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                | The Financial Services Agency (FSA) released to the public the 
				''Annual Policies for the Supervision of Securities Companies, 
				etc. for Administrative Year 2006'' on August 30, 2006. The 
				Supervisory Policies indicate the key areas to be examined 
				during annual supervision separately from the Supervisory 
				Guidelines, for the purpose of improving administrative 
				transparency and the predictability of audited securities 
				companies. This is the second set of the Supervisory Policies, 
				following the first set formulated and published last year 
				(Administrative Year 2005).
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                | 
					
						| I.
 | Basic Approach
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						|  | 
							
								| 1. | Understanding of Current Status of 
								Securities Businesses, etc. While various measures have been taken to 
								invigorate the securities market since the 
								reform of the financial system, the previous 
								administrative year-which was marked by the 
								settlement of the non-performing loans (NPL) 
								problem at major banks and balanced economic 
								recovery-may be regarded as the beginning of a 
								full-fledged transition phase in which the shift 
								''from savings to investments'' accelerates.
 However, the previous year was also marred by 
								various problems in the Japanese securities 
								market, such as a huge erroneous buy order for 
								stocks, a system failure at a securities company 
								and unfair trading by investors.
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								| 2.
 | Basic Approach
 Based on such an understanding of the current 
								status of securities businesses, etc., we will 
								expand our scope from securities companies to 
								''securities companies, etc.'', a category which 
								will also include investment trust management 
								companies, investment corporations, investment 
								advisory businesses and financial futures 
								dealers, in order to promote voluntary efforts 
								that cut across industries and strictly enforce 
								customer protection before the full-fledged 
								enforcement of the Financial Instruments and 
								Exchange Law in the next administrative year. We 
								will take strict and proper action with respect 
								to these businesses focusing on the following 
								three priorities:
 (1) Customer protection;
 (2) Establishment of appropriate business 
								operation systems; and
 (3) Proper demonstration of market 
								intermediation functions, etc. of securities 
								companies.
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						| II
 | . Priorities
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						|  | 1. Customer Protection (1) Establishment of Solicitation and Explanation 
						Systems
 Securities companies, etc. need to establish appropriate 
						solicitation and explanation systems considering the 
						characteristics of securities transactions in recent 
						years, as exemplified by the rapid increase in 
						individual investors, the increasing complexity and 
						diversification of financial instruments, and the 
						diversification of sales channels. For this purpose, the 
						FSA will examine the systems of securities companies, 
						etc. for compliance with laws and regulations related to 
						solicitation and explanation as well as their frameworks 
						for screening advertisements, and take strict 
						supervisory action in the event that any problems arise.
 
 (2) Proper Response to Inquiries and Complaints
 As operations of securities companies, etc. are 
						unsustainable without customers' support and trust, it 
						is their vital and inevasible responsibility to deal 
						sincerely with inquiries and complaints from customers. 
						From this perspective, we will examine their framework 
						for dealing with inquiries and complaints.
 
 (3) Establishment of Customer Information Management 
						System
 As it is important to build a system to properly manage 
						customer information including both personal information 
						and corporate information, we will take strict 
						supervisory action in the event that any problems arise 
						in relation to customer information management systems 
						of securities companies, etc.
 
 (4) Strict Enforcement of Segregated Custody
 It is indispensable that securities companies, etc. hold 
						customers' assets separately from their own assets in 
						order for customers to perform securities transactions 
						with a sense of security. In the event that any problems 
						arise in the framework of segregated custody at 
						securities companies, etc., we will promptly request 
						that the situation be rectified.
 
 (5) Protecting Customers from Asset Management 
						Businesses, etc.
 We will continue to conduct strict checks as to whether 
						there are any breaches of duty in regards to loyalty or 
						managerial competence on the part of investment trust 
						management companies, investment corporations' asset 
						management businesses and investment advisory businesses 
						with respect to customers, and check the appropriateness 
						of their advertisements, etc.
 
 (6) Protecting Customers from Financial Futures 
						Dealers
 We will take strict supervisory action in the event that 
						foreign exchange margin trading businesses are found to 
						have problems in observing the codes of practice 
						concerning the prohibition of unsolicited calls, 
						advertising regulations, etc.
 
 2. Establishment of Appropriate Business Operation 
						Systems
 (1) Governance Systems of Securities Companies, etc.
 It is important that governance is properly exercised in 
						order for the market to make sound progress based on the 
						strict enforcement of compliance and risk management 
						among securities companies, etc.
 From such a perspective, we will examine the 
						representative director's awareness of and efforts 
						towards compliance and risk management, and whether the 
						management checking functions of the board of directors, 
						etc. and internal audit functions are being properly 
						demonstrated, especially in consideration of the recent 
						problems regarding the inappropriate business operations 
						by the executive committee of investment corporations 
						and other such incidents.
 
