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The original version was signed by
The Honourable James M. Flaherty, P.C., M.P.
Minister of Finance
Message from the Superintendent
Section II: Analysis of Program Activities by Strategic Outcome
Section III: Supplementary Information
Section IV: Other Items of Interest
On July 2nd this calendar year, the Office of the Superintendent of Financial Institutions (OSFI) will mark its 25th anniversary. OSFI is tasked with overseeing the solvency of federally regulated financial institutions in the interest of depositors and policyholders, and protecting members in federal private pension plans. This report highlights the areas where OSFI will focus its efforts during the 2012-2013 fiscal year.
With the global economy continuing to be subject to considerable uncertainty, the coming year will continue to present challenges to the financial institutions and pension plans subject to our oversight. OSFI will be focusing on anticipating and addressing risks resulting from global events and also from regulatory changes. We will also be creating higher standards for effective risk management, disclosure and governance. We will be paying particular attention to the effects of implementation of international accounting rule changes and of Basel III capital adequacy and liquidity requirements. In addition, OSFI will continue to work on reform of the capital framework for insurance companies.
During the year OSFI will undergo, as well as start preparing for, a number of external reviews. The Financial Stability Board and the Basel Committee on Banking Supervision have begun a number of peer reviews which will test whether countries are implementing standards and policies which have been agreed internationally. This helps ensure a level playing field and brings a new level of commitment and transparency to the global financial system. Preparations will also begin for a 2013 assessment of Canada by the International Monetary Fund (IMF) under its Financial Stability Assessment Program. This is a major undertaking, and as part of this effort OSFI's adherence to international core principles in banking and insurance supervision will be assessed. Along with the Bank of Canada, the process will also involve completing appropriate stress tests and submitting them to the IMF.
OSFI is not alone in ensuring that Canada has a safe and sound financial system. Strong cooperation, communication and action among federal partners such as the Bank of Canada, the Canada Deposit Insurance Corporation, the Financial Consumer Agency of Canada and the Department of Finance – are key. We continue to work together at the Financial Institutions Supervisory Committee and at the Senior Advisory Committee.
It is important that OSFI has the right people and right tools to continue to be effective in the face of transformational rule changes and new risks that may arise. Our plan includes a focus on Human Resources strategies, as well as continuing our renewal of information management and technological infrastructure. Both will provide support to our employees and help us continue to attract the talent we need to meet the important mandate we have.
The Office of the Superintendent of Financial Institutions (OSFI) supervises and regulates all federally incorporated or registered deposit-taking institutions (e.g., banks), life insurance companies, property and casualty insurance companies, and federally regulated private pension plans.
OSFI safeguards depositors, policyholders and private pension plan members by enhancing the safety and soundness of federally regulated financial institutions and private pension plans.
The Office of the Chief Actuary (OCA) is a separate unit within OSFI and provides expert actuarial services and advice on the state of various public pension plans and on the financial implications of options being considered by policy makers. In conducting its work, the OCA plays a vital and independent role towards a financially sound and sustainable Canadian public retirement income system.
OSFI's legislated mandate was implemented in 1996 and under the legislation, OSFI's mandate is to:
OSFI's prudential mandate supports a safe and sound Canadian financial system.
OSFI's legislation also acknowledges the need to allow institutions to compete effectively and take reasonable risks. It recognizes that management, boards of directors, and plan administrators are ultimately responsible and that financial institutions and pension plans can fail.
Primary to OSFI's mandate and central to its contribution to Canada's financial system are two strategic outcomes:
The diagram below illustrates OSFI's framework of program activities and program sub-activities, which roll-up and contribute to progress toward the Strategic Outcomes.
2012-2013 | 2013-2014 | 2014-2015 |
---|---|---|
127.7 | 130.2 | 134.5 |
The financial resources table above provides a summary of the total planned spending for OSFI for the next three fiscal years.1
2012-2013 | 2013-2014 | 2014-2015 |
---|---|---|
609 | 608 | 608 |
The human resources table above provides a summary of the total planned full-time equivalent resources for OSFI for the next three fiscal years.
