Category: Politics

  • MIL-OSI United Nations: Sovereignty and territorial integrity of Ukraine paramount, Security Council hears

    Source: United Nations 2

    Peace and Security

    A senior UN political affairs official on Monday reaffirmed that any peace deal in Ukraine must respect the country’s sovereignty, independence, and territorial integrity, in accordance with the UN Charter and international law.

    Briefing ambassadors in the Security Council ahead of the third anniversary of Russia’s full-scale invasion of Ukraine, Miroslav Jenča, Assistant Secretary-General for Europe in the political and peacebuilding department (DPPA), stressed diplomatic efforts must focus on securing a just and lasting peace.

    Full participation of Ukraine, Russia

    “The United Nations encourages dialogue among all stakeholders and welcomes all genuine efforts and initiatives, with the full participation of Ukraine and the Russian Federation, that would alleviate the impact of the war on civilians and de-escalate the conflict,” he said.

    He also reiterated Secretary-General António Guterres’ position that “any peaceful settlement must respect the sovereignty, independence and territorial integrity of Ukraine, in line with the UN Charter, international law and resolutions of the General Assembly.”

    The Security Council session coincided with the 10th anniversary of resolution 2202, which endorsed the now-defunct Minsk agreements of 2015 signed by the representatives of European security pact, the OSCE, Russia, Ukraine and leaders of the pro-Russian separatists in the occupied east of Ukraine following Russia’s annexation of Crimea.

    The unanimously adopted resolution included a “package of measures” as its annex, including an immediate and comprehensive ceasefire in the Donetsk and Luhansk regions of Ukraine, as well as the withdrawal of all heavy weapons by both sides by equal distances to create a security zone.

    A stark reminder

    Mr. Jenča noted that the anniversary serves as a stark reminder of past diplomatic efforts to de-escalate tensions and as an opportunity to reflect on the consequences of failing to forge a peace through international diplomacy.

    He commended the OSCE Special Monitoring Mission for its eight years of work in tracking ceasefire violations and facilitating dialogue, noting that the experience offers key lessons for future diplomatic efforts.

    The Minsk agreements have taught us that agreeing on a ceasefire or the signing of an agreement alone do not ensure a durable end to the violence,” Mr. Jenča said.

    “Ensuring that the conflict does not reoccur and does not escalate will require genuine political will and understanding of its multi-dimensional complexity, for Ukraine and for the region.”

    More to follow…

    MIL OSI United Nations News

  • MIL-OSI Africa: Financing Oil and Gas (O&G) Projects in Congo: Increased Investment to Drive Output

    Source: Africa Press Organisation – English (2) – Report:

    BRAZZAVILLE, Congo (Republic of the), February 17, 2025/APO Group/ —

    As the Republic of Congo endeavors to boost its oil production to 500,000 barrels per day (bpd) by 2027 and expedite gas exploration and production, the Ministry of Hydrocarbons is simultaneously prioritizing the modernization of downstream infrastructure to address energy insecurity. With new regulatory measures, large-scale infrastructure projects and a strong push toward sustainability, the country has seen an influx of international investment, thereby strengthening Congo’s momentum toward ambitious reforms in the hydrocarbon sector.

    Towards Increased Production

    The Congolese subsidiary of China Oil Natural Gas Oversees Holding Ltd (Cogo) plans to invest $150 million to boost oil production over the next three years in the Conkouati-Koui and Nanga III fields in Congo. The company will drill four wells – two in each field – with the project set to expand to include 3D seismic surveys and further data analysis. On October 3, 2024, the new Director General of Cogo’s Congolese subsidiary Fublert Dzimbe presented the company’s activity roadmap to the Minister of Hydrocarbons Bruno Jean-Richard Itoua.

    Meanwhile, oil and gas supermajor TotalEnergies announced last year that it will invest $600 million to strengthen exploration and production activities in Congo. The investment will be used to finance exploration and maintain production in the country’s deep offshore Moho Nord field, which accounts for approximately half of all Congolese oil production – roughly 140,000 bpd. TotalEnergies’ commitment to Congo’s oil production is set to ensure additional production of 40,000 bpd, adding to the country’s current levels of 267,000 bpd.

    Set to finance a seven-year development program across the Mengo-Kundji-Bindi IIoilfields in Congo, oil and gas company Trident secured a $300 million financing facility from pan-African multilateral financing institution Afreximbank in 2023. The capital will enable the company to increase production – up to 30% of national crude output – while opening job creation opportunities.

    A Focus on Refining

    Currently, the Congolaise de raffinage, a subsidiary of the state-owned Société nationale des pétroles du Congo, operates the nation’s sole refinery in Pointe-Noire. With a processing capacity of one million tons per year, the refinery converts crude oil into finished products such as butane gas, gasoline, kerosene, light diesel and heavy fuel oil, meeting approximately 70% of the country’s refined energy needs.

    To address growing domestic demand and reduce the reliance on imports, the government has initiated the construction of a new refinery in Fouta – near Pointe Noire. Known at the Atlantic Petrochemical Refinery, the project is being developed in partnership with the Chinese firm Beijing Fortune Dingheng Investment, representing an investment of around $600 million. The first phase aims to achieve a production capacity of 2.5 million tons per year, focusing on high-quality gasoline and diesel. The refinery is expected to commence operations by the end of 2025, contributing significantly to national energy security.

    As sub-Saharan Africa’s fourth-largest oil producer, Congo presents significant investment opportunities for global investors. The country aims to attract fresh capital to its oil sector, with a licensing round set to be launched at the inaugural Congo Energy & Investment Forum (CEIF) 2025, taking place in Brazzaville from March 24-26. Meanwhile, the country is preparing to launch its Gas Master Plan alongside a new Gas Code at CEIF 2025, which are set to provide a strategic framework for investing in the country’s gas value chain.

    MIL OSI Africa

  • MIL-OSI United Kingdom: UK Government to Invest £2.6 Million in V&A Dundee

    Source: United Kingdom – Government Statements

    Scottish Secretary confirms £2.6 million for V&A Dundee – investment on top of £20 million for Dundee regeneration projects.

    V&A Dundee is to receive £2.6 million in UK Government capital funding. The investment, to remodel and extend the Scottish Design Galleries, was announced today [17 February 2025] by the Scottish Secretary on a visit to Scotland’s design museum. 

    Speaking after his visit, Scottish Secretary Ian Murray said: 

    It’s fantastic news that the UK Government is investing £2.6 million in V&A Dundee. It is a great attraction, right at the heart of Dundee’s waterfront, bringing great benefits to the city. This funding will help the museum celebrate the very best of Scottish design and make the experience for visitors even better. 

    We have taken the necessary steps to mend our public finances in order to provide this funding and a record settlement for the Scottish Government, and I am very pleased that we are delivering this investment in this important national institution.  

    At the Autumn Budget the Chancellor also confirmed £20 million for regeneration and growth projects in Dundee. In all, the UK Government is investing £1.4 billion in dozens of important local growth projects across Scotland over the next 10 years. This is a key part of the UK Government’s Plan for Change, growing our economy and improving living standards in all parts of the UK.

    Director of V&A Dundee, Leonie Bell, said

    We are delighted the UK Government has confirmed £2.6 million of funding for V&A Dundee, Scotland’s design museum, to undertake a bold transformation of the Scottish Design Galleries that will bring design to life for visitors, enabling even more people to engage with Scotland’s innovative design history and its continuing influence around the world. 

    V&A Dundee is an incredible resource for people living in Dundee and Scotland, drawing visitors to the region, championing design and designers and helping to change the face of the city and contributing to economic, cultural and social growth.   

    This new funding means we can expand the story of design from Scotland and celebrate the worldwide influence of Scottish design and designers, further enhancing the visitor experience at V&A Dundee.

    The Scottish Design Galleries are the heart of V&A Dundee. They feature more than 300 objects spanning around 500 years, telling the story of Scottish design’s enduring influence around the world. This additional investment, ahead of the museum’s 10-year anniversary in 2028, will help V&A Dundee boost its contribution to local economic growth, supporting jobs and driving visitors to Tayside.

    In 2023 Dundee welcomed 1.35 million visits, an increase of more 50 per cent since before V&A Dundee opened. V&A Dundee is engaging with every school in the city and welcomed its two millionth visitor in 2024. The museum has created very significant economic impacts for the city.

    Updates to this page

    Published 17 February 2025

    MIL OSI United Kingdom

  • MIL-OSI: Baltic Horizon Fund consolidated unaudited results for Q1-Q4 2024

    Source: GlobeNewswire (MIL-OSI)

    Management Board of Northern Horizon Capital AS has approved the unaudited financial results of Baltic Horizon Fund (the Fund) for the twelve months of 2024.

    Our strategic ambitions
    In 2024, the Fund’s management team made the strategic decision to implement key performance indicators (KPIs) as a means to effectively measure and track performance. This decision stems from the recognition that clear and measurable benchmarks are essential for evaluating progress towards the Fund’s objectives. By defining specific KPIs, the team aims to enhance transparency, accountability, and facilitate decision-making processes.

    The focus of the Fund management team is and will be on these major objectives:

    • Portfolio occupancy of at least 95% by end of June 2025;
    • Loan-to-Value target at 50% or lower;
    • To consider disposing of non-strategic assets over the next 18 months;
    • Clear ESG and refurbishment strategy for the next 1-2 years with an aim to reach the portfolio’s NOI potential of EUR 18 million by 2027;
    • Maintaining 100% BREEAM or LEED certified portfolio;
    • Achieving not less than 4 stars from GRESB assessment.

    As we recap our goals for 2024, we can report the following achievements:

    We have successfully achieved 100% portfolio certification.

    Despite receiving a 3-star GRESB rating in 2024, we have thoroughly analysed the assessment results and developed an action plan to secure a 4-star GRESB rating in 2025.

    Although we did not reach our target of 90% portfolio occupancy by the end of 2024, we made significant progress, achieving an 86.5% occupancy rate based on lease signing date.

    We have recently announced our disposal strategy to reduce LTV level to the target level. Several disposal processes have already commenced as of February 2025, with the closing of transactions planned for later in the year.

    Looking ahead to 2025, we will continue with the same solid strategy and goals that will stabilize the Fund’s financial position and maximize the potential of its portfolio.

    Leasing performance

    In a challenging environment characterized by increasing real estate market vacancies across all Baltic states in recent periods, the Fund also faced outflows of some tenants, however it has demonstrated its adaptability and the attractiveness of its properties by renewing a significant amount of existing leases and signing a substantial number of new leases in 2024. This success was primarily attributable to significant deals with prominent anchor tenants such as Narbutas in Meraki (3,200 sq. m) and Apollo Group in Coca-Cola Plaza (2,200 sq. m), International School of Riga in S27 (3,680 sq. m) and significant leases in Galerija Centrs  signed with My Fitness (2,000 sq. m) and Expo GROUP (2,000 sq. m).

    The Fund team has been diligently negotiating with current tenants to extend lease agreements, while also actively engaging with new tenants to fill the vacancies.  These efforts have resulted in lease renewals of approximately 23,800 sq. m and a net lease inflow of approximately 4,800 sq. m

    During 2024, the Fund signed new leases for 22,743 sq. m, securing an annual rental income of EUR 2,945 thousand for future periods. Furthermore, 61 new tenants have been attracted to our buildings, while 69 existing tenants have decided to continue their cooperation with us.

    By the end of December 2024, the occupancy of the portfolio increased to 82.1%. Calculating based on the lease signing date, the occupancy already exceeds 86%. Signed premises will be handed over to tenants in 2025.

    Notably, less than 20% of the leases are set to expire during 2025, while the vast majority expire in 2026 and later. We aim to spread our lease terms evenly so that no more than 20% of our leases expire each year.  Recent successful leasing activity is reflected in the increase in the weighted average unexpired lease term until the first break option, which was 3.3 years as of 31 December 2024 (compared to 2.9 years as of 31 December 2023).

    Outlook
    In 2025 the Fund will focus on flexible and sustainable solutions to meet tenant demands and market conditions.

    Our key goals are increasing the occupancy of the portfolio and decreasing the LTV by way of repaying part of the bonds.

    In 2025, the Baltic commercial real estate market is anticipated to navigate both considerable challenges and emerging opportunities. Persisting economic uncertainty is expected to keep demand for commercial spaces subdued. Key factors influencing this trend include evolving consumer preferences, the continued expansion of e-commerce, and the sustained shift toward remote work, all of which are reshaping the need for office and retail properties.

    While economic forecasts cautiously suggest potential market stabilization in the coming year, a rapid recovery remains unlikely due to geopolitical uncertainties and evolving tenant and consumer needs. Recognizing these challenges, the Fund’s management strives to enhance financial stability by reducing leverage through partial bond repayment. This strategy aims to alleviate financial pressure, positioning the Fund for more sustainable financial performance.

    As part of this initiative, the Fund has announced a strategic plan to divest select assets, with the objective of reducing the LTV ratio to below 50% and fostering a more stable recovery. Up to three assets have been identified for potential disposal based on their life cycle, optimization potential, and alignment with the Fund’s long-term strategy. Among these, the Postimaja and CC Plaza complex in Tallinn has been introduced to the market, following the Fund’s successful achievement of 100% occupancy and WALT exceeding five years. Given limited opportunities for further value enhancement beyond its development potential—an avenue the Fund does not intend to pursue in the short term—the asset has been prioritized for sale. To facilitate the divestment process, the Fund has engaged Newsec Advisers UAB and Redgate Capital AS as financial advisors. The sales process was commenced in February, with the aim of closing later in the year.

    As of the date of release of this report, the Fund has a Letter of Intent (LOI) with a potential buyer and DD is in progress with Meraki property. According to LOI, the transaction would be finalized in spring 2025. At the end of 2024, the property had an occupancy of 86% and WAULT of 4.3 years. Due to anticipated vacancies in the office sector and an increasing supply, the Fund has decided not to proceed with the development of a second tower, for which the permit remains valid. The current market conditions, characterized by recovering investor activity, present an improved opportunity to sell the property. Potential buyers have also shown preliminary interest in Lincona and Pirita Center.

    If the divestment plan proceeds as anticipated, the Fund will be positioned to repay a significant portion of its bonds while continuing to invest in its remaining property portfolio. This will enable the Fund to concentrate on its core assets in alignment with its strategic objectives, providing a solid foundation for future growth.

    To achieve our goal of increasing portfolio occupancy, we are adapting to the evolving needs of our tenants and customers. The rise of e-commerce and online shopping has transformed the traditional concept of shopping centres. Visitors now seek not only to try on and purchase goods but also to enjoy entertainment and experiences.

    This trend is evident in the success of our food courts, such as Burzma and Dialogai, as well as the interactive exhibition Kosmopark, which attracted a significant number of visitors in Europa and now operates in Galerija Centrs. Following this success, we have signed a new 3-year lease with an entertainment operator to open a Danger Park on the second floor of Europa shopping centre in May 2025. We are also considering various entertainment concepts for Galerija Centrs. Additionally, we will continue to offer the community a variety of events and temporary pop-ups in both shopping centres.

    In line with our strategic goal to increase occupancy, we are reviewing the concept in Europa and seeking the best tenant mix. We are currently negotiating a lease with a 700 sq m. anchor fashion leader and have advanced discussions with several coworking operators who find the shopping centre and its location ideal for their concept, one of them has already signed a LOI for 1,300 sq m. We believe that the combination of entertainment and a wide range of catering options, which will expand from the food court to a newly planned restaurant zone on the first floor facing Konstitucijos Avenue, along with strategic changes to the tenant mix on the second and third floors, will maximize visitor flow and fully exploit the potential of the shopping centre.

    While the traditional shopping centre concept remains effective for Galerija, as evidenced by increasing foot flow and turnover, we are exploring additional concepts for currently vacant premises to complement our existing tenants and expand the range of services offered to visitors.

    Office tenants are currently looking not just for a place to work during the day, but rather for hybrid working spaces or built-to-suit solutions with increased expectation over ESG, workplace wellbeing features and easily reachable services, which become increasingly important. During the last year, we witnessed a higher demand for mixed-use projects that combine commercial spaces with services, including catering, medical clinics and fitness centres. We believe, that in the upcoming years demand for such concepts will grow further and will add value to the properties.

    We continue to adapt to market demands by diversifying our office tenant mix beyond traditional occupiers, integrating catering operators, medical clinics, and even kindergartens into our office buildings. This approach not only enhances tenant diversification but also meets the needs of both our customers and the surrounding communities.

    In the office sector, our primary challenge and focus in 2025 will be addressing the remaining vacancies in S27 and Upmalas. A significant milestone in 2024 was securing a lease agreement for approximately 3,680 sq. m. in S27 with the International School of Riga, a leading provider of international education serving students from preschool through high school, set to open at the end of 2025. Even in the current market conditions we are confident that the International School of Riga coming into the building together with the renovation and improvements that are being done will enable us to attract new tenant segments that recognise the value of synergy.

    Our commitment to supporting existing and prospective tenants, along with our ability to tailor office spaces to individual requirements, positions us well to lease the remaining areas in North Star and Meraki in the coming quarters.

     Our investments in green energy projects remain a key priority, and from Q1 2025, all our properties in Latvia and Lithuania will transition to using energy from remote solar panels. In Estonia, we are actively exploring solutions in our properties to reduce the reliance to gas. Additionally, we are evaluating new technologies and sustainability initiatives that align with our ESG strategy while enhancing energy efficiency, optimizing property performance, and reducing operational costs.

    Simultaneously, to reinforce its financial position, the Fund is committed to improving its debt service ratio and reducing loan-to-value levels. By focusing on increasing occupancy rates and optimizing property concepts, we aim to enhance asset performance and maximize net operating income. Adaptive leasing strategies, property repositioning, and targeted investments in high-demand segments will remain key priorities. These initiatives are designed to create long-term value for investors while ensuring the Fund remains resilient in a dynamic market environment.

    Baltic Horizon achieves a 100% BREEAM certified portfolio
    In 2025, we will continue advancing our social and environmental commitments. All our assets have been BREEAM-certified, and by the end of 2024, we achieved 98% green leases across our portfolio, with a target to further increase this share in the coming year.

    GRESB benchmarking
    Recently, we announced a 3-star GRESB rating of 80 points, falling 1.5 points short of the 4-star threshold. This decline, compared to previous years, reflects increasing industry-wide commitments, heightened requirements, and evolving best practices. The management team has conducted a thorough analysis of the assessment results and developed an action plan aimed at restoring the Fund’s 4-star rating in 2025.

    Net result and net rental income
    In 2024, the Group recorded a net loss of EUR 16.8 million compared with a net loss of EUR 23.0 million for 2023. The result was mainly driven by the property valuation loss. Earnings per unit for 2024 were negative at EUR 0.13 (2023: negative at EUR 0.19).

    The Group earned consolidated net rental income of EUR 11.6 million in 2024 (2023: 14.6 million). The results for 2023 include two months’ net rental income of the Domus Pro Retail and Office property (EUR 0.3 million) and five months’ net rental income of the Duetto properties (EUR 1.2 million), which were sold in February and May 2023, respectively.

    On an EPRA like-for-like basis, the portfolio net rental income in 2024 was 11.8% lower than in 2023, mainly due to vacancies in office properties in Latvia due to the expiry of the agreement with the main tenant in Upmalas Biroji BC and 100% vacancy of S27, as well as lower rental income in Europa due to the new anchor tenant IKI equipping the premises and opening in March.

    Portfolio properties in the retail segment contributed 53.3% (like-for-like 2023: 43.6%) of net rental income in 2024, followed by the office segment with 41.7% (like-for-like 2023: 50.9%) and the leisure segment with 5.0% (2023: 5.5%). 
    Retail assets located in the central business districts (Postimaja, Europa and Galerija Centrs) accounted for 42.2% of total portfolio net rental income in 2024. Total net rental income attributable to neighbourhood shopping centres was 11.1% in 2024.

    In 2024, investment properties in Latvia and Lithuania contributed 44.4% (like-for-like 2023: 41.8%) and 22.8% (like-for-like 2023: 31.1%) of net rental income, respectively, while investment properties in Estonia contributed 32.8% (like-for-like 2023: 27.1%).

    Investment properties
    At the end of Q4 2024, the Baltic Horizon Fund portfolio consisted of 12 cash flow generating investment properties in the Baltic capitals. The fair value of the Fund’s portfolio was EUR 241.2 million at the end of December 2024 (31 December 2023: EUR 250.4 million) and incorporated a total net leasable area of 118.3 thousand sq. m. The change in portfolio value was mainly driven by the changes in exit yields and upward adjustments of the weighted average cost of capital (WACC). During 2024 the Group invested approximately EUR 6.0 million in tenant fit-outs.

    Gross Asset Value (GAV)
    As of 31 December 2024, the Fund’s GAV was EUR 256.0 million (31 December 2023: EUR 261.1 million). The decrease compared to the prior year was mainly related to the negative revaluation of the Fund’s investment properties of approx. EUR 9.5 million and was partly offset by the private placement of new units which took place in September and resulted in a cash increase of approx. EUR 6.29 million.

    Net Asset Value (NAV)
    As of 31 December 2024, the Fund’s NAV was EUR 98.1 million (31 December 2023: EUR 109.5 million). The NAV decrease was mainly due to the revaluation of investment properties. At the end of September 2024 new units were issued resulting in approx. EUR 6.29 million of new equity. As of 31 December 2024, IFRS NAV per unit amounted to EUR 0.6833 (31 December 2023: EUR 0.9156), while EPRA net tangible assets and EPRA net reinstatement value were EUR 0.7267 per unit (31 December 2023: EUR 0.9546). EPRA net disposal value was EUR 0.6797 per unit (31 December 2023: EUR 0.9122).