 (2) Development of Sophisticated and Robust 
						Compliance and Risk Management Systems
 It is important that the compliance department and the 
						risk management department play their respective roles 
						in an appropriate manner, in addition to improving the 
						management team's awareness of and proactive involvement 
						in compliance. With this in mind, we will examine the 
						management team's awareness of compliance, the 
						appropriateness of compliance and risk management 
						systems, the functions of the internal audit department, 
						etc. when an application for registration is filed by 
						securities companies, etc. and on other such occasions.
 
 (3) Dealing with Governance of Financial 
						Conglomerates
 In consideration of the problems that came to light in 
						the previous year and other such incidents, we will 
						examine the management system of financial conglomerates 
						and the concurrent postal system between securities 
						companies, etc. and other financial institutions.
 
 (4) Ensuring Financial Soundness
 We will monitor the regulatory capital ratio, examine 
						the risk management system of security company groups 
						that are expanding principal investment businesses, and 
						examine the capital adequacy, etc. of financial 
						conglomerates on a group-wide scale.
 
 (5) Prevention of Conflict of Interest, etc. at 
						Registered Financial Institutions and Securities Brokers
 We will examine registered financial institutions as to 
						what they are doing to prevent conflict of interest 
						arising between their securities operations and other 
						operations such as banking operations and to prevent 
						their dominant positions from being abused, etc. We will 
						also examine securities brokers as to whether they are 
						properly identifying the solicitation systems, etc. of 
						affiliated securities companies, etc.
 
 3. Proper Demonstration of Market Intermediation 
						Functions, etc.
 (1) Improvement of Reliability of Operations
 We will make the following efforts in addition to 
						following up on the ''Summary of Issues by the Round 
						Table Conference on the Financial Market Intermediation 
						Function of Securities Companies'' (hereinafter referred 
						to as ''Summary of Issues''):
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						|  | 
							
								|  | 1) Prevention of Recurrence of Erroneous 
								Buy/Sell Orders
 In consideration of the industry-wide 
								inspections conducted by the FSA and the 
								establishment of self-imposed regulations by the 
								Japan Securities Dealers' Association (JSDA), we 
								will examine measures, etc. to prevent erroneous 
								buy/sell orders by securities companies and 
								prompt them to make proper improvements if there 
								are any problems. We will also endeavor to 
								identify how position limits and risk limits 
								should be set by each security company by 
								conducting interviews, etc.
 
 2) Collateral Margin in Margin Transactions
 In consideration of the self-imposed regulations 
								established by the JSDA in response to an 
								incident in which the margin for collateral 
								securities was set at zero with no advance 
								notice, etc. provided, we will keep a close eye 
								on securities companies' responses.
 
 3) Suitable Long-Term Computer System 
								Management Systems
 In consideration of the increase in securities 
								transactions involving the use of computer 
								systems in recent years as well as the state of 
								system failures occurring in securities 
								companies lately, we will intensively examine 
								the computer system management operations of 
								securities companies and take strict action if 
								there are any problems, including taking 
								administrative action.
 We will also examine systems built for 
								identifying the progress made in providing new 
								services, etc. and examining Business Continuity 
								Plans (BCPs) of securities companies.
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						|  | (2) Demonstration of Checking Functions Targeted at 
						Issuers
 In consideration of the problems that have occurred 
						in the issue market in recent years and the fact that 
						underwriting services will now be subject to a 
						registration system under the Financial Instruments and 
						Exchange Law, we will endeavor to identity the actual 
						state of underwriting and other such operations of 
						securities companies, in addition to following up on the 
						''Summary of Issues''. In doing so, we will prompt them on 
						appropriate improvements if any problems or structural 
						inadequacies are found.
 
 (3) Demonstration of Checking Functions Targeted at 
						Investors
 In consideration of the recent incidents involving 
						market manipulation, insider trading, etc. resulting in 
						punitive action, we will examine the effectiveness, etc. 
						of trading management and screening systems of 
						securities companies, in addition to following up on the 
						''Summary of Issues'', and take strict supervisory action 
						if any problems are found.
 In regards to preliminary hearings, we will examine the 
						system development status of securities companies in 
						consideration of the revision of cabinet orders, etc.
 
