| ı | Portfolio/ PD scale |
equivalent | equivalent | average PD | average PD by Borrowers |
End of previous year |
End of the year | Borrowers in the year |
defaulted Borrowers in the year | annual default rate |
| 1 | AIRB | S&P | Moody's | % | % | % | ||||
| Ī | Retail SME | |||||||||
| 21 | 0.00 to <0.15 | AAA to BBB+ | Aaa to Baa1 | 0.12% | 0.12% | 1,259 | 1,196 | 1 | - | 0.03% |
| 22 | 0.15 to <0.25 | BBB | Baa2 | 0.19% | 0.19% | 594 | 529 | - | - | 0.23% |
| 23 | 0.25 to <0.50 | BBB- | Baa3 | 0.39% | 0.41% | 9,665 | 9,130 | 44 | - | 0.37% |
| 24 | 0.50 to <0.75 | BB+ | Ba1 | 0.65% | 0.65% | 10,173 | 10,585 | 70 | 2 | 0.55% |
| 25 | 0.75 to <2.50 | BB to B+ | Ba2 to B1 | 1.60% | 1.48% | 43,326 | 40,202 | 475 | 3 | 1.05% |
| 26 | 2.50 to <10.00 | B to B- | B2 to B3 | 4.42% | 4.21% | 59,325 | 56,073 | 1,892 | 22 | 2.96% |
| 27 | 10.00 to <100.00 | CCC+ to C | Caa1 to C | 16.43% | 12.92% | 28,447 | 28,373 | 3,807 | 200 | 13.78% |
| 28 | 100.00 (Default) | Default | Default | 100.00% | 100.00% | 6,498 | 5,251 | |||
| 30 \$ | Sub-Total AIRB Retail SME | 3.93% | 4.53% | 159,287 | 151,339 | 6,289 | 227 | 3.51% | ||
| ( | Qualifying Revolving Retail (QRR) | |||||||||
| 31 | 0.00 to <0.15 | AAA to BBB+ | Aaa to Baa1 | 0.10% | 0.10% | 613,240 | 652,715 | 889 | 3 | 0.11% |
| 32 | 0.15 to <0.25 | BBB | Baa2 | 0.19% | 0.19% | 125,375 | 109,005 | 230 | 3 | 0.15% |
| 33 | 0.25 to <0.50 | BBB- | Baa3 | 0.36% | 0.37% | 269,948 | 253,561 | 799 | 7 | 0.27% |
| 34 | 0.50 to <0.75 | BB+ | Ba1 | 0.65% | 0.65% | 40,143 | 37,031 | 178 | 5 | 0.43% |
| 35 | 0.75 to <2.50 | BB to B+ | Ba2 to B1 | 1.35% | 1.33% | 198,009 | 186,749 | 2,324 | 124 | 1.00% |
| 36 | 2.50 to <10.00 | B to B- | B2 to B3 | 4.08% | 4.29% | 118,226 | 107,888 | 3,639 | 155 | 2.56% |
| 37 | 10.00 to <100.00 | CCC+ to C | Caa1 to C | 19.85% | 23.23% | 31,907 | 28,989 | 4,564 | 124 | 12.86% |
| 38 | 100.00 (Default) | Default | Default | 100.00% | 100.00% | 4,522 | 4,598 | |||
| 40 3 | Sub-Total AIRB QRR | 1.09% | 1.23% | 1,401,370 | 1,380,536 | 12,623 | 421 | 0.88% | ||
| ( | Other Retail | |||||||||
| 41 | 0.00 to <0.15 | AAA to BBB+ | Aaa to Baa1 | 0.08% | 0.08% | 34,541 | 18,313 | 14 | - | 0.06% |
| 42 | 0.15 to <0.25 | BBB | Baa2 | - | - | - | - | |||
| 43 | 0.25 to <0.50 | BBB- | Baa3 | 0.35% | 0.36% | 54,406 | 38,303 | 112 | 2 | 0.20% |
| 44 | 0.50 to <0.75 | BB+ | Ba1 | 0.65% | 0.65% | 14,729 | 13,198 | 70 | - | 0.46% |
| 45 | 0.75 to <2.50 | BB to B+ | Ba2 to B1 | 1.28% | 1.43% | 231,833 | 191,976 | 8,210 | 176 | 1.74% |
| 46 | 2.50 to <10.00 | B to B- | B2 to B3 | 3.93% | 4.22% | 108,271 | 103,073 | 4,432 | 541 | 3.25% |
| 47 | 10.00 to <100.00 | CCC+ to C | Caa1 to C | 30.98% | 21.05% | 21,761 | 22,611 | 4,151 | 370 | 11.07% |
| 48 | 100.00 (Default) | Default | Default | 100.00% | 100.00% | 19,107 | 24,112 | |||
| 50 | Sub-Total AIRB Other Retail | 3.80% | 2.74% | 484,648 | 411,586 | 16,989 | 1,089 | 2.58% |
CR9: IRB – Back testing of probability of default (PD) per portfolio (continued)
| 0 | _ | _ | • | |
|---|---|---|---|---|
| Sep 25 | |||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|---|
| External rating | External rating | Weighted | Arithmetic | Number of | Defaulted | of which: new defaulted Borrowers | Average historical annual default rate |
||||||
| ı | Portfolio/ PD scale |
equivalent | equivalent | average PD | average PD by Borrowers |
End of previous year |
End of the year | Borrowers in the year |
in the year | annual default rate | |||
| ı | FIRB | S&P | Moody's | % | % | % | |||||||
| ( | Corporates | ||||||||||||
| 51 | 0.00 to <0.15 | AAA to BBB+ | Aaa to Baa1 | 0.09% | 0.10% | 900 | 893 | 2 | - | 0.12% | |||
| 52 | 0.15 to <0.25 | BBB | Baa2 | 0.20% | 0.20% | 466 | 489 | - | - | 0.00% | |||
| 53 | 0.25 to <0.50 | BBB- | Baa3 | 0.33% | 0.34% | 554 | 652 | 2 | - | 0.13% | |||
| 54 | 0.50 to <0.75 | BB+ | Ba1 | 0.60% | 0.63% | 109 | 114 | - | - | 0.00% | |||
| 55 | 0.75 to <2.50 | BB to B+ | Ba2 to B1 | 1.35% | 1.51% | 112 | 116 | 2 | - | 1.22% | |||
| 56 | 2.50 to <10.00 | B to B- | B2 to B3 | 5.11% | 5.33% | 8 | 8 | - | - | 0.00% | |||
| 57 | 10.00 to <100.00 | CCC+ to C | Caa1 to C | 22.36% | 25.75% | 4 | 15 | 1 | - | 21.67% | |||
| 58 | 100.00 (Default) | Default | Default | 100.00% | 100.00% | 27 | 33 | ||||||
| 60 8 | Sub-Total FIRB Corporates | 0.36% | 1.58% | 2,180 | 2,320 | 7 | - | 0.30% | |||||
| ; | Sovereign | ||||||||||||
| 61 | 0.00 to <0.15 | AAA to BBB+ | Aaa to Baa1 | 0.02% | 0.03% | 240 | 246 | - | - | 0.18% | |||
| 62 | 0.15 to <0.25 | BBB | Baa2 | 0.20% | 0.19% | 7 | 6 | - | - | 0.00% | |||
| 63 | 0.25 to <0.50 | BBB- | Baa3 | 0.26% | 0.26% | 5 | 6 | - | - | 0.00% | |||
| 64 | 0.50 to <0.75 | BB+ | Ba1 | 0.57% | 0.57% | 5 | 6 | - | - | 0.00% | |||
| 65 | 0.75 to <2.50 | BB to B+ | Ba2 to B1 | 1.54% | 1.70% | 18 | 16 | - | - | 0.00% | |||
| 66 | 2.50 to <10.00 | B to B- | B2 to B3 | 5.00% | 5.00% | 5 | 7 | - | - | 1.79% | |||
| 67 | 10.00 to <100.00 | CCC+ to C | Caa1 to C | 21.10% | 23.33% | 6 | 7 | - | - | 12.08% | |||
| 68 | 100.00 (Default) | Default | Default | 100.00% | 100.00% | 6 | 6 | ||||||
| 70 \$ | Sub-Total FIRB Sovereign | 0.08% | 2.76% | 292 | 300 | - | - | 1.54% | |||||
| ı | Financial Institutions | ||||||||||||
| 71 | 0.00 to <0.15 | AAA to BBB+ | Aaa to Baa1 | 0.06% | 0.07% | 2,169 | 2,658 | 5 | 1 | 0.07% | |||
| 72 | 0.15 to <0.25 | BBB | Baa2 | 0.20% | 0.20% | 165 | 156 | - | - | 0.00% | |||
| 73 | 0.25 to <0.50 | BBB- | Baa3 | 0.35% | 0.38% | 417 | 453 | - | - | 0.11% | |||
| 74 | 0.50 to <0.75 | BB+ | Ba1 | 0.59% | 0.64% | 196 | 221 | 1 | - | 0.27% | |||
| 75 | 0.75 to <2.50 | BB to B+ | Ba2 to B1 | 1.59% | 1.67% | 251 | 265 | 6 | - | 1.26% | |||
| 76 | 2.50 to <10.00 | B to B- | B2 to B3 | 3.97% | 4.28% | 20 | 17 | 2 | - | 2.73% | |||
| 77 | 10.00 to <100.00 | CCC+ to C | Caa1 to C | 34.04% | 34.72% | 214 | 148 | 5 | - | 2.36% | |||
| 78 | 100.00 (Default) | Default | Default | 100.00% | 100.00% | 8 | 11 | ||||||
| Sub-Total FIRB Financial Institutions |
0.11% | 2.67% | 3,440 | 3,929 | 19 | 1 | 0.31% |
CR9: IRB – Back testing of probability of default (PD) per portfolio (continued)
| 80 | 'n | 25 |
|---|---|---|
| - SE | :О | 20 |
| Sep 25 | ||||||||||
|---|---|---|---|---|---|---|---|---|---|---|
| External rating | External rating | Weighted | Arithmetic | Borrowers | Defaulted | of which: new | Average historical | |||
| F | Portfolio/ PD scale |
equivalent | equivalent | average PD | average PD by Borrowers |
End of previous year |
End of the year | Borrowers in the year |
defaulted Borrowers in the year | annual default rate |
| F | RBNZ regulated entities | S&P | Moody's | % | % | % | ||||
| ( | Corporates | |||||||||
| 81 | 0.00 to <0.15 | AAA to BBB+ | Aaa to Baa1 | 0.07% | 0.08% | 590 | 360 | 1 | - | 0.06% |
| 82 | 0.15 to <0.25 | BBB | Baa2 | 0.20% | 0.20% | 316 | 274 | - | - | 0.00% |
| 83 | 0.25 to <0.50 | BBB- | Baa3 | 0.37% | 0.38% | 2,955 | 2,944 | - | - | 0.08% |
| 84 | 0.50 to <0.75 | BB+ | Ba1 | 0.65% | 0.66% | 3,344 | 3,325 | 2 | - | 0.12% |
| 85 | 0.75 to <2.50 | BB to B+ | Ba2 to B1 | 1.38% | 1.43% | 6,216 | 6,427 | 11 | - | 0.52% |
| 86 | 2.50 to <10.00 | B to B- | B2 to B3 | 4.75% | 4.66% | 1,060 | 951 | 22 | - | 3.08% |
| 87 | 10.00 to <100.00 | CCC+ to C | Caa1 to C | 22.56% | 32.04% | 1,714 | 1,663 | 64 | 1 | 3.20% |
| 88 | 100.00 (Default) | Default | Default | 100.00% | 100.00% | 158 | 161 | |||
| 90 8 | Sub-Total NZ Corporates | 2.38% | 5.38% | 16,353 | 16,105 | 100 | 1 | 0.72% | ||
| F | Residential Mortgages | |||||||||
| 91 | 0.00 to <0.15 | AAA to BBB+ | Aaa to Baa1 | 0.08% | 0.08% | 150,907 | 160,449 | 161 | 4 | 0.07% |
| 92 | 0.15 to <0.25 | BBB | Baa2 | 0.19% | 0.19% | 28,097 | 29,496 | 75 | 3 | 0.18% |
| 93 | 0.25 to <0.50 | BBB- | Baa3 | 0.37% | 0.37% | 161,852 | 166,118 | 717 | 38 | 0.27% |
| 94 | 0.50 to <0.75 | BB+ | Ba1 | 0.65% | 0.65% | 30,997 | 32,098 | 241 | 8 | 0.48% |
| 95 | 0.75 to <2.50 | BB to B+ | Ba2 to B1 | 1.37% | 1.36% | 131,413 | 132,345 | 1,843 | 76 | 0.87% |
| 96 | 2.50 to <10.00 | B to B- | B2 to B3 | 4.00% | 3.97% | 38,858 | 37,488 | 1,341 | 20 | 2.23% |
| 97 | 10.00 to <100.00 | CCC+ to C | Caa1 to C | 11.45% | 12.09% | 2,008 | 1,834 | 101 | 1 | 3.09% |
| 98 | 100.00 (Default) | Default | Default | 100.00% | 100.00% | 3,653 | 4,208 | |||
| 100 \$ | Sub-Total NZ Residential Mortgage | 1.00% | 0.83% | 547,785 | 564,036 | 4,479 | 150 | 0.53% | ||
| ( | Other Retail | |||||||||
| 101 | 0.00 to <0.15 | AAA to BBB+ | Aaa to Baa1 | 0.11% | 0.11% | 161,546 | 171,961 | 156 | - | 0.08% |
| 102 | 0.15 to <0.25 | BBB | Baa2 | 0.19% | 0.19% | 139,168 | 127,295 | 175 | - | 0.11% |
| 103 | 0.25 to <0.50 | BBB- | Baa3 | 0.34% | 0.36% | 158,860 | 159,840 | 285 | 2 | 0.18% |
| 104 | 0.50 to <0.75 | BB+ | Ba1 | 0.59% | 0.61% | 53,584 | 53,201 | 192 | - | 0.27% |
| 105 | 0.75 to <2.50 | BB to B+ | Ba2 to B1 | 1.25% | 1.36% | 148,564 | 142,192 | 1,260 | 20 | 0.75% |
| 106 | 2.50 to <10.00 | B to B- | B2 to B3 | 4.48% | 5.15% | 160,526 | 159,151 | 3,173 | 111 | 1.65% |
| 107 | 10.00 to <100.00 | CCC+ to C | Caa1 to C | 18.44% | 21.13% | 97,872 | 100,995 | 6,412 | 242 | 6.59% |
| 108 | 100.00 (Default) | Default | Default | 100.00% | 100.00% | 7,639 | 7,047 | |||
| 110 8 | Sub-Total NZ Other Retail | 1.43% | 3.51% | 927,759 | 921,682 | 11,653 | 375 | 1.08% |
The table below shows quantitative disclosures of banks' specialised lending exposures using the supervisory slotting approach.1
| Sep 25 | ||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|
| On-balance | Off-balance | Exposure amount | Expected | |||||||||
| sheet amount | sheet amount | RW | PF2 | OF2 | CF2 | IPRE2 | Total | RWA | losses | |||
| Regulatory categories | Residual maturity | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | ||
| 1 Strong | Less than 2.5 years | 5,421 | 751 | 70% | 1,194 | - | - | 4,867 | 6,062 | 4,591 | 24 | |
| 2 Strong | Equal to or more than 2.5 years | 3,302 | 1,750 | 70% | 3,908 | - | - | 760 | 4,668 | 3,340 | 19 | |
| 3 Good | Less than 2.5 years | 2,131 | 441 | 90% | 687 | - | - | 1,774 | 2,461 | 2,374 | 20 | |
| 4 Good | Equal to or more than 2.5 years | 1,056 | 1,007 | 90% | 1,826 | - | - | 143 | 1,969 | 1,794 | 16 | |
| 5 Satisfactory | 615 | 131 | 115% | 309 | - | - | 409 | 717 | 872 | 20 | ||
| 6 Weak | 295 | 4 | 250% | 23 | - | - | 276 | 299 | 816 | 24 | ||
| 7 Non Performing | 246 | 4 | - | - | - | - | 251 | 251 | - | 125 | ||
| 8 Total | 13,066 | 4,088 | - | 7,947 | - | - | 8,480 | 16,427 | 13,787 | 248 |
___________________________________________ 1 NZ exposures are mapped to the RW categories before application of the scalar of 1.1.