    Interest-bearing loans and bonds
    As of 31 December 2024, interest-bearing loans and bonds (excluding lease liabilities) were EUR 149.0 million (31 December 2023: EUR 143.5 million). Annual loan amortisation accounted for 1.5% of total debt outstanding. In July 2024, the Fund successfully signed the Meraki loan with Bigbank for a total amount of EUR 10.3 million. A major part of the loan was used to repay short term bonds in the amount of EUR 8.0 million maturing in July 2024.

    As of 31 December 2024, the Fund’s consolidated cash and cash equivalents amounted to EUR 10.1 million (31 December 2023: EUR 6.2 million).

    Cash flow
    Cash inflow from core operating activities in 2024 amounted to EUR 9.9 million (2023: cash inflow of EUR 11.4 million).  Cash inflow from core operating activities decreased mainly due to the sale of Duetto and Domus Pro properties in H1 2023 and higher vacancies, mostly in S27 and Upmalas Biroji. Cash outflow from investing activities was EUR 7.0 million due to investments in existing properties and transaction costs (2023: cash inflow of EUR 19.9 million due to sales of assets). Cash inflow from financing activities was EUR 1.0 million (2023: cash outflow of EUR 30.5 million). In Q4 2024, the Fund prepaid loans in the amount of EUR 2.7 million and paid regular amortisation and interest on bank loans and bonds.

    Key earnings figures 

    EUR ‘000 Q1-Q4 2024 Q1-Q4 2023 Change (%)
    Net rental income 11,588 14,617 (20.7%)
    Administrative expenses (2,373) (2,617) (9.3%)
    Net other operating income 18 44 (59.1%)
    Losses on disposal of investment properties (863) (4,047) (78.7%)
    Valuation gains (losses) on investment properties (15,581) (21,876) (28.8%)
    Operating profit (loss) (7,211) (13,879) (48.0%)
    Net financial expenses (10,344) (9,750) 6.1%
    Profit (loss) before tax (17,555) (23,629) (25.7%)
    Income tax 774 656 18.0%
    Net profit (loss) for the period (16,781) (22,973) (27.0%)
           
    Weighted average number of units outstanding (units) 143,562,514 119,635,429 20.0%
    Earnings per unit (EUR) (0.12) (0.19) (39.1%)

    Key financial position figures

    EUR ‘000 31.12.2024 31.12.2023 Change (%)
    Investment properties 241,158 250,385 (3.7%)
    Gross asset value (GAV) 256,048 261,138 (1.9%)
           
    Interest-bearing loans and bonds 148,989 143,487 3.8%
    Total liabilities 157,953 151,606 4.2%
           
    IFRS NAV 98,095 109,532 (10.4%)
    EPRA NRV 104,333 114,205 (8.6%)
           
    Number of units outstanding (units) 143,562,514 119,635,429 20.0%
    IFRS NAV per unit (EUR) 0.6833 0.9156 (25.4%)
    EPRA NRV per unit (EUR) 0.7267 0.9546 (23.9%)
           
    Loan-to-Value ratio (%) 61.8% 57.3%
    Average effective interest rate (%) 6.7% 5.2%

    During Q4 2024, the average actual occupancy of the portfolio was 81.0% (Q3 2024: 80.1%). The occupancy rate increased to 82.1% as of 31 December 2024 (30 September 2024: 80.5%).

    Overview of the Fund’s investment properties as of 31 December 2024

    Property name Sector Fair value1 NLA Direct property yield Net initial yield Occupancy rate
    (EUR ‘000) (sq. m) 20242 20243
    Vilnius, Lithuania            
    Europa SC Retail 35,946 17,092 2.3% 2.8% 80.6%
    North Star Office 19,548 10,734 6.5% 7.0% 91.8%
    Meraki Office 16,3804 7,833 1.2% 1.5% 86.3%
    Total Vilnius   71,874 35,659 3.0% 3.6% 85.2%
    Riga, Latvia            
    Upmalas Biroji BC Office 19,224 11,203 3.7% 4.2% 64.1%
    Vainodes I Office 15,900 8,128 8.8% 8.8% 100.0%
    S27 Office 11,360 7,303 (0.6%) (0.9%)
    Sky SC Retail 4,900 3,260 8.6% 8.5% 100.0%
    Galerija Centrs Retail 60,020 19,423 3.2% 4.1% 84.7%
    Total Riga   111,404 49,317 3.7% 4.5% 71.0%
    Tallinn, Estonia            
    Postimaja & CC Plaza complex Retail 21,800 9,232 3.7% 6.7% 100.0%
    Postimaja & CC Plaza complex Leisure 13,190 7,869 4.8% 4.3% 97.7%
    Lincona Office 13,100 10,767 6.4% 7.4% 88.5%
    Pirita SC Retail 9,790 5,425 6.7% 9.2% 97.1%
    Total Tallinn   57,880 33,293 4.9% 6.7% 95.3%
    Total active portfolio   241,158 118,269 3.8% 4.7% 82.1%
    1. Based on the latest valuation as of 31 December 2024 and recognised right-of-use assets.  
    2. Direct property yield (DPY) is calculated by dividing annualized NOI by the acquisition value and subsequent capital expenditure of the property.
    3. The net initial yield (NIY) is calculated by dividing annualized NOI by the market value of the property.
    4. Meraki value measured at disposal price. Market value according to independent property valuators Newsec is EUR 17,490,000.

    CONSOLIDATED STATEMENT OF PROFIT OR LOSS AND OTHER COMPREHENSIVE INCOME

    EUR ‘000 01.10.2024 01.10.2023 01.01.2024 01.01.2023
    31.12.2024 – 31.12.2023 – 31.12.2024 – 31.12.2023
    Rental income 3,779 3,755 15,136 17,743
    Service charge income 1,145 1,487 4,744 6,008
    Cost of rental activities (2,205) (2,348) (8,292) (9,134)
    Net rental income 2,719 2,894 11,588 14,617
             
    Administrative expenses (644) (631) (2,373) (2,617)
    Other operating income (expenses) 3 29 18 44
    Losses on disposal of investment properties (245) (237) (863) (4,047)
     Valuation losses on investment properties (3,052) (7,250) (15,581) (21,876)
    Operating profit (loss) (1,219) (5,195) (7,211) (13,879)
             
    Financial income 169 29 196 104
    Financial expenses (2,789) (2,538) (10,540) (9,854)
    Net financial expenses (2,620) (2,509) (10,344) (9,750)
             
    Profit (loss) before tax (3,839) (7,704) (17,555) (23,629)
    Income tax charge 457 (53) 774 656
    Profit (loss) for the period (3,382) (7,757) (16,781) (22,973)
           
    Other comprehensive income that is or may be reclassified to profit or loss in subsequent periods
    Net gain (loss) on cash flow hedges (446) (759) (1,003) (1,273)
    Income tax relating to net gain (loss) on cash flow hedges 1 64 52 123
    Other comprehensive income (expense), net of tax, that is or may be reclassified to profit or loss in subsequent periods (445) (695) (951) (1,150)
             
    Total comprehensive income (expense) for the period, net of tax (3,827) (8,452) (17,732) (24,123)
             
    Basic earnings per unit (EUR) (0.02) (0.06) (0.13) (0.19)
    Diluted earnings per unit (EUR) (0.12)
                 

    CONSOLIDATED STATEMENT OF FINANCIAL POSITION

    EUR ‘000 31.12.2024 31.12.2023
    Non-current assets    
    Investment properties 241,158 250,385
    Intangible assets 4 11
    Property, plant and equipment 5 4
    Derivative financial instruments 1 295
    Other non-current assets 1,225 647
    Total non-current assets 242,393 251,342
         
    Current assets    
    Trade and other receivables 2,800 2,591
    Prepayments 802 402
    Derivative financial instruments 621
    Cash and cash equivalents 10,053 6,182
    Total current assets 13,655 9,796
    Total assets 256,048 261,138
         
    Equity    
    Paid in capital 151,495 145,200
    Cash flow hedge reserve (420) 531
    Retained earnings (52,980) (36,199)
    Total equity 98,095 109,532
         
    Non-current liabilities    
    Interest-bearing loans and borrowings 98,491 64,158
    Deferred tax liabilities 1,898 2,774
    Other non-current liabilities 1,446 1,079
    Total non-current liabilities 101,835 68,011
         
    Current liabilities    
    Interest-bearing loans and borrowings 50,736 79,584
    Trade and other payables 4,473 3,343
    Income tax payable 14 6
    Other current liabilities 895 662
    Total current liabilities 56,118 83,595
    Total liabilities 157,953 151,606
    Total equity and liabilities 256,048 261,138

    For additional information, please contact:

    Tarmo Karotam
    Baltic Horizon Fund manager
    E-mail tarmo.karotam@nh-cap.com
    www.baltichorizon.com

    The Fund is a registered contractual public closed-end real estate fund that is managed by Alternative Investment Fund Manager license holder Northern Horizon Capital AS. 

    Distribution: GlobeNewswire, Nasdaq Tallinn, Nasdaq Stockholm, www.baltichorizon.com

    To receive Nasdaq announcements and news from Baltic Horizon Fund about its projects, plans and more, register on www.baltichorizon.com. You can also follow Baltic Horizon Fund on www.baltichorizon.com and on LinkedIn, FacebookX and YouTube.

    This announcement contains information that the Management Company is obliged to disclose pursuant to the EU Market Abuse Regulation. The information was submitted for publication, through the agency of the above distributors, at 19:30 EET on 17 February 2024.

    Attachment

    The MIL Network

  • MIL-OSI United Kingdom: UK Government awards grant to strengthen mangrove conservation in Belize

    Source: United Kingdom – Government Statements

    Award from Sustainable Blue Economies Programme Blue Social Challenge Fund reaffirms UK’s commitment to collaborating with Caribbean nations to safeguard vital ocean resources.

    The UK Government through its Sustainable Blue Economies Programme Blue Social Challenge Fund (BSCF) has awarded a grant of £99,191 (approximately BZD250,000) to MarAlliance for the project “Mangrove Habitat for Juvenile Fish Recruitment: Building Local Knowledge and Capacity.” This initiative reaffirms the UK’s commitment to collaborating with Caribbean nations to safeguard vital ocean resources.

    The Fund aims to enhance the resilience of Small Island Developing States (SIDS) like Belize and their economies to the impacts of climate change and economic shocks, through better ocean management, poverty reduction/improved livelihoods and greater use of nature-based solutions.

    High Commissioner Christine Rowlands stated:

    By funding this project, we are supporting work that enables local communities and fishers to contribute data needed for the sustainable management of Belize’s beautiful mangrove forests and juvenile fishes. This in turn contributes to improved livelihoods of fishers, sustainable fisheries, and builds climate resilience of coastal communities. This is the purpose of BSCF, to support vulnerable communities working together to address the adverse impacts of climate change on their livelihoods and we are happy to work with MarAlliance on this initiative.

    Belize’s mangrove ecosystems play a crucial role in mitigating coastal erosion, sequestering carbon, and providing essential nursery habitats for juvenile fish. However, extensive mangrove loss over the past two decades has posed a significant threat to coastal integrity and the livelihoods dependent on sustainable fisheries.

    This project seeks to bridge critical knowledge gaps by evaluating the contribution of mangroves to fish population recruitment. Leveraging advanced methodologies such as environmental DNA (eDNA) analysis, the initiative will generate valuable insights to enhance fisheries management in Belize. By actively engaging university students and local community members, the project aims to expand the scientific understanding of mangrove ecology while delivering direct economic benefits to stakeholders through training and fieldwork participation. The data collected will provide coastal communities and policymakers with robust evidence on the ecological and economic value of mangroves, facilitating informed conservation strategies in Belize.

    A key aspect of the project is its participatory approach of co-created scientific research with fishers and coastal communities. Through targeted training initiatives, local community members will be empowered to take an active role in resource stewardship, ensuring alignment between local practices and national fisheries objectives.

    Dr. Rachel Graham, Founder and Executive Director of MarAlliance highlighted that:

    Our mangrove based fisheries work illuminates the critical role of these ecosystems as vital nursery habitats, bridging scientific inquiry and community knowledge to quantify and protect juvenile fish populations. With profound gratitude to the British High Commission, MarAlliance is transforming local fishing insights into evidence-based strategies that support small-scale fishers adapting to unprecedented environmental challenges along Belize’s vulnerable coastal shorelines.

    The project’s outputs will include a publicly accessible scientific report informing of the contributions of mangroves to biodiversity and fisheries productivity. Ultimately, this initiative aims to have a cadre of trained local biologists and fishers, heighten awareness of mangroves as critical nursery habitats for sustained fisheries, strengthen community livelihoods, and drive policy actions to protect Belize’s coastal ecosystems, thereby enhancing resilience to climate change.

    Updates to this page

    Published 17 February 2025

    MIL OSI United Kingdom

  • MIL-OSI Canada: Family Day: Minister Fir | Déclaration de la ministre Fir à l’occasion du jour de la Famille

    Source: Government of Canada regional news (2)

    MIL OSI Canada News

  • MIL-OSI United Kingdom: Urge your MP to support Wales’ right to control natural resources

    Source: Party of Wales

    On Monday 24 February, the Crown Estate Bill will be debated in the House of Commons at its Report Stage.

    Llinos Medi MP’s amendment is the last chance to demand fairness for Wales in this Bill.

    Urge your MP to support Plaid Cymru’s amendment.

    Find your MP here

    Draft letter:

    Dear MP,

    I am writing to urge you to support the amendment to the Crown Estate Bill, tabled by Llinos Medi MP, which will be debated on 24th February.

    This amendment calls for the transfer of Crown Estate management in Wales to the Welsh Government within two years, allowing Wales to control the profits from its own natural resources. Currently, millions of pounds generated in Wales go directly to the UK Treasury, leaving our communities with no benefit. In contrast, Scotland has seen significant benefits since the devolution of its Crown Estate.

    The devolution of the Crown Estate has widespread support in Wales, and MPs should represent the interests of their constituents. I urge you to sign the amendment and support Wales’ right to control its own resources.

     

    Kind regards,

    [Your name]

    MIL OSI United Kingdom

  • MIL-OSI USA: Federal government challenges auxiliary system

    Source: US International Brotherhood of Boilermakers

    The establishment of auxiliary locals by the Boilermakers’ union was a product of segregationist practices during the early 20th century. While this isn’t a proud moment for the union, it’s an important part of Boilermaker history that cannot be ignored.

    These were Jim Crow-era ideas that marginalized Black workers, subjecting them to discriminatory rules and limited union representation. Auxiliary locals, controlled by nearby white locals, were not allowed to send their own delegates to Convention, which silenced Black members in union decision-making.

    Members of auxiliary locals lacked business agents, grievance committees or any channel to negotiate with employers. Black workers also faced barriers to career advancement, such as being excluded from apprenticeship programs and facing restrictions on promotions from helper to mechanic. Union insurance policies were also unequal, with death and injury benefits for Black members set at half the amount granted to white members.

    Black members paid the same dues as white members but received less in return. This inequitable treatment was not unique to the Boilermakers, as many unions did the same. Since the practice ended in the last century, the union has apologized for its past treatment of Black members and changed its ways.

    The situation began to shift with the onset of World War II. Although segregation was still widespread, the federal government started to challenge racial discrimination in wartime industries. President Franklin D. Roosevelt barred companies that held federal contracts from engaging in racial discrimination, leading to the establishment of the Fair Employment Practices Committee in 1941. The FEPC encouraged workers to report discriminatory practices—especially workers employed by companies tied to federal defense contracts.

    By late 1942, complaints began surfacing from Black Boilermakers in Portland, Oregon. Local 72 had 65% of shipyard employees in the region, including those at the massive Kaiser Shipyards. Eager to diversify its workforce, Kaiser began recruiting Black workers from New York City, but Local 72 resisted integration. They formed an auxiliary local for Black members. Local NAACP leaders even backed the decision because they saw it as a step toward inclusion.

    However, many Black workers were unwilling to accept a segregated system. In July 1943, more than 300 Black workers at Kaiser Shipyards were dismissed for refusing to join the auxiliary local, citing inequities. The firings sparked FEPC public hearings, where Local 72’s attorney, Leland Tanner, defended the auxiliary system by claiming, “We live in that house, we didn’t build it and we’re not the architects of it.” Tanner’s statement highlighted the nature of segregation in American society, where legal precedents, such as the Supreme Court’s Plessy v. Ferguson decision in 1896, had enshrined racial separation as an acceptable norm.

    Segregation reached a boiling point when Providence, Rhode Island, Local 308 integrated its lodge by accepting around 500 Black members. In 1943, the local elected a Black delegate for Convention. Union leadership was not pleased.

    IVP William J. Buckley intervened, stating the Black delegate would not be recognized and his vote would be invalidated. Subsequently, he pressured Local 308 to create a segregated auxiliary lodge.

    It wasn’t the hoped-for outcome, but the controversy surrounding the auxiliary system exposed the racial divides within the union, which mirrored the broader national struggle over civil rights. And future battles would eventually dismantle segregated practices in the Boilermakers.  

    In the next issue of The Boilermaker Reporter, read how the auxiliary lodge practice ended at the Boilermakers.  

    MIL OSI USA News

  • MIL-OSI Global: Goma is threatened by conflict and a volcano: we’ve created a handbook to help hotspots like these

    Source: The Conversation – Africa – By Evan Easton-Calabria, Senior Researcher at the Feinstein International Center, Tufts University, and Research Associate at the Refugee Studies Centre, University of Oxford

    The city of Goma in the Democratic Republic of Congo (DRC) was taken over by the M23 rebel group in January 2025. This was a tragic escalation of a decades-long conflict that’s led to mass displacement and deaths.

    Goma, a city of two million, hasn’t just been overtaken by rebels. It’s also just 12 miles (19km) from one of the most dangerous active volcanoes in the world: Mount Nyiragongo.

    Mount Nyiragongo can have lava flows of more than 60 miles (96km) per hour. This is far faster than any human can run. When it last erupted in 2021, thousands of families were displaced and at least 250 people died. An earlier eruption in 2002 left 13% of the city covered in lava.

    The DRC illustrates how millions of people in fragile, violent and conflict-affected parts of the world are at risk of both human-made and natural disasters. A changing climate makes people even more vulnerable to hazardous events. When these disasters interact, they can multiply and increase negative impacts.

    For example, if Mount Nyiragongo erupts in the near future – some research suggests it is likely to do so before the end of 2027 – and there is active conflict at the time, will anyone trust early warning messages? Or feel safe enough to flee on roads where civilians have already been attacked?

    These are some of the questions and scenarios that people working in disaster risk reduction grapple with. Situations like those in the DRC inspired a new UN handbook on early warning systems and early action in fragile, conflict-affected and violent contexts.

    It’s been published by the UN Office for Disaster Risk Reduction-World Meteorological Organization Centre of Excellence for Disaster and Climate Resilience. The handbook provides guidance and case studies to increase disaster preparedness and action in some of the world’s most complex environments. Important work being done by the Red Cross Red Crescent Movement, the World Bank and others exemplifies the growing awareness of these threats.

    I was the lead drafter of the UN handbook and had the opportunity to interview dozens of humanitarians. I also spoke to meteorologists, disaster risk reduction experts and government officials to learn how they help build and use early warning systems in fragile, conflict-affected and violent contexts.

    Here is what I learned:

    • early warning systems – hazard monitoring, forecasting and prediction, disaster risk assessment, communication, preparedness and early action to help people avoid harm – must be provided as a basic service for all, even in conflict zones

    • for early warning systems to be inclusive and effective, they must be trusted by affected communities

    • early warning systems in the places that most need them are drastically underfunded by governments and international actors – and require long-term collaboration and investment

    • early warnings and the early action they enable are a critical tool that can minimise suffering.

    Key takeaways

    Increasingly, work in the humanitarian sector seeks to address the intersecting vulnerabilities that arise from both conflict and climate impacts.

    What this work has made clear is that, first, early warning systems and early action must be available for everyone. Early warnings are the result of a chain of information. This goes from the systems that monitor and forecast weather conditions or hazards to the experts who analyse them to the actors who share this information.

    Early warnings come in many forms. It could be an alert on your phone when a flash flood or other hazard is predicted, or an evacuation message before a volcanic eruption.

    The UN secretary-general has called for Early Warnings for All by 2027. This is an initiative for everyone on Earth to be covered by early warning systems. However, countries affected by fragility, conflict and violence like the DRC lag far behind in receiving investments needed to prepare for current and future risks.

    Second, early warning systems need to be trusted by affected communities, which means co-producing messages and actions with communities and community leaders. Doing so would help take into account the nuanced dynamics in complex contexts.

    In many countries where people experience fragility, conflict and violence, systems of authority have been eroded. In fact, governments may be a party to a conflict, increasing mistrust over any warning messages received. The Red Cross has a new handbook that helps practitioners navigating these and other tensions. Involving communities and community leaders helps with identifying existing early warning mechanisms that can be used for hazards, understanding risks related to conflict or violence, and developing action plans.

    Conflict and peacebuilding experts within civil society and government, and even conflict actors, should be engaged in developing early warning systems. This helps reduce the risk of misunderstandings and misinformation, and ensures that conflict dynamics are taken into account.