 (4) Maintenance of Market Player Self-Discipline
 As the environment is changing as exemplified by the 
						expansion of the scope of activities of securities 
						companies, attention needs to be given to conflict of 
						interest between functions as a market intermediary and 
						functions as a market player in an increasing number of 
						cases. It is therefore important to build an appropriate 
						internal control system.
 Accordingly, we will examine the development of ''Chinese 
						Walls'' in securities companies and the extent to which 
						they comply with various laws and regulations, in 
						addition to following up on the ''Summary of Issues'', and 
						we will take strict supervisory action if any problems 
						are found.
 Furthermore, we will examine the extent to which 
						securities companies to have endeavored demonstrate 
						self-discipline, beyond the scope of compliance.
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						| II
 | I. Supervisory Methods
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						|  | 1. Ensuring Proper Collaboration with Inspection 
						and Surveillance Departments We will collaborate with the Supervisory Bureau, the 
						Executive Bureau of the Securities and Exchange 
						Surveillance Commission (SESC), etc., such as exchanging 
						useful information and sharing awareness of problems in 
						accordance with the proper division of roles.
 
 2. Ensuring Collaboration with Self-regulatory 
						Organizations
 We will properly collaborate with self-regulatory 
						organizations in each industry, including following up 
						on the ''Summary of Issues''. In particular, we will 
						encourage self-regulatory organizations to enhance and 
						demonstrate their functions, including conducting audits 
						and taking punitive action.
 
 3. Relationship with Securities Companies, etc.
 Supervisory authorities will give due consideration to 
						respecting the voluntary efforts made by securities 
						companies, etc. relating to their business operations, 
						etc. and endeavor to ensure sufficient communication 
						with securities companies, etc.
 
 4. Enhancement of Collaboration with Overseas 
						Supervisory Authorities, etc.
 In consideration of the increasing number of financial 
						conglomerates and the growth in cross-border securities 
						transactions, we will strive to further enhance 
						collaboration with overseas supervisory authorities, 
						etc. through the exchange of information and opinions.
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                    | 
					Annual Policies for the Supervision of Major Banks |  |  |  
                | The Financial Services Agency (FSA) drew up its ''Annual Policies 
				for the Supervision of Major Banks for Administrative Year 2006'' 
				(hereinafter referred to as ''Supervisory Policies'') based on the 
				Comprehensive Guideline for the Supervision of Major Banks, etc. 
				established in October 2005 (hereinafter referred to as 
				''Supervisory Guideline'') and released them to the public on 
				August 9, 2006. The outline of the Supervisory Policies is as 
				follows.
 (Note) Administrative Year 2006: From July 1, 2006 to June 30, 2007
 
 1. Background, etc.
 The FSA decided to draw up ''Annual Policies for the Supervision 
				of Major Banks'' and release them to the public in response to 
				the Supervisory Guideline, which set forth that ''at the 
				beginning of each administrative year, the FSA will draw up 
				supervisory policies for the administrative year and release 
				them to the public in order to clarify the supervisory 
				priorities''.
 Upon supervising major banks, etc. in Administrative Year 2006, 
				we will conduct offsite monitoring comprising various interviews 
				including ''comprehensive interviews'' and ''risk management 
				interviews'' in accordance with the Supervisory Policies.
 
 2. Composition
 The Supervisory Policies start with the presentation of the 
				''Basic Approach'' to fulfilling the basic objectives of financial 
				administration, and then set forth three supervisory priorities 
				for Administrative Year 2006, namely, ''strict enforcement of 
				customer protection rules and improvement of convenience'', 
				''sophistication of risk management, etc.'', and ''responses to 
				financial globalization, etc.''
 
 3. Basic Approach
 The ''Basic Approach'' section briefly explains the events leading 
				up to the development of the Supervisory Policies and then 
				describes our understanding of the current state of major banks, 
				etc. and our basic approach to the three priorities mentioned 
				above.
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                | 
					
						|  | (1
 | ) Circumstances Surrounding Major Banks, etc. and 
						Their Expected Roles
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						|  | This section first describes the 
						following changes in the circumstances surrounding major 
						banks, etc. |  
						|  |  | 1) Introduction of the bank agency system under the 
						revised Banking Law (April 2006) and the improvement and 
						enhancement of provisions for customer protection 
						pursuant to the revised Banking Law and the Financial 
						Instruments and Exchange Law established during the 
						ordinary Diet session this year 2) Enhancement of measures to prevent financial crime 
						such as the enforcement of the so-called ''Counterfeited 
						and Stolen Credit Cards and Depositor Protection Law'' 
						(February 2006) and the convocation of the Study Group 
						on Information Security (March through June 2006)
 3) Recent termination of the zero-interest-rate policy 
						by the Bank of Japan
 4) Implementation of Basel II (new capital adequacy 
						requirements) for the year ending on March 31, 2007
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						|  | In addition, it addresses the fact that under such 
						circumstances, financial institutions are in general 
						required to provide a wide range of high-quality 
						financial products and services that meet customers' 
						needs by taking advantage of their respective strengths. 
						In particular, it states that major banks, etc. are 
						expected to contribute to Japan's economic progress and 
						help improve people's lives by providing services of the 
						highest level in the world and play a crucial role in 
						the global financial market, as they have a huge 
						influence on the Japanese economy due to their large 
						size, and engage in financial activities on an 
						international scale in many cases.
 