2 PF: Project finance, OF: Object finance, CF: Commodities finance, and IPRE: Income producing real estate.
| Mar 25 | ||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|
| On-balance | Off-balance | Exposure amount | Expected | |||||||||
| sheet amount | sheet amount | RW | PF | OF | CF | IPRE | Total | RWA | losses | |||
| Regulatory categories | Residual maturity | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | ||
| 1 Strong | Less than 2.5 years | 5,679 | 1,038 | 70% | 1,754 | - | - | 4,870 | 6,624 | 4,984 | 26 | |
| 2 Strong | Equal to or more than 2.5 years | 3,114 | 2,758 | 70% | 4,745 | - | - | 846 | 5,591 | 3,979 | 22 | |
| 3 Good | Less than 2.5 years | 2,415 | 674 | 90% | 960 | - | - | 1,966 | 2,926 | 2,829 | 23 | |
| 4 Good | Equal to or more than 2.5 years | 903 | 1,040 | 90% | 1,686 | - | - | 192 | 1,878 | 1,714 | 15 | |
| 5 Satisfactory | 682 | 75 | 115% | 322 | - | - | 419 | 741 | 901 | 21 | ||
| 6 Weak | 338 | 10 | 250% | - | - | - | 347 | 347 | 953 | 28 | ||
| 7 Non Performing | 293 | 4 | - | - | - | - | 297 | 297 | - | 149 | ||
| 8 Total | 13,424 | 5,599 | - | 9,467 | - | - | 8,937 | 18,404 | 15,360 | 284 |
Counterparty credit risk (CCR) arises from the risk of counterparty default before settlement date and the counterparty is unable to fulfil present and future contractual payment obligations relating to a derivative contract or securities financing transaction (SFT). The amount at risk may change over time as a function of the underlying market parameters.
Counterparty credit risk is present in market instruments (derivatives and forward contracts), and comprises:
ANZ transacts market instruments with the following counterparties:
Counterparty credit risk requires a different method to calculate exposure at default because actual and potential market movements impact ANZ's exposure or replacement cost over the life of derivative contracts. The markets covered by this treatment include the derivative activities associated with interest rate, foreign exchange, CDS, equity, commodity and repurchase agreement (repo) products.
For regulatory capital the Exposure at Default captures the expected positive mark-to-market of a portfolio in the event of a counterparty default across a one-year time horizon at a 99% confidence level, taking into account any legal documents in force. For derivative transactions, it is calculated for ANZ following Standardised Approach for Counterparty Credit Risk (SA-CCR) under APS 180. For STFs covered by an eligible bilateral netting agreement, it is calculated following the comprehensive approach under APS 112.
Suncorp Bank uses the adjusted Current Exposure Method (adjusted CEM) under APS 180.
The approach to measure counterparty credit risk exposure is based on internal models. These measures are referred to as potential credit risk exposure (PCRE) and potential future exposure (PFE) and measure the worst-case credit exposure of derivative transactions at future time points to ANZ. PFE is measured at the 97.5th percentile at future pre-described time points, and PCRE is a 97.5th percentile averaged over time points.
PCRE and PFE factors recognise that prices may change over the remaining period to maturity, and that risk decreases as the contract's remaining term to maturity decreases. In general terms PCRE is calculated by applying a risk weighting or volatility factor to the face value of the notional principal of individual trades. PFE simulates relevant risk factors in a portfolio by taking into account the relevant volatilities and correlations calibrated to historical market data. To measure counterparty credit risk exposure, PCRE and PFE take into account legal document in force, as well as credit risk mitigation tools like margin or Right-to-break clauses.
ANZ's counterparty credit risk management is governed by its credit principles, policies and procedures. The Markets Risk function is responsible for determining the counterparty credit risk exposure methodology applied to market instruments, in the framework for counterparty credit limit management, measurement and reporting.
The counterparty credit risk associated with derivative transactions is governed by credit limit setting consistent with all credit exposures to the ANZ Group. Counterparty credit limits are approved by the appropriate credit delegation holders.
ANZ's primary tools to mitigate counterparty credit risk include:
o Initial Margin in addition to the variation margin, covers the future potential exposure that could arise from future changes in market value over a defined period of risk.
o Since March 2017, APRA's CPS 226 "Margining and risk mitigation for non-centrally cleared derivatives" (CPS 226) has mandated Variation Margin and Initial Margin arrangements between covered entities, subject to trading volume thresholds. The operation of collateral agreements falls under a policy which establishes the control framework designed to ensure a robust and globally consistent approach to the management of collateralised exposures, as well as compliance with CPS 226 obligations.
The terms of legal agreements with some of ANZ's central clearing counterparties central clearer have been amended to give effect to" settled-tomarket" legal settlement. As a result of this change, collateral paid and received by the Group under these agreements is no longer separately recognised, instead settling the Group's outstanding derivative exposures and reducing the associated carrying values of the derivative asset and liability balances.
ANZ's management of counterparty credit risk also considers the possibility of wrong way risk, which emerges when PD is adversely correlated with counterparty credit risk exposures.
In the event of a downgrading of ANZ's rating by one notch from AA- to A+, as at 30 September 2025, ANZ would be required to lodge additional \$54 million collateral with its counterparties.
The table below provides a comprehensive view of the methods used to calculate counterparty credit risk exposures and the main parameters used within each method.
| Sep 25 | |||||||
|---|---|---|---|---|---|---|---|
| Replacement cost |
Potential future exposure |
Effective EPE | Alpha used for computing regulatory EAD |
EAD post CRM |
RWA | ||
| \$M | \$M | \$M | \$M | \$M | |||
| 1 | SA-CCR (for derivatives) | 6,175 | 20,991 | 1.4 | 37,936 | 11,140 | |
| 2 | Internal Model Method (for derivatives and SFTs) |
- | - | - | - | ||
| 3 | Simple Approach for credit risk mitigation (for SFTs) |
- | - | ||||
| 4 | Comprehensive Approach for credit risk mitigation (for SFTs) |
2,783 | 610 | ||||
| 5 | Value-at-risk (VaR) for SFTs | - | - | ||||
| 6 | RBNZ regulated entities | 3,458 | 908 | ||||
| 7 | Total | 12,658 |
| Mar 25 | |||||||
|---|---|---|---|---|---|---|---|
| Replacement cost |
Potential future exposure |
Effective EPE | Alpha used for computing regulatory EAD |
EAD post CRM |
RWA | ||
| \$M | \$M | \$M | \$M | \$M | \$M | ||
| 1 | SA-CCR (for derivatives) | 7,754 | 21,555 | 1.4 | 40,847 | 11,826 | |
| 2 | Internal Model Method (for derivatives and SFTs) |
- | - | - | - | ||
| 3 | Simple Approach for credit risk mitigation (for SFTs) |
- | - | ||||
| 4 | Comprehensive Approach for credit risk mitigation (for SFTs) |
2,928 | 712 | ||||
| 5 | Value-at-risk (VaR) for SFTs | - | - | ||||
| 6 | RBNZ regulated entities | 3,622 | 793 | ||||
| 7 | Total | 13,331 |
The table below presents a breakdown of counterparty credit risk exposures calculated according to the standardized approach by portfolio and risk weight.
This table has minor modifications from the original BCBS standard. Additional detail on this modification has been provided in Appendix 1.
| Sep 25 | ||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Risk Weight % | 0% | 0-10% | 10-20% | 20-50% | 50-75% | 75-100% | 100-150% | Greater than 150% |
Others | Total credit exposure |
||
| \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | |||
| 1 | Sovereigns | - | - | - | - | - | 175 | - | - | - | 175 | |
| 4 | Banks | - | - | 42 | - | 280 | - | - | - | - | 322 | |
| 6 | Corporates | - | - | - | - | 1 | 23 | 57 | - | - | 81 | |
| 8 | Other assets | - | - | - | - | - | - | - | - | - | - | |
| 10 | RBNZ regulated entities | 969 | - | 529 | 268 | 3 | - | - | - | - | 1,769 | |
| 11 | Total | 969 | - | 571 | 268 | 284 | 198 | 57 | - | - | 2,347 | |
| Risk Weight % | 0% | 0-10% | 10-20% | 20-50% | Mar 25 50-75% |
75-100% | 100-150% | Greater than | Others | Total credit | ||
| 150% | exposure | |||||||||||
| \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | |||
| 1 | Sovereigns | - | - | - | - | - | 213 | - | - | - | 213 | |
| 4 | Banks | - | - | 194 | - | 276 | - | - | - | - | 470 | |
| 6 | Corporates | - | - | - | - | 1 | 110 | 62 | - | - | 173 | |
| 8 | Other assets | - | - | - | - | - | - | - | - | - | - | |
| 10 | RBNZ regulated entities | 1,352 | - | 427 | 296 | 3 | - | - | - | - | 2,078 | |
| 11 | Total | 1,352 | - | 621 | 296 | 280 | 323 | 62 | - | - | 2,934 |
The table below presents a detailed view of CCR exposures subject to IRB approach by asset classes and PD scale.1
ANZ applies the Standardised Approach for Counterparty Credit Risk (SACCR) for calculating Exposure at Default (EAD) across all IRB exposures as per APRA requirements. The exception is for exposures under its RBNZ regulated entities, which follow the Current Exposure Method (CEM) in line with Reserve Bank of New Zealand (RBNZ) requirements.
CCR exposures subject to the supervisory slotting approach are included in the EAD & RWA summary (EAD of \$275 million & RWA of \$202 million as at March 2025). The prior period CCR4 table has been restated accordingly2
| Sep 25 | |||||||||
|---|---|---|---|---|---|---|---|---|---|
| EAD post CRM and post-CCF |
Average PD |
Number of Counterparties1 |
Average LGD |
Average maturity |
RWA RWA density | ||||
| Portfolio/ PD scale |
|||||||||
| FIRB | \$M | % | # | % | Yr | \$M | % | ||
| Sovereign | |||||||||
| 1 | 0.00 to <0.15 | 3,023 | 0.02% | 53 | 13% | 1.20 | 67 | 2% | |
| 2 | 0.15 to <0.25 | 37 | 0.20% | 2 | 50% | 0.27 | 14 | 37% | |
| 3 | 0.25 to <0.50 | 273 | 0.26% | 4 | 50% | 0.13 | 93 | 34% | |
| 4 | 0.50 to <0.75 | 2 | 0.57% | 1 | 50% | 1.91 | 1 | 82% | |
| 5 | 0.75 to <2.50 | - | - | - | - | - | - | - | |
| 6 | 2.50 to <10.00 | - | 5.00% | 1 | 50% | 0.01 | - | 161% | |
| 7 | 10.00 to <100.00 | - | - | - | - | - | - | - | |
| 8 | 100.00 (Default) | - | - | - | - | - | - | - | |
| 12 Total FIRB Sovereign | 3,335 | 0.04% | 61 | 17% | 1.10 | 175 | 5% | ||
| Corporates | |||||||||
| 13 | 0.00 to <0.15 | 3,543 | 0.09% | 254 | 46% | 3.72 | 1,229 | 35% | |
| 14 | 0.15 to <0.25 | 1,977 | 0.20% | 134 | 49% | 1.34 | 836 | 42% | |
| 15 | 0.25 to <0.50 | 627 | 0.33% | 111 | 47% | 1.51 | 329 | 52% | |
| 16 | 0.50 to <0.75 | 59 | 0.60% | 17 | 50% | 1.75 | 64 | 108% | |
| 17 | 0.75 to <2.50 | 20 | 1.14% | 19 | 49% | 0.39 | 19 | 92% | |
| 18 | 2.50 to <10.00 | - | - | - | - | - | - | - | |
| 19 | 10.00 to <100.00 | - | 21.00% | 1 | 50% | 0.23 | - | 413% | |
| 20 | 100.00 (Default) | - | 100.00% | 1 | 50% | 0.21 | - | - | |
| 24 Total FIRB Corporates | 6,226 | 0.16% | 537 | 48% | 2.71 | 2,477 | 40% | ||
| Financial Institutions | |||||||||
| 25 | 0.00 to <0.15 | 24,330 | 0.06% | 1,855 | 50% | 1.02 | 4,778 | 20% | |
| 26 | 0.15 to <0.25 | 953 | 0.20% | 115 | 51% | 0.62 | 407 | 43% | |
| 27 | 0.25 to <0.50 | 2,404 | 0.36% | 341 | 50% | 1.26 | 1,659 | 69% | |
| 28 | 0.50 to <0.75 | 697 | 0.63% | 137 | 50% | 0.71 | 627 | 90% | |
| 29 | 0.75 to <2.50 | 392 | 1.75% | 62 | 50% | 0.46 | 438 | 112% | |
| 30 | 2.50 to <10.00 | - | - | - | - | - | - | - | |
| 31 | 10.00 to <100.00 | - | - | - | - | - | - | - | |
| 32 | 100.00 (Default) | - | - | - | - | - | - | - | |
| 36 Total FIRB Financial Institutions |
28,776 | 0.13% | 2,510 | 50% | 1.01 | 7,909 | 27% | ||
| 37 Total FIRB | 38,337 | 0.13% | 3,108 | 47% | 1.30 | 10,561 | 28% |
| Sep 25 | |||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|
| EAD post CRM and post-CCF |
Average PD |
Number of Counterparties |
Average LGD |
Average maturity |
RWA RWA density | ||||||
| Portfolio/ PD scale |
|||||||||||
| AIRB | \$M | % | # | % | Yr | \$M | % | ||||
| Corporates | |||||||||||
| 38 | 0.00 to <0.15 | 595 | 0.09% | 137 | 47% | 2.85 | 176 | 30% | |||
| 39 | 0.15 to <0.25 | 321 | 0.20% | 205 | 43% | 4.10 | 170 | 53% | |||
| 40 | 0.25 to <0.50 | 334 | 0.35% | 332 | 36% | 2.68 | 159 | 48% | |||
| 41 | 0.50 to <0.75 | 105 | 0.65% | 207 | 30% | 1.60 | 55 | 52% | |||
| 42 | 0.75 to <2.50 | 118 | 1.15% | 248 | 29% | 2.01 | 85 | 72% | |||
| 43 | 2.50 to <10.00 | 1 | 5.09% | 28 | 31% | 1.27 | 1 | 99% | |||
| 44 | 10.00 to <100.00 | 2 | 26.54% | 13 | 37% | 0.44 | 5 | 197% | |||
| 45 | 100.00 (Default) | - | 100.00% | 2 | 31% | 2.25 | - | 142% | |||
| 47 Sub-total | 1,476 | 0.36% | 1,172 | 41% | 2.92 | 651 | 44% | ||||
| 48 RBNZ regulated entities | 1,647 | 0.24% | 756 | 61% | 1.55 | 631 | 38% | ||||
| 49 Total AIRB Corporates | 3,123 | 0.30% | 1,928 | 52% | 2.20 | 1,282 | 41% | ||||
| 51 Total AIRB | 3,123 | 0.30% | 1,928 | 52% | 2.20 | 1,282 | 41% |
______________________________________ 1 The definition of a "counterparty" differs across portfolios. In some instances, a wholesale borrower can be reported across more than one PD band.