    Third, in the places where it’s most needed, early warning systems face funding gaps and limitations. Fewer than 50% of countries classified as least developed, and only a third of small island developing states, have multi-hazard early warning systems (meaning the alarm can be sounded for different hazards, ranging from heatwaves to flooding). Nineteen of the top 25 most climate-vulnerable states are affected by fragility, conflict and violence. All of them are least developed countries, and few have adequate early warning systems.

    This illustrates the scale of vulnerability in these areas.

    Near Goma, the Virunga Supersite monitors and researches Mount Nyiragongo and other hazards in the densely populated region. The Supersite, supported by several organisations, has helped build collaboration between the Goma Volcano Observatory and global institutes studying and monitoring volcanic hazards.

    This is good practice, but the work is routinely hampered by a lack of access due to conflict. The staff also face a variety of risks, including intimidation, violence and kidnapping.

    More collaboration to monitor hazards and generate early warnings and early action is needed. The World Meteorological Organization’s ongoing work with the DRC government to improve early warning systems in the country exemplifies a valuable partnership that can save lives. This is all the more important following recent pauses in US humanitarian funding as resources for post-disaster responses will likely be more limited. There is also an urgent need to address the broader conflict that has plagued regions including the eastern DRC for decades.

    Looking ahead

    The knowledge and resources available to predict and mitigate the impacts of disasters before they take place need to be fully utilised. This is especially important in areas like eastern DRC where an existing humanitarian disaster could evolve into an even larger catastrophe if a volcanic eruption were to occur.

    Early warnings and the early action they enable can reduce suffering, save lives and minimise the cost of disaster response. They are needed in the places already experiencing disasters, too.

    Evan Easton-Calabria was a consultant for the United Nations Office for Disaster Risk Reduction.

    ref. Goma is threatened by conflict and a volcano: we’ve created a handbook to help hotspots like these – https://theconversation.com/goma-is-threatened-by-conflict-and-a-volcano-weve-created-a-handbook-to-help-hotspots-like-these-249453

    MIL OSI – Global Reports

  • MIL-OSI Global: Deeply religious African countries (surprisingly) provide little state support to religion – unlike countries in Europe

    Source: The Conversation – Africa – By David Jeffery-Schwikkard, PhD Candidate (Theology and Religious Studies), King’s College London

    In most of the world, countries with religious populations are more likely to have governments that support religion through laws and policies. These laws might include religious education, funding for religious institutions, and laws based on religious values. Not so in sub-Saharan Africa.

    In a recently published research paper, David Jeffery-Schwikkard, who studies secularism, argues that sub-Saharan African countries provide little state support for religion, even though their populations are among the most devout globally.

    These findings unsettle many common misconceptions about the role of religion in politics. The Conversation Africa asked him a few questions.


    How prevalent is religion in countries in sub-Saharan Africa?

    A population is normally considered very religious if most people say religion is “very important” in their lives or report attending religious services at least once a week.

    In surveys conducted between 2007 and 2018 by the Pew Research Centre, 46% of respondents outside sub-Saharan Africa said religion was very important in their lives. Within sub-Saharan Africa, the average is nearly twice that: 89%. Ethiopia and Senegal are among the most religious countries in the world. In both cases, 98% of people said religion was very important. Of the 20 countries in sub-Saharan Africa for which Pew has data, Botswana (71%) and South Africa (75%) are the least religious. Yet even these countries are far above the global average.

    What does this matter for how states are run?

    Generally, countries with religious populations have states that provide a lot of support to religion. This is what you would expect, since religious citizens probably want more state support for their religions.

    What this means, though, is that commentators often assume that religious citizens are a threat to secular states. This then shapes how analysts make sense of public displays of religion. One example of this is in South Africa, where many people assumed that former president Jacob Zuma, who often used religious rhetoric, would pursue religious laws and policies.




    Read more:
    TB Joshua scandal: the forces that shaped Nigeria’s mega pastor and made him untouchable


    These assumptions are especially common in analyses of religion and politics in Africa. Yet, while it is easy to identify laws or policies in sub-Saharan Africa that are religious, one can easily overlook the fact that having some of these laws is not unusual globally. In other words, having some pro-religion laws and policies doesn’t necessarily mean that countries are governed by religious beliefs.

    Thus one might focus on Ghana’s support for Hajj, while forgetting that the UK reserves seats in the House of Lords for the Church of England, and that Germany collects taxes on behalf of churches. Yet the UK and Germany are rarely seen as religious states. Some level of state support for religion does not mean that a country is governed by religious beliefs.

    Why are African countries different?

    Contrary to the global trend, countries in sub-Saharan Africa provide very little state support to religion – less than half the global average. This is as measured by the Religion and State Project at Bar Ilan University, based on the number of different types of support provided, such as reserving political positions for religious leaders or funding religious schools.

    One of the most popular explanations for the scant support for religion is that states in sub-Saharan Africa lack the necessary financial and administrative capacity. These states, the argument goes, would provide more support if only they had more money and were better able to implement their policies.

    However, data from the World Bank shows that this is not the case: overall, there is no relationship between state capacity and support for religion.




    Read more:
    Catholic synod: the voices of church leaders in Africa are not being heard – 3 reasons why


    A more plausible explanation is that religious actors in these countries tend to lack moral authority. Moral authority, as theorised by American political scientist Anna Grzymala-Busse, is the extent to which people see religious actors as defenders of the nation.

    Several factors are conducive to moral authority. These include whether people share the same ethnicity or religion, whether religious actors have control over education, and whether they have sided with the “right side” in moments of national crisis.

    Can you give an example?

    Consider Rwanda and Mozambique.

    Until 1994, the Roman Catholic Church in Rwanda enjoyed moral prestige. The church controlled a significant share of the education system and had supported the independence movement against Belgium. Most Rwandans were Catholic. And indeed, the church maintained a very close relationship with the state after independence in 1962.

    Yet this moral authority was forfeited after the church was seen to be complicit in the Rwandan Genocide in 1994, which claimed about 800,000 lives. Today, the government keeps a careful distance from religion, despite 90% of Rwandans reporting that religion is very important in their lives.




    Read more:
    Rwanda’s genocide could have been prevented: 3 things the international community should have done – expert


    Mozambique provides a contrast to Rwanda, yet with similar outcomes. The Roman Catholic Church denounced the liberation movement’s struggle against Portugal. The country has no religious or ethnic majority. At independence, formal education was scarce.

    There was therefore little reason for Mozambicans to see the church as a defender of the nation. On the contrary, religious institutions were persecuted after independence. Like Rwanda, Mozambique provides extremely little state support for religion, despite being one of the most religious countries internationally.




    Read more:
    Between state and mosque: new book explores the turbulent history of Islamic politics in Mozambique


    These factors – religious diversity, limited enrolment in schools controlled by religious organisations, and moments of political crisis in which those organisations can misstep – make it less likely that religious actors are held by citizens as integral to national identity. And while sub-Saharan Africa is extremely varied, common historical influences, such as the legacies of colonialism, may make these factors more likely.

    What can we learn from this?

    Clearly, we need to be more careful in how we interpret the role of religion in politics. While it might be tempting to see religious fervour as a threat to secular democracy, it is not necessarily so. A politician might use religious rhetoric, but this does not mean that it will translate into religious laws. Equally, some state support for religion is not unusual globally. Analyses of single policies need to keep this in mind.




    Read more:
    Christianity is changing in South Africa as pentecostal and indigenous churches grow – what’s behind the trend


    This research also upends the way many people normally think about secularism. Many people in Europe have become less religious. Consequently, European states are offered as models of secularism. However, this has it backwards.

    Despite their electorates being less religious, European states are more involved in religion than their counterparts in sub-Saharan African. If secularism is the separation of religion and the state, then countries in sub-Saharan Africa – which maintain a secular state despite widespread religion – are in fact the exemplar.

    David Jeffery-Schwikkard does not work for, consult, own shares in or receive funding from any company or organisation that would benefit from this article, and has disclosed no relevant affiliations beyond their academic appointment.

    ref. Deeply religious African countries (surprisingly) provide little state support to religion – unlike countries in Europe – https://theconversation.com/deeply-religious-african-countries-surprisingly-provide-little-state-support-to-religion-unlike-countries-in-europe-245490

    MIL OSI – Global Reports

  • MIL-OSI Africa: Goma is threatened by conflict and a volcano: we’ve created a handbook to help hotspots like these

    Source: The Conversation – Africa – By Evan Easton-Calabria, Senior Researcher at the Feinstein International Center, Tufts University, and Research Associate at the Refugee Studies Centre, University of Oxford

    The city of Goma in the Democratic Republic of Congo (DRC) was taken over by the M23 rebel group in January 2025. This was a tragic escalation of a decades-long conflict that’s led to mass displacement and deaths.

    Goma, a city of two million, hasn’t just been overtaken by rebels. It’s also just 12 miles (19km) from one of the most dangerous active volcanoes in the world: Mount Nyiragongo.

    Mount Nyiragongo can have lava flows of more than 60 miles (96km) per hour. This is far faster than any human can run. When it last erupted in 2021, thousands of families were displaced and at least 250 people died. An earlier eruption in 2002 left 13% of the city covered in lava.

    The DRC illustrates how millions of people in fragile, violent and conflict-affected parts of the world are at risk of both human-made and natural disasters. A changing climate makes people even more vulnerable to hazardous events. When these disasters interact, they can multiply and increase negative impacts.

    For example, if Mount Nyiragongo erupts in the near future – some research suggests it is likely to do so before the end of 2027 – and there is active conflict at the time, will anyone trust early warning messages? Or feel safe enough to flee on roads where civilians have already been attacked?

    These are some of the questions and scenarios that people working in disaster risk reduction grapple with. Situations like those in the DRC inspired a new UN handbook on early warning systems and early action in fragile, conflict-affected and violent contexts.

    It’s been published by the UN Office for Disaster Risk Reduction-World Meteorological Organization Centre of Excellence for Disaster and Climate Resilience. The handbook provides guidance and case studies to increase disaster preparedness and action in some of the world’s most complex environments. Important work being done by the Red Cross Red Crescent Movement, the World Bank and others exemplifies the growing awareness of these threats.

    I was the lead drafter of the UN handbook and had the opportunity to interview dozens of humanitarians. I also spoke to meteorologists, disaster risk reduction experts and government officials to learn how they help build and use early warning systems in fragile, conflict-affected and violent contexts.

    Here is what I learned:

    • early warning systems – hazard monitoring, forecasting and prediction, disaster risk assessment, communication, preparedness and early action to help people avoid harm – must be provided as a basic service for all, even in conflict zones

    • for early warning systems to be inclusive and effective, they must be trusted by affected communities

    • early warning systems in the places that most need them are drastically underfunded by governments and international actors – and require long-term collaboration and investment

    • early warnings and the early action they enable are a critical tool that can minimise suffering.

    Key takeaways

    Increasingly, work in the humanitarian sector seeks to address the intersecting vulnerabilities that arise from both conflict and climate impacts.

    What this work has made clear is that, first, early warning systems and early action must be available for everyone. Early warnings are the result of a chain of information. This goes from the systems that monitor and forecast weather conditions or hazards to the experts who analyse them to the actors who share this information.

    Early warnings come in many forms. It could be an alert on your phone when a flash flood or other hazard is predicted, or an evacuation message before a volcanic eruption.

    The UN secretary-general has called for Early Warnings for All by 2027. This is an initiative for everyone on Earth to be covered by early warning systems. However, countries affected by fragility, conflict and violence like the DRC lag far behind in receiving investments needed to prepare for current and future risks.

    Second, early warning systems need to be trusted by affected communities, which means co-producing messages and actions with communities and community leaders. Doing so would help take into account the nuanced dynamics in complex contexts.

    In many countries where people experience fragility, conflict and violence, systems of authority have been eroded. In fact, governments may be a party to a conflict, increasing mistrust over any warning messages received. The Red Cross has a new handbook that helps practitioners navigating these and other tensions. Involving communities and community leaders helps with identifying existing early warning mechanisms that can be used for hazards, understanding risks related to conflict or violence, and developing action plans.

    Conflict and peacebuilding experts within civil society and government, and even conflict actors, should be engaged in developing early warning systems. This helps reduce the risk of misunderstandings and misinformation, and ensures that conflict dynamics are taken into account.

    Third, in the places where it’s most needed, early warning systems face funding gaps and limitations. Fewer than 50% of countries classified as least developed, and only a third of small island developing states, have multi-hazard early warning systems (meaning the alarm can be sounded for different hazards, ranging from heatwaves to flooding). Nineteen of the top 25 most climate-vulnerable states are affected by fragility, conflict and violence. All of them are least developed countries, and few have adequate early warning systems.

    This illustrates the scale of vulnerability in these areas.

    Near Goma, the Virunga Supersite monitors and researches Mount Nyiragongo and other hazards in the densely populated region. The Supersite, supported by several organisations, has helped build collaboration between the Goma Volcano Observatory and global institutes studying and monitoring volcanic hazards.

    This is good practice, but the work is routinely hampered by a lack of access due to conflict. The staff also face a variety of risks, including intimidation, violence and kidnapping.

    More collaboration to monitor hazards and generate early warnings and early action is needed. The World Meteorological Organization’s ongoing work with the DRC government to improve early warning systems in the country exemplifies a valuable partnership that can save lives. This is all the more important following recent pauses in US humanitarian funding as resources for post-disaster responses will likely be more limited. There is also an urgent need to address the broader conflict that has plagued regions including the eastern DRC for decades.

    Looking ahead

    The knowledge and resources available to predict and mitigate the impacts of disasters before they take place need to be fully utilised. This is especially important in areas like eastern DRC where an existing humanitarian disaster could evolve into an even larger catastrophe if a volcanic eruption were to occur.

    Early warnings and the early action they enable can reduce suffering, save lives and minimise the cost of disaster response. They are needed in the places already experiencing disasters, too.

    – Goma is threatened by conflict and a volcano: we’ve created a handbook to help hotspots like these
    – https://theconversation.com/goma-is-threatened-by-conflict-and-a-volcano-weve-created-a-handbook-to-help-hotspots-like-these-249453

    MIL OSI Africa

  • MIL-OSI Africa: Deeply religious African countries (surprisingly) provide little state support to religion – unlike countries in Europe

    Source: The Conversation – Africa – By David Jeffery-Schwikkard, PhD Candidate (Theology and Religious Studies), King’s College London

    In most of the world, countries with religious populations are more likely to have governments that support religion through laws and policies. These laws might include religious education, funding for religious institutions, and laws based on religious values. Not so in sub-Saharan Africa.

    In a recently published research paper, David Jeffery-Schwikkard, who studies secularism, argues that sub-Saharan African countries provide little state support for religion, even though their populations are among the most devout globally.

    These findings unsettle many common misconceptions about the role of religion in politics. The Conversation Africa asked him a few questions.


    How prevalent is religion in countries in sub-Saharan Africa?

    A population is normally considered very religious if most people say religion is “very important” in their lives or report attending religious services at least once a week.

    In surveys conducted between 2007 and 2018 by the Pew Research Centre, 46% of respondents outside sub-Saharan Africa said religion was very important in their lives. Within sub-Saharan Africa, the average is nearly twice that: 89%. Ethiopia and Senegal are among the most religious countries in the world. In both cases, 98% of people said religion was very important. Of the 20 countries in sub-Saharan Africa for which Pew has data, Botswana (71%) and South Africa (75%) are the least religious. Yet even these countries are far above the global average.

    What does this matter for how states are run?

    Generally, countries with religious populations have states that provide a lot of support to religion. This is what you would expect, since religious citizens probably want more state support for their religions.

    What this means, though, is that commentators often assume that religious citizens are a threat to secular states. This then shapes how analysts make sense of public displays of religion. One example of this is in South Africa, where many people assumed that former president Jacob Zuma, who often used religious rhetoric, would pursue religious laws and policies.


    Read more: TB Joshua scandal: the forces that shaped Nigeria’s mega pastor and made him untouchable


    These assumptions are especially common in analyses of religion and politics in Africa. Yet, while it is easy to identify laws or policies in sub-Saharan Africa that are religious, one can easily overlook the fact that having some of these laws is not unusual globally. In other words, having some pro-religion laws and policies doesn’t necessarily mean that countries are governed by religious beliefs.

    Thus one might focus on Ghana’s support for Hajj, while forgetting that the UK reserves seats in the House of Lords for the Church of England, and that Germany collects taxes on behalf of churches. Yet the UK and Germany are rarely seen as religious states. Some level of state support for religion does not mean that a country is governed by religious beliefs.

    Why are African countries different?

    Contrary to the global trend, countries in sub-Saharan Africa provide very little state support to religion – less than half the global average. This is as measured by the Religion and State Project at Bar Ilan University, based on the number of different types of support provided, such as reserving political positions for religious leaders or funding religious schools.

    One of the most popular explanations for the scant support for religion is that states in sub-Saharan Africa lack the necessary financial and administrative capacity. These states, the argument goes, would provide more support if only they had more money and were better able to implement their policies.

    However, data from the World Bank shows that this is not the case: overall, there is no relationship between state capacity and support for religion.


    Read more: Catholic synod: the voices of church leaders in Africa are not being heard – 3 reasons why


    A more plausible explanation is that religious actors in these countries tend to lack moral authority. Moral authority, as theorised by American political scientist Anna Grzymala-Busse, is the extent to which people see religious actors as defenders of the nation.

    Several factors are conducive to moral authority. These include whether people share the same ethnicity or religion, whether religious actors have control over education, and whether they have sided with the “right side” in moments of national crisis.

    Can you give an example?

    Consider Rwanda and Mozambique.

    Until 1994, the Roman Catholic Church in Rwanda enjoyed moral prestige. The church controlled a significant share of the education system and had supported the independence movement against Belgium. Most Rwandans were Catholic. And indeed, the church maintained a very close relationship with the state after independence in 1962.

    Yet this moral authority was forfeited after the church was seen to be complicit in the Rwandan Genocide in 1994, which claimed about 800,000 lives. Today, the government keeps a careful distance from religion, despite 90% of Rwandans reporting that religion is very important in their lives.


    Read more: Rwanda’s genocide could have been prevented: 3 things the international community should have done – expert


    Mozambique provides a contrast to Rwanda, yet with similar outcomes. The Roman Catholic Church denounced the liberation movement’s struggle against Portugal. The country has no religious or ethnic majority. At independence, formal education was scarce.

    There was therefore little reason for Mozambicans to see the church as a defender of the nation. On the contrary, religious institutions were persecuted after independence. Like Rwanda, Mozambique provides extremely little state support for religion, despite being one of the most religious countries internationally.


    Read more: Between state and mosque: new book explores the turbulent history of Islamic politics in Mozambique


    These factors – religious diversity, limited enrolment in schools controlled by religious organisations, and moments of political crisis in which those organisations can misstep – make it less likely that religious actors are held by citizens as integral to national identity. And while sub-Saharan Africa is extremely varied, common historical influences, such as the legacies of colonialism, may make these factors more likely.

    What can we learn from this?

    Clearly, we need to be more careful in how we interpret the role of religion in politics. While it might be tempting to see religious fervour as a threat to secular democracy, it is not necessarily so. A politician might use religious rhetoric, but this does not mean that it will translate into religious laws. Equally, some state support for religion is not unusual globally. Analyses of single policies need to keep this in mind.


    Read more: Christianity is changing in South Africa as pentecostal and indigenous churches grow – what’s behind the trend


    This research also upends the way many people normally think about secularism. Many people in Europe have become less religious. Consequently, European states are offered as models of secularism. However, this has it backwards.

    Despite their electorates being less religious, European states are more involved in religion than their counterparts in sub-Saharan African. If secularism is the separation of religion and the state, then countries in sub-Saharan Africa – which maintain a secular state despite widespread religion – are in fact the exemplar.

    – Deeply religious African countries (surprisingly) provide little state support to religion – unlike countries in Europe
    – https://theconversation.com/deeply-religious-african-countries-surprisingly-provide-little-state-support-to-religion-unlike-countries-in-europe-245490

    MIL OSI Africa

  • MIL-OSI USA: Trump Effect Shows No Slowdown

    US Senate News:

    Source: The White House
    In his first month back in office, President Donald J. Trump has taken extraordinary action to usher in a new Golden Age of America – through border security, deregulation, government accountability, and leveling the playing field for American workers, to name a few.
    The positive effects of President Trump’s policies continue to be felt across the country.
    Here are some headlines you may have missed this weekend:

    MIL OSI USA News

  • MIL-OSI Africa: Imperatus Energy Chief Executive Officer (CEO) Unpacks Downstream Strategy for Congo

    Source: Africa Press Organisation – English (2) – Report:

    BRAZZAVILLE, Congo (Republic of the), February 17, 2025/APO Group/ —

    As the Republic of Congo strives to reach a crude oil production target of 500,000 barrels per day, it is also making significant strides in advancing its downstream sector. Energy trading companies, such as Imperatus Energy, will be pivotal to ensuring efficient distribution and market stability during this expansion strategy. In an interview with Energy Capital & Power (https://EnergyCapitalPower.com), Imperatus Energy CEO Oumar Semega discussed the company’s supply chain strategies and infrastructure development updates in Congo.

    What strategies are being implemented by Imperatus Energy to ensure a reliable and efficient supply chain for petroleum and gas products?

    As a specialized energy trading company, Imperatus Energy adopts a flexible and optimized approach to secure a reliable supply of petroleum and gas products in the African market. We prioritize diversification of supply sources by working with a vast network of international and regional producers, refineries and suppliers.

