They may also impose more stringent liquidity requirements because the LCR, like all BCBS standards, is a minimum requirement. One relates to the LCR's scope of application since national supervisors may extend it to all banks in their jurisdictions. There are three major sets of issues to consider. These include the provision of central bank liquidity facilities, the coverage of liquidity needs in the domestic currency by foreign currency HQLA, and the use of additional Level 2 assets but subject to a higher haircut. Subject to conditions, jurisdictions that do not have enough assets in their own currency to meet banks' needs for HQLA may use ALA. Level 2 assets are themselves subdivided into Level 2A assets, whose value is subject to a 15% haircut, and Level 2B assets, which are subject to higher haircuts but cannot exceed 15% of the stock of HQLA. HQLA include Level 1 assets, which can be included without limit, and Level 2 assets, which cannot exceed 40% of the liquidity reserve. A liquid asset can be included in the stock of HQLA if it is unencumbered, meets minimum liquidity criteria and its operational factors demonstrate that it can be disposed of to generate liquidity when needed. HQLA are cash or assets that can be converted into cash quickly through sales (or by being pledged as collateral) with no significant loss of value. The difference between the stressed outflows and inflows is the minimum size of the HQLA stock. Total expected cash inflows are estimated by applying inflow rates to the outstanding balances of various contractual receivables. The total expected outflows are determined by multiplying the outstanding balances of various categories of liabilities and off-balance sheet commitments by the supervisory rates at which they are expected to run off or be drawn down. Total net cash outflows are defined as the total expected cash outflows minus the total expected cash inflows arising in the stress scenario. Supervisors are expected to provide guidance on the usability of HQLA according to circumstances. However, this floor for HQLA can be breached during periods of stress. The LCR requires internationally active banks to hold a stock of HQLA at least as large as expected total net cash outflows over the stress period, as summarised in the following formula: The 30-calendar-day stress period is the minimum period deemed necessary for corrective action to be taken by the bank's management or by supervisors. The supervisory scenario capturing the period of stress combines elements of bank-specific liquidity and market-wide stress and includes many of the shocks experienced between 20. The LCR is designed to ensure that banks hold a sufficient reserve of high-quality liquid assets (HQLA) to allow them to survive a period of significant liquidity stress lasting 30 calendar days. The BCBS also addressed structural resilience through a second liquidity ratio - the Net Stable Funding Ratio (NSFR), which is presented in another Executive Summary. To improve internationally active banks' short-term resilience to liquidity shocks, the Basel Committee on Banking Supervision (BCBS) introduced the LCR as part of the Basel III post-crisis reforms. A failure to adequately monitor and control liquidity risk led a number of financial firms into difficulty in 2007, and the years that followed, and was a major cause of the Great Financial Crisis.
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