 (2) Basic Approach to Priorities
 Please refer to each item in ''4. Priorities'' below.
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                | 
					
						| 4.
 | Priorities
 In consideration of the circumstances surrounding major 
						banks, etc. and the expectations placed on them referred 
						to in (1) above, we will continue to make efforts to 
						enhance collaboration with inspection divisions upon 
						supervising major banks, etc. in Administrative Year 
						2006, in addition to executing supervisory 
						administration in a strict, effective and efficient 
						manner by giving priority to the following three areas:
 
 (1) Enforcement of Customer Protection Rules and 
						Improvement of Convenience
 Major banks, etc. are implementing a wide range of 
						efforts, including diversifying the financial 
						instruments they deal in and expanding their 
						fee-charging businesses. We will carry out supervision 
						intensively so as to make sure that customer protection 
						and convenience are not disregarded in such efforts. 
						Specifically, we will conduct supervision by focusing on 
						the following matters, while actively utilizing 
						information from the Counseling Office for Financial 
						Services Users, etc. in addition to reports from 
						financial institutions and inspection results.
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						|  | 
							
								|  | 1) Improvement and enhancement of 
								explanation systems and consultation and 
								complaints handling functions 2) Enhancement and strict enforcement of 
								measures to prevent financial crime, etc.
 3) Ensuring the appropriateness of computer 
								system risk management systems
 4) Strict enforcement of compliance with 
								relevant laws and regulations such as the 
								Anti-Monopoly Law in business operations
 5) Development of screening and loan management 
								systems according to borrowers' needs
 6) Ensuring appropriate business operations by 
								bank agents
 7) Ensuring the appropriateness of 
								portfolio/sales-related operations for 
								structured bonds, etc.
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						|  | (2) Sophistication of Risk Management, etc.
 In order for financial institutions to ensure financial 
						soundness based on their own voluntary and sustainable 
						efforts, it is important that they perform risk 
						management in an appropriate manner. Therefore, we will 
						conduct supervision by focusing on the following 
						matters, as to whether efforts are being made towards 
						the implementation of Basel II and whether efforts are 
						being made to advance risk management to adapt to the 
						diversification of risks associated with the expansion 
						of operations of major banks, etc. Specifically, we will 
						conduct supervision with respect to:
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						|  | 
							
								|  | 1) Dealing with Basel II 2) Dealing with the diversification of risks 
								through such means as diversification of 
								invested assets
 3) Improving the quality of capital
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						|  | (3) Response to Financial Globalization, etc.
 In response to the globalization of the financial sector 
						and other such changes, major banks, etc. are becoming 
						increasingly conglomeratized and are expanding their 
						overseas operations. Considering that such efforts are 
						leading to increased revenue but are at the risk of 
						giving rise to poor operational control, we will conduct 
						supervision by focusing on the following matters, 
						including whether an appropriate operational control 
						framework is developed:
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						|  | 
							
								|  | 1) Supervision of financial conglomerates 2) Operational control concerning overseas 
								operations
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                    | Annual Policies for the 
					Supervision of Small- and Medium-Sized and Regional 
					Financial Institutions |  |  |  
                | Since Administrative Year 2004, the Financial Services Agency (FSA) 
				has been drawing up supervisory policies and releasing them to 
				the public at the beginning of each administrative year, in 
				order to clarify its supervisory priorities upon conducting the 
				supervision of small-and medium-sized and regional financial 
				institutions (RFIs) in the administrative year.
 For this administrative year, the FSA released ''Annual Policies 
				for the Supervision of Small-and Medium-sized and Regional 
				Financial Institutions for Administrative Year 2006'' 
				(hereinafter referred to as ''Supervisory Policies 2006'') on 
				August 9. The Supervisory Policies 2006 introduce the FSA's 
				basic standpoint in conducting supervision and its supervisory 
				priorities, as outlined below.
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                | 
				