    Our logistics and flow management strategy involves collaboration with storage terminals, pipeline operators and maritime, river and land transport providers. By negotiating agreements, we optimize costs and ensure the swift and secure distribution of products. We also leverage technology to enhance visibility and performance through risk management tools, digital cargo tracking platforms and advanced trading systems.

    To mitigate risks, we employ proactive risk management and regulatory compliance strategies, including financial hedging to counter oil and gas price volatility.

    How does Imperatus Energy collaborate with local and international partners to meet the Republic of Congo, and Africa’s, energy needs?

    Imperatus Energy adopts a collaborative approach, working with a strategic network of local and international partners to secure competitive and reliable petroleum and gas supplies for Africa. We maintain partnerships with international producers and refineries, ensuring access to significant energy volumes under optimal conditions.

    To support local markets, we work closely with importers and petroleum distribution companies, offering flexible solutions in terms of volume, delivery schedules and payment terms. This helps local players efficiently distribute energy to end consumers.

    With rising demand for energy logistics and storage in the Republic of Congo, how is Imperatus Energy developing its infrastructure to address these challenges?

    We partner with refineries, storage terminals and top logistics operators to secure transportation and product availability in key markets. This strategy enables flexibility in responding to demand fluctuations while optimizing transport and storage costs.

    Through advanced logistics management, we identify the best supply routes based on existing infrastructure, including floating storage, pipelines, maritime, river, rail and road transport. By securing agreements with suppliers and storage operators, we ensure uninterrupted supply, even during market tensions. We also leverage technology for real-time shipment tracking, demand forecasting and trading optimization.

    How does Imperatus Energy facilitate transactions and payment solutions for its energy clients?

    Imperatus Energy provides secure and flexible payment solutions, recognizing the financing and liquidity challenges in African markets. We offer tailored payment options, including deferred payments, trade financing through credit lines, letters of credit for secured transactions, installment plans for cash flow management and multi-currency payment capabilities. By partnering with banks and financial institutions, we ensure access to funding for petroleum and gas purchases. To optimize international transactions, we assist with currency conversion and foreign exchange operations, negotiating favorable conditions with banking partners to minimize transaction costs.

    As a Gold Sponsor at the inaugural Congo Energy & Investment Forum 2025, what are your expectations for this event?

    Imperatus Energy views this event as a platform to reinforce our commitment to Africa’s energy market, particularly in the Republic of Congo. We aim to strengthen partnerships by engaging with key industry players, including government officials, financial institutions, local businesses and international investors, to foster sustainable energy collaborations.

    Understanding market trends and investment opportunities is another priority. The forum provides a unique chance to analyze regulatory developments and identify investment prospects in energy trading, imports and distribution.

    MIL OSI Africa

  • MIL-OSI United Kingdom: Leuchars Station medical and dental centre marks major construction milestone

    Source: United Kingdom – Government Statements

    Around 3,700 armed forces personnel and their families will benefit from the new building at Leuchars Station.

    The project team celebrate at a topping out ceremony. (Crown Copyright)

    A ceremony has been held to mark the topping out of a new medical and dental centre at Leuchars Station in Fife. 

    The Defence Infrastructure Organisation (DIO) is managing the build on behalf of the British Army, and contracted the £22 million facility to Graham Building North who began construction in October. 

    The new building will replace the current medical and dental centre which was built in 1936. Around 3,700 personnel at the British Army establishment and their dependents will benefit from the new building, which will house physical rehabilitation and mental health facilities as well as GP and dental services. Leuchars Station is to become the army’s hub in Scotland, and the new building has been designed to cater for this increase in personnel .

    The building has been carefully designed to be as sustainable as possible, including through thermal efficiency, solar panels, air source heat pumps and 4 electric vehicle charging stations. Building materials have been selected not only on the basis of suitability but also to reduce carbon impact on the environment. It is hoped that the building can be an example of sustainability in construction of future MOD medical and dental centres. 

    Shaun Purdy, DIO’s Project Manager, said: 

    Reaching this milestone, with completion of the structure, means it’s easy for both the medical staff and other personnel at Leuchars to see the scale of this new facility and how well-suited it will be for their needs. Our focus now moves to the interior of the building as we look forward to the completion of the building in the coming months.

    Lt Col Christopher Stewart, Senior Medical Officer, said: 

    The East of Scotland Medical Practice team is thrilled to see the new medical and dental centre taking shape at speed. This state-of-the-art facility will provide us considerably more clinical space and allow us to deliver a greater number of services simultaneously, whilst supporting our outputs as a training practice.  

    Our mission is to deliver an exceptional level of care to the service personnel and families we serve and this new facility will help us to achieve this.

    Commander Defence Primary Healthcare, Surgeon Commodore (RN) Andy Nelstrop, said: 

    Seeing this facility take shape at such speed is remarkable. Providing expert healthcare to armed forces personnel is a priority within the Defence Medical Services (DMS), and this facility will provide a modern environment for both Defence Primary Healthcare staff and patients based at Leuchars, improving access to services, making the patient and staff experience better and enabling the best clinical outcomes.  

    This brand new, purpose-built building, highlights the value and importance that we place on protecting the health of our armed forces and ensuring they are fit to fight. It builds on the successes of previous work to make it easier for personnel to see the right medical professional as quickly as possible.

    Chris MacLeod, Graham Building North’s Regional Director, said: 

    Our team have been working diligently to deliver this medical and dental facility for our longstanding client, the Defence Infrastructure Organisation. With the frame completed, we can now visualise this sustainable, state of the art building and the services it will provide for the military personnel and their families at Leuchars and in the wider region. 

    With the structure built to its full height, attention now turns to interior works. Once the replacement facility is complete, medical personnel and patients will transition over to the new medical and dental centre and Graham will demolish the old building. 

    Updates to this page

    Published 17 February 2025

    MIL OSI United Kingdom

  • MIL-OSI United Kingdom: Nemolizumab approved to treat prurigo nodularis and atopic dermatitis (eczema) for patients in the UK

    Source: United Kingdom – Government Statements

    This national approval was granted after an Access Consortium new active substance work-sharing initiative (NASWSI) procedure.

    The Medicines and Healthcare products Regulatory Agency (MHRA) has today, 17  February 2025, approved the medicine nemolizumab (brand name Nemluvio) for the treatment of two skins conditions – moderate to severe prurigo nodularis for adults aged 18 and above, and moderate-to-severe atopic dermatitis (eczema) for adults and adolescents aged 12 and above.  

    Prurigo nodularis is a chronic skin condition that causes hard, itchy bumps called nodules.  The safety and efficacy of nemolizumab for this condition were demonstrated in two clinical trials in adults (aged 18 yrs and over). The safety and efficacy of nemolizumab have not been established in patients below the age of 18 years with prurigo nodularis.  

    Nemolizumab has also been approved for both adults and adolescent patients (from aged 12 years and with a body weight of at least 30kg) for the treatment of moderate-to-severe atopic dermatitis. It has been approved for use in combination with therapies used on the skin (topical) when the atopic dermatitis is not well controlled by topical therapies alone. Efficacy and safety were demonstrated in two clinical trials in adolescents and adults with moderate-to-severe atopic dermatitis which was not adequately controlled by topical treatments. 

    Julian Beach, MHRA Interim Executive Director of Healthcare Quality and Access, said: 

    “Keeping patients safe and enabling their access to high quality, safe and effective medical products are key priorities for us.  

    “We’re assured that the appropriate regulatory standards for the approval of this medicine have been met. As with all products, we will keep its safety under close review.” 

    Nemolizumab’s recommended dosage is 30 mg and it is administered as an injection in a pre-filled pen or pre-filled syringe.  

    The most common side effects with Nemluvio in prurigo nodularis and atopic dermatitis are hypersensitivity and injection site reactions. For the full list of all side effects reported with this medicine, see Section 4 of the Patient Information Leaflet (PIL) or the SmPC available on the MHRA website.  As with any medicine, the MHRA will keep the safety and effectiveness of nemolizumab’s under close review.  Anyone who suspects they are having a side effect from this medicine are encouraged to talk to their doctor, pharmacist or nurse and report it directly to the MHRA Yellow Card scheme, either through the website (https://yellowcard.mhra.gov.uk/) or by searching the Google Play or Apple App stores for MHRA Yellow Card.     

    Notes to editors   

    • The new marketing authorisation was granted on 17 February 2025 to Galderma (U.K.) Limited 

    • This national approval was granted after an Access Consortium new active substance work-sharing initiative (NASWSI) procedure. 

    • More information can be found in the Summary of Product Characteristics and Patient Information leaflets which will be published on the MHRA Products website within 7 days of approval.   

    • The Medicines and Healthcare products Regulatory Agency (MHRA) is responsible for regulating all medicines and medical devices in the UK by ensuring they work and are acceptably safe.  All our work is underpinned by robust and fact-based judgements to ensure that the benefits justify any risks.   

    • The MHRA is an executive agency of the Department of Health and Social Care.   

    • For media enquiries, please contact the newscentre@mhra.gov.uk, or call on 020 3080 7651.

    Updates to this page

    Published 17 February 2025

    MIL OSI United Kingdom

  • MIL-OSI Russia: Tatyana Golikova and Veronika Skvortsova opened the Center for Cognitive and Psychoemotional Health of the Federal Medical and Biological Agency of Russia

    Translartion. Region: Russians Fedetion –

    Source: Government of the Russian Federation – An important disclaimer is at the bottom of this article.

    Previous news Next news

    Tatyana Golikova and Veronika Skvortsova opened the Center for Cognitive and Psychoemotional Health of the Federal Medical and Biological Agency of Russia

    Deputy Prime Minister Tatyana Golikova and the head of the Federal Medical and Biological Agency Veronika Skvortsova opened the Center for Cognitive and Psychoemotional Health of the Federal Medical and Biological Agency of Russia, which was created as a reference model for further scaling throughout the country.

    The center was opened on the basis of the Federal Center for Brain and Neurotechnology of the Federal Medical and Biological Agency of Russia, which combines the latest diagnostic and rehabilitation technologies, scientific and human resources potential and is one of the leading medical institutions in the country.

    “Today we have looked a little into the future. This is a unique innovative, scientific, educational, medical and production complex that allows us to develop the latest technologies. The technologies that have become possible here will be distributed throughout the Russian Federation, to those medical institutions that will use these methods and promote them. This is a huge part of the work that the Federal Medical and Biological Agency has done on behalf of the head of state. The development of these technologies became possible as a result of the implementation of the national project “Healthcare” and within the framework of the national projects “Long and Active Life” and “New Health Preservation Technologies” that have been “moving across the country” since January 1, 2025 – a technological leadership project that is designed to develop and promote technologies related to both maintaining health and achieving goals throughout the country,” said Tatyana Golikova.

    The tasks of the Center for Cognitive and Psychoemotional Health include scientific activities, development of new methods of treatment and diagnostics, implementation of new standards of therapy, creation of a system of objective assessment and support of human cognitive health.

    The best specialists are gathered here – neurologists, psychologists, psychotherapists, rehabilitation specialists and psychiatrists – for comprehensive work on the preservation and restoration of cognitive functions.

    In addition, the center’s work focuses on interaction with healthy people. Its goal is to prevent cognitive and psycho-emotional disorders, as well as to draw attention to the need to take care of one’s own mental health.

    “It is important that this reference center for cognitive and psycho-emotional health was created in the high-tech Center for Brain and Neurotechnology, which allows, when signs of ill health are found, to accurately identify the cause of these signs using a variety of diagnostic methods – genetic, morphological, visualization methods, neurophysiology and other functional methods. Thus, to help each person in a personalized, most targeted way,” Veronika Skvortsova emphasized.

    For the first time, a multidisciplinary approach and correction methods and protocols that have proven themselves in neurorehabilitation carried out at the Federal Center for Brain and Neurotechnology of the Federal Medical and Biological Agency of Russia have been applied to the correction of cognitive and psychoemotional disorders, which traditionally belong to the field of neurology and psychoneurology. It is rehabilitation approaches that have proven effective in the correction of neurological syndromes.

    A technological algorithm has been created that allows any person, healthy or sick, to undergo testing for basic cognitive functions – memory, attention, speed of thinking and others, to identify anxiety, subdepression, depression, internal excitement and so on.

    The structure of the center includes a scientific department of cognitive disorders, which has access to all the advanced diagnostic and treatment capacities of the Federal Center for Brain and Neurotechnology, and they are also available to the center’s patients. This allows for not only treatment, but also educational and scientific activities. Educational programs have been developed for training specialists of multidisciplinary “cognitive” teams, transfer of the center’s methods – both on the basis of the Brain Center and in a remote format.

    Many cognitive and psycho-emotional health disorders in adulthood and old age have their roots in problems that appear in childhood. Therefore, the Center for Cognitive and Psycho-Emotional Health also accepts children, for which purpose multidisciplinary teams have been created, consisting of leading pediatric neurologists, speech therapists, physical and rehabilitation medicine doctors, and psychologists.

    In addition, the Center for Cognitive and Psycho-Emotional Health implements advanced instrumental methods on unique equipment, mainly of domestic development. In particular, this is a biofeedback complex for improving the psycho-emotional state using machine learning algorithms, devices for visual color-pulse therapy and transcranial electrical stimulation, which help reduce tension, improve sleep and increase resistance to stress.

    This year, it is planned to open 10 such centers in the Federal Medical and Biological Agency system in all federal districts. Round-the-clock telemedicine communication has been established, special educational programs have been developed for each module.

    Please note: This information is raw content directly from the source of the information. It is exactly what the source states and does not reflect the position of MIL-OSI or its clients.

    MIL OSI Russia News

  • MIL-OSI Canada: Premier’s statement on Family Day

    Source: Government of Canada regional news

    Premier David Eby has issued the following statement celebrating Family Day:

    “Family Day is an opportunity to spend time with the people you love, doing the things you love, whether that is exploring the outdoors, enjoying a cozy day at home or, like my family, heading to the playground with the best swing.

    “This day also invites us to reflect on the importance of family, especially in these times of extraordinary change and uncertainty. Our families – those we are born into and those we choose – provide us with unconditional love and support. They are our ties to our past, present and future. And they are always there for us when we need them.

    “Our government is there for families, too. We know B.C. families are facing big challenges and we are focused on addressing the issues that you are talking about at the kitchen table, during school dropoff and on the playground.

    “Tomorrow, Lt. Gov. Wendy Cocchia will deliver the speech from the throne, laying out our government’s plan to defend British Columbians in these uncertain times and secure a brighter future for everyone who calls this place home. 

    “We will continue reducing costs for families by expanding affordable child care and helping people buy their first family home. We will further strengthen health care by helping more families get a family doctor. We will make our communities safer by working with law enforcement and social agencies to crack down on organized crime and keep repeat offenders off our streets. And we will accelerate our work to build a sustainable, clean economy with good, family-supporting jobs so generations to come can keep the family tree firmly planted here in British Columbia.

    “This is a special Family Day for my crew as it is our first as a family of five. That means more fun, more laughs and more rides on the swing.

    “From my family to yours, happy Family Day!”

    MIL OSI Canada News

  • MIL-OSI USA: Bowman, Brief Remarks on the Economy and Accountability in Supervision, Applications, and Regulation