Performance Indicators | Targets |
---|---|
% of knowledgeable observers2 that rate OSFI as somewhat or very effective in monitoring and supervising their institution or pension plan. | 70% |
Percentage of estimated recoveries on failed institutions (amount recovered per dollar of claim). | 90% |
Percentage of estimated recoveries on pension plans that have terminated under-funded. | 85% |
Program Activity | Expected Results | Forecast Spending ($ millions) 2011-2012 |
Planned Spending ($ millions) |
Alignment to Gov't of Canada Outcomes | ||
---|---|---|---|---|---|---|
2012-2013 | 2013-2014 | 2014-2015 | ||||
Regulation and Supervision of Federally Regulated Financial Institutions | Protect depositors and policy holders while recognizing that all failures cannot be prevented. | 62.4 | 65.9 | 68.1 | 70.9 | Strong economic growth |
Regulation and Supervision of Federally Regulated Private Pension Plans | Protect the financial interests of federally regulated private pension plan members and beneficiaries. | 5.6 | 4.5 | 4.6 | 4.8 | Income security for Canadians |
Total for SO One | 68.0 | 70.4 | 72.7 | 75.7 |
Performance Indicators | Targets |
---|---|
Panel of Canadian peer actuaries selected by an international and independent body attests that the Chief Actuary and staff have adequate professional experience, complete work in compliance with professional standards and statutory requirements, access adequate information and complete relevant data tests and analysis, use reasonable methods and assumptions in completing actuarial reports and that these reports fairly communicate the results of the work performed. | Unanimous agreement amongst peers |
Adequacy of professional experience of the Chief Actuary and staff. AND |
Unanimous agreement amongst peers |
Compliance with Canadian and international professional standards. | Unanimous agreement amongst peers |
Program Activity | Expected Results | Forecast Spending ($ millions) 2011-2012 |
Planned Spending ($ millions) |
Alignment to Gov't of Canada Outcomes | ||
---|---|---|---|---|---|---|
2012-2013 | 2013-2014 | 2014-2015 | ||||
Actuarial Valuation and Advisory Services | Stewards of Canada's public retirement income system are provided with independent, accurate, high quality and timely professional actuarial services and advice. | 4.3 | 4.6 | 4.9 | 5.1 | Income security for Canadians |
Total for SO Two | 4.3 | 4.6 | 4.9 | 5.1 |
Program Activity | Forecast Spending ($ millions) 2011-2012 |
Planned Spending ($ millions) |
||
---|---|---|---|---|
2012-2013 | 2013-2014 | 2014-2015 | ||
Internal Services | 52.5 | 52.7 | 52.6 | 53.7 |
Total for Internal Services | 52.5 | 52.7 | 52.6 | 53.7 |
Organizational Priorities | Type | Description |
---|---|---|
Risks Emanating from the Economy | Ongoing |
Effectively monitor and manage our response to risks in the increasingly complex and dynamic regulatory and financial environments, while the volume and pace of change are increasing, through continuing to:
|
Risks Emanating from Regulatory Reform | Ongoing |
Proactively and strategically address risks arising as a result of the regulatory changes being introduced (including unintended consequences arising from such changes) through a consultative process with industry: Banking Reforms:
Insurance Reforms:
Pensions Reforms:
International Accounting and Auditing Reforms:
|
A High-Performing and Effective Workforce | Ongoing |
Actively develop and prepare current and future OSFI employees and create business processes for continued success in the environment in which they will be required to operate, thereby ensuring that OSFI has people with the right skills, motivation and tools at the right time and in the right place to deliver our business goals:
|
An Enhanced Corporate Infrastructure | Ongoing |
Apply innovative and influential strategies to enhance internal systems, processes, and knowledge transfer, which will sharpen our focus on how to work more effectively and efficiently.
|
OSFI operates in a constantly changing environment reflected in uncertain economic and financial conditions and an industry that can undergo periods of rapid change and is becoming increasingly complex. OSFI's ability to achieve its mandate and objectives is impacted by the range of risks that exist in such circumstances. OSFI is challenged to effectively and efficiently identify, evaluate, prioritize and develop initiatives to address areas where exposure is greatest.