2 March comparative numbers have been restated to align with the change in methodology in the current period.
| Mar 25 | ||||||||
|---|---|---|---|---|---|---|---|---|
| EAD post CRM and post-CCF |
Average PD |
Number of Counterparties |
Average LGD |
Average maturity |
RWA RWA density | |||
| Portfolio/ | ||||||||
| PD scale FIRB |
\$M | % | # | % | Yr | \$M | % | |
| Sovereign | ||||||||
| 1 | 0.00 to <0.15 | 2,981 | 0.02% | 54 | 9% | 1 | 48 | 1% |
| 2 | 0.15 to <0.25 | 71 | 0.20% | 2 | 50% | 0 | 26 | 37% |
| 3 | 0.25 to <0.50 | 603 | 0.26% | 3 | 50% | 0 | 232 | 38% |
| 4 | 0.50 to <0.75 | 7 | 0.57% | 2 | 50% | 1 | 5 | 73% |
| 5 | 0.75 to <2.50 | - | 1.74% | 2 | 50% | - | - | 111% |
| 6 | 2.50 to <10.00 | - | - | - | - | - | - | - |
| 7 | 10.00 to <100.00 | - | 21.00% | 1 | 50% | 0 | 1 | 276% |
| 8 | 100.00 (Default) | - | - | - | - | - | - | - |
| 12 Total FIRB Sovereign | 3,662 | 0.06% | 64 | 16% | 1 | 312 | 8% | |
| Corporates | ||||||||
| 13 | 0.00 to <0.15 | 3,166 | 0.09% | 242 | 47% | 3 | 1,093 | 35% |
| 14 | 0.15 to <0.25 | 2,195 | 0.20% | 112 | 50% | 2 | 965 | 44% |
| 15 | 0.25 to <0.50 | 814 | 0.34% | 111 | 50% | 1 | 460 | 57% |
| 16 | 0.50 to <0.75 | 48 | 0.57% | 14 | 50% | 2 | 38 | 79% |
| 17 | 0.75 to <2.50 | 73 | 1.12% | 21 | 52% | 1 | 69 | 94% |
| 18 | 2.50 to <10.00 | - | 5.00% | 1 | 50% | 0 | - | 161% |
| 19 | 10.00 to <100.00 | - | 21.00% | 2 | 50% | 0 | 1 | 276% |
| 20 | 100.00 (Default) | - | - | - | - | - | - | - |
| 24 Total FIRB Corporates | 6,296 | 0.18% | 503 | 49% | 2 | 2,626 | 42% | |
| Financial Institutions | ||||||||
| 25 | 0.00 to <0.15 | 26,601 | 0.06% | 1,905 | 50% | 1 | 5,024 | 19% |
| 26 | 0.15 to <0.25 | 1,101 | 0.20% | 117 | 52% | 1 | 533 | 49% |
| 27 | 0.25 to <0.50 | 1,982 | 0.36% | 328 | 50% | 1 | 1,362 | 69% |
| 28 | 0.50 to <0.75 | 960 | 0.63% | 137 | 51% | 1 | 861 | 90% |
| 29 | 0.75 to <2.50 | 294 | 1.98% | 52 | 51% | 0 | 354 | 121% |
| 30 | 2.50 to <10.00 | - | - | - | - | - | - | - |
| 31 | 10.00 to <100.00 | - | 35.00% | 1 | 50% | - | - | 287% |
| 32 | 100.00 (Default) | - | - | - | - | - | - | - |
| 36 Total FIRB Financial Institutions |
30,938 | 0.12% | 2,540 | 50% | 1 | 8,134 | 26% | |
| 37 Total FIRB | 40,896 | 0.12% | 3,107 | 47% | 1 | 11,072 | 27% | |
| Mar 25 | ||||||||
|---|---|---|---|---|---|---|---|---|
| Portfolio/ PD scale |
EAD post CRM and post-CCF |
Average PD |
Number of Counterparties |
Average LGD |
Average maturity |
RWA RWA density | ||
| AIRB | \$M | % | # | % | Yr | \$M | % | |
| Corporates | ||||||||
| 38 | 0.00 to <0.15 | 1,041 | 0.08% | 146 | 48% | 5 | 364 | 35% |
| 39 | 0.15 to <0.25 | 176 | 0.20% | 173 | 43% | 3 | 79 | 45% |
| 40 | 0.25 to <0.50 | 328 | 0.35% | 311 | 39% | 3 | 163 | 50% |
| 41 | 0.50 to <0.75 | 115 | 0.66% | 209 | 34% | 2 | 85 | 74% |
| 42 | 0.75 to <2.50 | 91 | 1.20% | 218 | 33% | 3 | 80 | 90% |
| 43 | 2.50 to <10.00 | 1 | 5.54% | 19 | 21% | 1 | 1 | 68% |
| 44 | 10.00 to <100.00 | 3 | 33.00% | 16 | 41% | 1 | 6 | 233% |
| 45 | 100.00 (Default) | 1 | 100.00% | 6 | 26% | 3 | 1 | 124% |
| 47 Sub-total | 1,756 | 0.32% | 1,098 | 44% | 4 | 779 | 45% | |
| 48 RBNZ regulated entities | 1,536 | 0.20% | 750 | 60% | 2 | 551 | 36% | |
| 49 Total AIRB Corporates | 3,292 | 0.27% | 1,848 | 52% | 3 | 1,330 | 41% | |
| 51 Total AIRB | 3,292 | 0.27% | 1,848 | 52% | 3 | 1,330 | 41% |
The table shows a breakdown of collateral posted or received to support or reduce the CCR exposures related to derivative transactions or securities financing transactions (SFTs), including the value of settlements posted or received under the Settled-to-Market (STM) model with central counterparties (CCPs).
| Sep 25 | ||||||
|---|---|---|---|---|---|---|
| Collateral used in deriva | ative transactions | Collateral us | sed in SFTs | |||
| Fair value of collat | eral received | Fair value of poste | ed collateral | Fair value of | Fair value of posted | |
| Segregated | Unsegregated | Segregated | Unsegregated | collateral received | collateral | |
| \$M | \$M | \$M | \$M | \$M | ||
| 1 Cash – domestic currency | 3 | 4,573 | - | 765 | 9,677 | 33,120 |
| 2 Cash – other currencies | 7 | 8,024 | - | 18,316 | 49,991 | 49,882 |
| 3 Domestic sovereign debt | - | - | - | - | 30,183 | 6,059 |
| 4 Other sovereign debt | 2,021 | 6,267 | 3,236 | 845 | 47,527 | 50,274 |
| 5 Government agency debt | - | - | - | - | - | - |
| 6 Corporate bonds | 363 | 251 | - | - | 7,258 | 4,554 |
| 7 Equity securities | - | - | - | - | - | - |
| 8 Other collateral | - | - | - | 120 | - | - |
| g Total | 2,394 | 19,115 | 3,236 | 20,046 | 144,636 | 143,889 |
| Mar 2 | 5 | |||||
|---|---|---|---|---|---|---|
| Collateral used in deri | vative transactions | Collateral us | ed in SFTs1 | |||
| Fair value of co | llateral received | Fair value of post | ed collateral | Fair value of | Fair value of posted | |
| Segregated | Unsegregated | Segregated | Unsegregated | collateral received | collateral | |
| \$M | \$M | \$M | \$M | \$M | ||
| 1 Cash – domestic currency | 2 | 5,142 | - | 760 | 12,177 | 30,753 |
| 2 Cash – other currencies | 7 | 9,547 | - | 17,049 | 45,865 | 49,628 |
| 3 Domestic sovereign debt | - | 63 | - | - | 27,252 | 11,779 |
| 4 Other sovereign debt | 1,648 | 3,685 | 2,330 | 869 | 49,004 | 46,068 |
| 5 Government agency debt | - | - | - | - | - | - |
| 6 Corporate bonds | 336 | 155 | - | - | 8,172 | 1,995 |
| 7 Equity securities | - | - | - | - | - | - |
| 8 Other collateral | - | - | - | - | - | 2,686 |
| 9 Total | 1,993 | 18,592 | 2,330 | 18,678 | 142,470 | 142,909 |
March comparative numbers have been restated to align with the change in methodology in the current period.
Increase in collateral used in derivative transactions is primarily driven by the depreciation of AUD and NZD (–9.5%), which impacted the mark-to-market (MtM) of FX and cross-currency positions with financial counterparties covered by collateral agreements.
March 2025 comparative numbers related to fair value of collateral used in SFTs were updated, excluding some operational repo transactions. The impact of this adjustment is a reduction of SFT collateral received and posted by \$5.4 billion and \$1.5 billion, respectively.
Collateral used in SFTs has risen due to both an increase in customer flow and FX translation from AUD depreciation, as the portfolio is predominantly denominated in USD.
The table below presents credit derivatives bought or sold by notional and fair values.
| Sep 25 | Mar 25 | ||||
|---|---|---|---|---|---|
| Protection bought | Protection sold | Protection bought | Protection sold | ||
| \$M | \$M | \$M | \$M | ||
| 1 | Notionals | ||||
| 2 | Single-name credit default swaps | 864 | 885 | 923 | 937 |
| 3 | Index credit default swaps | 17,282 | 15,851 | 9,855 | 8,249 |
| 4 | Total return swaps | - | - | - | - |
| 5 | Credit options | - | - | - | - |
| 6 | Other credit derivatives | - | - | - | - |
| 7 | Total notionals | 18,146 | 16,736 | 10,778 | 9,186 |
| 8 | Fair values | - | - | - | - |
| 9 | Positive fair value (asset) | 1 | 17 | 8 | - |
| 10 | Negative fair value (liability) | 12 | - | 3 | 7 |
Credit derivatives are transacted by the Markets business within the Institutional division (with offsetting bought and sold protection). Index credit default swaps are used primarily to hedge credit and funding exposures on derivative trades with customers, and single-name credit default swaps are used primarily to hedge exposures on bond trading inventories.
Credit derivative notionals increased over the last 6 months, mainly driven by new index credit default swaps entered to hedge a higher proportion of risk on derivative trades with customers, which more than offset expiries of index credit default swaps during the period. The movement in fair value over the same period was minimal as these credit derivatives are recognised on a settled-to-market basis.
The table below presents a comprehensive view of exposures and RWAs to CCPs.
| Sep 25 | Mar 25 | ||||
|---|---|---|---|---|---|
| EAD (post-CRM) |
RWA | EAD (post-CRM) |
RWA | ||
| \$M | \$M | \$M | \$M | ||
| 1 Ex | posures to QCCPs (total) | 451 | 478 | ||
| posures for trades at QCCPs (excluding initial margin and default nd contributions); of which | 5,574 | 111 | 7,326 | 147 | |
| 3 | (i) OTC derivatives | 5,193 | 103 | 7,113 | 143 |
| 4 | (ii) Exchange-traded derivatives | - | - | - | - |
| 5 | (iii) Securities financing transactions | 381 | 8 | 213 | 4 |
| 6 | (iv) Netting sets where cross-product netting has been approved | - | - | - | - |
| 7 Se | gregated initial margin | - | - | ||
| 8 No | on-segregated initial margin | 3,385 | 68 | 3,187 | 64 |
| 9 Pre | e-funded default fund contributions | 1,322 | 272 | 1,197 | 267 |
| 10 Un | funded default fund contributions | - | - | - | - |
| 11 Ex | posures to non-QCCPs (total) | 117 | - | ||
| posures for trades at non-QCCPs (excluding initial margin and fault fund contributions); of which | - | - | - | - | |
| 13 | (i) OTC derivatives | - | - | - | - |
| 14 | (ii) Exchange-traded derivatives | - | - | - | - |
| 15 | (iii) Securities financing transactions | - | - | - | - |
| 16 | (iv) Netting sets where cross-product netting has been approved | - | - | - | - |
| 17 Se | gregated initial margin | - | - | ||
| 18 No | on-segregated initial margin | 138 | 117 | - | - |
| 19 Pre | e-funded default fund contributions | - | - | - | - |
| 20 Un | funded default fund contributions | - | _ | - | - |
A securitisation is a financial structure where the cash flow from a pool of assets is used to service obligations to at least two different tranches or classes of creditors, typically holders of debt securities, with each class or tranche reflecting a different degree of credit risk. This stratification of credit risk means that one class of creditors is entitled to receive payments from the pool before another class.
Securitisations may be categorised as:
ANZ adopts securitisation as a funding, capital and liquidity management tool using assets it has originated.
This may involve the transfer of credit risk and thereby provide regulatory capital relief. The Kingfisher Programme is the Group's securitisation programme of ANZ originated residential mortgage loans. ANZ also operates a self-securitisation programme, backed by pools of residential mortgages, which forms part of the Group's liquidity arrangements. ANZ retains all the notes issued which are used to access government sponsored facilities.
For these securitisation programmes, ANZ undertakes roles including as the originator, sponsor, servicer and trust manager. ANZ may retain an exposure to these securitisation programmes (including as facility provider and swap provider), consistent with the roles described below in 'Third Party Securitisation Activities' and facilities provided as described below in 'Risk Management'.
Similarly, Suncorp Bank adopts securitisation including operating a self-securitisation programme and undertakes roles, as described above, under the Apollo Programme. Any facilities provided are governed by Suncorp Bank's risk management framework.
Covered bond transactions, whereby bonds issued by ANZ and Suncorp Bank are secured by assets held in a special purpose vehicle, are not securitisation exposures.
ANZ's involvement with securitisation of third-party originated assets, including residential mortgages, auto and equipment loans and trade receivables, comprises of:
For any assets ANZ has securitised or for SPVs that ANZ sponsors, any role provided by ANZ or its subsidiaries is subject to market-based terms and conditions, and ANZ's normal approval and review processes. Further, any securitisation exposures retained by ANZ or its affiliated entities are subject to ANZ's normal approval and review processes as well as satisfying the requirements under APS 120.
ANZ do not have exposures that are classified as re-securitisation exposures. That is, a securitisation exposure where at least one of the underlying exposures in the pool is a securitisation exposure.
Exposures are classified into either the trading book or the banking book. In general terms, the trading book consists of positions in financial instruments and commodities held with trading intent or in order to hedge other elements of the trading book, and the banking book contains all other exposures. Banking book exposures are typically held to maturity, in contrast to the shorter term, trading nature of the trading book.
Similar to other exposures, securitisation exposures are subject to financial and non-financial risks. Governance of securitisation activities is managed in accordance with ANZ's established risk management framework, including the credit risk and market risk frameworks described in DIS40: Credit Risk and DIS50: Market Risk. Roles and responsibilities are clearly outlined in the Group's policies and procedures, including:
Funding third party originated exposures and investment in securities must satisfy ANZ's credit, due diligence and other business requirements. Many functions within ANZ are involved in securitisation activities given the range of activities undertaken and risks that need to be managed. For origination and structuring of securitisation transactions, ANZ has a specialist securitisation team with independent risk personnel overseeing operations. Credit decisions require joint approval by the business unit and respective independent credit risk officer. The securitisation team must be involved in all non-trading securitisation transactions across ANZ, which ensures consistent expert treatment.
All facilities provided to our investments in securitisation programmes (across both the banking and trading books) undergo initial and ongoing due diligence in line with requirements outlined by APRA. This includes analysing the risk characteristics of the securitisation exposure, structure of the transaction and monitoring performance of the underlying assets of the transaction. In addition, such securitisation exposures are formally reviewed at least annually with credit discretions being exercised until the securitisation exposures are repaid in full or sold.
Credit risk management information systems and reporting are managed centrally for all securitisation exposures. In addition to the formal credit review process for ANZ's securitisation exposures, internal reporting to the appropriate Risk and management functions provides oversight at the portfolio level. These reports include securitisation programme performance, EAD, portfolio mix, and RWA.
The use and treatment of Credit Risk Mitigation (CRM) techniques with respect to securitisation exposures is assessed on a case-by-case basis in a manner consistent with the bank-wide CRM methodology.
Securitisation exposures held in Group's banking book are governed by APS 120 and Prudential Practice Guide APG 120. This standard is employed to calculate the credit risk regulatory capital charge via a hierarchy of approaches.
The primary rating approach is the External Ratings-based Approach (ERBA). For externally rated securitisation exposures that satisfy the operational requirements for external credit assessments, ANZ calculates credit risk regulatory capital based upon the ratings assigned by Standard & Poor's, Moody's Investor Services and/or Fitch Ratings as appropriate, seniority of the securitisation exposure and the tenor of the securitisation exposure.
If ERBA is not applicable, ANZ adopts the Supervisory Formula Approach (SFA) for securitisation exposures. In this case, the credit risk regulatory capital calculation takes into account the type and performance of the underlying assets of the securitisation and the credit support provided to the securitisation exposure.
In relation to securitisation of ANZ originated assets, where:
Under APRA's capital framework, ANZ's New Zealand banking subsidiaries regulated by the Reserve Bank of New Zealand (RBNZ) are required to calculate capital requirements for any securitisation exposures held using the RBNZ's prudential framework rather than APRA's framework. These exposures are included in the exposures of New Zealand banking subsidiaries in DIS40: Credit Risk tables rather than in the Securitisation tables.