    Source: US State of New York Federal Reserve

    Thank you for the invitation to join you here in Phoenix at the ABA’s Conference for Community Bankers.1 For the past seven years, this conference provided an excellent forum for me and bankers to meet and interact with a range of state and federal regulators, policymakers, service providers, and other stakeholders. Today I would like to share a brief update on my views on monetary policy and the economy, before I turn to bank regulatory issues, and describe how I think that regulators should approach the important work of “maintenance” of the regulatory framework.
    Economic Outlook and Monetary PolicyToward the end of last year, the Federal Open Market Committee (FOMC) began the process of moving the target range for the federal funds rate to a more neutral setting to reflect the progress made since 2023 on lowering inflation and cooling the labor market. At our September meeting, the FOMC voted to lower the target range, for the first time since we began tightening monetary policy to combat inflation, by 50 basis points to 4-3/4 to 5 percent.
    You may remember that I dissented from that decision, the first time a Fed Governor dissented from an FOMC rate decision in nearly 20 years. I preferred a smaller initial cut to begin the policy recalibration phase. I explained my reasoning in a statement published after the meeting noting that the strong economy and a healthy labor market did not warrant a larger cut. In addition, moving the policy rate down too quickly could unnecessarily risk stoking demand, potentially reigniting inflationary pressures, and could be interpreted as a premature “declaration of victory” on our price-stability mandate.
    At the most recent FOMC meeting last month, my colleagues and I voted to hold the federal funds rate target range at 4-1/4 to 4‑1/2 percent and to continue to reduce the Federal Reserve’s securities holdings. I supported this action because, after recalibrating the policy rate by 100 basis points through the December meeting, I think that policy is now in a good place, allowing the Committee to be patient and pay closer attention to the inflation data as it evolves.
    In my view, the current policy stance also provides the opportunity to review further indicators of economic activity and get further clarity on the administration’s policies and their effects on the economy. It will be very important to have a better sense of these policies, how they will be implemented, and establish greater confidence about how the economy will respond in the coming weeks and months.
    For now, the U.S. economy remains strong, with solid growth in economic activity and a labor market near full employment. Core inflation is still somewhat elevated, but has appeared to resume its downward path, and my baseline expectation has been that it will moderate further this year. Even with this outlook, there are upside risks to my baseline expectation for the inflation path.
    In 2023, the rate of inflation declined significantly, but it has taken longer to see further meaningful declines since that time. The latest consumer and producer price index reports suggest that the 12-month measure of core personal consumption expenditures inflation—which excludes food and energy prices—likely moved down to around 2.6 percent in January, which would represent a noticeable stepdown from its 2.8 percent reading in December and 3.0 percent at the end of 2023. Progress had been especially slow and uneven since the spring of last year mostly due to rising core goods price inflation.
    After increasing at a solid pace, on average, over the first nine months of last year, gross domestic product appears to have risen a bit more moderately in the fourth quarter, reflecting a large drop in the volatile category of inventory investment. In contrast, private domestic final purchases, which provide a better signal about underlying growth in economic activity, maintained its strong momentum from earlier in the year, as personal consumption rose robustly again in the fourth quarter. Following strong readings in December, retail sales and sales of motor vehicles softened in January. However, these data can be noisy around this time of the year and sales were likely affected by the cold and wintery weather last month.
    Payroll employment gains have picked up since the summer of last year and averaged a strong pace of about 240,000 per month over the past three months, with last month’s gains likely held back by the Los Angeles wildfires and the harsh winter weather. The unemployment rate edged down further to 4.0 percent in January and has moved sideways since the middle of last year, remaining below my estimate of full employment.
    The labor market appears to have stabilized in the second half of last year, after it loosened from extremely tight conditions. The rise in the unemployment rate since mid-2023 largely reflects weaker hiring, as job seekers entering or re-entering the labor force are taking longer to find work, while layoffs have remained low. The ratio of job vacancies to unemployed workers has remained close to the pre-pandemic level in recent months, and there are still more available jobs than available workers. The labor market no longer appears to be especially tight, but wage growth remains somewhat above the pace consistent with our inflation goal.
    The recent revision of the Bureau of Labor Statistics labor data further vindicates my view that the labor market was not weakening in a concerning way during the summer of last year. Although payroll employment gains were revised down considerably in the 12 months through March 2024, job gains were little revised, on net, over the remainder of last year. It is crucial that U.S. official data more accurately capture structural changes in labor markets in real time, so we can confidently rely on these data for monetary and economic policymaking. But in the meantime, given conflicting economic signals, measurement challenges, and significant data revisions in recent years, I remain cautious about taking signal from only a limited set of real-time data releases.
    Assuming the economy evolves as I expect, I think that inflation will slow further this year. As the inflation data since the spring of last year show, its progress may be bumpy and uneven, and progress on disinflation may take longer than we would hope. I continue to see greater risks to price stability, especially while the labor market remains strong.
    With encouraging signs that geopolitical tensions may be abating in the Middle East, Eastern Europe, and in Asia, I will be monitoring global supply chains which could continue to be susceptible to disruptions, and lead to inflationary effects on food, energy, and other commodity markets. In addition, the release of pent-up demand following the election could lead to stronger economic activity, which could also influence inflationary pressures.
    Having entered a new phase in the process of moving the federal funds rate toward a more neutral policy stance, there are a few considerations that lead me to prefer a cautious and gradual approach to adjusting policy, as it provides us time to assess progress in achieving our inflation and employment goals.
    Given the current policy stance, I think that easier financial conditions from higher equity prices over the past year may have slowed progress on disinflation. And I am watching the increase in longer-term Treasury yields that has occurred since the start of policy recalibration at the September meeting. Some have interpreted it as a reflection of investors’ concerns about inflation risks and the possibility of tighter-than-expected policy that may be required to address inflationary pressures.
    There is still more work to be done to bring inflation closer to our 2 percent goal. I would like to gain greater confidence that progress in lowering inflation will continue as we consider making further adjustments to the target range. We need to keep inflation in focus while the labor market appears to be in balance and the unemployment rate remains at historically low levels. Before our March meeting, we will have received one additional month of inflation and employment data.
    Looking forward, it is important to note that monetary policy is not on a preset course. At each FOMC meeting, my colleagues and I will make our decisions based on the incoming data and the implications for and risks to the outlook and guided by the Fed’s dual-mandate goals of maximum employment and stable prices. I will also continue to meet with a broad range of contacts to help me interpret the signals provided by real-time data and as I assess the appropriateness of our monetary policy stance.
    Bringing inflation in line with our price stability goal is essential for sustaining a healthy labor market and fostering an economy that works for everyone in the longer run.
    Maintenance of the Regulatory FrameworkI will now turn to bank supervision, the bank applications process, and regulation. Community banks experience the burden of the regulatory framework most acutely when it is not appropriately tailored to their size, risk, complexity, and business model. While promoting safety and soundness in the banking system—particularly among community banks—is an important and necessary regulatory objective, we must also be cautious to ensure that the framework does not become an impediment to their operations, preventing them from providing competitive products and services, innovating, and engaging in appropriate risk-taking.
    During my tenure at the Board, I have laid out a wide range of issues and concerns that I see as critical components that are necessary to build and maintain an effective regulatory framework.2 While I will only address a subset of these issues today, I’d like to begin by clarifying what I mean by this.
    Our work to maintain an effective framework is never really complete. Just as complacency can be fatal to the business of a bank, complacency can also prevent regulators from meeting their statutory obligation to promote a safe and sound banking system that enables banks to serve their customers effectively and efficiently.
    System maintenance is not something that we should shy away from. In our everyday lives, we invest significant time in maintenance. We schedule regular oil changes for our cars, and we invest in the infrastructure that allows our economy to function. Devoting resources to maintenance often prevents more costly issues down the road—it’s easier to get oil changes than it is to rebuild an engine.
    So, what does maintenance look like in practice? To address this question, I think it’s helpful to look at three core areas in the bank regulatory framework: Supervision, Bank applications, and Regulation.
    Approach to SupervisionLet’s start with supervision. Supervision operates almost entirely outside of the public view. Much of the work involves the review of proprietary business information from banks, and the preparation of examination reports shielded from public scrutiny under the auspices of protecting confidential supervisory information. But confidentiality should not be used to prevent scrutiny and accountability in the assignment of ratings.
    So, today, I am going to dig a bit deeper into the realm of supervision to discuss supervisory ratings, accountability, and the troubling trend of inaction and opacity within the supervisory toolkit.
    Rational Standards & RatingsWhile there is some public disclosure of supervisory information, it is often difficult to get a true understanding of supervision based on data that may be released. In fact, this data often sends confusing and conflicting signals. For example, the Board’s Supervision and Regulation Report presented information stating that only one-third of large financial institutions maintained satisfactory ratings across all relevant ratings components in the first half of 2024.3 At the same time, this report noted that most large financial institutions met supervisory expectations with respect to capital and liquidity.4
    The odd mismatch between financial condition and overall supervisory condition as assessed by the prudential regulators raises a more significant issue, whether subjective examiner judgment—those evaluations based on subjective, examiner-driven, non-financial concerns—is driving the firm’s overall rating. Are ratings trends based on the materiality of the identified issues, or do they imply that the regulators see widespread fragility in the banking system?
    While this example highlights a large bank ratings framework issue, it is symptomatic of a broader issue that warrants scrutiny—whether the approach to supervision has led to a world in which core financial risks have been de-prioritized, and non-core and non-financial risks—things like IT, operational risk, management, risk management, internal controls, and governance—have been over-emphasized. These issues are important, and certainly worthwhile topics for examiners to consider, but their review should not come at the expense of more material financial risk considerations—and they should not drive the overall assessment of a firm’s condition. There is evidence that supervision has undergone such a shift, not only among large banks, but among regional and community banks as well.5 For all institutions, financial metrics are not among the primary findings determined from the examination process, and arguably they have been de-emphasized when assigning supervisory ratings.
    Prioritization is valuable in the supervisory process, both to inform how examiners allocate their time, but also in helping banks allocate resources to remediate issues identified during the supervisory process. The frequency of supervisory findings related to non-financial metrics may be a byproduct of how long it takes to remediate these issues, like longstanding issues with IT systems that have not been enhanced over many years of growth. However, we should also be vigilant and deliberate about any shift in supervisory focus from financial risk toward non-financial risks and internal processes, as this shift is not focused on fundamental safety and soundness issues and it is not cost-free.
    We should also not expect every firm to coalesce around a single set of products, internal processes, and risk-management practices. Variety in banking models is a strength and a necessity of the U.S. banking system, relying on management and boards of directors to determine bank strategy, rather than a bank’s business model effectively being set by supervisory directives.
    Supervisory practices like horizontal reviews can create examiner incentives to expect uniformity and “grade on a curve,” but this approach perversely punishes variation among bank practices, stifling competition and innovation. Supervisory findings also inform bank ratings, which can have follow-on effects like limiting options for mergers and acquisitions (M&A); raising the cost of liquidity; or diverting resources away from other, more important bank management priorities.
    Diagnostic AccountabilityTo maintain strong and appropriate supervisory standards and practices, we need to take a step back and diagnose the bank regulatory system in its entirety: what is working, what is broken, and what needs to be updated. When things go wrong, having an impartial check on subjective judgments can lead to a better diagnosis. Of course, a better diagnosis can produce more efficient and targeted improvements, and better promote accountability. Accountability is critical to maintaining an effective regulatory system, and yet it can be difficult to establish a regulatory culture that includes mechanisms to promote accountability for supervisors and regulators.6
    At every organizational level, from examiners to agency leadership, judgments are made that contribute to the overall effectiveness of the supervisory process. Reserve Bank examiners play a critical role in examining Fed-regulated institutions, both banks and holding companies. The Federal Reserve exercises its supervisory responsibilities by supervisory portfolio, with each portfolio relying on a combination of Board and Reserve Bank staff.7 But this split allocation of responsibility should not diminish the accountability for supervisory decision making. Responsibility for supervisory decisions must be coupled with accountability for these decisions. The misalignment of responsibility and accountability limits our ability to conduct effective supervision.
    This division of responsibility can pose a challenge to accountability. In the aftermath of the bank failures in 2023 and the broader stress to the banking system, the Board and other agencies proposed a variety of regulatory reform measures to remediate and address identified issues, based on internal reviews of the failures and banking stress. While I applaud efforts to hold ourselves accountable, we must ensure that self-reviews are credible, both in the causes they identify and in the reform agenda that they are used to support. An internal review process poses the temptation to avoid responsibility by assigning blame elsewhere, even when the review may be motivated by good intentions and with the outward appearance of impartiality.
    Many of the core problems in the lead-up to the bank failures involved well-known, core banking risks—interest rate risk, liquidity risk, and poor risk management. But if we look at the subsequent reform agenda, we see that the policy emphasis has been on broader regulatory changes rather than addressing supervisory program deficiencies. In my mind, this highlights the need to have a process that challenges the subjective judgments of those that were involved in oversight, not only in performing the diagnostics, but evaluating how identified issues can best be remediated.
    Purging Inaction and Opacity from the Supervisory ToolkitSupervision differs significantly from the regulatory process. Implementing new regulations, or amending existing ones, requires a public notice and comment process established by the Administrative Procedure Act. When done appropriately, regulations require regulators to “show their work” by providing extensive analytical and factual support for proposals and final rules and soliciting comment from the public and addressing those comments before finalizing a regulation. In contrast, the execution of bank examinations and the issuance of supervisory guidance lack these procedural safeguards, instead relying heavily on discretion and judgment with far lower standards for justifying actions taken with factual and analytical support under the veil of confidential supervisory information. The greater flexibility afforded in the supervisory process can lead to poor outcomes, often caused by the temptation to use inaction and opacity as supervisory tools. In my view, these tools, inaction and opacity, are not appropriate and must be subject to appropriate scrutiny or purged from the toolkit altogether.
    First let’s consider inaction. The exam process requires open communication between examiners and banks. Often interpretive questions arise during the exam process; how do existing rules and statutes apply in a particular circumstance? These questions arise when existing rules and guidance are unclear, which is a frequent occurrence. For example, how can a bank operate in a safe and sound manner while offering a new product or service, or when serving customers in particular business lines with unique needs? Banks go to great effort to meet all applicable requirements and regulatory expectations, and regulators should welcome banks seeking supervisory input and relying on a compliance-focused mindset.
    Open communication with regulated banks is a hallmark of good supervision, but regulators must live up to their end of the bargain by not leaving banks in “limbo” for extended periods of time. When a bank requests feedback and engages in good faith to provide information and respond to reasonable questions, regulators have an obligation to provide a clear response. Banks should not be left to wonder whether an interpretation of existing laws, regulations, and guidance is consistent with the understanding of regulators.
    Next, let’s consider opacity. Questions raised in the supervisory channel often result from supervisory expectations that lack sufficient clarity or the application of rules and regulations to new and emerging products and services. While regulators should not form an opinion without understanding the relevant facts and circumstances, they must also strive to provide clarity—not just to the bank being examined, but to all banks. Supervisory expectations should not surprise regulated firms, and yet transparency around expectations is often challenging to achieve.8
    The problem of opacity in supervisory expectations is exacerbated by the umbrella of confidential supervisory information, or CSI, which is the label given to most materials developed in the examination process. The rules designed to protect CSI limit the public’s visibility into shifting priorities and expectations in the supervisory process.9 Changes in supervisory expectations frequently come without the benefit of guidance, advance notice, or published rulemaking. In the worst-case scenario these shifts, cloaked by the veil of supervisory opacity, can have significant financial and reputational impacts or can disrupt the management and operations of affected banks.
    Opacity in supervisory expectations, or in the interpretation of applicable laws and regulations, should not be discovered only at the conclusion of an examination with the issuance of deficiencies, matters requiring attention, matters requiring immediate attention, or other shortcomings.
    Approach to ApplicationsSunshine is the best disinfectant when it comes to an approach that fosters transparency and accountability. So, I would like to spend a few minutes discussing how we can better shine a light into the dark corners of the bank applications process.
    De Novo FormationDe novo formation has essentially stagnated over the past several years. While many factors have contributed to the decline in the aggregate number of banks in the United States, one key factor has been the lack of new bank formation to replace banks that have been acquired or closed their doors. This lack of de novo bank approvals does not necessarily indicate a lack of demand for new charters though, particularly in light of ongoing demand for bank “charter strip” acquisitions where banks have been acquired just for their charters, the growing demand for banking-as-a-service partnerships, and the shift of activities outside of the banking sector into the non-bank financial system.10 We should consider whether the applications process itself has become an unnecessary impediment to de novo formation.
    How can we improve the process of de novo formation? As fewer applications come in, institutional muscle memory for how to deal with new bank charters erodes, and it becomes difficult to navigate and ultimately to overcome institutional inertia. A few steps like developing specialized expertise, streamlining the application process, and improving transparency can yield significant improvements.
    First, de novo formations are very different from other bank applications where there are existing institutions with established supervisory ratings and examination records. A de novo formation has no supervisory record of performance on which to base a decision or inform judgments about whether an application is consistent with approval. Instead, regulators must evaluate the proposal based on applicable statutory requirements: Is the business plan sound? Is appropriate bank leadership in place? Does the bank have a viable business plan and strategy? Is the bank’s proposal supported by sufficient capital? Should there be an expectation that all of these questions are answered exhaustively often well over a year before the bank would be formed, if it is approved?
    In recent years de novo formations have been rare, and therefore staff tasked with evaluating these proposals do not have a recent perspective or deep well of experience from which to draw. Under our current approach, regional Reserve Banks are the primary point of contact for de novo applicants. We should consider creating a specialized resource that can be utilized by any reserve bank to assist them during the pre-filing conversations with de novo applicants. Our goal should be to facilitate new bank creation—identifying and finding achievable pathways to yes, instead of expecting and insisting on increasing requirements to unachievable levels or those that are intended to deter applicants from filing or moving forward.
    We should also consider whether there are ways to streamline the application process, including, if needed, by recommending statutory changes. While the agencies use some common forms, de novo formations currently involve a range of regulatory approvals. A de novo applicant must apply for a bank charter from the Office of the Comptroller of the Currency or a state banking authority, deposit insurance from the Federal Deposit Insurance Corporation, and potentially membership or a parallel holding company formation application with the Federal Reserve.
    Each regulator may be focused on different aspects of the application, and each has the right to ask for additional information as part of the application review and analysis potentially significantly extending the review timeframe. We should have clear standards of review and approval—and coordinated actions—among the state and federal regulators involved in any application. This should include clear timelines for the point at which a regulator forfeits their opportunity to object due to inaction, delay, or stalling tactics.
    But standards for de novo approval are not always clear to applicants, which can lead to lengthy back-and-forth discussions with banking agency staff even after an applicant has prepared the information required by the appropriate application forms. The need for extensive additional information from de novo applicants can be caused by a failure to provide information requested in the application form, but I suspect the submission of incomplete information is often a product of forms that do not include all necessary information.
    We should not need to constantly supplement application forms with ad hoc information requests. If additional information is needed, we should modify the required application forms. One area where the lack of transparent and clear standards is most evident is with the amount of capital required to establish a de novo bank. Discussions around required capital often hinge on subjective assessments based on planned business model and growth, but they rarely involve regulators providing a minimum required capital amount. Standards for approval should not be shrouded in mystery.
    Reform of the de novo applications process should not be thought of as a deregulatory exercise. Clear and transparent standards do not imply “low” or inadequate standards. At the same time, if we want to encourage a pipeline of de novo bank formations, we should also be comfortable with the uncertainty that accompanies any new business, including the risk that some de novo banks will not succeed.
    The cost of eliminating the failure of de novo banks—or really of any banks at any time—is simply too great. Banking is fundamentally about appropriately managed risks, and regulators play a key role in promoting a system that is safe and sound while also serving to support the banking needs of customers and broader economic growth. Our goal should not be to create a banking system that is safe, sound, and ultimately irrelevant.
    Mergers and AcquisitionsThe issues with the banking applications process extend beyond de novo formations, but involve some of the same concerns, whether there are clear standards, and we are able to act in a timely manner. As a threshold matter, if regulators are clear about the information they need to process an application—for example, by updating applications forms to include the full set of information needed to analyze each statutory approval requirement—then we should also hold ourselves to fixed approval timelines. In my view, the purgatory of a long application process is another form of regulatory “inaction” that must be eliminated.
    We should also address aspects of the applications process that contribute to delay, including both the approach to competition and the public comment process.
    The banking agencies have long relied on competitive “screens” to evaluate the pro forma effect of a merger. This process looks at the standalone institutions, imagines a merger in which their operations are combined, and then looks at how measures of competition will change in the areas served by the merged institutions. Where there is overlap in markets served, there is the potential for tripping competitive screens and triggering additional scrutiny. At the Federal Reserve, when a competitive screen is triggered the application process takes more time, as staff reviews the conflict, and the matter is removed from the Reserve Bank-delegated processing track.
    Perversely, many banks that trigger additional scrutiny operate in rural markets and have less aggregate banking business over which institutions can compete. In these concentrated markets, the analytical approach may involve a counterfactual in which only two future states of the world exist—the banks continue to operate on a standalone basis, or the banks merge and operate as a consolidated whole. However, this framing ignores a possible third option, that one or both of the institutions will cease being viable and shut its doors, or be acquired by a credit union, similarly leading to an erosion of market competition and potentially greater disruption to the communities served. This analytical approach to evaluating competition no longer remains appropriate, and it needs to be reformed to better reflect actual market realities. This must include competition from credit unions, the farm credit system, internet banks, financial technology firms and other non-banks.
    Finally, many M&A applications come to the Board due to the receipt of an adverse comment from the public about the past supervisory record of one or both of the institutions involved in a merger. The receipt of an adverse comment causes substantial delays in the processing of an application, as this too removes an application from the “delegated” processing by the local Federal Reserve Bank, escalating the matter to the Board of Governors in D.C. While it is important that regulators take into account public feedback—and indeed, is required by applicable law—we should also be concerned about comments that may lack factual support or may solely rely on matters always considered in the review of a proposal, like the existing supervisory records of the acquirer and the target institution, and may be negated by the regulator’s own examination report.
    Approach to Regulation – Cleanup and the Statutory Regulatory ReviewSince the passage of the Dodd-Frank Act nearly 15 years ago, the body of regulations that all banks are subject to has increased dramatically. Many of the reforms made after the 2008 financial crisis were important and essential to ensuring a stronger and more resilient banking system. Yet, a number of the changes are backward looking—responding only to that mortgage crisis—not fully considering the potential future unintended consequences or future states of the world.
    With well over a decade of change in the banking system now behind us post-implementation, it is time to evaluate whether all these changes continue to be relevant. Some of the regulations put in place immediately after that financial crisis resulted in pushing foundational banking activities out of the banking system into less regulated corners of the financial system. We need to ask whether this is appropriate. These tradeoffs are complicated, and we must consider not only the changes that were made but also the evolution of and differences in the banking system today.
    Driving all risk out of the banking system is at odds with the fundamental nature of the business of banking. Banks, after all, are businesses. And they must be able to earn a profit and grow while also managing their risks. Adding requirements that impose more costs must be balanced with whether the new requirements make the correct tradeoffs between safety and soundness and enabling banks to serve their customers and run their businesses. The task of policymakers and regulators is not to eliminate risk from the banking system, but rather to ensure that risk is appropriately and effectively managed.
    In a well-functioning and appropriately regulated banking system, banks serve an indispensable role in credit provision and economic stability. The goal is to create and maintain a system that supports safe and sound banking practices, and results in the implementation of appropriate risk management. No efficient banking system can eliminate all bank failures. But well-designed and well-maintained systems can limit bank failures and mitigate the harm caused by any that occur.
    Maintenance of the regulatory framework is necessary to ensure that our regulations continue to strike the right balance between encouraging growth and innovation, and safety and soundness. One easily identifiable way to achieve this is using the Economic Growth and Regulatory Paperwork Reduction Act (EGRPRA) review process, which the agencies initiated in February last year.
    Although to-date it has not done so, the EGRPRA review requires the federal banking agencies to identify any outdated, unnecessary, or overly burdensome regulations and eliminate unnecessary regulations and take other steps to address the regulatory burdens associated with outdated or overly burdensome regulations. As I noted, prior iterations of the EGRPRA process have been underwhelming in their ability to result in meaningful change, but it is my expectation that this review, and eventually the accompanying report to Congress, will provide a meaningful process for stakeholders and the public to engage with the banking agencies in identifying regulations that are no longer necessary or are overly burdensome. It is also my expectation that regulators will be responsive to concerns raised by the public.
    Another area that is ripe for review are several of the Board’s rules that address core banking issues—from loans to insiders, to transactions with affiliates, to state member bank activities, and holding company requirements. Many of the Board’s regulations have not been comprehensively reviewed or updated in more than 20 years. Given the dynamic nature of the banking system and how the economy and banking and financial services industries have evolved over that period, it is imperative that we update and simplify many of the Board’s regulations, including thresholds for applicability and benchmarks.
    Finally, I want to address the unintended consequences of anti-money laundering requirements in the provision of banking services. I think we can agree that fighting money laundering, terrorist financing, and other illicit activities is not only a statutory responsibility of the banking system but it also serves important public policy goals. But while the regulatory framework prescribing how banks fulfill this role is not within the Federal Reserve’s responsibilities, it is important to consider how these requirements affect the ability of banks to serve customers. For example, the threshold for currency transaction reports (CTR) was established more than 50 years ago and has not been updated or indexed to inflation during that time. Just as an example, at the time it was implemented, a fully loaded Cadillac cost less than the CTR threshold. We’ve come a long way since 1972.
    It has also created a regime of more extensive and invasive reporting of customers’ transactions that may pose little actual risks related to tracking illicit activities. This reporting regime is also not cost-free, as banks may opt to avoid banking customers that trigger high volumes of CTR reporting, or that otherwise trigger the filing of suspicious activity reports. The calibration of reporting requirements, their effect on bank customers, and the growing problem of customer “de-banking,” warrant greater public attention.
    The Federal Reserve should review the supervisory messages given to banks and their holding companies about how supervisors will evaluate and consider the bank’s risks associated with customers that are caught in the Bank Secrecy Act or Anti-Money Laundering reporting web. I am concerned that this framework is being used to downgrade a bank’s condition based on a disproportionate weighting of its compliance with these requirements in comparison to its overall condition. There are separate examinations conducted for this purpose, and they should be viewed separately, not as a cudgel for downgrading a bank’s condition through the governance and controls mechanism or management assessment.
    Closing ThoughtsThe banking system can be an engine of economic growth and opportunity, particularly when it is supported by a bank regulatory framework that is rational and well-maintained. The work of rationalizing and maintaining this system is an ongoing cycle. While my remarks today have touched on a wide range of issues that require rationalization and “maintenance,” this is by no means an exhaustive list.
    Maintaining an effective framework is not only about ensuring the existing plumbing continues to work (and making it more efficient where possible) but it also must include promoting a system that is responsive to emerging threats and the needs of the banking system. As an example, the significant increase in fraud over the past few years has not generated the strong regulatory and governmental response necessary, even though fraud can become a source of material financial risk, particularly to smaller institutions.
    Thank you again for the opportunity to share my thoughts with you today. As always, it is a pleasure to be with you!