OSFI's Enterprise-wide Risk Management (ERM) framework divides risks into external and internal categories. The external risk category consists of economic and financial conditions, the financial industry environment, OSFI's legal environment and catastrophic events. External risks arise from events that OSFI cannot influence, but are monitored in order to mitigate their potential impact on OSFI's operations. The internal risk category consists of operational risks that are broadly categorized as people, processes (governance processes, internal processes, and relationship management processes), enabling supporting systems, and culture (core values and change management).
OSFI's ERM process has identified several key risks to the achievement of its mandate and objectives, as follows:
The economic outlook for major foreign economies and for Canada is of concern, with a reasonably high probability that the U.S. recovery will continue to be weak, and some observers expecting a mild recession in Europe in 2012. More generally, there is considerable uncertainty associated with the resolution of the European sovereign debt problems, which could potentially generate additional stress in global and Canadian financial markets and undermine the performance of the global and Canadian economies.
The Canadian economy is also less robust and less resilient to adverse shocks compared to the last recession. Elevated household debt levels not only make households vulnerable to adverse shocks but continued low interest rates could encourage even higher household indebtedness for a period of time. Also, consumers themselves could become a source of negative domestic influence if they take action to rein in spending to address their indebtedness.
Global and domestic financial events require that OSFI be in a position to respond effectively to a continually evolving economic and regulatory environment. On a micro-level, prevailing conditions continue to put pressure on OSFI staff to provide interpretations or to reassess existing guidance to ensure its effectiveness under stressful and evolving conditions. Specific strategies have been put in place within individual Divisions, consistent with specialized responsibilities and current projects, to address ongoing industry developments. Resources continue to be reassigned and priorities realigned as necessary.
A fundamental redesign of the Basel capital framework for banks and the need to update prudential regulatory frameworks to address continued disruptions in global financial markets also require banks and regulators to focus more on the measurement of risks and its relation to the overall level of capital adequacy, leverage and liquidity. OSFI expects that the review, consultation and implementation of these changes will require more resources by both financial institutions and OSFI to address the number, breadth and novelty of more international rules and the need to monitor and advocate for comparable and timely implementation in peer jurisdictions. It is expected that policies creating OSFI's current prudential framework will have to be updated to incorporate new issues, information and lessons learned from the times of stress and the new internationally required minimum prudential standards. Monitoring the impact of new standards on bank behaviour will become equally important.
Work is underway in Canada as well as in many countries and international fora to develop more risk-sensitive capital frameworks for insurance companies (Minimum Continuing Capital and Surplus Requirement (MCCSR) and the Minimum Capital Test (MCT)). Both companies and regulators recognize the need to have more risk sensitive approaches that better reflect the issues arising from increasingly complex products, dynamic markets, accounting changes, and the need to be more transparent regarding the level of policyholder protection.
As Canadian financial institutions moved to IFRS in 2011, OSFI is now focused on new projects by the International Accounting Standards Board (IASB) that will have a significant impact on FRFIs going into the next two to three years.
There are two key projects that will impact banks and insurers: replacement of Financial Instruments and Insurance Contracts Phase II. The Financial Instruments project proposes increased use of fair value and expected loss provisioning for loans. The Insurance Contracts Phase II project proposes to fundamentally change the valuation of insurance liabilities and recognition of revenue. The impacts of the changes for these projects are extensive in that they will not only change the accounting, but will also significantly impact loan values and provisions, actuarial standards, and the regulatory capital regime. It is crucial that OSFI continues to anticipate, understand and, when practicable, influence such changes so that OSFI will continue to be able to perform accurate risk assessments of financial institutions and will be able to adjust the regulatory capital framework as required.