A key consideration in determining the treatment of transactions involving ANZ assets is whether the securitisation special purpose vehicles (SPVs) should be consolidated under AASB 10: Consolidated Financial Statements. If these SPVs meet the criteria for consolidation, the assets remain on the balance sheet of ANZ's consolidated financial statements and are classified and valued in accordance with AASB 9: Financial Instruments. Currently, transfers to securitisation SPVs are treated as financing transactions in the separate financial statements of ANZBGL because it retains substantially all of the risks and rewards of assets transferred to the SPVs.
Securitisation services based on customers' generated assets include warehouse and term fund facilities which are treated as loans.
For synthetic securitisations of ANZ-originated assets, any transferred credit exposure is recognised through the fair value measurement of the credit derivative established within the structure.
Full details of the principal accounting policies governing ANZ's securitisation activities are outlined in ANZBGL's 2025 Annual Report, Notes to the Financial Statements. These include the valuation, derecognition, consolidation and income recognition principles outlined in the accounting policies and key judgements and estimates disclosures in each relevant note. Note 26 – Structured Entities and Note 27 – Assets pledged, collateral accepted, and financial assets transferred also provide details about the nature of ANZ's securitisation activities and certain accounting policies as they specifically apply to these activities. There have been no changes to the application of accounting policies in relation to securitisation activities since the prior year.
To the extent that ANZ has exposures intended to be securitised, they could reside in either the banking or trading book.
To the extent that ANZ has entered into contractual arrangements that could require it to provide financial support for securitised assets e.g. liquidity facilities, these are recognised in accordance with the accounting policies set out in ANZBGL's 2025 Annual Report.
DIS50: Market Risk outlines regulatory capital treatment for securitisation exposures held in ANZ's trading book. In addition, the operational requirements for the recognition of external credit assessments outlined in APS 120 also apply to these exposures.
The table below presents the bank's securitisation exposures in the banking book.1Where ANZ acts as investor, securitisation exposures increased by \$638 million (6.6%) since the last reporting period as a result of additional third party securitisation activity.
| Sep 25 | |||||||
|---|---|---|---|---|---|---|---|
| Bank acts as originator/sponsor2 | Bank acts as investor3 | ||||||
| Traditional | Synthetic | Sub-total | Traditional | Synthetic | Sub-total | ||
| \$M | \$M | \$M | \$M | \$M | \$M | ||
| 1 | Retail (total) | 87,265 | - | 87,265 | 10,317 | - | 10,317 |
| 2 | of which: Residential mortgages | 87,265 | - | 87,265 | 9,547 | - | 9,547 |
| 3 | of which: Credit cards | - | - | - | - | - | - |
| 4 | of which: Other retail exposures | - | - | - | 770 | - | 770 |
| 5 | of which: Re-securitisation | - | - | - | - | - | - |
| 6 | Wholesale (total) | - | - | - | 5,144 | - | 5,144 |
| 7 | of which: Loans to corporates | - | - | - | - | - | - |
| 8 | of which: Commercial mortgage | - | - | - | - | - | - |
| 9 | of which: Lease and receivables | - | - | - | 3,321 | - | 3,321 |
| 10 | of which: Other wholesale | - | - | - | 1,823 | - | 1,823 |
| 11 | of which: Re-securitisation | - | - | - | - | - | - |
Securitisation exposures that are prudentially regulated by a prescribed New Zealand authority are disclosed as part of the New Zealand credit RWA, per APS 330, Att. A, para. 31.
Securitisation exposures relating to third party securitisation transactions.
| Mar 25 | |||||||
|---|---|---|---|---|---|---|---|
| Bank acts as originator/sponsor | Bank acts as investor | ||||||
| Traditional | Synthetic | Sub-total | Traditional | Synthetic | Sub-total | ||
| \$M | \$M | \$M | \$M | \$M | \$M | ||
| 1 | Retail (total) | 86,515 | - | 86,515 | 9,679 | - | 9,679 |
| 2 | of which: Residential mortgages | 86,515 | - | 86,515 | 8,899 | - | 8,899 |
| 3 | of which: Credit cards | - | - | - | - | - | - |
| 4 | of which: Other retail exposures | - | - | - | 780 | - | 780 |
| 5 | of which: Re-securitisation | - | - | - | - | - | - |
| 6 | Wholesale (total) | - | - | - | 5,128 | - | 5,128 |
| 7 | of which: Loans to corporates | - | - | - | - | - | - |
| 8 | of which: Commercial mortgage | - | - | - | - | - | - |
| 9 | of which: Lease and receivables | - | - | - | 3,618 | - | 3,618 |
| 10 | of which: Other wholesale | - | - | - | 1,510 | - | 1,510 |
| 11 | of which: Re-securitisation | - | - | - | - | - | - |
The Group has no traditional or synthetic securitisation exposures in the trading book.
This includes self-securitisation assets of \$81,894m as at this reporting date (\$81,971m as at 31 March 2025).
The table below present securitisation exposures in the banking book when the bank acts as originator or sponsor and the associated capital requirements.1 Securitisation exposure increased by \$12 million (5.9%) that related to a new ANZ Group-originated securitisation program established since the last reporting date.
| Sep 25 | |||||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Exposure values (by risk weight bands) | Exposure values (by regulatory approach) |
RWA2 (by regulatory approach) |
Capital charge after cap3 | ||||||||||||
| ≤20% | >20% to 50% |
>50% to 100% |
>100% to <1250% RW |
1250% | SEC ERBA |
SEC-SA | 1250% | SEC ERBA |
SEC-SA | 1250% | SEC ERBA |
SEC-SA | 1250% | ||
| \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | ||
| 1 | Total exposures | 217 | - | - | - | - | 217 | - | - | 43 | - | - | 4 | - | - |
| 2 | Traditional Securitisation | 217 | - | - | - | - | 217 | - | - | 43 | - | - | 4 | - | - |
| 3 | of which: Securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 4 | of which: Retail underlying | 217 | - | - | - | - | 217 | - | - | 43 | - | - | 4 | - | - |
| 6 | of which: Wholesale | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 8 | of which: Re-securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 9 | Synthetic Securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 10 | of which: Securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 11 | of which: Retail underlying | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 12 | of which: Wholesale | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 13 | of which: Re-securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
________________________________ 1 Securitisation exposures that are prudentially regulated by a prescribed New Zealand authority are disclosed as part of the New Zealand credit RWA, per APS 330, Att. A, para. 31.
2 RWA metrics are before application of the cap.
3 Capital charge after cap excludes regulatory adjustment of \$11 million deducted from capital (31 March 2025: \$11 million) relating to the securitisation of ANZ Group-originated assets.
| Mar 25 | |||||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Exposure values (by risk weight bands) | Exposure values (by regulatory approach) |
RWA (by regulatory approach) |
Capital charge after cap | ||||||||||||
| ≤20% | >20% to 50% |
>50% to 100% |
>100% to <1250% RW |
1250% | SEC ERBA |
SEC-SA | 1250% | SEC ERBA |
SEC-SA | 1250% | SEC ERBA |
SEC-SA | 1250% | ||
| \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | ||
| 1 | Total exposures | 206 | - | - | - | - | 206 | - | - | 41 | - | - | 3 | - | - |
| 2 | Traditional Securitisation | 206 | - | - | - | - | 206 | - | - | 41 | - | - | 3 | - | - |
| 3 | of which: Securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 4 | of which: Retail underlying | 206 | - | - | - | - | 206 | - | - | 41 | - | - | 3 | - | - |
| 6 | of which: Wholesale | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 8 | of which: Re-securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 9 | Synthetic Securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 10 | of which: Securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 11 | of which: Retail underlying | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 12 | of which: Wholesale | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 13 | of which: Re-securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
The table below presents securitisation exposures in the banking book where the bank acts as investor and the associated capital requirements.1 Securitisation exposures in the banking book increased by \$653 million or 4.4% since the last reporting date, reflecting additional funding extended to securitisation warehouse arrangements. Changes to risk weights reflect movements in asset composition, as governed by APRA's prudential standard for securitisation APS120.
| Sep 25 | |||||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Exposure values (by risk weight bands) | Exposure values (by regulatory approach) |
RWA2 (by regulatory approach) |
Capital charge after cap | ||||||||||||
| ≤20% | >20% to 50% |
>50% to 100% |
>100% to <1250% RW |
1250% | SEC ERBA |
SEC-SA | 1250% | SEC ERBA |
SEC-SA | 1250% | SEC ERBA |
SEC-SA | 1250% | ||
| \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | ||
| 1 | Total exposures | 15,344 | 117 | - | - | - | 4,239 | 11,222 | - | 733 | 1,715 | - | 58 | 137 | - |
| 2 | Traditional Securitisation | 15,344 | 117 | - | - | - | 4,239 | 11,222 | - | 733 | 1,715 | - | 58 | 137 | - |
| 3 | of which: Securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 4 | of which: Retail underlying | 10,317 | - | - | - | - | 1,431 | 8,886 | - | 279 | 1,353 | - | 22 | 108 | - |
| 6 | of which: Wholesale | 5,027 | 117 | - | - | - | 2,808 | 2,336 | - | 454 | 362 | - | 36 | 29 | - |
| 8 | of which: Re-securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 9 | Synthetic Securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 10 | of which: Securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 11 | of which: Retail underlying | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 12 | of which: Wholesale | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 13 | of which: Re-securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
________________________________ 1 Securitisation exposures that are prudentially regulated by a prescribed New Zealand authority are disclosed as part of the New Zealand credit RWA, per APS 330, Att. A, para. 31.
2 RWA metrics are before application of the cap.
| Mar 25 |
|---|
| -------- |
| Exposure values (by risk weight bands) | Exposure values (by regulatory approach) |
RWA (by regulatory approach) |
Capital charge after cap | ||||||||||||
|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|
| ≤20% | >20% to 50% |
>50% to 100% |
>100% to <1250% RW |
1250% | SEC ERBA |
SEC-SA | 1250% | SEC ERBA |
SEC-SA | 1250% | SEC ERBA |
SEC-SA | 1250% | ||
| \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | \$M | ||
| 1 | Total exposures | 14,798 | 9 | - | - | - | 4,255 | 10,551 | - | 739 | 1,616 | - | 59 | 129 | - |
| 2 | Traditional Securitisation | 14,798 | 9 | - | - | - | 4,255 | 10,551 | - | 739 | 1,616 | - | 59 | 129 | - |
| 3 | of which: Securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 4 | of which: Retail underlying | 9,679 | - | - | - | - | 1,265 | 8,413 | - | 246 | 1,289 | - | 20 | 103 | - |
| 6 | of which: Wholesale | 5,119 | 9 | - | - | - | 2,990 | 2,138 | - | 493 | 327 | - | 39 | 26 | - |
| 8 | of which: Re-securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 9 | Synthetic Securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 10 | of which: Securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 11 | of which: Retail underlying | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 12 | of which: Wholesale | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
| 13 | of which: Re-securitisation | - | - | - | - | - | - | - | - | - | - | - | - | - | - |
Market risk stems from ANZ's trading and balance sheet activities and is the risk to ANZ's earnings or economic value arising from changes in interest rates, foreign exchange rates, credit spreads, volatility, correlations or from fluctuations in bond, commodity, or equity prices.
Market risk management of interest rate risk in the banking book (IRRBB) is described in DIS70.
ANZ has been approved by APRA to use the internal model approach (IMA) under APS 116 Capital Adequacy: Market Risk for general market risk (APS 116) and under APS 117 Capital Adequacy: Interest Rate Risk in the Banking Book (Advanced ADIs) (APS 117) for interest rate risk in the banking book (IRRBB). Suncorp Bank has not been approved by APRA to use the IMA approach and uses the standard method under APS 116 and APS 117.
ANZ uses the standard method to measure market risk capital for specific risk1 (APRA does not currently permit Australian banks to use an internal model approach for this).
The BRC supervision of market risk is supported by the Credit and Market Risk Committee (CMRC).
CMRC is responsible for the oversight and control of credit, market and material financial risks across the ANZ Group and meets at least monthly. The Market Risk function is a specialist risk management unit independent of the business that is responsible for:
Traded market risk is the risk of loss from changes in the value of financial instruments due to movements in price factors for both physical and derivative trading positions in the trading book. Trading positions arise from transactions where ANZ acts as principal with customers, financial exchanges, or inter-bank counterparties.
The Trading Book Policy Statement and accompanying procedures governs the management of traded market risk and its key components include:
1 Specific risk is the risk that the value of a security will change due to issuer-specific factors. It applies to interest rate and equity positions related to a specific issuer.
ANZ has traded risk exposures across the following key lines of business:
| Business line | Description | |
|---|---|---|
| 1 | Credit Trading and Debt Capital Mkts | Includes price making of debt securities and use of credit default swaps for risk management of the portfolio. |
| 2 | Commodities Trading | Includes price making of precious metals, agricultural commodities, emissions and petroleum. |
| 3 | FX Options | Includes price making of FX options on a range of approved currencies. |
| 4 | Local Markets | Includes price making of spot FX, FX forwards, non-deliverable forwards, rates and government bonds in approved currencies. |
| 5 | Global Currency eFX | Includes price making of spot FX, FX forwards, non-deliverable forwards, in approved currencies. |
| Global eFX algorithmic trading business in spot FX and FX forwards. | ||
| 6 | Interest Rate Options | Includes price making of options on interest rates and inflation products. |
| 7 | G10 Rates | Includes price making of interest rate products in approved currencies. |
| 8 | NZ Rates | Includes price making of interest rate products in approved currencies out of NZ. |
| 9 | Balance Sheet Overlay | A trading portfolio which is used as an overlay to the non-traded Mismatch and Liquidity Portfolios. |
| 10 | FICC Management | Overlay portfolio for fixed income, currencies, and commodities (FICC) business. |
| 11 | XVA Trading | Management of funding valuation adjustment (FVA) and credit valuation adjustment (CVA) risk. |
| 12 | Repo Trading | Includes repo and reverse repo trading to facilitate the efficient funding and ability to short bonds. |
ANZ's traded market risk management framework incorporates a risk measurement approach to quantify the magnitude of market risk within trading books. This approach and related analysis identify the range of possible outcomes that can be expected over a given period of time and establishes the relative likelihood of those outcomes.
ANZ's key tools to measure and manage traded market risk on a daily basis are VaR, sensitivity measures and stress tests. VaR is calculated using a historical simulation with a 500-day observation period for standard VaR, and a one-year stressed period for stressed VaR. Traded VaR is calculated at a 99% confidence level for one and ten-day holding periods for standard VaR, and a ten-day holding period for stressed VaR. All material market risk factors and all trading portfolios are captured within the VaR model, with the exception of specific risk for interest rates, equity trading, for which capital is calculated using the standard method.
ANZ also undertakes a wide range of stress tests on the Group trading portfolio and to individual trading portfolios. Standard stress tests are applied daily measuring the potential loss that could arise from the largest market movements observed since 2008 over specific holding periods. Holding periods used to calculate stress parameters differ and reflect the relative liquidity of each product type. Results from stress testing on plausible severe scenarios are also calculated daily.
VaR and stress tests are supplemented by loss limits and detailed control limits. Loss limits are designed to ensure that in the event of continued losses from a trading activity, the trading activity is stopped and senior management reviews before trading is resumed. Detailed control limits such as sensitivity, single name or position limits are also in place to ensure appropriate control is exercised over a specific risk or product in line with desk activity. Temporary limit increases can be implemented within approved discretions for specific detailed control limits to manage customer flow and associated hedging, and/or to manage temporary increases in market positioning due to second order effects – trading positions are expected to be managed to within approved appetite and within agreed timelines.
Back testing involves comparing VaR calculations with corresponding profit and loss to identify how often trading losses exceed the calculated VaR. For APRA back testing purposes, VaR is calculated at the 99% confidence interval with a one day holding period.