    1. The views expressed in these remarks are my own and do not necessarily reflect those of my colleagues on the Board of Governors of the Federal Reserve System or the Federal Open Market Committee. Return to text
    2. See, e.g., Michelle W. Bowman, “Bank Regulation in 2025 and Beyond (PDF)” (speech at the Kansas Bankers Association Government Relations Conference, Topeka, Kansas, February 5, 2025); Michelle W. Bowman, “Approaching Policymaking Pragmatically (PDF)” (speech at the Forum Club of the Palm Beaches, West Palm Beach, Florida, November 20, 2024); Michelle W. Bowman, “Building a Community Banking Framework for the Future (PDF)” (speech at the 2024 Community Banking Research Conference, St. Louis, Missouri, October 2, 2024); Michelle W. Bowman, “The Future of Stress Testing and the Stress Capital Buffer Framework (PDF)” (speech at the Executive Council of the Banking Law Section of the Federal Bar Association, Washington, D.C., September 10, 2024); Michelle W. Bowman, “Liquidity, Supervision, and Regulatory Reform (PDF)” (speech at “Exploring Conventional Bank Funding Regimes in an Unconventional World,” Dallas, Texas, July 18, 2024); Michelle W. Bowman, “The Consequences of Bank Capital Reform (PDF)” (speech to the ISDA Board of Directors, London, England, June 26, 2024); Michelle W. Bowman, “Innovation in the Financial System (PDF)” (speech at the Salzburg Global Seminar on Financial Technology Innovation, Social Impact, and Regulation: Do We Need New Paradigms?, Salzburg, Austria, June 17, 2024); Michelle W. Bowman, “Bank Mergers and Acquisitions, and De Novo Bank Formation: Implications for the Future of the Banking System (PDF)” (remarks at A Workshop on the Future of Banking, Kansas City, Missouri, April 2, 2024); Michelle W. Bowman, “Tailoring, Fidelity to the Rule of Law, and Unintended Consequences (PDF)” (speech at the Harvard Law School Faculty Club, Cambridge, Massachusetts, March 5, 2024); Michelle W. Bowman, “The Role of Research, Data, and Analysis in Banking Reforms (PDF)” (speech at the 2023 Community Banking Research Conference, St. Louis, Missouri, October 4, 2023). Return to text
    3. See Board of Governors of the Federal Reserve System, Supervision and Regulation Report (PDF) at 16-17 (Washington: Board of Governors, November 2024), (describing data for the first half of 2024, the most recent period for which data is available). Return to text
    4. Board of Governors of the Federal Reserve System, Supervision and Regulation Report. Return to text
    5. Board of Governors of the Federal Reserve System, Supervision and Regulation Report at 17, 20. Return to text
    6. See Michelle W. Bowman, “Accountability for Banks, Accountability for Regulators (PDF)” (Essay published in Starling Insights, February 13, 2024). Return to text
    7. “Understanding Federal Reserve Supervision,” Board of Governors of the Federal Reserve System, last modified April 27, 2023. Return to text
    8. See Michelle W. Bowman, “Approaching Policymaking Pragmatically (PDF)” (speech at the Forum Club of the Palm Beaches, West Palm Beach, Florida, November 20, 2024). Return to text
    9. See Michelle W. Bowman, “Reflections on the Economy and Bank Regulation (PDF)” (speech at the New Jersey Bankers Association Annual Economic Leadership Forum, Somerset, New Jersey, March 7, 2024). Return to text
    10. See Michelle W. Bowman, “The Consequences of Fewer Banks in the U.S. Banking System (PDF)” (speech at the Wharton Financial Regulation Conference, Philadelphia, Pennsylvania, April 14, 2023). Return to text

    MIL OSI USA News

  • MIL-OSI United Kingdom: John Flint to step down as National Wealth Fund CEO in the summer

    Source: United Kingdom – Executive Government & Departments

    John Flint to step down from his role as CEO of the National Wealth Fund (NWF) in the summer, after four years of public service.

    • Flint has successfully led the NWF through its recent transformation, building on his leadership of the UK Infrastructure Bank (UKIB).
    • Since launch the NWF has unlocked £1.6 billion of investment in support of the government’s growth and clean energy missions, as part of the Plan for Change.
    • The recruitment process for his successor will start shortly.

    John Flint is to step down from the role of the CEO of the National Wealth Fund (NWF) in the summer after seeing through the transition from the UK Infrastructure Bank (UKIB). 

    Appointed as CEO of UKIB in 2021, Flint led the organisation from a start-up to an established feature of the UK investment and policy landscape.

    In October 2024, UKIB was transformed into the NWF with Flint taking on the role of CEO of the new organisation. Since then, Flint has driven forward the transformation of the institution, with its broader mandate to support the government’s growth and clean energy missions through its partnership with the private sector and local government.

    Since its launch the NWF has invested in 11 deals, securing 8,600 jobs and unlocking £1.6 billion in investment spread right across the industries that turbocharge growth in our economy as government’s number one mission – from clean energy to digital infrastructure.

    Backed by capitalisation of £27.8 billion, the NWF has been established to mobilise over £70 billion of business investment and help kickstart economic growth as part of the government’s Plan for Change.

    The NWF has also recently committed to trialling strategic partnerships with local government, starting in Greater Manchester, West Yorkshire, West Midlands, and the Glasgow City Region. These partnerships will provide enhanced, hands-on support with tailored commercial and financial advice to help regions develop and secure long-term investment opportunities.

    Chancellor of the Exchequer Rachel Reeves said: 

    John Flint has been an outstanding CEO of UKIB and the NWF. He will leave behind a considerable legacy – having led the scale-up of UKIB and its transformation into the NWF. I would like to thank him and wish him well.

    His successor will be required to build on his work by backing businesses and our local leaders to invest in the industries of the future. In doing so we can get Britain building the infrastructure we need to grow as part of our Plan for Change.

    John Flint said:  

    It has been a huge privilege to lead UKIB and NWF, working with some of the brightest and best of the public and private sectors. After successfully leading the transformation of UKIB into the NWF, this summer will be the right moment to hand over to a successor and look for a new challenge.

    I will do so feeling confident that the NWF is well positioned to mobilise billions of pounds of investment and play a leading role in supporting the government’s ambitions on growth and clean energy. I will follow its future activities with interest.

    A recruitment process to identify Flint’s replacement will launch shortly. Flint will remain as CEO until the summer to support an orderly transition to a new CEO and to ensure that momentum is maintained. 

    John Flint biography

    As Chief Executive Officer of the NWF, Flint chaired the Fund’s Executive Committee, is a member of the Board of Directors, and chairs the Investment Committee, which makes decisions on investments. 

    Previously Flint was Group Chief Executive of HSBC. During his 30-year career with HSBC, Flint built a range of skills in wholesale banking, retail banking, and Treasury and risk management. He represented HSBC in nine countries, spending much of his career in Asia. He progressed through the roles of Group Treasurer, Deputy Head of Global Markets, Chief Executive of HSBC Asset Management, and Chief Executive of Retail Banking and Wealth Management, before being appointed Group Chief Executive.

    Updates to this page

    Published 17 February 2025

    MIL OSI United Kingdom

  • MIL-OSI United Kingdom: Gallery presents Rhea Storr’s ‘Subjects of State, Labours of Love’

    Source: City of Wolverhampton

    Subjects of State, Labours of Love (2025) is a 2 part film, shot on 16mm film. The works forms an intimate portrait of Caribbean Associations in Wolverhampton from the 1980s onwards, and present day Sheffield African and Caribbean Community Association SADACCA.

    Opening on Saturday 8 March, Subjects of State, Labours of Love is presented as an immersive video installation and exhibition that captures the shared joys, celebrations, struggles, oppressions and complexities experienced by Caribbean heritage communities.

    The film captures a discussion among key people involved in Black/Caribbean community organising during the 1980s through to the present day in Wolverhampton, a turbulent time marked by race riots in major British cities, the brutal policing of Black communities and the rise of far right groups like the National Front.

    Against this backdrop, Black/Caribbean organisers provided vital community spaces at a time when Black people faced widespread discrimination and inequality in education, housing, and the job market. In the conversation, the members share their experiences of organising, the challenges they encountered, particularly related to British politician Enoch Powell’s lasting racist rhetoric, and the joys of solidarity and community.

    The second chapter of the film is an observational portrait of present day Sheffield and District African Caribbean Community Association, SADACCA. The work highlights how SADACCA, which used to be a manufacturing site, now serves as a valuable resource for the community and a central part of the social fabric of the city. This chapter also looks at the importance of archiving from the perspective of what future generations of Black people living in the UK might need, and how their changing position in UK society influences the viability of the space.

    Councillor Chris Burden, the City of Wolverhampton Council’s Cabinet Member for City Development, Jobs and Skills. said, “Subjects of State, Labours of Love is a stunning exploration of Caribbean heritage and community resilience.

    “Through Rhea Storr’s evocative 16mm film installation, visitors will be able to uncover the power of shared stories, celebrations, and struggles that shape identity and inspire connection.

    “It is a must see journey through memory, history, and cultural pride.”

    Jenny Waldman, Art Fund Director, said: “Rhea Storr’s powerful new work, Subjects of State, Labours of Love, sheds new light on the rich history and important contributions of Caribbean communities in the UK. Commissioning contemporary artists to create new work helps keep museum collections dynamic and engaging. We’re delighted to support the commissioning of this new work and its acquisition for Wolverhampton Art Gallery’s collection.”

    Commissioned by Film and Video Umbrella, Site Gallery and Wolverhampton Art Gallery, the commission and its acquisition by Wolverhampton Art Gallery are made possible with Art Fund support. It is supported using public funding by Arts Council England.

    The exhibition is open from Saturday 8 March until Sunday 8 June 2025 and entry is free. Wolverhampton Art Gallery is open Monday to Saturday from 10.30am to 4.30pm and Sunday from 11am to 4pm. For more information, please visit Wolverhampton Arts and Culture.

    MIL OSI United Kingdom

  • MIL-OSI United Kingdom: Innovation@Leeds funding aims to provide launchpad for future business success

    Source: City of Leeds

    Funding has been confirmed for seven projects that will provide support to business trailblazers in Leeds and strengthen the city’s reputation as an innovation hotspot.

    Leeds City Council’s Innovation@Leeds programme recently invited grant applications from organisations that were ready, willing and able to use their expertise to turbocharge the development of a new wave of digital and tech-savvy companies.

    A total of 40 applications were received, with the seven successful bidders – chosen by the council following a competitive selection process – each receiving a grant of up to £25,000.

    They will now use the funding to run a range of knowledge-sharing events and mentoring programmes aimed at people from diverse communities and backgrounds who want to launch or further develop their own innovation-led businesses.

    This work will, it is anticipated, help the participants build the kind of skills and contacts that will prove crucial as they look to carve out their own niche in fields such as artificial intelligence or health and financial tech.

    In the longer term, it is hoped their businesses will go on to deliver cutting-edge products, processes and services that make Leeds a healthier and greener place to live.

    The grants are also designed to benefit the Leeds economy by driving inclusive growth while showcasing the city’s innovation strengths to outside investors.

    The initiatives that have been chosen to receive funding are:

    • GreenTech Gathering, four full-day workshops that will provide green technology businesses with expert insight in areas such as investor readiness and brand strategy. The sessions will be delivered with support from madeby.studio, Sustainable Ventures, Bruntwood SciTech and Optimo;
    • A programme of mentoring, workshops and public speaking opportunities – delivered by FinTech North – that will help aspiring entrepreneurs and future business leaders develop their pitching and presenting skills;
    • The Brand Lab, which will see creative design studio Buttercrumble running a series of workshops focused on how tech organisations can connect with target audiences through the use of techniques such as visual storytelling and inclusive communication;
    • Athena VC Elevate, a venture capital-focused programme – being run by Lifted Ventures – that will aim to give business founders the tools and knowledge they need to achieve rapid growth and long-term success;
    • A programme of business support – including grant-writing assistance and one-to-one mentoring – delivered by Quick Labs, a science innovation hub that provides affordable, fully-equipped laboratory space for early-stage tech start-ups;
    • Global Innovators, a project designed to help innovative businesses better understand – and realise – their international growth potential. The programme will be delivered by Creaticity, Synhrgy and Investor Ladder;
    • AI 360 Leeds, an AI Tech UK business support programme that will give start-ups, entrepreneurs and others the chance to find out more about artificial intelligence strategies and how they can be used to power growth.

    Innovation@Leeds was launched by the council in 2021 to try to ensure that opportunities in sectors such as digital are made available to all.

    The programme’s latest grants are being funded through central government’s UK Shared Prosperity Fund, which is administered locally by the West Yorkshire Combined Authority.

    The award of the grants will align with a city-wide vision – co-created by the council with key local partners – for stimulating innovation in a way that has a positive social impact.

    One aspect of that vision is the further development and transformation of the Leeds Innovation Arc, an area on the west side of the city centre that is home to globally-renowned educational, health and cultural establishments as well as an array of start-ups, scale-ups and major businesses.

    Councillor Jonathan Pryor, Leeds City Council’s deputy leader and executive member for economy, transport and sustainable development, said:

    “We are determined, as a council, to play our part in giving people from all backgrounds and communities the opportunity to make the most of their potential.

    “These Innovation@Leeds grants are a great example of how that ambition can be achieved, with the chosen projects set to offer expert insight and guidance to a diverse range of founders, entrepreneurs and thinkers.

    “Their success will be the city’s success, as a productive future for their businesses will have a positive wider impact on Leeds and its economy through the creation of jobs and other opportunities.

    “By sharing knowledge and expertise, the projects also underline how a collaborative approach to working can help our thriving innovation sector reach even greater heights.”

    ENDS

    MIL OSI United Kingdom

  • MIL-OSI United Kingdom: Madagascar’s WTO Trade Policy Review: UK Statement

    Source: United Kingdom – Government Statements

    UK Statement at Madagascar’s World Trade Organization Trade Policy Review. Delivered on 12 February 2025.

    1. Let me begin by offering a warm welcome to the delegation from Madagascar led by Her Excellency Priscilla Andrianarivo. I thank Madagascar for the significant preparations and work which I know go into a Trade Policy Review and we express our gratitude to colleagues from the WTO Secretariat for their respective reports, and as ever, to our Discussant, Her Excellency Ms Clara Delgado Jesus, for their insightful comments.

    2. Chair, we are grateful for the Reports provided by this Trade Policy Review, which have given us important insights into Madagascar’s own economic efforts, and reforms, over the review period.

    3. As we have heard this morning regarding Madagascar’s aspirations on trade, the Reports highlights the growth in trade Madagascar has seen over the period of review, initially accounting for just under half of GDP to now over two thirds.

    4. We welcome continued efforts to integrate into global supply chains and note that this is key to addressing the severe levels of poverty that are present. The Reports note the importance of Madagascar realising its growth potential through improving the economy and tackling corruption; we look forward to supporting Madagascar to go further and faster on this.

    5. We hope to also see further growth in Foreign Direct Investment; Madagascar’s location and array of resources make it an attractive destination for this and we hope to see the recent reforms to the Mining Code and the introduction of the new Investment Law create even more opportunities here. In this context it would be remiss of me not to mention the opportunities that the International Foodservices Distribution Association (IFDA) could afford here and we encourage Madagascar to consider their participation.

    6. Chair, the UK and Madagascar have a positive and longstanding relationship. As well as being the first official diplomatic partner Madagascar ever had, the UK and the English language has been a consistently trusted and regular feature in Madagascar.  We are particularly pleased to see this relationship marked last November by Lord Collins, FCDO Minister for Africa, meeting with General Ravalomanana.

    7. This was a valuable conversation and we were particularly pleased to hear of the focus on deforestation and the importance of raising awareness on its impact. One of the first things most people picture when thinking of Madagascar is your beautiful landscapes. These initiatives are crucial in preserving Madagascar’s natural environment, ensuring its beauty and biodiversity remain intact for future generations, as well as visitors.

    8. In this conversation we also encouraged Madagascar to interrogate the decline in per capita income since independence in 1960 and promoted the need for national industrialisation to tackle extreme poverty. We discussed economic diversification and the value of new partnerships. We look forward to seeing increased efforts to deliver regulatory reforms and the types of government-backed initiatives that make Madagascar a more accessible and easier-to-navigate option for foreign investors.

    9. Our relationship recently reached another significant milestone with Madagascar entering into our regional Economic Partnership Agreement. This will offer better access to the UK market, stimulate growth through foreign investment and increase development cooperation, which can support infrastructure, natural resources, and environmental projects in Madagascar. We hope this year we can propel our technical engagement in order to see trade between our countries flourish.

    10. There are also some exciting engagements to look forward to. Next week, the International Trade Centre and the UK Trade Partnerships Programme bring together operators in the textile industry to prepare Malagasy enterprises on the new sustainability regulations for UK market and the EU.

    11. I also welcome Madagascar’s efforts to support women in trade and gender equality, in particular its work to meet AfCFTA protocols [the African Continental Free Trade Area]. The UK encourages Madagascar’s engagement in the important work happening here in Geneva too, to which they can make valuable contribution, not least the Informal Working Group on Trade and Gender, of which my Ambassador co-chairs, along with our esteemed discussant today.

    12. As a member of several negotiation groups at the WTO, such as the G90, the African Group, ACP, the LDC group and the G33, we hope Madagascar continues to make the most of support available to LDC Members. For example, the Enhanced Integrated Framework, providing in-country technical assistance and the Advisory Centre on WTO Law which provides legal support on WTO issues, both of which the UK is very pleased to support.

    13. As we consider participation in activities here in Geneva, and the opportunities, I would also like to take this opportunity to encourage Madagascar to ratify the ‘Fish 1’ agreement, as well as to consider their participation in the e-commerce JI, and on domestic regulation, in addition to the aforementioned IFDA.

    14. Chair, Trade Policy Reviews are an important time of reflection. It is a time to both take stock of successes and to set goals. In this regard, it is positive to hear that the government has expressed willingness to liberalise the market and to attract more investors, notably with the promotion of the Special Economic Zone and the new Investment Law.

    15. We encourage Madagascar to address barriers around monopolies and dominance in certain markets. We look forward to proactive steps to encourage competition, particularly in the telecommunications, vanilla, lychee, and renewables industries.

    16. I’d also like to take this chance to underline the valuable potential for expansion in renewable energy in Madagascar and say that the UK is committed to accelerating the global clean power transition and to work with countries who share our ambitions on this.

    17. Finally, Chair, I wanted to end with a few words of Malagasy wisdom, from the epic poem Ibonia: “So long as this tree is green and healthy, I will be all right”. Cultivating an economy aligned with the international rules-based order of which the WTO is part of will mean not just Madagascar, or the WTO blossoms: we all do.

    18. Again, I would like to thank the WTO Secretariat, the discussant and Madagascar for the huge amount of work that goes into a Trade Policy Review, and for the informative answers to our questions. We hope this will be a valuable exercise in transparency.

    Updates to this page

    Published 17 February 2025

    MIL OSI United Kingdom

  • MIL-OSI Russia: Alexander Novak took part in the board meeting of the Ministry of Economic Development

    Translartion. Region: Russians Fedetion –

    Source: Government of the Russian Federation – An important disclaimer is at the bottom of this article.

    Previous news Next news

    Alexander Novak took part in the board meeting of the Ministry of Economic Development

    At the meeting, the participants of the board of the Ministry of Economic Development summed up the main results of the department’s work for 2024. The priorities were identified as maintaining macroeconomic stability, mitigating risks in industries and increasing the potential for economic growth.

    “Despite the ongoing sanctions pressure from unfriendly countries, our economy has demonstrated a high degree of resilience. Moreover, it has shown unprecedented growth rates. GDP growth rates in 2024 amounted to 4.1%, over the past two years – 8.4%. They were the highest in the last decade. The achieved indicators are higher than the global average and significantly higher than the growth rates of Western economies. In nominal terms, since 2020, Russian GDP has doubled and amounted to 200 trillion rubles at the end of last year. Budget revenues were doubled, and the share of oil and gas revenues was reduced. This indicates the diversification of the Russian economy,” said Deputy Prime Minister Alexander Novak, opening the board meeting.

    Taking into account the current challenges, the work of the Government and the Ministry of Economic Development, in particular, is focused on solving three main tasks, noted Minister of Economic Development Maxim Reshetnikov in his report. “The first is ensuring macro stability. Together with the Bank of Russia and the Ministry of Finance, we are working on the interrelationship of monetary and fiscal policy,” he explained and recalled that this topic was discussed in January at a strategic session led by the Prime Minister.

    The second task is to mitigate risks in individual sectors due to the consequences of tightening monetary policy. The third block of questions is related to the growth of the economy’s potential. “We estimate the economy’s potential at 3% per year and believe that this parameter is achievable,” the minister confirmed.

    The head of the department emphasized the need for further support of investments in the regions and the development of existing support mechanisms. Thus, last year, special economic zones appeared in three regions (Rostov and Tver regions, Mordovia), and were expanded in seven. “A record 230 new residents came. There are 1,300 of them in total, which means that every fifth investor came last year,” he said.

    With the support of the State Duma Committee on Economic Policy, the criteria for creating SEZs have been updated to allow for the development of individual specializations. The entry threshold for investments in technical sovereignty projects has been lowered. The ban on residents pledging lease rights to state-owned land has been lifted so that investors can attract loans at the construction stage.

    The first stage of work on mechanisms that help build infrastructure for investors has been completed. “This year, the task is to restart them, preserving the main principle: to focus on projects that have effects for the economy. They will generate taxes, not costs,” added Maxim Reshetnikov.

    “We will continue to improve the business climate: reduce costs and barriers within the framework of the TDC [transformation of the business climate], reengineering the rules of industrial construction, regional and municipal investment standards. Now, together with the Agency for Strategic Initiatives, we are restarting the national business model,” the minister said.