The 2008 financial crisis has motivated much international and domestic consultation and proposals on how the audit function could be enhanced in order to contribute to increased financial stability. OSFI is actively monitoring and participating in domestic and international work efforts (internationally through the Financial Stability Board (FSB), the Basel Committee on Banking Supervision (BCBS), and the International Association of Insurance Supervisors (IAIS) and domestically through the Auditing and Assurance Standards Board (AASB) and Auditing and Assurance Standards Oversight Council (AASOC)).
OSFI's success is dependent upon having employees with highly specialized knowledge, skills and experience to regulate and supervise financial institutions, identify significant issues, and perform accurate risk assessments. OSFI is also being called on to take an increasing leadership role domestically and internationally and to devote resources to further improving financial regulation and considering systemic issues.
A volatile global economy, increasingly complex products, changes to prudential regulation and emerging risks in the industry also mean that OSFI needs to be able to attract, motivate, develop and retain skilled people, particularly those whose skills are in demand in the financial sector. In addition, a significant increase in hiring over the last three years due to market conditions, and normal turnover and retirement rates mean that a continuous learning environment is necessary to enable employees to meet the challenges of this constantly changing environment. Not having sufficient skill sets in place can result in an over reliance on certain key resources, which can lead to other people risks.
Enabling technology and a robust, secure and well-supported Information Management/Information Technology (IM/IT) infrastructure are key success factors to OSFI in meeting its mandate. OSFI must ensure that the necessary information systems and infrastructure are in place to effectively support its supervisory and regulatory activities. OSFI has undertaken a multi-year information technology renewal initiative (ITR) in support of a long term IM/IT Strategy to mitigate this risk. Implementation issues related to this initiative are being closely monitored and evaluated.
In accordance with the Treasury Board Secretariat's Guide to the Preparation of Part III of the 2012-2013 Estimates, the financial and human resources presented in this Report on Plans and Priorities reflect OSFI's approved Annual Reference Level Update (ARLU) estimates, which were prepared in early summer 2011. At the time of writing this Report on Plans and Priorities (RPP), OSFI was completing its business planning process for fiscal years 2012-2013 to 2014-2015 and assessing its capacity requirements. Any changes to OSFI's approved ARLU estimates as a result will be reflected in next year's RPP.
During the 2012-2015 planning period, OSFI will continue to focus on responding to risks emanating from the economy and from regulatory reforms, primarily in banking, insurance, and accounting (IFRS). Work continues on determining the impacts of the fundamental redesign of global banking regulations on the capital and liquidity of Canada's banks, on making changes to insurance company capital rules, and on reviewing the impacts of expected accounting rule changes and auditing reforms.
OSFI is currently in year two of the implementation of its approved five-year IM/IT Strategy. The focus for this planning period is to advance the ITR initiative with the updating of OSFI's ageing technologies and annual investments to upgrade systems and renew core infrastructure and selected applications. Accordingly, small increases to the resource levels presented in these tables are necessary, primarily in the Regulation and Supervision of Federally Regulated Financial Institutions program activity where expertise in technical skills are required to address the issues outlined above.
($ millions except for percentages) | Actual Spending 2010-2011 |
Forecast Spending 2011-2012 |
Planned Spending | ||
---|---|---|---|---|---|
2012-2013 | 2013-2014 | 2014-2015 | |||
Gross Expenditures | 105.9 | 124.8 | $127.7 | $130.2 | $134.5 |
Change from previous year | 17.8 % | 2.3 % | 2.0 % | 3.3 % | |
Less: | |||||
Respendable Revenue | 90.1 | 123.9 | 126.8 | 129.3 | 133.6 |
Total Planned Spending | 15.8 | 0.9 | 0.9 | 0.9 | 0.9 |
Total gross expenditures in 2011-2012 are forecasted to increase by 17.8% from the previous year, to $124.8 million, due to the increase in human resources and the full-year impact in 2011-2012 of employees hired during 2010-2011 (which in combination, result in a growth of 30 full-time equivalent positions), normal inflation and merit adjustments, investments in the ITR project, and the retrofit of new and existing office space to accommodate the additional staff. In order to successfully retain and attract necessary talent, OSFI also updated its executive3 compensation structure to keep pace with compensation paid in the financial services sector, from which OSFI recruits the experience and knowledge required to keep current.