Back testing is conducted daily, and outliers are analysed to determine whether they are the result of trading decisions, systemic changes in market conditions or issues related to the VaR model (historical data or model calibration). ANZ uses actual and hypothetical profit and loss data. Hypothetical data is designed to remove the impacts of intraday trading and sales margins. It is calculated as the difference between the value of the prior day portfolio at prior day closing rates and the value at current day closing rates. Markets Finance calculates actual profit and loss while Market Risk calculate hypothetical profit and loss.
Market Risk reports the result of daily VaR, key sensitivities and stress testing results to senior management in Market Risk and the Markets business. Market Risk will escalate details of any limit breach to the appropriate discretion holder within Market Risk and to Group Risk and reports to the CMRC each month.
Market Risk monitors and analyses back testing results daily and reports results to the CMRC quarterly.
The Market Risk team's responsibilities, including the reporting and escalation processes described above, are fundamental to how market risk is managed. Market Risk has a presence in all the major dealing operations centres in Australia, New Zealand, Asia, Europe, and America.
ANZ recognises and measures a significant component of its financial instruments, including but not limited to the Trading Book, at fair value in accordance with Australian Accounting Standards and Prudential Standards.
ANZ's Valuation Control Framework (VCF) ensures the effectiveness and appropriateness of the valuation control process in ANZ supporting fair valuation in accordance with prudential requirements. The VCF defines roles and responsibilities for valuation governance. Oversight of the implementation of the VCF for ANZ's Markets business and Group Treasury function, where most financial instruments recognised and measured at fair value are contained, is undertaken by ANZ's Valuation Governance Group (VGG). The VGG consists of senior executives from these businesses and Enterprise Finance and Group Risk functions, and oversees a framework for the design, validation, and implementation of valuation methodologies in Markets.
Compliance with financial reporting and prudential standard and reporting frameworks involves, but is not limited to, the following activities:
The integrity of valuations is facilitated through:
All valuation adjustments are determined independently by Financial Control, with Markets Risk as a second line of defence, and oversighted by the VGG.
Table 1: Market risk – disclosures for ADIs using the standard method
| Sep 25 \$M |
Mar 25 \$M |
Sep 24 \$M |
||
|---|---|---|---|---|
| 1 | Interest rate risk | 121 | 103 | 125 |
| 2 | Equity position risk | - | - | - |
| 3 | Foreign exchange risk | - | - | 2 |
| 4 | Commodity risk | - | - | - |
| Total | 121 | 103 | 127 | |
| Risk Weighted Assets equivalent1 | 1,518 | 1,288 | 1,588 |
1 RWA equivalent is the capital requirement multiplied by 12.5 in accordance with APS 110.
The below disclosure table includes Suncorp Bank for period end September 2025.
| Six months ended Sep 25 | ||||||||
|---|---|---|---|---|---|---|---|---|
| Mean | Maximum | Minimum | Period end | |||||
| 99% 1 Day Value at Risk (VaR) | \$M | \$M | \$M | \$M | ||||
| 1 | Foreign Exchange1 | 3.2 | 6.5 | 1.9 | 2.0 | |||
| 2 | Interest Rate | 5.9 | 8.7 | 3.8 | 4.1 | |||
| 3 | Credit | 2.8 | 4.2 | 1.8 | 2.9 | |||
| 4 | Commodity | 7.7 | 11.3 | 4.9 | 8.9 | |||
| 5 | Equity | - | - | - | - |
| Six months ended Sep 25 | |||||||
|---|---|---|---|---|---|---|---|
| 99% 10 Day Stressed VaR | Mean | Maximum | Minimum | Period end | |||
| \$M | \$M | \$M | \$M | ||||
| 1 | Foreign Exchange1 | 64.4 | 129.3 | 17.5 | 48.3 | ||
| 2 | Interest Rate | 77.0 | 125.1 | 47.3 | 66.8 | ||
| 3 | Credit | 22.8 | 32.6 | 14.2 | 31.9 | ||
| 4 | Commodity | 25.6 | 53.4 | 16.2 | 18.8 | ||
| 5 | Equity | - | - | - | - | ||
1 The Foreign exchange VaR excludes foreign exchange translation exposures outside of the trading book.
| Six months ended Mar 25 | |||||
|---|---|---|---|---|---|
| ------------------------- | -- | -- | -- | -- | -- |
| 99% 1 Day Value at Risk (VaR) | Mean | Maximum | Minimum | Period end | |
|---|---|---|---|---|---|
| \$M | \$M | \$M | \$M | ||
| 1 | Foreign Exchange | 3.6 | 8.9 | 2.4 | 2.9 |
| 2 | Interest Rate | 5.6 | 7.4 | 4.1 | 5.1 |
| 3 | Credit | 5.5 | 8.2 | 3.4 | 3.4 |
| 4 | Commodity | 4.9 | 10.9 | 2.3 | 8.7 |
| 5 | Equity | - | - | - | - |
| Six months ended Mar 25 | |
|---|---|
| 99% 10 Day Stressed VaR | Mean | Maximum | Minimum | Period end | |
|---|---|---|---|---|---|
| \$M | \$M | \$M | \$M | ||
| 1 | Foreign Exchange | 40.6 | 77.3 | 15.9 | 43.7 |
| 2 | Interest Rate | 77.7 | 123.6 | 50.4 | 60.2 |
| 3 | Credit | 33.1 | 49.6 | 19.8 | 23.7 |
| 4 | Commodity | 32.6 | 41.2 | 23.7 | 24.0 |
| 5 | Equity | - | - | - | - |
Table 2: Market risk – disclosures for ADIs using the internal models approach (IMA) for trading portfolios (continued)
| Six months ended Sep 24 | |||||||||
|---|---|---|---|---|---|---|---|---|---|
| 99% 1 Day Value at Risk (VaR) | Mean | Maximum | Minimum | Period end | |||||
| \$M | \$M | \$M | \$M | ||||||
| 1 | Foreign Exchange | 5.6 | 11.5 | 3.2 | 3.2 | ||||
| 2 | Interest Rate | 7.8 | 17.6 | 4.9 | 6.4 | ||||
| 3 | Credit | 6.6 | 7.9 | 5.2 | 5.7 | ||||
| 4 | Commodity | 2.7 | 4.4 | 1.8 | 3.3 | ||||
| 5 | Equity | - | - | - | - |
| Six months ended Sep 24 | ||||||||
|---|---|---|---|---|---|---|---|---|
| 99% 10 Day Stressed VaR | Mean | Maximum | Minimum | Period end | ||||
| \$M | \$M | \$M | \$M | |||||
| 1 | Foreign Exchange | 42.9 | 95.5 | 18.2 | 39.1 | |||
| 2 | Interest Rate | 68.1 | 92.8 | 45.7 | 74.0 | |||
| 3 | Credit | 37.2 | 43.6 | 30.0 | 34.1 | |||
| 4 | Commodity | 20.4 | 30.4 | 14.2 | 28.3 | |||
| 5 | Equity | - | - | - | - |

In 2H25, ANZ experienced 1 actual back testing exceptions driven by unexpected volatility in the gold exchange for physical market in New York.
Reporting Period: 01 Apr 2025 to 30 Sep 2025
| Actual Pnl Loss | VaR 99% | |
|---|---|---|
| Date | \$M | \$M |
| 7-Aug-25 | -9.5 | -7.4 |
ANZ employs a model to adjust the fair value of the CVA held, considering the impact of counterparty credit quality. This methodology calculates the present value of expected losses over the life of a derivative based on the Probability of Default (PD), Loss Given Default (LGD), and expected exposure profile.
Key risk sensitivities, including CR01, DV01, Basis DV01, XCCY DV01, NPV, and vega, are measured and monitored daily against respective limits and triggers. Several VaR risk metrics (1D VaR, 10D VaR, Stressed VaR) are also computed to assess potential losses under various market conditions, adhering to their respective limits and triggers.
ANZ utilizes credit derivatives (mainly credit indices), interest derivatives, and foreign exchange derivatives as hedging instruments to minimize P&L volatility. Daily P&L is tracked and reported to the appropriate committee regularly for oversight and assessment of hedging effectiveness. Daily and YTD loss triggers are also established to ensure losses remain within acceptable limits.
All the aforementioned limits and triggers form ANZ's CVA limit framework, which is reviewed at least annually to ensure CVA exposure remains within approved risk appetite as approved by the Board.
APRA requires banks, including ANZ, to hold additional risk-based capital to cover the risk of CVA mark-to-market losses associated with deterioration in counterparty credit worthiness when entering into derivative transactions.
ANZ's aggregated non-centrally cleared derivative notional is above the threshold therefore ANZ is not eligible to set its CVA capital requirement to 100% of counterparty credit risk capital.
ANZ does not apply Standardised Approach (SA) CVA.
Non-financial risk is the risk of loss and/or non-compliance (including failure to act in accordance with laws, regulations, industry standards and codes, and internal policies) resulting from inadequate or failed internal processes, people, systems and/or data, or from external events. This includes operational risk, financial crime risk, compliance and conduct risk, resilience risk and the risk of reputational loss but excludes strategic risk.
The non-financial risk (NFR) framework has been designed to enable ANZ to holistically, consistently and effectively identify, assess, remediate, monitor and report non-financial risks. The NFR Framework includes:
The NFR framework aligns with ANZ's Risk Appetite Statement (RAS), the Risk Management Strategy (RMS) and supports ANZ to meet the requirements of Prudential Standard APS 115.
Enhancing non-financial risk management through a business and cultural transformation that delivers a better-run bank with improved customer outcomes is one of the key priorities for ANZ and significant work is already underway including:
Suncorp Bank has its own RMF, RMS, RAS and supporting suite of policies and procedures to manage NFR. Work is in progress to ensure a smooth transition and effective integration into ANZ's risk management operating model.
ANZ operates under the Three Lines-of-Defence Model. Each line of defence has clearly defined roles, responsibilities and escalation paths to support effective risk management at ANZ. The Three Lines-of-Defence Model embeds a culture where risk is everyone's responsibility.
The Divisions and enablement functions, as day-to-day owners of risks and controls, form the first line of defence and are responsible for:
The second line of defence is comprised of the Risk function. Accountabilities include:
Internal audit is the third line of defence and is accountable for:
Collectively Internal Audit, NFR functions and the Business are responsible for monitoring and reporting to Executive Management, the Board, Regulators and others on all matters related to the measurement and management of NFR.
Operational Risk Capital is held to protect depositors and shareholders from rare and severe unexpected losses. ANZ maintains and calculates Operational Risk Regulatory Capital on an annual basis, per APS 115. The SMA methodology applies across all of ANZ including Suncorp. For the purposes of RBNZ capital adequacy, ANZ Bank New Zealand Ltd uses the Reserve Bank of New Zealand standardised approach to Operational Risk capital calculation.
ANZ uses a global, web based NFR and IT Governance tool that provides ANZ the source of truth and provides transparency of Risk, Controls, Obligations and Events information across ANZ. The Operational Risk Executive Committee (OREC) monitors and oversees at an enterprise level the state of NFR management and takes appropriate actions to manage enterprise risks, incidents and breaches of risk appetite. Where required, risks, incidents and breaches of risk appetite are reported to the Board Risk committee (BRC).
The primary responsibilities for NFR are vested by the ANZ Group RMS, in the BRC and OREC.
ANZ does not expect to eliminate all non-financial risks but seeks to ensure that risk exposures are managed within risk appetite tolerance levels that ANZ is willing to accept in pursuit of achieving its strategic objectives and plan. ANZ's risk appetite for Non-Financial Risk is as low as reasonably practical based on a sound risk/reward analysis, with no appetite for any deliberate or reckless non-compliance with laws, regulatory requirements and expectations of the countries in which it operates, nor with ANZ's NFR Policy, ANZ's Code of Conduct and ANZ's Risk Principles.
ANZ seeks to minimise and mitigate non-financial risk by appropriately identifying, acting upon and monitoring those risks in accordance with the relevant policies and procedures. In line with industry practice, ANZ manages a program of insurance cover to transfer risks within agreed retentions and limits, placed with insurers approved by the ANZ BRC or as delegated to the CRO. ANZ obtains insurance to cover those non-financial risks where cost-effective premiums can be obtained. In conducting their business, Business units are advised to act as if uninsured and not to use insurance as a guaranteed mitigant. ANZ has business continuity, recovery of services from disruption and crisis management plans. The intention of business continuity and recovery plans is so that critical business functions can be maintained, or restored in a timely fashion, in the event of material disruptions arising from non-financial risk events. Crisis management planning at Group and country levels supplement business continuity plans in the event of a broader Group or country crisis. Crisis management plans include crisis team structures, roles, responsibilities and contact lists, and are subject to testing.
The table below presents the annual aggregated operational losses1 incurred over the past 10 years2 3 . Losses have been reported in the year they were financially incurred, as opposed to the year the operational loss event was discovered. Consequently, the current year loss amount may include losses associated with operational loss events discovered in prior years. The below disclosure includes Suncorp Bank's operational loss history.
| Sep 24 | Sep 23 | Sep 22 | Sep 21 | Sep 20 | Sep 19 | Sep 18 | Sep 17 | Sep 16 | Sep 15 | Ten-year average |
||
|---|---|---|---|---|---|---|---|---|---|---|---|---|
| Using \$30,000 threshold | ||||||||||||
| 1 | Total amount of operational losses net of recoveries (no exclusions) (\$M) | 123 | 175 | 169 | 182 | 344 | 343 | 463 | 445 | 144 | 115 | 250 |
| 2 | Total number of operational risk losses | 501 | 537 | 511 | 531 | 515 | 520 | 421 | 597 | 317 | 291 | 474 |
| 3 | Total amount of excluded operational risk losses (\$M) | - | - | - | - | - | - | - | - | - | - | - |
| 4 | Total number of exclusions | - | - | - | - | - | - | - | - | - | - | - |
| 5 | Total amount of operational losses net of recoveries and net of excluded losses (\$M) |
123 | 175 | 169 | 182 | 344 | 343 | 463 | 445 | 144 | 115 | 250 |
| Using \$150,000 threshold | ||||||||||||
| 6 | Total amount of operational losses net of recoveries (no exclusions) (\$M) | 108 | 148 | 155 | 167 | 331 | 319 | 448 | 418 | 132 | 99 | 233 |
| 7 | Total number of operational risk losses | 154 | 161 | 173 | 194 | 192 | 200 | 140 | 172 | 95 | 55 | 154 |
| 8 | Total amount of excluded operational risk losses (\$M) | - | - | - | - | - | - | - | - | - | - | - |
| 9 | Total number of exclusions | - | - | - | - | - | - | - | - | - | - | - |
| 10 | Total amount of operational losses net of recoveries and net of excluded losses (\$M) |
108 | 148 | 155 | 167 | 331 | 319 | 448 | 418 | 132 | 99 | 233 |
| Details of operational risk capital calculation | ||||||||||||
| 11 | Are losses used to calculate the ILM4 (yes/no)? |
No | ||||||||||
| 12 | If "no" in row 11, is the exclusion of internal loss data due to non compliance with the minimum loss data standards (yes/no)? |
No | ||||||||||
| 13 | Loss event threshold: \$30,000 or \$150,000 for the operational risk capital calculation if applicable |
n/a |
________________________________ 1 Operational loss included in the disclosure table is an actual loss incurred by the bank, resulting from inadequate or failed internal processes, people, systems, or from external events.
2 The September 2024 reporting end date for OR1 aligns to the latest ANZ ARF 115 submission to APRA.
3 In September 2025, ANZ entered into a settlement agreement with ASIC for \$240m; additional details with respect to this are provided in OVA: (a) key risks related to the business model - Court Enforceable Undertaking and ASIC settlement. This loss incurred amount will be reported in subsequent OR1 disclosures.
4 In adopting the Basel III Standardised Measurement Approach (SMA) framework, APRA has exercised its national discretion to not implement the loss component and instead set the operational risk requirement equal to the BIC for all ADIs. Hence the effective Internal Loss Multiplier (ILM) is equal to 1.