    Speaking about other priorities for work in 2025, the head of the Ministry of Economic Development emphasized the importance of developing state statistics. A large-scale project has already been launched to digitalize statistics, collect information, and combine data with departmental systems. The task is to create a single digital statistics platform, take all interactions to a new level, reduce data processing time and the reporting burden on businesses, he noted.

    Another important area is the OKVED reform. A law has been passed that assumes that the OKVED code will not be what the enterprise once determined during registration, but will reflect the real economic structure of its activities. A lot of interdepartmental work is ahead to switch to the new system. “This is important for the formation of adequate statistics. On the other hand, we will receive an instrument of mass support for enterprises,” the minister said.

    “The Federation Council has developed very productive relations with the economic bloc of the Government. We meet almost weekly to discuss further measures to ensure the stability of the financial sector and various sectors of the economy,” said Deputy Chairman of the upper house of parliament Nikolai Zhuravlev.

    “There are many joint issues on the agenda of the relevant committees of the Federation Council. Among them are the implementation of the Strategy for Spatial Development of Russia, support for long-term investments, and reduction of the administrative burden on business. And of course, the key task for the Federation Council remains the work on improving the investment climate in the regions,” he added.

    Chairman of the State Duma Committee on Economic Policy Maxim Topilin, in turn, noted the importance of the extensive legislative work carried out by the Ministry of Economic Development. As an example, he cited the law on creative industries, on technology policy, and changes to the law on concessions. In addition, according to him, existing support measures need to be accumulated within a single Internet platform, similar to government services.

    “Even seven or eight years ago, government services existed, in essence, in the form of a description of certain administrative regulations. Today, most of them can be obtained electronically. For business structures, it is necessary to set the task of creating similar access to the full range of support measures, everything related to preferential regimes,” the deputy said.

    Please note: This information is raw content directly from the source of the information. It is exactly what the source states and does not reflect the position of MIL-OSI or its clients.

    MIL OSI Russia News

  • MIL-OSI Economics: Eddie Yue: Navigating new growth corridors in Asia-Pacific

    Source: Bank for International Settlements

    Ladies and Gentlemen, good morning.

    Let me first thank ASIFMA for inviting me here today, and also for hosting this flagship conference in Hong Kong again.

    The theme of this year’s conference, “Navigating New Growth Corridors in Asia-Pacific”, is very timely. The region is undergoing profound transformation, driven by a host of factors including the realignment of global supply chains, shifting economic landscapes, changing investment and consumption patterns, etc.  These factors have resulted in more frequent economic interaction among some of its key economies, particularly between China and ASEAN.  Over the last couple of years, we have often heard the catchy term “corridor business” or “network business”, which describes the commercial opportunities that could arise from such interaction.  What I hope to do today is to share with you what I see are the fundamental forces underpinning these corridors or networks, how Hong Kong has been positioning itself for the resulting opportunities, and what more needs to be done.

    The New Growth Corridors

    Let me start with the forces that are reshaping cross-border commerce and business in the region.

    First is the changing pattern of trades. Part of that and also the headline-grabbing part is driven by changes in geopolitical dynamics and trade policies in the west.  But there are longer term economic considerations too.  Asia is no longer just the world’s factory or a source of low-cost labour.  It has emerged as a powerhouse of innovation and consumption, with China leading the way.  Policies also play a part.  Trade agreements such as the Regional Comprehensive Economic Partnership (RCEP) are facilitating the flow of goods and services in the region.

    The result of these is a stronger trade relationship between China and ASEAN. By 2024, ASEAN has become China’s largest export destination and import source, accounting for 16.4% of China’s exports and 15.3% of imports in 2024.

    Arguably more important is that we are seeing deeper integration of supply chains in the region. In 2023, close to 10% of ASEAN exports were value added sourced from China, almost doubling the share in 2017.  This reflects how China and ASEAN are more tightly wedded together to form an integral part of the global supply chain.

    The second factor is the growth of cross-border investment. This is the most notable in foreign direct investment.  In 2023, China’s FDI to ASEAN reached USD 25 billion, an increase by over one-third in just one year.  As of July 2024, the cumulative bilateral investment between China and ASEAN surpassed USD 400 billion.  Chinese investments cover not only manufacturing sectors, but also increasingly in emerging fields such as the digital economy and the green economy.  On financial investments, China’s investment in ASEAN securities has also seen rapid growth in recent years, hitting USD 18.5 billion as of June 2024, with a yearly growth of over 20%.

    Hong Kong’s Unique Role

    Now, what is Hong Kong’s role as we see the rapid growth of the China-ASEAN corridor?

    As a leading international financial centre in Asia, Hong Kong has always been a key provider of efficient cross-border payments and financing services to support the region’s trade and investment. Of the roughly USD 50 billion outstanding trade finance loans offered by banks in Hong Kong, around 40% were used to finance merchandise trade not touching Hong Kong, reflecting Hong Kong’s role in financing trades in the broader region.

    In fact, our role in trade finance is becoming more significant as RMB gains recognition as an international currency. Data from SWIFT shows that RMB’s share in the global trade finance reached 6.4% in November 2024, ranking second just after the US dollar.  As the world’s largest offshore RMB hub, Hong Kong handles approximately 75% of all offshore RMB transactions, particularly those related to cross-border trade payment and settlement.  This strong position in RMB business, together with our extensive offshore RMB liquidity pool, allow us to provide the most cost-effective RMB trade finance solutions, so that ASEAN exporters and importers can settle their transactions with China conveniently in offshore RMB.

    Let’s turn to our role in cross border investment. Hong Kong has always been the key intermediary for investment going into and out of the Mainland, handling about two-third of such flows in the past few decades. 

    And we do much more than just passing money from one hand to another. Hong Kong’s capital market has been a key venue for raising capital by firms across the region.  Our equity market has continued to be one of the world’s most liquid and resilient, even with the challenging macro environment.  With improved investor sentiment, our market is rebounding and our IPO market returned to the fourth place globally in 2024.  Less visible but no less important is our bond market.  According to our internal analysis, over USD 130 billion of Asian international bonds were arranged in Hong Kong in 2024, with a yearly growth of more than 50%, making Hong Kong the largest bond arranging hub in the region.  As in the case of trade financing, RMB’s share of investment and fundraising activities in the region has also been on the rise.  In the first three quarters of last year, dim sum bond issuance in Hong Kong totalled over RMB 770 billion, increasing by 35% over 2023.

    Enhancing the Trade and Financial Corridors

    All this is good. But what do we need to do next to strengthen our role in enhancing this important growth corridor?  Naturally, as the region’s trade, economic and investment landscapes continue to shift, Hong Kong would have to broaden and adapt our offerings to maintain our leading position.

    Part of this involves building on our traditional strengths. For example, the HKEX introduced a new listing route in 2023 to facilitate the listing of specialist technology companies, which aims at further supporting companies in accessing capital to fund their innovative ideas and drive growth.  For the bond market too, the HKMA and the SFC have jointly established a task force with market participants to explore ways to further promote Hong Kong’s status as a premier fixed income and currency hub.

    With RMB taking up an increasingly larger share of cross-border trade and investment, we have also been beefing up our RMB offerings. On liquidity for example, just last week, we launched the offshore RMB repo business using Northbound Bond Connect bonds as collateral; and HKEX will also soon allow the use of these bonds as margin collateral at OTC Clearing Hong Kong.  To further support trade financing, the HKMA will introduce the RMB Trade Financing Liquidity Facility next week.  The facility will provide banks in Hong Kong with up to RMB 100 billion in liquidity for up to six months, and that will help reinforce Hong Kong’s position as the global leader in offshore RMB business.

    We are also making systematic efforts to look at what more needs to be done to ensure that Hong Kong continues to stay at the forefront. As announced by the Chief Executive in last year’s Policy Address, the HKMA has established a working group to study future supply chain shifts and develop policy recommendations to enhance Hong Kong’s capacity for the related financial services.  The Hong Kong Association of Banks is also setting up a new committee on corridor business. 

    While this is probably not the right occasion to discuss in details the findings of such groups, I would just like to outline three themes emerging from the study as key to capturing the opportunities from the new business corridors in the region.

    First is the importance of digitalisation and innovation, in order to reduce cost, enhance efficiency, and enhance security and reliability. Trade finance is an area ripe for “digital disruption”.  Over the years there have been attempts within the industry to go “electronic” in trade documentation and in obtaining trade financing.  But there is still a lot more that we collectively can help improve.  For instance, we are experimenting with tokenisation use cases in the area of trade and supply chain finance through our Project Ensemble Sandbox.

    The second key theme is sustainability. If you just look at the news headlines, it is hard to shake the impression that sustainability is on the retreat.  To us at the HKMA though, our commitment to an orderly and inclusive transition is as firm as ever.  Last October, we launched the Sustainable Finance Action Agenda, setting out our vision to further consolidate Hong Kong’s position as the sustainable finance hub in the region and support the sustainable development of Asia and beyond.  This commitment is underpinned by two beliefs.  First, our moral obligations, particularly given that the region is the world’s biggest emitter and many of the region’s emerging markets would be badly affected by climate change.  Hong Kong, as the region’s financial centre, has the duty and capability to help. 

    But our commitment is also underpinned by our belief that sustainability is a good business. Hong Kong is Asia’s largest location for issuing international green and sustainable bonds, with over USD 40 billion of these bonds issued here in 2024, capturing 45% of the regional market.  If we include green and sustainability loans as well, total green and sustainable credits issued in Hong Kong exceeded USD 80 billion.  Despite the news headlines, sustainability initiatives across the world, from disclosure standards and climate risk management practices, are coming into force.  They would bring new opportunities to those that are prepared, and we want to make sure that Hong Kong is at the centre of it.

    The third key theme is engagement. Hong Kong has always been the “China gateway”.  But to continue to effectively perform this role at a time when many Mainland corporations and investors are looking abroad, and when businesses in many Asian markets are looking to do business with China, Hong Kong must also get to know these markets, and to tell them our strength.  To really get to know each of these markets, engagement is critical.  Over the past two years, the HKMA has visited various countries in the region to pursue collaborative initiatives with central banks and have welcomed delegations to Hong Kong.  Some of such interaction are being converted into tangible work.  For example, last October, the HKMA and the Bank of Thailand announced the collaboration on Project Ensemble and Project San. Together, we will explore Payment versus Payment (PvP) and Delivery versus Payment (DvP) tokenisation use cases, including trade payments and carbon credits.  The objective of such central bank collaboration is to lay a foundation for the private sector to build on and turn into concrete businesses.  That should be the focus going forward.

    Conclusion

    To conclude, I would just say that the China-ASEAN corridor is definitely expanding at a rapid pace, and Hong Kong is right in the middle. In performing our role as an international financial centre, apart from leveraging on our traditional strengths in banking services and capital markets, we need to focus more on three things: digitalisation, sustainability, and engagement.  I hope this introduction will help set the scene for your discussions through the day, and I wish you all a very successful conference.

    MIL OSI Economics

  • MIL-OSI China: China unveils measures to bolster new-type energy storage manufacturing

    Source: People’s Republic of China – State Council News

    BEIJING, Feb. 17 — Chinese authorities unveiled several measures on Monday to promote the new-type energy storage manufacturing sector, as part of efforts to accelerate the development of emerging industries and the country’s modern industrial system.

    According to an action plan jointly issued by the Ministry of Industry and Information Technology and seven other government organs, the new-type energy storage manufacturing industry refers to the sector that produces energy storage, information processing, safety control, and other products related to new energy storage methods.

    By 2027, the sector is expected to demonstrate international competitive advantages across the entire manufacturing chain, with a greater number of leading enterprises, marked improvements in industrial innovation capabilities, and overall competitiveness while also achieving advancements in high-end, intelligent, and green development, according to the plan.

    According to the document, China will launch initiatives to boost technology innovation in the new-type energy storage sector. These initiatives will include measures to speed up the upgrading of mature technologies such as lithium batteries and support disruptive technological innovations.

    The country will also promote coordinated industrial development. Efforts should be made to strengthen the monitoring and early warning of lithium battery production capacity, prevent reckless investment, and guard against the risk of disorderly development.

    The document underlined the importance of supporting upstream and downstream enterprises in the new-type energy storage manufacturing sector to optimize their energy consumption structure, improve energy utilization efficiency, and expand the proportion of renewable energy in the manufacturing process.

    Efforts will be made to promote the application of new-generation information technologies such as blockchain, big data, artificial intelligence, and 5G in the new-type energy storage manufacturing sector, according to the document.

    To beef up international cooperation in the new-type energy storage sector, China will work to incorporate collaboration in the field into international cooperation mechanisms and frameworks such as the Belt and Road Initiative and BRICS and promote mutually beneficial cooperation on industrial and supply chains.

    MIL OSI China News

  • MIL-OSI Economics: Christodoulos Patsalides: The Central Bank of Cyprus agenda – strategic vision and priorities

    Source: Bank for International Settlements

    Introduction – Strategic Vision Statement and Elaboration

    Distinguished guests, esteemed colleagues,

    I would like to extend my sincere thanks to the organizers of the 12th Banking Forum and Fintech Expo for bringing us together for this important exchange of ideas and insights.

    It is my privilege to have today the opportunity to present the strategic vision and priorities of the Central Bank of Cyprus. In an ever-evolving global and digital economy, we are committed to leading the way in fostering a resilient, innovative, and sustainable financial sector for Cyprus. Our agenda focuses on embracing digital transformation, ensuring robust governance, addressing societal and environmental challenges, and safeguarding financial stability.

    Today, I will outline our key priorities, including advancements in the digital economy, the evolving role of digital payments, the potential introduction of a digital euro, and the regulatory frameworks that ensure responsible governance and societal considerations in our financial systems. Through these efforts, we aim to strengthen Cyprus’ position as a dynamic player within the European financial landscape.

    Cyprus Economy

    To ground our strategic vision, we must first examine the economic landscape in which the Cyprus economy operates. With its key sectors-ICT (Information Communication Technology), tourism, trade, shipping, and construction-, the economy has demonstrated resilience and adaptability despite the consecutive significant geopolitical challenges, including the ongoing conflicts in Ukraine and the Middle East. In recent years, Cyprus has achieved robust growth rate well above the EU average and maintained a strong fiscal position, consistently posting surpluses that have bolstered public finances. As a result, international rating agencies have upgraded their ratings well within the investment grade, highlighting our sound economic management, fiscal discipline, and reforms in the banking sector.

    Banking Sector in Cyprus

    Building on the strength of our economy is the Cypriot banking sector, which has built up remarkable resilience and robustness despite a series of unprecedented and successive crises in recent years. The sector’s solvency, as indicated by the Common Equity Tier 1 (CET1) ratio, rose to 23,5% in the third quarter of 2024, achieving its highest level on record and significantly surpassing the European average of 16,0%. Additionally, the Liquidity Coverage Ratio (LCR)-a key indicator of credit institutions’ capacity to withstand severe liquidity stress-reached 336% in September 2024. This level exceeds the regulatory minimum of 100% by more than threefold and stands well above the European average of 161,4%. The non-performing loan (NPL) ratio fell to 6,5% in the third quarter of 2024, marking its lowest level since 2014, when the NPL definition was standardized across the European Union.

    However, there is no room for complacency as macroeconomic uncertainty, geopolitical risks, and emerging threats like cyber and climate risks grow. Banks must adapt quickly to identify and address these evolving challenges effectively. Moreover, technological advancements bring about a new landscape in which banks are called upon to compete. The pursuit of an appropriate business model is key.

    Digital Economy and Global Digital Trends

    As we look toward the future, the digital economy emerges as a defining feature of global trends. Technology has the ability to sustain and improve our standards of living and the long-term productivity of our economy. Examples of innovative technologies used in financial services (usually referred to as FinTech) include artificial intelligence, cloud computing, digital wallets, big data analytics and biometrics. These technologies have been applied to improve customer service, automate payments, reengineer business processes, detect suspicious activity, and assist with customer profiling and digital onboarding. However, we are yet to see the realization of potential in other promising new technologies such as distributed ledger technology (DLT), smart contracts and tokenization.

    As technology becomes more widespread in our evolving digital economy, cyber risk and data security continue to be by far the most prominent driver of operational risk for banks. Technological advances with increased sophistication, growing reliance on digital solutions, but also growing capabilities of cyber offenders, have all resulted in enhanced risk exposure for banks, including vulnerability to sophisticated cyber-attacks. Cyber risk is often driven by geopolitical risk, thus raising overall risk to a much higher level. Supervising these risks remains one of our priorities.

    To take full advantage of the potential of innovative technologies responsibly while managing risks, common supervisory and regulatory approaches are essential. The EU has introduced key legislation such as DORA, PSD3, FiDA, MiCAR, and the AI Act, which aim to strengthen financial sector resilience and boost consumer and investor confidence by guiding responsible innovation. Recognizing the evolving market dynamics, the Central Bank of Cyprus has established an Innovation Hub to foster dialogue with fintech stakeholders and support domestic financial innovation.

    Digital Payments in Cyprus

    A key element of the digital economy is the rapid rise of digital payments. We find ourselves in an era where digital transformation is reshaping economies, and Cyprus is no exception. One of the most prominent trends is the proliferation of digital payments, which now capture around 96% of cashless payments. At the same time, preference for cash payments is shrinking, as evidenced by a remarkable decline of 11% since 2022 that placed Cyprus at the top of euro area countries. Cypriots use cards 1,3 times more frequently than their European peers, while our contactless card payments capture more than half of all card payments consistently since 2022. This reflects the readiness of local businesses to accept cards and to opt for terminals that embed Near-Field-Technology. 

    In the same vein, e-commerce exhibits gradual expansion, manifested by online purchases via cards almost doubling over a six-year period to 28% of the total of card payments. It is indeed remarkable that the use of mobile phones for online purchases has almost reached one quarter of the total, outperforming the EU average which stands at 16%.

    As of the 9th of January of this year, instant payments have become a reality for all banking participants. This signifies that account-to-account payments can be effected at the speed that people demand in the digital and social media age: transmission within 10 seconds, with immediate access to funds on a 24/7/365 basis, as opposed to the current 1-2 days waiting time. Consumers and businesses will reap the benefits in the months to come. 

    Electronic Money Institutions & Payments Institutions

    E-money payments are gaining traction, driven by opportunities in fintech, e-commerce, and digital payments. Having licensed 4 electronic money institutions this year, the Central Bank of Cyprus now supervises 27 electronic money institutions and 11 payment institutions. 

    As part of our broader strategic agenda, we are committed to drawing on international experience in supporting the Central Bank of Cyprus in refining its approach for regulating, licencing and supervising Electronic Money Institutions (EMIs) and Payment Institutions (PIs) in Cyprus.

    In December, the CBC, announced the establishment of a comprehensive licensing and supervisory strategy for the sector of these institutions.

    For the development of this strategy, the CBC appointed an international consultancy firm whose experts, in collaboration with CBC staff, conducted an analysis of the sector and its inherent risks.

    The objective of the new strategy is to pursue the prudent and sustainable growth of the sector. Among other measures, the strategy includes:

    • The enhancing and enriching of the licensing processes for institutions applying to participate in the sector.
    • The Strengthening of the supervision of institutions by implementing a risk-based supervisory approach for each institution and enriching supervisory tools. 
    • And the adoption of best practices for the operation of the sector.

    To achieve these objectives, a Division for the Supervision of Electronic Money and Payment Institutions is being established, which will henceforth undertake the prudential supervision of the sector.

    Digital Euro

    Moving on to the digital euro, I will give a brief status update from last year’s forum. As legislative negotiations continue in Brussels, the Eurosystem is progressing through the first part of the preparation phase for the digital euro, focusing on calibrating the holding limits without compromising financial stability or bank intermediation as the banks will retain their role vis-à-vis their customers. The ECB continues to rapport with the market, with specific holding entitlements to be defined later. The rulebook formulation, developed with stakeholder input, will set standards for future digital euro distributors, leveraging existing frameworks for cost efficiency and allowing flexibility for innovation. Consumers and businesses prioritize functionalities like conditional payments and effortless bill-splitting, guiding expectations for future services.

    Moving on to the platform and infrastructure preparations, the ECB is now selecting candidates from its recent application process and plans to enhance engagement with distributors to ensure readiness for the potential issuance and successful distribution of the digital euro, if and when the decision to issue is made.

    Allow me to take a moment to refer to our efforts at raising awareness within our market through various communication channels, targeting the general public, the business community, and financial institutions. Aside from articles that we regularly publish in the press and on professional social networking platforms, we invite various stakeholder groups to the CBC premises. Last July we gave a press conference with Mr Piero Cipollone, member of the Executive Board of the European Central Bank, as keynote speaker. In November we held a focus session with business associations and their members, and in December we presented a thorough status update of the project to the members of our National Payments Committee. Last but not least, the Central Bank of Cyprus participates in panel discussions and presents the digital euro project at various local and international conferences.

    ESG Regulatory Landscape: Governance, Society, and Climate Change

    A. Governance

    As we embrace these innovations, we remain steadfast in our commitment to strong governance. Governance, a core pillar of ESG, is crucial in enhancing transparency, accountability, and ethical standards in financial institutions. Strong governance enables sound lending decisions, reduces conflicts of interest, and ensures compliance with regulations including the updated Directive on Corporate Sustainability and ESG provisions in the recently enacted CRD 6, protecting institutional reputation and minimizing financial risks.