Total gross expenditures in 2012-2013 are planned to increase by 2.3% over 2011-2012 forecast, to $127.7 million, mainly due to normal inflationary and merit adjustments and continued investments in the ITR project. The growth in 2013-2014 and 2014-15 is due to normal inflationary and merit adjustments.
Net of Respendable Revenues, total planned spending is $0.9 million for each of the planning years. This amount is assumed to remain unchanged over the planning horizon but may be adjusted by Treasury Board to reflect changes in collective agreements or continued cost constraint measures.
Figure 1 provides a trend of OSFI's actual and planned expenditures and full-time equivalents (FTEs) over the fiscal years 2006-2007 to 2014-2015. The growth in FTEs starting in late 2007-2008 through to 2009-2010 was driven by the global financial market turmoil, which began in August 2007, and the serious economic downturn in the following year while financial market turmoil still prevailed. During this period, OSFI added staff in specialized areas in order to more intensely monitor and assess risk in the financial sector. OSFI further increased its staff complement in 2011 to address the increased volume and complexity of its work, new initiatives as a result of the lessons learned from the global financial crisis, and to implement the significant regulatory reforms and implement OSFI's approved ITR program. Driven by a fundamental change in how OSFI supervises insurance companies, OSFI also expects to increase its staff complement slightly in 2013 to ensure adequate resources related to the regulation and supervision of the insurance industries. OSFI's level of resources today is higher than pre-crisis levels as many of the new initiatives and commitments have become permanent demands. At the time of writing this Report on Plans and Priorities, current budget assumptions are that FTE estimates will hold constant beyond 2012-2013.
OSFI continues to manage its human and financial resources judiciously and in optimal ways. Recent steps taken to maximize efficiencies include remaining within OSFI's pre-2008 Toronto office footprint despite increases in supervisory resources since the financial crisis, indefinitely suspending OSFI's biennial employee training and development conference, and actively participating in and supporting the shared financial systems initiative for Small Departments and Agencies.
Estimates by Vote are presented in the 2012-2013 Main Estimates which can be found on the Treasury Board of Canada Secretariat's web site at:
http://www.tbs-sct.gc.ca/est-pre/20122013/p2-eng.asp.
The following section describes OSFI's program activities and identifies the expected results, performance indicators and targets for each of them. This section also explains how OSFI plans on meeting the expected results and presents the financial and non-financial resources that will be dedicated to each program activity.
2012-2013 | 2013-2014 | 2014-2015 | |||
---|---|---|---|---|---|
FTEs | Planned Spending | FTEs | Planned Spending | FTEs | Planned Spending |
376 | 65.9 | 376 | 68.1 | 376 | 70.9 |
Program Activity Expected Results | Performance Indicators | Targets |
---|---|---|
Protect depositors and policy holders while recognizing that all failures cannot be prevented. | Percentage of estimated recoveries on failed institutions. (amount recovered per dollar of claim) | 90% |
Provide accurate Risk Assessments for institutions which align with their Composite Risk Rating. | Percentage of knowledgeable observers4 that agree that their institution's Composite Risk Rating is appropriate. | 70% |
Timely and effective intervention and feedback. | Time to issue Supervisory Letter (within prescribed target days). | 80% of letters are issued within 45 days |
Regulations, guidance and other rules that balance prudential considerations and the need to compete. | Percentage of knowledgeable observers3 that rate OSFI as being good or very good at developing Regulations, Guidelines and other rules that strike an appropriate balance between prudential considerations and the need for institutions to compete. | 50% |
Regulations, guidance and other rules which are clear and scrutinized by industry. | Percentage of knowledgeable observers3 that rate OSFI's guidance as somewhat or very effective in providing an indication of OSFI's expectation. AND |
75%
|
Percentage of knowledgeable observers3 who rate OSFI as good or very good at consulting with industry on the development of regulations, guidelines and other rules. | 60% | |
Provide prudentially sound decisions on Regulatory Approvals. | Percentage of knowledgeable observers3 that understand somewhat or very well the basis upon which OSFI makes its decisions as part of the approval process. | 85% |
Regulatory approvals that are timely and transparent. | Percentage of completed applications for regulatory approvals that are processed within established performance standards. | 90% |
This program involves regulating and supervising federally regulated financial institutions (FRFIs) to determine whether they are in sound financial condition and are complying with their governing statute law and supervisory requirements; monitoring the financial and economic environment to identify issues that may impact these institutions negatively; and intervening in a timely manner to protect depositors and policyholders from undue loss, while recognizing that management and boards of directors are ultimately responsible, and that financial institutions can fail.