The table below presents the business indicator (BI) and its subcomponents, which informs the Group operational risk regulatory capital and RWA as per APS115, for the period 31 December 2024 to 30 September 2025. The table below includes Suncorp Bank.
| Sep 24 | Sep 23 | Sep 22 | ||
|---|---|---|---|---|
| Business Indicators (BI) and their subcomponents | \$M | \$M | \$M | |
| 1 | Interest, lease and dividend component1 2 | 16,945 | ||
| 1a | Interest and lease income | 64,139 | 53,000 | 25,201 |
| 1b | Interest and lease expense | 47,248 | 35,307 | 9,383 |
| 1c | Interest earning assets | 984,582 | 914,206 | 862,468 |
| 1d | Dividend income | 103 | 78 | 253 |
| 2 | Services component1 3 | 3,344 | ||
| 2a | Fee and commission income | 2,887 | 2,888 | 3,066 |
| 2b | Fee and commission expense | 1,170 | 1,172 | 1,230 |
| 2c | Other operating income | 452 | 331 | 408 |
| 2d | Other operating expense | 379 | 395 | 304 |
| 3 | Financial component1 4 | 2,023 | ||
| 3a | Net P&L on the trading book | 1,904 | 1,514 | (304) |
| 3b | Net P&L on the banking book | 41 | 40 | 2,266 |
| 4 | BI1 5 | 22,312 | ||
| 5 | Business indicator component (BIC)6 | 3,302 | ||
| Disclosure on the BI: | ||||
| 6a | BI gross of excluded divested activities | 22,412 | ||
| 6b | Reduction in BI due to excluded divested activities7 | (100) |
________________________________ 1 The Business indicator and its subcomponents represent averages for the most recent three financial years. In accordance with APS 115, annual refresh of operational risk capital and RWA is conducted in the quarter proceeding ANZ's financial year end. Hence September 2022, September 2023 and September 2024 informs the operational risk capital and RWA for the period from December 2024 to September 2025.
2 The interest, lease and dividend component is calculated as the lesser of the average net interest and lease income and 2.25% of interest earning assets, plus the average of dividend income.
3 The services component is calculated as the higher of the average fee and commission income and expense, plus the higher of the average other operating income and expense.
4 The financial component is calculated as the sum of the average net profit or loss on the trading and banking book.
5 The business indicator is the sum of the interest, lease and dividend component, services component and financial component.
6 The business indicator component (BIC) is calculated as the business indicator multiplied by 12%, plus 3% of the amount by which the business indicator exceeds \$1.5 billion.
7 The Group fully disposed its interests in AMMB Holdings Berhad (AmBank) in 2024 resulting in a reduction of the BI.
<-- PDF CHUNK SEPARATOR -->
This disclosure represents operational risk regulatory capital requirements based on additional capital requirements and the OR2 BIC.
| Sep 25 | ||
|---|---|---|
| \$M | ||
| 1 | Business indicator component (BIC) | 3,302 |
| 2 | Internal loss multiplier (ILM)1 | 1 |
| 2a | Other regulatory capital charges2 | 1,000 |
| 3 | Minimum required operational risk capital (ORC)3 | 4,302 |
| 4 | Operational risk RWA4 | 53,773 |
________________________________ 1 As per APRA national discretion, the internal loss multiplier (ILM) has been excluded from the calculation of operational risk capital and set to 1.
2 Other regulatory capital charges are an additional capital overlay required by APRA under APS 115. Operational risk capital overlay increased by \$250 million from \$750 million capital to \$1 billion capital, applied to both Level 1 and Level 2, from 30 April 2025.
3 Minimum required operational risk capital is calculated as the business indicator component multiplied by the internal loss multiplier, plus other regulatory capital charges.
4 Operational risk RWA is the minimum required operational risk capital multiplied by 12.5.
Interest rate risk in the banking book (IRRBB) relates to the potential adverse impact of changes in market interest rates on ANZ's future earnings or economic value. The risk generally arises from:
Refer to DIS50: Market Risk section for details.
The BRC has established the risk appetite for IRRBB and delegated authority to the Group Asset and Liability Committee (GALCO) to manage the strategic position (capital investment term) and oversee the interest rate risk arising from the repricing of assets and liabilities (mismatch risk) in the banking book. GALCO has delegated the management of the mismatch risk to the Markets Business.
Market risk is the independent function responsible for:
IRRBB is managed under a comprehensive measurement and reporting framework, supported by an independent Market Risk function. Key components of the framework include:
ANZ uses the following principal techniques to quantify and monitor IRRBB:
The calculations used to quantify IRRBB require assumptions to be made about the repricing term of exposures that do not have a contractually defined repricing date, such as deposits with no set maturity dates and prepayments. Changes to these assumptions require GALCO approval.
Basis and optionality risks are measured using Monte Carlo simulation techniques, to generate a theoretical worst-case outcome at a specified confidence level (typically no less than at a 99% level of statistical confidence) less the average outcome.
Market Risk analyses the output of ANZ's VaR, EaR and Stress Testing calculations daily. Compliance with the risk appetite and limit framework is reported to CMRC, GALCO and the BRC.
The IRRBB regulatory capital requirements include a value for repricing and yield curve risk, basis and optionality risks based on a 99% confidence level, one year holding period and a six-year historical data set.
Embedded losses also make up the capital requirement and are calculated as the difference between the book value and the current economic value of banking book items not accounted for on a marked-to-market basis.
Stress tests within ANZ include standard and extraordinary tests. These tests are used to highlight potential risk which may not be captured by VaR, and how the portfolio might behave under extraordinary circumstances. Standard stress tests include statistically derived scenarios based on historical yield curve movements. These combine parallel shocks with twists and bends in the curve to produce a wide range of hypothetical scenarios at high statistical confidence levels, with the single worst scenario identified and reported. Extraordinary stress tests include interest rate moves from historical periods of stress and potential future scenarios, including behavioural characteristics as well as stresses to assumptions made about the repricing term of exposures. The rate move scenarios include changes over the stressed periods and the worst theoretical losses over the selected period are reported. Stresses of the repricing term assumptions investigate scenarios where actual repricing terms are significantly different to those modelled.
In this reporting period, ANZ has reported IRRBB information under the previous APS 330 requirements. ANZ will implement the new disclosure requirements after the revised APS 117 comes into effect from 1 October 2025.
The table below shows the impact on the Bank's economic value of equity (EVE) and the bank's exposure to movements in interest rates based on the 6 prescribed scenarios.
| Change in Economic Value | ||||||
|---|---|---|---|---|---|---|
| Standard Shock Scenario Stress Testing: | Sep 25 | Sep 24 | Sep 23 | |||
| Interest rate shock applied | \$M | \$M | \$M | |||
| AUD | ||||||
| 1 | 200 basis point parallel increase | (411) | (253) | (478) | ||
| 2 | 200 basis point parallel decrease | 380 | 233 | 473 | ||
| NZD | ||||||
| 3 | 200 basis point parallel increase | (188) | (119) | (118) | ||
| 4 | 200 basis point parallel decrease | 183 | 109 | 105 | ||
| USD | ||||||
| 5 | 200 basis point parallel increase | (73) | 63 | 13 | ||
| 6 | 200 basis point parallel decrease | 64 | (69) | (17) | ||
| Other | ||||||
| 7 | 200 basis point parallel increase | (155) | (72) | (54) | ||
| 8 | 200 basis point parallel decrease | 172 | 76 | 62 | ||
| 9 | IRRBB regulatory capital | 1,984 | 1,844 | 2,536 | ||
| 10 | IRRBB regulatory RWA | 24,797 | 23,052 | 31,703 |
The below table shows the geographical distribution of risk weighted credit exposures relevant to the calculation of the countercyclical capital buffer in line with APS 110. The exposures are prepared on an ultimate risk basis for private sector credit exposures which excludes exposures to ADIs and overseas equivalents, central governments and banks, regional governments, local authorities and multilateral development banks. In determining the geographical allocation of exposures, ultimate risk considers the incorporation country of the guarantor (or other risk transfer mechanism).
This table has minor modifications from the original BCBS standard. Additional detail on this modification has been provided in Appendix 1.
| Sep 25 | ||||
|---|---|---|---|---|
| Countercyclical capital buffer rate |
Risk-weighted assets (RWA) used in the computation of the countercyclical capital buffer |
Bank-specific countercyclical capital buffer rate |
Countercyclical capital buffer amount |
|
| Geographical breakdown | % | \$M | % | \$M |
| Australia | 1.00% | 223,412 | ||
| France | 1.00% | 2,359 | ||
| Germany | 0.75% | 2,182 | ||
| Hong Kong | 0.50% | 3,709 | ||
| Luxembourg | 0.50% | 1,223 | ||
| Netherlands | 2.00% | 960 | ||
| Norway | 2.50% | 513 | ||
| Sweden | 2.00% | 251 | ||
| United Kingdom | 2.00% | 5,176 | ||
| Belgium | 1.00% | 54 | ||
| Denmark | 2.50% | 355 | ||
| Ireland | 1.50% | 52 | ||
| South Korea | 1.00% | 1,817 | ||
| Sum | 242,063 | |||
| Total | 342,799 | 0.7199% | 3,301 |
| Mar 25 | ||||
|---|---|---|---|---|
| Countercyclical capital buffer rate |
Risk-weighted assets (RWA) used in the computation of the countercyclical capital buffer |
Bank-specific countercyclical capital buffer rate |
Countercyclical capital buffer amount |
|
| Geographical breakdown | % | \$M | % | \$M |
| Australia | 1.00% | 225,969 | ||
| France | 1.00% | 2,671 | ||
| Germany | 0.75% | 2,324 | ||
| Hong Kong | 0.50% | 4,095 | ||
| Luxembourg | 0.50% | 1,090 | ||
| Netherlands | 2.00% | 1,144 | ||
| Norway | 2.50% | 499 | ||
| Sweden | 2.00% | 215 | ||
| United Kingdom | 2.00% | 5,726 | ||
| Belgium | 1.00% | 65 | ||
| Denmark | 2.50% | 410 | ||
| Ireland | 1.50% | 266 | ||
| South Korea | 1.00% | 1,685 | ||
| Sum | 246,159 | |||
| Total | 348,477 | 0.7219% | 3,386 |
CCyB1: Geographical distribution of credit exposures used in the calculation of the bank-specific countercyclical capital buffer requirement (continued)
| Sep 24 | ||||
|---|---|---|---|---|
| Countercyclical capital buffer rate |
Risk-weighted assets (RWA) used in the computation of the countercyclical capital buffer |
Bank-specific countercyclical capital buffer rate |
Countercyclical capital buffer amount |
|
| Geographical breakdown | % | \$M | % | \$M |
| Australia | 1.00% | 218,914 | ||
| France | 1.00% | 1,633 | ||
| Germany | 0.75% | 1,712 | ||
| Hong Kong | 1.00% | 4,551 | ||
| Luxembourg | 0.50% | 1,109 | ||
| Netherlands | 2.00% | 1,340 | ||
| Norway | 2.50% | 386 | ||
| Sweden | 2.00% | 179 | ||
| United Kingdom | 2.00% | 4,197 | ||
| Belgium | 0.50% | 59 | ||
| Denmark | 2.50% | 179 | ||
| Ireland | 1.50% | 243 | ||
| South Korea | 1.00% | 1,813 | ||
| Sum | 236,315 | |||
| Total | 333,211 | 0.7247% | 3,236 |
The below table is a summary comparison of total consolidated assets as per the financial statements and leverage ratio exposure measure calculated in accordance with APS110.
The leverage ratio exposure measure materially differs from total consolidated sheet assets due to i) the inclusion of off-balance sheet items such as commitments and contingents ii) adjustments for derivative exposures including counterparty netting and potential future exposure iii) inclusion of securities financing transactions on daily average basis and iv) regulatory deductions which are also deducted from Tier 1 capital.
| Sep 25 | Mar 25 | ||
|---|---|---|---|
| \$M | \$M | ||
| 1 | Total consolidated assets as per published financial statements | 1,297,671 | 1,302,971 |
| 2 | Adjustment for investments in banking, financial, insurance or commercial entities that are consolidated for accounting purposes but outside the scope of regulatory consolidation |
(308) | (304) |
| 3 | Adjustment for securitised exposures that meet the operational requirements for the recognition of risk transference | (5,398) | (4,587) |
| 4 | Adjustments for temporary exemption of central bank reserves (if applicable) | - | - |
| 5 | Adjustment for fiduciary assets recognised on the balance sheet pursuant to the operative accounting framework but excluded from the leverage ratio exposure measure |
- | - |
| 6 | Adjustments for regular-way purchases and sales of financial assets subject to trade date accounting | - | - |
| 7 | Adjustments for eligible cash pooling transactions | - | - |
| 8 | Adjustments for derivative financial instruments | 14,223 | 11,977 |
| 9 | Adjustment for securities financing transactions (i.e. repurchase agreements and similar secured lending) | 1,078 | (6,609) |
| 10 | Adjustment for off-balance sheet items (i.e. conversion to credit equivalent amounts of off-balance sheet exposures) | 131,430 | 138,394 |
| 11 | Adjustments for prudent valuation adjustments and specific and general provisions which have reduced Tier 1 capital | - | - |
| 12 | Other adjustments | (13,854) | (14,008) |
| 13 | Leverage ratio exposure measure | 1,424,842 | 1,427,834 |
The Leverage Ratio requirements are part of the Basel Committee on Banking Supervision (BCBS) Basel III capital framework. It is a simple, nonrisk-based supplement or backstop to the current risk-based capital requirements and is intended to restrict the build-up of excessive leverage in the banking system.
Consistent with the BCBS definition, APRA's Leverage Ratio compares Tier 1 Capital to the Exposure Measure (expressed as a percentage) as defined by APS 110. APRA requires ADIs authorised to use the internal ratings-based approach to credit risk to maintain a minimum leverage ratio of 3.5% from January 2023.
At 30 September 2025, the Group's Leverage Ratio of 4.4% was above the 3.5% minimum requirement. Table LR1 summarises the reconciliation of accounting assets and leverage ratio exposure measure at 30 September 2025 and Table LR2 below shows the Group's Leverage Ratio calculation as at 30 September 2025.