    B. Encompassing Society Considerations in Business Activity: Financial Conduct

    Social factors, including diversity, labour practices, community engagement, and adherence to human rights standards, are also vital for modern credit institutions. Embedding diversity in governance and fair pricing in operations fosters trust among stakeholders, promotes financial inclusion, and enhances institutional resilience, strengthening reputation and market standing.

    C. Climate Change – CBC Initiatives

    The Central Bank of Cyprus actively engages in thematic reviews, stress tests, and in-depth analyses led by the European Central Bank to assess institutions’ preparedness on climate risk and its integration into their strategy, governance, risk management and disclosures. This supervision helps ensure credit institutions speed up their preparations to manage ESG risks while meeting necessary sustainability and resilience standards. Additionally, the smaller institutions, directly supervised by us, were requested to develop implementation plans, with specific milestones, in order to advance the management of climate related risks, in line with the ECB’s 13 supervisory expectations which stipulate how banks should integrate climate and environment risks into their business models and strategies, governance and risk appetite.

    Beyond what is expected from the supervised institutions, the Central Bank of Cyprus has set up internally a Sustainability Team, aiming to support the CBC in addressing climate change in line with its mandate to maintain price stability, safeguard financial stability, supervise banks and support the general economic policy of the State, while also contributing to the target of net zero carbon emissions, and the continuation of strong governance. The recent visit of Mr Frank Elderson, member of the ECB’s Executive Board and Co-Chair of the Task Force on Climate-related Financial Risks of the Basel Committee on Banking Supervision touched upon these issues as well.

    Concluding remarks

    Let me now conclude: the strategic vision of the Central Bank of Cyprus is built on the pursuit of price stability and financial stability in its capacity as the macroprudential authority of the country. By embracing the digital economy, ensuring robust governance, and addressing climate change, we are positioning Cyprus as a forward-looking financial hub in Europe. Together, we will navigate the challenges and opportunities of the future, ensuring stability and prosperity for all.

    MIL OSI Economics

  • MIL-OSI Economics: Christodoulos Patsalides: Cyprus and the euro area – navigating growth, stability, and opportunities

    Source: Bank for International Settlements

    I would like to thank the Cyprus Shipping Chamber for giving me the opportunity to address this meeting today and discuss key economic developments. My remarks will begin with an overview of Cyprus’ economic performance. I will then discuss the notable progress achieved in the banking sector and underscore the critical role of the shipping industry in driving export revenues. Following this, I will turn to the broader economic outlook for the Euro Area, concluding with insights into the European Central Bank’s latest monetary policy decision on achieving price stability.

    Domestic economic outlook

    The Cypriot economy continues to exhibit robust growth, despite facing persistent external challenges in a turbulent and uncertain global environment. Geopolitical risks, such as the ongoing war in Ukraine, conflicts in the Middle East, and rising international tensions, have elevated economic uncertainty.

    Amidst these conditions, the Cypriot economy has consistently demonstrated remarkable resilience and flexibility. This is clearly reflected in its recent upgrades by credit rating agencies to the “A” category, further cementing its reputation in international financial markets. These upgrades underscore the growing confidence in Cyprus’s fiscal policies and the solid outlook for its economic and banking systems.

    Improved fiscal performance has been a cornerstone of these positive developments. Public debt has been reduced significantly, declining from 114% of GDP in 2020 to 74% in 2023, highlighting disciplined financial management. Projections from the Ministry of Finance indicate that this downward trajectory will continue, with public debt expected to fall below 50% of GDP by 2028. This progress strengthens fiscal sustainability and enhances the country’s ability to respond to future challenges, reflecting a strong commitment to long-term economic stability.

    According to the December 2024 projections of the Central Bank of Cyprus (CBC), economic growth for 2024 is expected to reach 3.7%, significantly higher than the projected Eurozone average of 0.7%. The expansion of productive sectors such as technology, trade, tourism, financial and professional services, shipping, and construction-particularly large private sector infrastructure projects-has been a key driver of growth.

    For the period 2025-2027, GDP is expected to grow by approximately 3% annually, driven primarily by a projected increase in domestic demand and, to a lesser extent, external demand. Domestic demand is expected to be supported by a rise in private consumption due to the increase in real disposable household income and the continued resilience of the labour market. Additionally, domestic demand will benefit from ongoing large-scale private non-residential investments, infrastructure projects aimed at supporting digital and green development, and other reform projects under the Recovery and Resilience Plan.

    Regarding the shipping sector in particular, our small island has a maritime history spanning hundreds of years, and it is rightly is considered as one of the main pillars of the Cypriot economy. The country’s maritime industry considerably contributes directly and indirectly to the country’s GDP. Based on 2023 data, the shipping sector ranks third with a share of 17.2% to the total value of exports of services, after the Information and Communication Technology sector, the financial services and the tourism sectors, with shares of 30.2%, 20.3% and 11,5% respectively. In view of the aforementioned figures, it is evident that the sector managed to stay focused and strong despite the unprecedented challenges faced in the last few years, namely the covid pandemic, the wars in Ukraine and Gaza as well as the tensions in the Red Sea. 

    The strength of the labour market further reinforces this positive narrative. Unemployment has declined to 5% in the first nine months of 2024, compared to 5.8% in 2023. It is projected to remain at 5% for the full year and to fall further to 4.6% by 2027, approaching levels indicative of full employment. These figures compare favourably to the euro area, where unemployment is forecast to stabilize at 6.1% by 2027.

    On the prices front, inflationary pressures have eased significantly, with inflation dropping to 2.2% in the first eleven months of 2024, compared to 4.1% in the same period of 2023. According to the CBC’s December 2024 projections, inflation is expected to stabilize near the 2% medium-term target, reaching 1.9% in 2025, 2.1% in 2026, and 2.0% in 2027.

    The Cyprus banking sector

    The Cyprus banking sector has demonstrated tangible progress and resilience, with key financial metrics reflecting a strong and sound performance. A primary indicator of this strength is the solid improvement in terms of solvency, with the Common Equity Tier 1 (CET1) ratio increasing from 21.5% in December 2023 to 23.5% in September 2024. This increase marks the highest CET1 ratio in the Union, surpassing the EU average of 16.0%.

    Despite the challenges posed by consecutive crises, no tangible signs of credit quality deterioration are observed up to this point. In fact, the Non-Performing Loans (NPL) ratio has continued its positive downward trend. As of September 2024, the NPL ratio stands at 6.5%, a marked improvement from 7.9% in December 2023. This reduction reflects the sector’s ongoing commitment to addressing legacy issues, bolstering the financial health of the asset side of its balance sheet, and reinforcing its capacity to support economic recovery. Yet, there is still some way to go, particularly considering that the average NPL ratio of the EU sector stands as of September 2024 at 1.9%. Furthermore, the improvement within the Cyprus banking sector has not been homogeneous across all institutions, with certain banks lagging behind. These institutions must therefore accelerate their efforts to align with the sector-wide advancements.

    Profitability metrics have been robust, with the Return on Equity (RoE) reaching 23.2% in September 2024 as opposed of 11,1% of the EU average. Operational efficiency has improved as the cost-to-income ratio declined to 35.5%, a notable reduction from previous years and lower than the EU average of 53%.

    Cyprus banks also exhibit some of the highest liquidity standings in the EU, reinforcing their ability to meet potential liquidity demands. The Liquidity Coverage Ratio (LCR), a measure of a bank’s ability to withstand large liquidity outflows under a stressed period, stands as of September 2024 at 336%, compared to the EU average of 161% and minimum requirement of 100%. Furthermore, the Net Stable Funding Ratio (NSFR), which assesses the stability of a bank’s funding base, stands also high at 187%, surpassing both the EU average of 127% and the minimum regulatory requirement of 100%. The Cypriot banking sector is thus well-positioned to face potential market disruptions and continue driving economic stability.

    Through the first 11 months of 2024, Cypriot banks granted €3.3 billion in new loans to households and non-financial corporations (NFCs), surpassing the already high €2.9 billion provided during the same period in 2023. A negative side effect of a strongly liquid banking sector in a small country is the slow adjustment of interest rates in response to ECB monetary policy actions. Banks must exhibit responsible pricing policies in the face of reputation risk and the need to support the competitiveness of the economy.

    Looking to the future, the banking sector faces challenges such as adapting to AI, mitigating cyber risks, addressing geopolitical uncertainties, and transitioning to a greener economy. Tackling these priorities is essential for sustaining the sector’s positive trajectory and remains central to our supervisory agenda.

    Economic Developments in the Euro Area

    The risks to economic growth continue to lean towards the downside. Increased disruptions in global trade may hinder euro area growth by suppressing exports and slowing the global economy. Additionally, reduced confidence could delay the recovery of consumption and investment beyond current expectations. The ECB’s December projections estimate economic growth of 0.7% in 2024, 1.1% in 2025, 1.4% in 2026, and 1.3% in 2027. This recovery is expected to be driven primarily by rising real incomes, which should enable households to boost consumption, alongside increased investment by firms.

    On the price front, euro area inflation rose to 2.4%, in December 2024, up from 2.2% in November, primarily driven by increased energy costs but this was expected due to energy-related upward base effects.

    Despite the upticks in recent months, the disinflation process is well on track. ECB Staff see headline inflation averaging 2.4 per cent in 2024, 2.1 per cent in 2025, 1.9 per cent in 2026 and 2.1 per cent in 2027 when the expanded EU Emissions Trading System becomes operational. Services inflation continues to be sticky at around 4%, largely stemming from the delayed catch-up adjustment of certain services prices to past inflation surges and ongoing wage pressures. At the same time, recent signals point to continued moderation in wage pressures and to the buffering role of profits.

    Inflation is expected to fluctuate around its current level in the near term. It should then settle sustainably at around the two per cent medium-term target. Easing labour cost pressures and the continuing impact of past monetary policy tightening on consumer prices should help this process. Most measures of longer-term inflation expectations continue to stand at around 2 per cent.

    ECB Monetary Policy

    Based on our updated assessment of the inflation outlook, underlying inflation dynamics, and the effectiveness of monetary policy transmission, we decided at our January Governing Council meeting to further reduce the three key ECB interest rates by 25 basis points. This adjustment brought the deposit facility rate-the primary tool for steering our monetary policy stance-to 2.75%

    Overall, the euro area’s economic environment remains intricate, with the risks to economic growth tilted to the downside and with both upside and downside risks to inflation present. The ECB continues to navigate these challenges through measured, careful adjustments in its monetary policy stance. Growth is a factor influencing inflation dynamics. It is crucial to ensure that the economy does not grow too slowly, as this could lead to inflation stabilizing below the target. As we move forward, in the current environment of elevated uncertainty stemming from potential global trade frictions and geopolitical tensions, the ECB’s prudent data-dependent meeting by meeting approach shall continue to be important in addressing the evolving economic conditions within the euro area to ensure the timely return to the inflation target in a sustainable manner. The ECB is not pre-committing to a particular rate path.

    Conclusion

    Let me now conclude: the Cypriot economy has shown resilience and adaptability, supported by strong performance, prudent fiscal policies, and a stable financial system, with key contributions from banking and shipping. As one of the pillars of our economy, the shipping sector continues to demonstrate global competitiveness and innovation, further strengthening Cyprus’s position as a leading maritime hub. Looking ahead, challenges like climate change and geopolitical risks demand strategic foresight, but Cyprus is well-prepared to sustain growth.

    At the Euro Area level, the economic outlook balances risks and opportunities, with the ECB ensuring price stability and sustainable growth through proactive, data-driven policies. By remaining data-driven and proactive, we can ensure that the monetary framework across the region remains resilient and responsive to evolving global dynamics.

    Thank you.

    MIL OSI Economics

  • MIL-OSI Economics: Ida Wolden Bache: Economic perspectives

    Source: Bank for International Settlements

    Data accompanying the speech

    “Some of the richest countries in the world are small. They are also outward looking.”

    So starts the first chapter of Victor Norman’s textbook on a small open economy. This is also an apt description of our country. Openness and trade have been essential to our prosperity.

    Victor Norman passed away last year, and with that Norway lost a leading researcher and an outstanding communicator. The first edition of Victor Norman’s book was published in 1983. The quotation I just cited is taken from the expanded edition released ten years later. That was more than 30 years ago, but the book bears its age well. The insights it provides are no less relevant today.

    The framework conditions for international cooperation and trade are in play. There is war in Europe, and the governments of many countries see a need for rearmament. In today’s world, emphasis must be placed on national security and preparedness considerations.

    But the gains from trade with other countries are still there in full, especially for a small economy like ours. Norman points out that small countries often have a narrow resource base as they tend to cover a small part of the earth’s crust. Norway, for example, is abundant in energy resources, but poor in arable land and the crop season is short. Norman posits in his textbook that if we shut ourselves out, such a resource base would have left us sitting hungry in overly heated homes. Trade with other countries allows us to decouple consumption from production. Small countries also have small markets, which means that the cost of producing some things domestically is higher than importing them. International trade expands markets. We can sell aluminium and buy aircraft.

    But as Norman writes: “Open economies are not without their problems. Small countries must (almost by definition) take the world as it is – with minimal possibility of influencing international developments.” This is something we have experienced, most recently during the pandemic and the subsequent global surge in inflation.

    MIL OSI Economics

  • MIL-OSI Global: Trump has purged the Kennedy Center’s board, which in turn made him its chair – why does that matter?

    Source: The Conversation – USA – By E. Andrew Taylor, Associate Professor and Director of Arts Management, American University

    Former Kennedy Center President Deborah Rutter walks by The Reach, a major expansion of the performing arts center completed during her tenure. AP Photo/Patrick Semansky

    President Donald Trump dismissed half the appointed trustees of the John F. Kennedy Center for the Performing Arts’ board on Feb. 12, 2025. The remaining board members, most of whom he had recently appointed, then voted to make Trump the center’s chair. The board also fired Deborah Rutter, who had served as the center’s president since 2014 and already planned to step down seven months later.

    The board replaced Rutter with Richard Grenell, who served in the first Trump administration.

    The Conversation U.S. asked E. Andrew Taylor, an arts management scholar, to explain how the Kennedy Center operates and sum up the significance of Trump’s unprecedented interference with its operations.

    Why is the government involved in the Kennedy Center?

    The Kennedy Center, a unique cultural enterprise located along the Potomac River in Washington, has a complex ownership and operating structure. The campus includes three large performance halls, two midsize theaters and many smaller venues and public spaces that host musical, theatrical and dance performances, lectures, exhibits and other special events. In form and function, it looks a lot like other major metropolitan performing arts centers, such as New York City’s Lincoln Center. But its structure is different.

    The Kennedy Center is part of the federal government. Officially, it’s a bureau under the Smithsonian Institution.

    It was originally conceived during the Eisenhower administration and later championed by President John F. Kennedy. It was named after JFK following his assassination.

    The center opened in 1971, with a world premiere of composer Leonard Bernstein’s “Mass.” President Richard M. Nixon did not attend after the FBI warned him of possible anti-war messages encoded in the Latin text that might be designed to embarrass him.

    The center’s current mission statement captures its purpose and goals:

    “As the nation’s cultural center, and a living memorial to President John F. Kennedy, we are a leader for the arts across America and around the world, reaching and connecting with artists, inspiring and educating communities. We welcome all to create, experience, learn about, and engage with the arts.”

    Why does the Kennedy Center have a nonprofit board?

    From the start, the Kennedy Center was planned as a public-private effort. Government funding covers the maintenance, upkeep, security and restoration of the building and grounds.

    Private funds, largely derived from ticket sales, individual donors, foundations and corporations, cover the performances, productions and other programs.

    Those private funds cover more than three-quarters of the Kennedy Center’s budget. Its 2023 annual report explained that its US$286 million in revenue included $152 million from ticket sales, services and fees, $85 million from donations and $45 million from the federal government, with the rest derived from income from its endowment and other sources.

    In accordance with this public-private mix of revenue, the center’s governance has always been a hybrid, with the structure of a nonprofit board but with political appointees.

    The Kennedy Center’s board is authorized by its legislation to solicit and accept private donations, enter into contracts, maintain its halls and grounds, and appoint and oversee professional leadership. For the most part, it has the same responsibilities as any nonprofit board.

    There’s a big exception, however.

    While most nonprofit boards recruit, elect and develop their own membership, the Kennedy Center board consists of government appointees. About two dozen trustees serve by virtue of their government office, such as the librarian of Congress, the secretary of state, the mayor of Washington and the speaker and the minority leader of the U.S. House of Representatives;.

    Up to 36 more are appointed by the president, each serving staggered six-year terms so that they don’t all expire at the same time.

    Singer-songwriter Sara Bareilles performs Elton John’s ‘Goodbye Yellow Brick Road’ with the National Symphony Orchestra in February 2025 at the Kennedy Center’s sold-out Concert Hall.

    Is the board supposed to be nonpartisan?

    The six-year terms reflect a goal of establishing a largely nonpartisan governing board, since presidents usually appoint board members aligned with their own party. Until now, that balance has been the norm. But that outcome wasn’t mandated when Congress passed legislation establishing the Kennedy Center.

    Having a politically balanced board has historically helped the Kennedy Center raise money and attract world-class artists. For example, the 2025 season, as of mid-February, will or has included Alvin Ailey American Dance Theater, jazz pianist Kenny Barron, soprano Renée Fleming, author David Sedaris, comedian Sarah Silverman and touring productions of “Parade” and “Les Misérables.”

    Its in-house productions are often classic works, such as “La Bohème” and Beethoven’s symphonies. Many of the center’s theatrical productions have gone on to Broadway and national tours, including “42nd Street,” “Noises Off” and revivals of “The King and I,” “Annie” and “Spamalot.”

    I’m concerned that many longtime or potential future donors may not want to contribute to a cause that has suddenly become subject to partisan leadership.

    Many artists and creative partners have already begun to sever their ties to the Kennedy Center or cancel upcoming shows at its venues out of an aversion to the board’s dramatic political turn. Some performances and tours tied to the center have been called off for other reasons that haven’t yet been made public.

    Members of the public may balk at attending events at a politically charged venue, especially with so many other performing arts options in and around Washington, reducing ticket sales.

    What does the Kennedy Center chair do?

    Board chairs are in charge of the governing board, expending considerable energy, attention, effort, political muscle and often personal wealth to ensure that the organization can thrive.

    The Kennedy Center’s prior chairs have not been figureheads. Rather, they have been actively engaged in fundraising, strategic planning and public advocacy. The legislation that chartered the center requires that its chair and secretary “shall be well qualified by experience and training to perform the duties of their respective offices.”

    Trump has admitted that he’s never seen a show at the Kennedy Center. He has no prior relevant arts board leadership experience. And he is constrained from serving on a nonprofit board in the state of New York after admitting to the misuse of charitable funds by the now-dissolved Donald J. Trump Foundation.

    David Rubenstein, the board chair ousted by this upheaval, has given the Kennedy Center at least US$111 million, making him the center’s biggest donor ever. The philanthropist spearheaded fundraising for its first major expansion, securing significant support from private corporations and foundations.

    Former Kennedy Center Chair David Rubenstein speaks at an event at the performing arts venue in 2022.
    AP Photo/Kevin Wolf

    Has anything like this happened before?

    No U.S. president has served as a member of the Kennedy Center board before, let alone its chair.

    Presidents do often appoint their friends and allies to government boards and commissions, and often remove appointees of previous administrations. President Joe Biden, for example, removed Sean Spicer – a former Trump press secretary and White House communications director – from the Naval Academy advisory board.

    But that board is leading a strictly governmental body, not a public-private hybrid so dependent on private funding. And the speed and scale of this purge are unprecedented.

    What are the potential consequences?

    All big, multi-venue metropolitan performing arts centers are extraordinarily complex and difficult to manage.

    The John F. Kennedy Center for the Performing Arts is particularly so. It hosts approximately 2,200 performances that draw more than 2 million visitors each year, with an in-house symphony and opera company. It produces the Kennedy Center Honors, which celebrate exceptional American artists with an annual gala, performance and television broadcast, and the Mark Twain Prize, which honors one accomplished American comedic actor, author or performer each year.

    The Kennedy Center hosts an annual event honoring a wide range of performers and other leaders in the arts.

    It’s also a national hub for arts education that serves 2.1 million students and teachers across all 50 states, doubling as an open campus: It offers daily free performances of everything from classical chamber music and ballet to jazz and rock bands.

    Even under the best possible conditions, this is a lot to handle.

    Successful arts nonprofits benefit from a governing board whose members have expertise in the arts, business and philanthropy, are loyal to the mission above themselves, and rigorously follow the law. Beyond those basics, ideal conditions also include having enthusiastic audiences, passionate donors, eager and exceptional artistic collaborators, and creative and administrative teams that are supported and empowered to do their difficult work.

    With Trump’s takeover of the Kennedy Center board, this national cultural center has now, essentially, turned into a branch of the White House. In my view, that’s a disturbing turn of events in a nation that celebrates free and creative expression. It’s also disruptive to a complex, mission-driven enterprise that demands care, loyalty and obedience from its governing board.

    E. Andrew Taylor directs American University’s Arts Management Program. Some of its alumni and students have worked as staff and fellows for The Kennedy Center.

    ref. Trump has purged the Kennedy Center’s board, which in turn made him its chair – why does that matter? – https://theconversation.com/trump-has-purged-the-kennedy-centers-board-which-in-turn-made-him-its-chair-why-does-that-matter-249934

    MIL OSI – Global Reports