Costs for this program are recovered through base assessments and user fees and charges paid by the federally regulated financial institutions covered under the Bank Act, Trust and Loan Companies Act, Insurance Companies Act and Cooperative Credit Associations Act. The Office of the Superintendent of Financial Institutions also receives revenues for cost-recovered services to provinces, for which it provides supervision of their institutions on a fee for service basis.
This program has three sub-activities:
In addition to its core work, OSFI will focus on key strategies, including:
2012-2013 | 2013-2014 | 2014-2015 | |||
---|---|---|---|---|---|
FTEs | Planned Spending | FTEs | Planned Spending | FTEs | Planned Spending |
27 | 4.5 | 27 | 4.6 | 27 | 4.8 |
Program Activity Expected Results | Performance Indicators | Targets |
---|---|---|
Protect the financial interests of federally regulated private pension plan members and beneficiaries. | Percentage of estimated recoveries on pension plans that have terminated under-funded. | 85% |
Regulations, guidelines and other rules that are clear and balanced. | Percentage of knowledgeable observers5 that rate OSFI's guidance as somewhat or very effective in providing an indication of OSFI's
expectation. AND |
75%
|
Percentage of knowledgeable observers4 who rate OSFI as being good or very good at developing regulations, guidelines and other rules that strike an appropriate balance between interests of plan sponsors and plan members. | 50% | |
Regulatory approvals that are timely and transparent. | Percentage of knowledgeable observers4 that understand somewhat or very well the basis upon which OSFI makes its decisions as part of the approval process. AND |
60%
|
Percentage of completed applications for regulatory approvals that are processed within established benchmarks. | 90% |
This program involves regulating and supervising federally regulated private pension plans to determine whether they are meeting minimum plan funding requirements and are complying with their governing law and supervisory requirements. This program provides risk assessments of pension plans covering employees in federally regulated areas of employment; timely and effective intervention and feedback to protect the financial interests of plan members and beneficiaries from undue loss, while recognizing that plan administrators are ultimately responsible, and that plans can fail; a balanced relevant regulatory framework; and a prudentially effective and responsive approvals process. This program incorporates risk assessment and intervention, regulation and guidance, and approvals and precedents related to federally regulated private pension plans under the Pension Benefits Standards Act, 1985. The costs for this program are recovered from pension plan fees based on the number of members in each federally regulated pension plan.