The table below provides a detailed breakdown of the components of the leverage ratio, as well as information on the actual leverage ratio, minimum requirements and buffers.
| Sep 25 | Jun 25 | Mar 25 | ||
|---|---|---|---|---|
| \$M | \$M | \$M | ||
| On-balance sheet exposures | ||||
| 1 | On-balance sheet exposures (excl. derivatives and securities financing transactions (SFTs), but incl. collateral) |
1,163,156 | 1,186,042 | 1,167,801 |
| 2 | Gross-up for derivatives collateral provided where deducted from balance sheet assets pursuant to the operative accounting framework |
8,425 | 7,305 | 7,333 |
| 3 | (Deductions of receivable assets for cash variation margin provided in derivatives transactions) | (5,925) | (8,605) | (6,468) |
| 4 | (Adjustment for securities received under securities financing transactions that are recognised as an asset) |
- | - | - |
| 5 | (Specific and general provisions associated with on-balance sheet exposures that are deducted from Tier 1 capital) |
- | - | - |
| 6 | (Asset amounts deducted in determining Tier 1 capital and regulatory adjustments) | (14,344) | (14,821) | (14,501) |
| 7 | Total on-balance sheet exposures (excluding derivatives and SFTs) | 1,151,312 | 1,169,921 | 1,154,165 |
| Derivative exposures | ||||
| 8 | Replacement cost associated with all derivatives transactions (where applicable net of eligible cash variation margin, with bilateral netting and/or the specific treatment for client cleared derivatives) |
18,814 | 16,088 | 19,069 |
| 9 | Add-on amounts for potential future exposure associated with all derivatives transactions | 39,972 | 41,062 | 41,181 |
| 10 | (Exempted central counterparty (CCP) leg of client-cleared trade exposures) | - | - | - |
| 11 | Adjusted effective notional amount of written credit derivatives | 17,139 | 10,131 | 9,322 |
| 12 | (Adjusted effective notional offsets and add-on deductions for written credit derivatives) | (16,722) | (9,849) | (8,909) |
| 13 | Total derivative exposures (sum of rows 8 to 12) | 59,203 | 57,432 | 60,663 |
| Securities financing transaction exposures | ||||
| 14 | Gross SFT assets (with no recognition of netting), after adjustment for sale accounting transactions | 83,733 | 82,607 | 75,828 |
| 15 | (Netted amounts of cash payables and cash receivables of gross SFT assets) | (2,364) | (2,386) | (2,595) |
| 16 | Counterparty credit risk exposure for SFT assets | 1,528 | 1,758 | 1,379 |
| 17 | Agent transaction exposures | - | - | - |
| 18 | Total securities financing transaction exposures (sum of rows 14 to 17) | 82,897 | 81,979 | 74,612 |
| Other off-balance sheet exposures | ||||
| 19 | Off-balance sheet exposure at gross notional amount | 291,027 | 301,633 | 302,468 |
| 20 | (Adjustments for conversion to credit equivalent amounts) | (158,764) | (162,346) | (163,222) |
| 21 | (Specific and general provisions associated with off-balance sheet exposures deducted in determining Tier 1 capital) |
(833) | (856) | (852) |
| 22 | Off-balance sheet items (sum of rows 19 to 21) | 131,430 | 138,431 | 138,394 |
| Capital and total exposures | ||||
| 23 | Tier 1 capital | 62,541 | 64,322 | 62,672 |
| 24 | Total exposures (sum of rows 7, 13, 18 and 22) | 1,424,842 | 1,447,763 | 1,427,834 |
| Leverage ratio | ||||
| 25 | Leverage ratio (including the impact of any applicable temporary exemption of central bank reserves) |
4.4% | 4.4% | 4.4% |
| 25a Leverage ratio (excluding the impact of any applicable temporary exemption of central bank reserves) | 4.4% | 4.4% | 4.4% | |
| 26 | National minimum leverage ratio requirement | 3.5% | 3.5% | 3.5% |
| 27 | Applicable leverage buffers | 0.9% | 0.9% | 0.9% |
| Disclosure of mean values | ||||
| 28 | Mean value of gross SFT assets, after adjustment for sale accounting transactions and netted of amounts of associated cash payables and cash receivables |
81,369 | 80,221 | 73,233 |
| 29 | Quarter-end value of gross SFT assets, after adjustment for sale accounting transactions and netted of amounts of associated cash payables and cash receivables |
81,104 | 83,075 | 80,075 |
| 30 | Total exposures (including the impact of any applicable temporary exemption of central bank reserves) incorporating mean values from row 28 of gross SFT assets (after adjustment for sale accounting transactions and netted of amounts of associated cash payables and cash receivables) |
1,424,842 | 1,447,763 | 1,427,834 |
| 30a Total exposures (excluding the impact of any applicable temporary exemption of central bank reserves) incorporating mean values from row 28 of gross SFT assets (after adjustment for sale accounting transactions and netted of amounts of associated cash payables and cash receivables) |
1,424,842 | 1,447,763 | 1,427,834 | |
| 31 | Basel III leverage ratio (including the impact of any applicable temporary exemption of central bank reserves) incorporating mean values from row 28 of gross SFT assets (after adjustment for sale accounting transactions and netted of amounts of associated cash payables and cash receivables) |
4.4% | 4.4% | 4.4% |
| 31a Basel III leverage ratio (excluding the impact of any applicable temporary exemption of central bank reserves) incorporating mean values from row 28 of gross SFT assets (after adjustment for sale accounting transactions and netted of amounts of associated cash payables and cash receivables) |
4.4% | 4.4% | 4.4% |
Liquidity risk is the risk that the Group is either:
Management of liquidity and funding risks are overseen by Group Asset and Liability Committee. The Group's liquidity and funding risks are governed by a set of principles approved by the BRC and include:
The Group operates under a non-operating holding company structure whereby:
The Group's liquidity risk appetite is defined by a range of regulatory and internal liquidity metrics mandated by the ANZBGL Board. The metrics cover a range of scenarios of varying duration and level of severity.
The objective of this framework is to:
Key components of this framework include the Liquidity Coverage Ratio (LCR), which is a severe short term liquidity stress scenario, Net Stable Funding Ratio (NSFR) a longer-term structural liquidity measure (both of which are mandated by banking regulators including APRA) and internallydeveloped liquidity scenarios for stress testing purposes.
The Group holds a portfolio of high quality (unencumbered) liquid assets to protect its liquidity position in a severely stressed environment and to meet regulatory requirements. High quality liquid assets comprise three categories consistent with Basel III LCR requirements:
The Group monitors and manages the size and composition of its liquid assets portfolio on an ongoing basis in line with regulatory requirements and the risk appetite set by the ANZBGL Board.
The Group maintains APRA-endorsed liquidity crisis contingency plans for analysing and responding to a liquidity threatening event at a country and Group-wide level. Key liquidity contingency crisis planning requirements and guidelines include:
| Ongoing business management | Early signs/ mild stress | Severe stress |
|---|---|---|
| establish crisis/severity levels | monitoring and review | activate contingency funding plans |
| liquidity limits | management actions not requiring business | management actions for altering asset and |
| early warning indicators | rationalisation | liability behaviour |
Since the precise nature of any stress event cannot be known in advance, we design the plans to be flexible to the nature and severity of the stress event with multiple variables able to be accommodated in any plan.
The Group monitors the composition and stability of its funding so that it remains within the Group's funding risk appetite. This approach ensures that an appropriate proportion of the Group's assets are funded by stable funding sources, including customer deposits; longer-dated wholesale funding (with a remaining term exceeding one year); and equity.
| Funding plans prepared | Considerations in preparing funding plans |
|---|---|
| 3 year strategic plan prepared annually | customer balance sheet growth |
| annual funding plan as part of the ANZBGL Group's planning process forecasting in light of actual results as a calibration to the annual plan |
changes in wholesale funding including: targeted funding volumes; markets; investors; tenors; and currencies for senior, secured, subordinated, hybrid transactions and market conditions |
| liquidity stress testing |
The Group's average7 LCR for the 3 months to 30 September 2025 has decreased -1.5% from 133.6% as at 30 June 2025 to 132.1% with total liquid assets exceeding net cash outflows by an average of \$76.4 billion.
Through the period the LCR has remained within the range 127% to 138%. The liquid asset portfolio was made up of on average 38% (\$119.4 billion) cash and central bank reserves and 56% (\$174.3 billion) HQLA1 securities, with the remaining mainly consisting of HQLA2 securities.
As per APRA requirements, liquid assets beyond the regulatory minimum are not included in the consolidated ANZBGL Group position where they are deemed non-transferable between geographies, in particular this applies to liquid assets held in New Zealand.
The main contributors to net cash outflows were modelled outflows associated with the bank's corporate and retail deposit portfolios, offset by inflows from maturing loans. While cash outflows associated with derivatives are material, these are effectively offset by derivative cash inflows. Modelled outflows are also included for market valuation changes of derivatives based on the past 24 months largest 30-day movements in collateral balances.
The Group has a well-diversified deposit and funding base avoiding undue concentrations by investor type, maturity, market source and currency.
The Group monitors and manages its liquidity risk on a daily basis including LCR by geography and currency. The Group's liquidity risk framework ensures ongoing monitoring of foreign currency LCR (including derivative flows) and sets limits at the Group level to ensure mismatches are managed effectively.
The Group's liquidity and funding management includes monitoring of liquidity across the Group, specifically for:
Other contingent funding obligations include outflows for revocable credit and liquidity facilities, trade finance related obligations, buybacks of domestic Australian debt securities and other contractual outflows such as interest payments.
7 There were 66 daily LCR data points used in calculating the average for the current quarter and 65 in the previous quarter.
| Sep 25 | Jun 25 | |||||
|---|---|---|---|---|---|---|
| Total Unweighted value |
Total weighted value |
Total Unweighted value |
Total weighted value |
|||
| \$M | \$M | \$M | \$M | |||
| High-quality liquid assets | ||||||
| 1a | High-quality liquid assets (HQLA) | 310,269 | 319,396 | |||
| 1b | Alternative liquid assets (ALA) | - | - | |||
| 1c | Reserve Bank of New Zealand (RBNZ) securities | 4,610 | 4,834 | |||
| Cash outflows | ||||||
| 2 | Retail deposits and deposits from small business customers | 326,903 | 31,435 | 325,390 | 31,337 | |
| 3 | of which: Stable deposits | 152,881 | 7,644 | 151,109 | 7,555 | |
| 4 | of which: Less stable deposits | 174,022 | 23,791 | 174,281 | 23,782 | |
| 5 | Unsecured wholesale funding | 327,004 | 180,340 | 330,946 | 187,914 | |
| 6 | of which: Operational deposits (all counterparties) and deposits in networks of cooperative banks |
105,792 | 25,636 | 101,854 | 24,722 | |
| 7 | of which: Non-operational deposits (all counterparties) | 207,324 | 140,816 | 211,766 | 145,866 | |
| 8 | of which: Unsecured debt | 13,888 | 13,888 | 17,326 | 17,326 | |
| 9 | Secured wholesale funding | 751 | 613 | |||
| 10 | Additional requirements | 220,027 | 68,679 | 224,070 | 75,298 | |
| 11 | of which: Outflows related to derivative exposures and other collateral requirements | 43,480 | 42,036 | 49,796 | 48,356 | |
| 12 | of which: Outflows related to loss of funding on debt products | - | - | - | - | |
| 13 | of which: Credit and liquidity facilities | 176,547 | 26,643 | 174,274 | 26,942 | |
| 14 | Other contractual funding obligations | 8,692 | 866 | 10,448 | 988 | |
| 15 | Other contingent funding obligations | 142,972 | 9,685 | 136,695 | 9,164 | |
| 16 | Total Cash Outflows | 291,756 | 305,314 | |||
| Cash inflows | - | - | - | - | ||
| 17 | Secured lending (e.g. reverse repos) | 45,916 | 815 | 48,122 | 1,170 | |
| 18 | Inflows from fully performing exposures | 29,493 | 21,667 | 33,614 | 24,154 | |
| 19 | Other cash inflows | 30,770 | 30,770 | 37,301 | 37,301 | |
| 20 | Total Cash Inflows | 106,179 | 53,252 | 119,037 | 62,625 | |
| Total adjusted value |
Total adjusted value |
|||||
| 21 | Total HQLA | 314,879 | 324,230 | |||
| 22 | Total net cash outflows | 238,504 | 242,689 | |||
| 23 | Liquidity Coverage Ratio (%) | 132.07% | 133.63% |
The Group's NSFR has decreased 1.4% over the quarter from 115.9% as at 30 June 2025 to 114.6% as at 30 September 2025. This was driven by a change in the proportion of wholesale funding in the less than 6-month maturity bucket, the July dividend payment and a movement in collateral composition.
The main sources of Available Stable Funding (ASF) at 30 September 2025 were deposits from Retail and SME customers, at 50%, with other wholesale funding at 27% and capital at 14% of the total ASF.
The majority of ANZ's Required Stable Funding (RSF) at 30 September 2025 was driven by mortgages at 51% and other lending to non-FI customers at 28% of the total RSF.
| Sep 25 | ||||||
|---|---|---|---|---|---|---|
| Unweighted value by residual maturity | Weighted | |||||
| No maturity | < 6 months | 6 months to < 1 year |
≥ 1 year | value | ||
| (In currency amount) | \$M | \$M | \$M | \$M | \$M | |
| Available stable funding (ASF) item | ||||||
| 1 | Capital: | 70,012 | - | - | 35,824 | 105,836 |
| 2 | Regulatory capital | 70,012 | - | - | 35,824 | 105,836 |
| 3 | Other capital instruments | - | - | - | - | - |
| 4 | Retail deposits and deposits from small business customers: | 265,257 | 134,716 | 17 | 1 | 368,602 |
| 5 | Stable deposits | 126,872 | 45,321 | - | - | 163,584 |
| 6 | Less stable deposits | 138,385 | 89,395 | 17 | 1 | 205,018 |
| 7 | Wholesale funding: | 183,340 | 372,113 | 50,522 | 90,377 | 252,767 |
| 8 | Operational deposits | 105,197 | - | - | - | 52,598 |
| 9 | Other wholesale funding | 78,143 | 372,113 | 50,522 | 90,377 | 200,169 |
| 10 | Liabilities with matching interdependent assets | - | - | - | - | - |
| 11 | Other liabilities: | 32,701 | 9,891 | 365 | 2,754 | 2,936 |
| 12 | NSFR derivative liabilities | 9,891 | - | - | ||
| 13 | All other liabilities and equity not included in the above categories | 32,701 | - | 365 | 2,754 | 2,936 |
| 14 | Total ASF | 730,141 | ||||
| Required stable funding (RSF) item | ||||||
| 15a Total NSFR high-quality liquid assets (HQLA) | 13,065 | |||||
| 15b Alternative liquid assets (ALA) | - | |||||
| 15c | Reserve Bank of New Zealand (RBNZ) securities | 894 | ||||
| 16 | Deposits held at other financial institutions for operational purposes | - | - | - | - | - |
| 17 | Performing loans and securities: | 12,339 | 154,443 | 49,265 | 673,762 | 570,308 |
| 18 | Performing loans to financial institutions secured by Level 1 HQLA | - | 73,425 | - | - | 7,343 |
| 19 | Performing loans to financial institutions secured by non-Level 1 HQLA and unsecured performing loans to financial institutions |
861 | 30,768 | 13,069 | 44,151 | 56,162 |
| 20 | Performing loans to non-financial corporate clients, loans to retail and small business customers, and loans to sovereigns, central banks and PSEs, of which: |
10,959 | 44,550 | 29,413 | 156,663 | 176,447 |
| 21 | With a risk weight of less than or equal to 35% under the Basel II standardised approach for credit risk |
- | 406 | 357 | 15,152 | 10,231 |
| 22 | Performing residential mortgages, of which: | - | 5,572 | 5,089 | 461,600 | 324,857 |
| 23 | Standard loans to individuals with a LVR of 80% or below | - | 4,552 | 4,118 | 382,990 | 257,043 |
| 24 | Securities that are not in default and do not qualify as HQLA, including exchange-traded equities |
519 | 128 | 1,694 | 11,348 | 5,499 |
| 25 | Assets with matching interdependent liabilities | - | - | - | - | - |
| 26 | Other assets: | 46,506 | 40,166 | 155 | 7,216 | 43,235 |
| 27 | Physical traded commodities, including gold | 4,658 | 3,959 | |||
| 28 | Assets posted as initial margin for derivative contracts and contributions to default funds of central counterparties |
6,757 | - | - | 5,744 | |
| 29 | NSFR derivative assets | 12,799 | - | - | 2,908 | |
| 30 | NSFR derivative liabilities before deduction of variation margin posted | 19,764 | - | - | 3,953 | |
| 31 | All other assets not included in the above categories | 41,848 | 846 | 155 | 7,216 | 26,671 |
| 32 | Off-balance sheet items | - | - | 235,115 | 9,817 | |
| 33 | Total RSF | 637,319 | ||||
| 34 | Net Stable Funding Ratio (%) | 114.56% |
| Jun 25 | |||||
|---|---|---|---|---|---|
| Unweighted value by residual maturity | Weighted | ||||
| No maturity | < 6 months | 6 months to < 1 year |
≥ 1 year | value | |
| (In currency amount) | \$M | \$M | \$M | \$M | \$M |
| Available stable funding (ASF) item | |||||
| 1 Capital: |
72,715 | - | - | 35,538 | 108,253 |
| 2 Regulatory capital |
72,715 | - | - | 35,538 | 108,253 |
| 3 Other capital instruments |
- | - | - | - | - |
| 4 Retail deposits and deposits from small business customers: |
260,329 | 139,706 | 31 | - | 368,543 |
| 5 Stable deposits |
124,331 | 45,333 | - | - | 161,181 |
| 6 Less stable deposits |
135,998 | 94,373 | 31 | - | 207,362 |
| 7 Wholesale funding: |
181,567 | 397,899 | 55,602 | 92,725 | 264,537 |
| 8 Operational deposits |
107,831 | - | - | - | 53,916 |
| 9 Other wholesale funding |
73,736 | 397,899 | 55,602 | 92,725 | 210,621 |
| 10 Liabilities with matching interdependent assets |
- | - | - | - | - |
| 11 Other liabilities: |
16,356 | 11,295 | 365 | 3,275 | 3,458 |
| 12 NSFR derivative liabilities |
11,295 | - | - | ||
| 13 All other liabilities and equity not included in the above categories |
16,356 | - | 365 | 3,275 | 3,458 |
| 14 Total ASF |
744,791 | ||||
| Required stable funding (RSF) item | |||||
| 15a Total NSFR high-quality liquid assets (HQLA) | 12,582 | ||||
| 15b Alternative liquid assets (ALA) | - | ||||
| 15c Reserve Bank of New Zealand (RBNZ) securities |
874 | ||||
| 16 Deposits held at other financial institutions for operational purposes |
- | - | - | - | - |
| 17 Performing loans and securities: |
12,358 | 168,759 | 45,477 | 678,163 | 576,871 |
| 18 Performing loans to financial institutions secured by Level 1 HQLA |
- | 74,859 | - | - | 7,486 |
| Performing loans to financial institutions secured by non-Level 1 HQLA 19 and unsecured performing loans to financial institutions |
612 | 33,958 | 13,282 | 42,691 | 55,038 |
| Performing loans to non-financial corporate clients, loans to retail and 20 small business customers, and loans to sovereigns, central banks and PSEs, of which: |
11,237 | 53,641 | 26,086 | 160,319 | 182,534 |
| With a risk weight of less than or equal to 35% under the Basel II 21 standardised approach for credit risk |
- | 454 | 347 | 15,853 | 10,705 |
| 22 Performing residential mortgages, of which: |
- | 5,510 | 5,203 | 463,207 | 326,096 |
| 23 Standard loans to individuals with a LVR of 80% or below |
- | 4,522 | 4,229 | 385,140 | 258,758 |
| Securities that are not in default and do not qualify as HQLA, including 24 exchange-traded equities |
509 | 791 | 906 | 11,946 | 5,717 |
| 25 Assets with matching interdependent liabilities |
- | - | - | - | - |
| 26 Other assets: |
29,941 | 41,204 | 861 | 6,830 | 41,992 |
| 27 Physical traded commodities, including gold |
4,418 | 3,756 | |||
| Assets posted as initial margin for derivative contracts and 28 contributions to default funds of central counterparties |
6,910 | - | - | 5,873 | |
| 29 NSFR derivative assets |
10,745 | - | - | - | |
| 30 NSFR derivative liabilities before deduction of variation margin posted |
23,079 | - | - | 4,616 | |
| 31 All other assets not included in the above categories |
25,523 | 470 | 861 | 6,830 | 27,747 |
| 32 Off-balance sheet items |
- | - | 236,735 | 10,099 | |
| 33 Total RSF |
642,418 | ||||
| 34 Net Stable Funding Ratio (%) |
115.94% |
These Pillar 3 disclosures have been verified in accordance with ANZ's Board-approved Public Disclosure of Prudential Information Policy (the policy). The key elements of this policy are outlined below.