In order to achieve the expected results, OSFI plans to undertake, in addition to ongoing activities, the following initiatives:
2012-2013 | 2013-2014 | 2014-2015 | |||
---|---|---|---|---|---|
FTEs | Planned Spending | FTEs | Planned Spending | FTEs | Planned Spending |
32 | 4.6 | 32 | 4.9 | 32 | 5.1 |
Program Activity Expected Results | Performance Indicators | Targets |
---|---|---|
Stewards of Canada's public retirement income system are provided with independent, accurate, high quality and timely professional actuarial services and advice. | Adequacy of professional experience of the Chief Actuary and staff. AND Compliance with Canadian and international professional standards. |
Unanimous agreement amongst peers* |
Accurate and high quality actuarial valuations inform Canada Pension Plan (CPP) and Old Age Security (OAS) stakeholders and Canadians of the current and projected financial status of the Plan and Program. | Peer review attests that actuarial valuations are comprehensive (i.e. examination of actuarial valuation methods, assumptions and analysis). AND |
Unanimous agreement amongst peers* |
Percentage of the recommendations within the scope and influence of the OCA that are implemented before the next peer review. | 80% | |
Professional advice provided in CPP and OAS Triennial Actuarial Reports | Reports on Canada Pension Plan & Old Age Security are provided to the Minister on time for tabling in Parliament as per statutory deadlines. |
100% by the deadline |
Accurate and high quality actuarial valuations of Public Pension and Insurance Plans are provided to departments to inform design, funding and administration of the plans. | Peer review attests that actuarial valuations are comprehensive (i.e. examination of actuarial valuation methods, assumptions and analysis). AND Actuarial opinion is appropriate. |
Unanimous agreement amongst peers* |
Professional advice provided in Public Sector Triennial Actuarial Reports. | Reports on Public Pension Plans are provided to the Minister on time for tabling in Parliament as per statutory deadlines. | 100% by the deadline |
Accurate and high quality actuarial valuations inform CSLP stakeholders and Canadians of the future costs and provision rates of the program. | The Office of the Auditor General (OAG) performs an audit of the CSLP and uses work from OSFI's actuarial valuation of the CSLP as audit evidence to support the OAG's independent auditor report for the Public Accounts of Canada. | Confirmation from the OAG |
Professional advice provided in Actuarial Report on the Canada Student Loans Program. | Reports on Canada Student Loans are provided to the Minister on time for tabling in Parliament as per statutory deadlines. | 100% by the legislated deadline |
* Independently selected panel of peers / actuaries. |
The federal government and the provinces, through the Canada Pension Plan (CPP), public sector pension arrangements and other social programs have made commitments to Canadians and have taken on emanated responsibility for the financing of these commitments. Some are long-term and it is important that decision-makers, Parliamentarians and the public understand these and the inherent risks. This program plays a vital and independent role in this process. It provides checks and balances on the future costs of the different pension plans under its responsibilities.
This program provides a range of actuarial services, under legislation, to the CPP and some federal government departments. It conducts statutory actuarial valuations of the CPP, Old Age Security (OAS) and Canada Student Loans programs, and pension and benefits plans covering the Federal Public Service, the Canadian Forces, the Royal Canadian Mounted Police (RCMP), federally appointed judges, and Members of Parliament.
The Office of the Chief Actuary (OCA) is funded by fees charged for its actuarial valuation and advisory services and by an annual parliamentary appropriation.
This program activity has three sub-activities:
In order to achieve the expected results the Actuarial Reports for the CSLP, Pension Plan for the Public Service of Canada, Pension Plan for the Royal Canadian Mounted Police and the Public Service Death Benefit Account will be sent to the appropriate Minister.
2012-2013 | 2013-2014 | 2014-2015 | |||
---|---|---|---|---|---|
FTEs | Planned Spending | FTEs | Planned Spending | FTEs | Planned Spending |
174 | 52.7 | 173 | 52.6 | 173 | 53.7 |
Program Activity Expected Results | Performance Indicators | Targets |
---|---|---|
OSFI's financial statements accurately reflect the financial position of OSFI. |
An audit by the Office of the Auditor General attests that OSFI's financial statements present fairly, in all material respects, the financial position of OSFI at the year-end and the results of its operations and its cash flows for the year in accordance with IFRS. |
N/A |
OSFI maintains or improves its strong performance on its Results-based Management Accountability Framework, (MAF) as assessed by Treasury Board from time to time. |
Treasury Board's next assessment of OSFI's MAF indicates equal or improved ratings, including in the two areas where, in the last assessment, Treasury Board suggested a need to focus. |
N/A |
Operational units within program support are efficient and effective, i.e. deliver services at reasonable cost and turn-around time relative to peers. AND Operational units are operating within applicable acts, policies and guidelines. |
Treasury Board's audits of OSFI, in the scope of its government-wide Horizontal Audits, confirm no material findings for OSFI. AND Internal Audits of reviewed units find that controls are in place and units are operating within applicable acts, policies and guidelines, and/or identify areas for action. |
N/A |
A stable, committed and skilled workforce. |
Knowledgeable observers6 are of the view that OSFI staff knowledge is good or very good. |
N/A |
Multi-year Information and Technology Renewal (ITR) Program remains dynamic and evolves to accommodate OSFI's changing strategic directions, priorities and resource constraints. |
ITR Program is implemented as per established timelines and targeted results are achieved. |
N/A |
OSFI's Internal Services program activity supports its two strategic outcomes. Activities include developing and implementing cost-effective, secure and reliable information management systems that contain relevant, accurate and timely internal and external data. These information systems are complemented by the development and delivery of effective financial, human resources and administration, security, communication and administrative policies, advice and guidance. The objective is to ensure that OSFI has the processes and systems in place to enable a motivated and skilled workforce to focus on its supervisory and regulatory activities.
Key planning highlights for OSFI's Internal Services include:
The future-oriented financial highlights presented within this RPP are intended to serve as a general overview of OSFI's operations. These financial highlights are prepared on an accrual basis to strengthen accountability and improve transparency and financial management and to provide relevant, reliable, comparable and understandable information to the primary users of OSFI's financial statements. The primary users are the regulated financial institutions and private pension plans – that is, the paying stakeholders to whom OSFI is accountable – and their respective industry associations, who on the whole, operate financially on an accrual basis based on standards applicable to publicly accountable enterprises (PAEs) in the CICA Handbook – Accounting.
Future-oriented financial statements, which have been prepared in accordance with International Financial Reporting Standards (IFRS), can be found on OSFI's web site at:
http://www.osfi-bsif.gc.ca/osfi/index_e.aspx?ArticleID=1548.
$ Change | Estimated Results 2011-2012 |
Forecast 2012-2013 |
|
---|---|---|---|
Total Assets | 2.0 | 60.5 | 62.5 |
Total Liabilities | 2.0 | 35.5 | 37.5 |
Equity of Canada | 0.0 | 25.0 | 25.0 |
Net Cost of Operations | 2.0 | 60.5 | 62.5 |
$ Change | Estimated Results 2011-2012 |
Forecast 2012-2013 |
|
---|---|---|---|
Total Expenses | 9.7 | 122.9 | 132.6 |
Total Revenues | 9.7 | 122.9 | 132.6 |
Net Cost of Operations | 0 | 0 | 0 |
OSFI matches its revenues to its costs. The difference between the figures above and the planned spending amounts provided in other sections of the RPP is due to a different basis of accounting and relate to such items as non-respendable revenues, amortization, severance pay liability adjustment and accrued interest costs. For more information, refer to the full future-oriented financial statements found on OSFI's Web site. In addition, the Forecast for 2012-2013, presented on a modified cash basis, includes an increase of $8.0 million, or a 6.3% increase over the planned spending for 2012-2013 provided in this report. The increase is largely related to additional resource requirements and OSFI's continued investments in information systems, as explained in the "Expenditure Profile" section of this report. This also accounts for the year-over-year increase of $9.7 million, or 7.9%, in revenues and expenses in 2012-2013 on an accrual basis.
All electronic supplementary information tables which accompany the 2012–2013 Report on Plans and Priorities can be found on the Treasury Board of Canada Secretariat's web site at:
http://www.tbs-sct.gc.ca/rpp/2012-2013/info/info-eng.asp.
The following tables are available on the TBS web site:
Contact Information:
Office of the Superintendent of Financial InstitutionsPhone: (613) 990-7788
Other Information:
OSFI's Plan and Priorities 2012-2015 is available on OSFI's web site at:1 Additional information regarding the Financial and Human Resources trends can be found in the Expenditure Profile section of this report.
2 Senior Executives, Plan Administrators, and professionals who act on behalf of federally regulated financial institutions and pension plans.
3 Director, Managing Director and Senior Director levels.
4 Senior Executives and professionals who act on behalf of federally regulated financial institutions.
5 Plan Administrators and professionals who act on behalf of pension plans.
6 Senior Executives, Plan Administrators, and professionals who act on behalf of federally regulated financial institutions and pension plans.