The policy requires formal processes for determining the content of prudential disclosures to ensure that disclosures are appropriate, accurate, and aligned with the manner in which ANZ assesses and manages its risks.
Where minimum regulatory requirements do not adequately capture ANZ's risk profile, the policy requires the inclusion of additional information to provide a more complete and transparent view.
ANZ's Pillar 3 disclosures are consistent with information that has been subject to review by an external auditor, is lodged or published elsewhere or has been already supplied to APRA.
Disclosures are prepared on a Level 2 basis, consolidating ANZ's global operations and subsidiaries, including controlled banking, securities, and financial entities. The policy excludes entities involved in insurance, funds management, non-financial operations, and securitisation vehicles that meet APS 120 criteria.
The policy establishes internal controls and validation processes to ensure the reliability of disclosures. ANZ maintains formal procedures for assessing the appropriateness and accuracy of disclosures in accordance with APS 330.
The APS 330 Delegate is responsible for reviewing and recommending disclosures for approval prior to lodgement and publication each quarter.
ANZ's external auditors (KPMG) perform an Agreed Upon Procedure (AUP) over the Pillar 3 disclosure semi-annually.
An Accountable Person must attest that disclosures have been prepared in accordance with the policy. The ANZBGL Board approves major amendments to the policy and attests to the reliability of disclosures as part of the annual CPS 220 attestation to APRA.
I, KEVIN CORBALLY, Group Chief Risk Officer, am the Accountable Person responsible for APRA prudential compliance with APS 330 Public Disclosure and confirm that the disclosures required by APRA's Prudential Standard APS 330 Public Disclosure for the period ending 30 September 2025, have been prepared in accordance with ANZ's Public Disclosure of Prudential Information Policy in all material respects.
KEVIN CORBALLY
Group Chief Risk Officer
10 November 2025
Minor modifications were made to the content of the disclosures under the BCBS Standard where there are inconsistencies between the BCBS Standard and the Australian context. These modifications are noted in the respective tables throughout this document and outlined in detail in the table below.
| Chapter | Template | Name | Row/ Column in BCBS template |
Details | Modification | Rationale |
|---|---|---|---|---|---|---|
| DIS20: Overview of risk |
KM1 | Key metrics |
Rows 14b-14d |
Impact of any applicable temporary exemption of central bank reserves |
Removed | Not applicable in the Australian context |
| management, key prudential metrics and |
OV1 | Overview of RWA |
Rows 11-14 |
Equity | Removed | A capital deduction with no related RWA amounts |
| RWA | Row 15 |
Settlement risk |
Removed | Low materiality- standardised approach (SA) |
||
| Rows 25, 27-28 |
Amounts below the thresholds for deduction subject to 250% risk weight and floor adjustment before/ after application of transitional cap |
Removed | Not applicable in the Australian context |
|||
| DIS21: Comparison of modelled and standardised RWA |
CMS2 | Comparison of modelled and standardised RWA at asset class level |
Heading- column b |
RWA for portfolios where standardised approaches are used (original heading: RWA for column (a) if re-computed using the standardised approach) |
Modified | Provides further clarity on the disclosure |
| DIS25: Composition of capital |
CC1 | Composition of regulatory capital |
Rows 26a-j; 56 a-c |
National-specific regulatory adjustments in Common Equity Tier 1 and Tier 2 capital |
Disclosed | Provides sufficient details and clarity on relevant specific adjustments. |
| Rows 80-85 |
Phase-out arrangements 2018-2022, |
Removed | No longer relevant. |
|||
| CC2 | Reconciliation of regulatory capital to balance sheet |
The format of the table, as per the BCBS template, is flexible, provided the rows align with the presentation of the bank's financial report. Thus, rows in table CC2 have been adjusted to align with ANZ's financial report. |
The format of the table, as per the BCBS template, is flexible, provided the rows align with the presentation of the bank's financial report. Thus, rows in table CC2 have been adjusted accordingly. |
| Chapter | Template | Name | Row/ Column in BCBS template |
Details | Modification | Rationale |
|---|---|---|---|---|---|---|
| DIS40: Credit risk |
CR4 CR5 |
Standardised approach: • Credit risk exposure and credit risk mitigation (CRM) • Exposures by asset classes and risk weights |
Row 10 | Defaulted exposures | Removed | Incorporated into the respective asset classes, providing further consistency with other tables. |
| CR6 | IRB - Credit risk exposures |
Column h | Retail - Average maturity |
Removed | Average maturity has been excluded for Retail, consistently with industry practice, as it does not add relevant information for users. |
|
| CR9 | IRB - Backtesting of probability of default (PD) per portfolio |
Column h | Average historical annual default rate | 2.5 years of history will be included for Corporates asset class as at September 2025 |
A minimum period of 5 years is required per the BCBS instructions for this column. Due to changes in asset class definitions arising from the implementation of Capital Reforms, some assumptions are necessary when allocating asset classes across the historical data between the AIRB and FIRB approaches. The Corporates asset class allocation between AIRB and FIRB approaches has been reflected for the period post Capital Reforms (2.5 years as at September 2025). As time passes, additional historical data will become available (e.g., 3.5 years by September 2026) and will be incorporated in future disclosures. |
|
| DIS42: Counterparty credit risk |
CCR3 | Standardised approach- CCR exposure |
Column "greater than 150%" | Added | Provides more meaningful details than using the "other " column. |
|
| DIS50: Market risk |
Table 1 Table 2 |
Market risk- Standard method Market risk- Internal models approach (IMA) |
Qualitative disclosure | Market risk management objectives and policies |
To be disclosed annually |
Consistently with the other risk categories, Market Risk qualitative disclosure will be provided on an annual basis. |
| Chapter | Template | Name | Row/ Column in BCBS template |
Details | Modification | Rationale |
|---|---|---|---|---|---|---|
| DIS70: Interest rate risk in the banking book |
IRRBB1 | Quantitative information on IRRBB |
Table replacement | IRRBB is in the process of changing due to new requirements of APS117. APRA's new requirement for APS117 comes into effect from 1 October 2025. |
In this reporting period, ANZ has reported IRRBB information under the previous APS 330 requirements. ANZ will implement the new disclosure requirements after the revised APS 117 comes into effect from 1 October 2025. |
To provide a correct and meaningful disclosure ANZ is reporting IRRBB under the previous APS330 until APS117 goes live. |
| DIS75: Macroprudential supervisory measures |
CCYB1 | Geographical distribution of credit exposures used in the calculation of the bank specific countercyclical capital buffer requirement |
Column b | Exposure Values | Removed | Reflects the computation of the countercyclical capital buffer (based on RWA). |
The following table provides details of entities included within the accounting scope of consolidation but excluded from regulatory consolidation.
| Entity | Activity |
|---|---|
| ACN 008 647 185 Pty Ltd | Holding Company |
| ANZ ILP Pty Ltd | Incorporated Legal Practice |
| ANZ Investment Services (New Zealand) Limited | Funds Management |
| ANZ Lenders Mortgage Insurance Pty. Limited | Mortgage insurance |
| ANZ New Zealand Investments Limited | Funds Management |
| ANZ New Zealand Investments Nominees Limited | Nominee |
| ANZ Pensions (UK) Limited | Trustee/Nominee |
| ANZcover Insurance Private Ltd | Captive-Insurance |
| APOLLO Series 2024-1 Trust | Securitisation Trust |
| APOLLO Series 2017-1 Trust | Securitisation Trust |
| APOLLO Series 2017-2 Trust | Securitisation Trust |
| APOLLO Series 2018-1 Trust | Securitisation Trust |
| APOLLO Series 2022-1 Trust | Securitisation Trust |
| APOLLO Series 2023-1 Trust | Securitisation Trust |
| APOLLO Series 2025-1 Trust | Securitisation Trust |
| Kingfisher Trust 2016-1 | Securitisation Trust |
| Kingfisher Trust 2019-1 | Securitisation Trust |
| Kingfisher Trust 2025-1 | Securitisation Trust |
| Shout for Good Pty. Ltd. | Corporate |
ADI Authorised Deposit-taking Institution.
Collectively Assessed Provision for Credit Impairment
Collectively assessed provisions for credit impairment represent the Expected Credit Loss (ECL) calculated in accordance with AASB 9 Financial Instruments (AASB 9). These incorporate forward looking information and do not require an actual loss event to have occurred for an impairment provision to be recognised.
Counterparty credit risk Counterparty credit risk (CCR) is the risk of loss due to a counterparty failing to meet its obligations before the final settlement of the transaction's cash flows.
Credit exposure The aggregate of all claims, commitments and contingent liabilities arising from on- and offbalance sheet transactions (in the banking book and trading book) with the counterparty or group of related counterparties.
Credit risk The risk of financial loss resulting from a counterparty failing to fulfil its obligations or a decrease in credit quality of a counterparty resulting in a deterioration of value.
Credit Valuation Adjustment (CVA) Over the life of a derivative instrument, ANZ uses a CVA model to adjust fair value to take into account the impact of counterparty credit quality. The methodology calculates the present value of expected losses over the life of the financial instrument as a function of probability of default, loss given default, expected credit risk exposure and an asset correlation factor. Impaired derivatives are also subject to a CVA.
Credit Valuation adjustment (CVA) capital charge
A capital charge to reflect potential mark-to-market losses due to counterparty migration risk for bilateral over-the-counter derivative contracts.
Days past due The number of days a credit obligation is overdue, commencing on the date that the arrears or excess occurs and accruing for each completed calendar day thereafter.
Encumbered and unencumbered assets
Encumbered assets are assets that the bank is restricted or prevented from liquidating, selling, transferring or assigning due to legal, regulatory, contractual or other limitations.
Unencumbered assets are assets which do not meet the definition of encumbered.
Exposure at Default (EAD) Exposure At Default is defined as the expected facility exposure at the date of default.
IPRE Income-producing real estate
Individually Assessed Provisions for Credit Impairment
Individually assessed provisions for credit impairment are calculated in accordance with AASB 9 Financial Instruments (AASB 9). They are assessed on a case-by-case basis for all individually managed impaired assets taking into consideration factors such as the realisable value of security (or other credit mitigants), the likely return available upon liquidation or bankruptcy, legal uncertainties, estimated costs involved in recovery, the market price of the exposure in secondary markets and the amount and timing of expected receipts and recoveries.
Market risk The risk stems from ANZ's trading and balance sheet activities and is the risk to the Group's earnings arising from changes in interest rates, foreign exchange rates, credit spreads, volatility, correlations or fluctuations in bond, commodity or equity prices. ANZ has grouped market risk into two broad categories to facilitate the measurement, reporting and control of market risk:
Traded market risk - the risk of loss from changes in the value of financial instruments due to movements in price factors for both physical and derivative trading positions. Trading positions arise from transactions where ANZ acts as principal with customers, financial exchanges or inter-bank counterparties.
Non-traded market risk (or balance sheet risk) - comprises interest rate risk in the banking book and the risk to the AUD denominated value of ANZ's capital and earnings due to foreign exchange rate movements.
Operational risk The risk of loss resulting from inadequate or failed internal processes, people, systems, or
from external events. This includes the non-financial risk themes of model, third party, physical security, transaction processing and execution, people, legal, statutory reporting & tax and
change execution.
Past due facilities Facilities where a contractual payment has not been met or the customer is outside of
contractual arrangements are deemed past due. Past due facilities include those operating in excess of approved arrangements or where scheduled repayments are outstanding but do not
include impaired assets.
Qualifying Central Counterparties
(QCCP)
QCCP is a central counterparty which is an entity that interposes itself between counterparties to derivative contracts. Trades with QCCP attract a more favourable risk weight calculation.
Recoveries Payments received and taken to profit for the current period for the amounts written off in prior
financial periods.
Risk Weighted Assets (RWA) Assets (both on and off-balance sheet) are risk weighted according to each asset's inherent potential for default and what the likely losses would be in the case of default. In the case of
non-asset backed risks (i.e., market and operational risk), RWA is determined by multiplying
the capital requirements for those risks by 12.5.
Securitisation risk The risk of credit related losses greater than expected due to a securitisation failing to operate
as anticipated, or of the values and risks accepted or transferred, not emerging as expected.
Write-Offs Facilities are written off against the related provision for impairment when they are assessed as partially or fully uncollectable, and after proceeds from the realisation of any collateral have been received. Where individual provisions recognised in previous periods have subsequently
decreased or are no longer required, such impairment losses are reversed in the current period income statement.
This report may contain forward-looking statements or opinions including statements regarding ANZ's intent, belief or current expectations with respect to the Group's business operations, market conditions, results of operations and financial condition, capital adequacy, specific provisions and risk management practices. Those matters are subject to risks and uncertainties that could cause the actual results and financial position of the Group to differ materially from the information presented herein.
When used in the report, the words 'forecast', 'estimate', 'goal', 'target', 'indicator', 'plan', 'modelling', 'project', 'intend', 'anticipate', 'believe', 'expect', 'may', 'probability', 'risk', 'will', 'seek', 'would', 'could', 'should' and similar expressions, as they relate to the Group and its management, are intended to identify forward-looking statements or opinions. Those statements are usually predictive in character; or may be affected by inaccurate assumptions or unknown risks and uncertainties or may differ materially from results ultimately achieved. As such, these statements should not be relied upon when making investment decisions.
There can be no assurance that actual outcomes will not differ materially from any forward-looking statements or opinions contained herein.
The forward-looking statements or opinions only speak as at the date of publication and no representation is made as to their correctness on or after this date. No member of the Group undertakes to publicly release the result of any revisions to these statements to reflect events or circumstances after the date hereof to reflect the occurrence of unanticipated events.

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