					|  | (Note) Administrative Year 2006: From July 1, 2006 to 
					June 30, 2007 |  |  
                | 1. Basic Standpoint
 The Supervisory Policies 2006 starts with the presentation of 
				the ''Basic Standpoint'', in which the circumstances surrounding 
				RFIs are explained, especially in regards to recent changes in 
				the environment. The basic approach to conducting efficient and 
				effective supervision is also explained.
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                | (1) Current Circumstances Surrounding RFIs
 Specific changes in the environment stated explicitly in 
				this section are as follows.
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					|  | 1) Firstly, efforts in region-based relationship banking 
					have been made by RFIs. Since the formulation of the Action 
					Program in April 2003, RFIs have been making efforts to 
					promote region-based relationship banking, which are 
					generally making steady progress. However, their customers 
					rated efforts to ''facilitate business revitalization and 
					small and medium-sized enterprise (SME) financing'' such as 
					the provision of loans without excessively relying on 
					collateral and guarantees as well as business revitalization 
					and efforts to ''enhance convenience for regional customers'' 
					as inefficient. It is thus necessary to continue efforts to 
					promote region-based relationship banking with consideration 
					to the aforementioned area. 2) Secondly, there is a growing need to improve customer 
					protection in financial transactions and to enhance measures 
					to prevent financial crime, as exemplified by the enactment 
					of the Financial Instruments and Exchange Law and the 
					introduction of the law that protects depositors having 
					their credit cards counterfeited or stolen.
 3) Thirdly, there are new interest-rate and market 
					environments stemming from the termination of the 
					zero-interest-rate policy by the Bank of Japan. Also, the 
					New Basel Capital Accord (Basel II) will be implemented in 
					March, 2007.
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                | (2) Basic Approach to Supervision Process
 Based on aforementioned charges of the current circumstances 
				surrounding RFIs, the FSA will carry out supervisory 
				administration in an effective and efficient manner in 
				Administrative Year 2006, so as to ensure the following:
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                | 
				
					|  | 1) Respect for voluntary efforts made by financial 
					institutions in their business operation 2) Ensuring sufficient communication with financial 
					institutions
 3) Continued coordination with inspection divisions
 4) Further enhancement of coordination between regional 
					financial bureaus and the FSA
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                | 2. Priorities
 In consideration of the changes in the environment referred to 
				in 1 (1) above, the Supervisory Policies 2006 set forth the 
				following three priorities: (1) ''adherence to customer 
				protection rules and improvement of convenience in the region'', 
				(2) ''facilitation of business revitalization and SME financing'' 
				and (3) ''further sophistication of risk management.''
 The FSA takes the view that the internal control systems need to 
				be enhanced by the management's leadership under the current 
				circumstances where there are a wide range of issues to be 
				addressed by financial institutions. Based on this view, the 
				Supervisory Policies 2006 explicitly state that special 
				attention will be given to the appropriateness of governance 
				when taking supervisory actions with respect to the following 
				three priorities.
 
 (1) Adherence to Customer Protection Rules and Improvement of 
				Convenience in the Region
 The top priority set forth by the Supervisory Policies 2006 is 
				the ''adherence to customer protection rules and improvement of 
				convenience in the region''. This was the second priority last 
				year-the top priority last year being ''further promotion of 
				region-based relationship banking''. Considering that the 
				improvement of convenience for customers in the region had been 
				a major factor in the new action program for region-based 
				relationship banking and that convenience was deemed 
				insufficient according to customer surveys, it was given top 
				priority so as to reaffirm the trends in financial 
				administration to giving utmost importance to customers' 
				viewpoints.
 Moreover, in consideration of the need to provide an appropriate 
				explanation to customers and borrowers due to changes in the 
				financial climate as exemplified by the recent diversification 
				of financial instruments and the interest rate rise associated 
				with the termination of the zero-interest-rate policy by the 
				Bank of Japan, as well as the frequent misconduct financial 
				institutions' employees and institutions' poor awareness of 
				abuse in dominant position, the FSA will conduct supervision by 
				focusing on:
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                | 
				
					|  | 1) Strengthening of explanation systems and of 
					consultation and complaints handling functions 2) Compliance with laws and regulations
 3) Enhancement and strict enforcement of measures to prevent 
					financial crimes
 4) Establishment of customer information management systems
 5) Ensuring appropriate management of computer systems
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                | (2) Facilitation of Business Revitalization and SME Financing
 The second priority is ''facilitation of business 
				revitalization and SME financing'', bearing in mind that among 
				the region-based relationship banking efforts, ''business 
				revitalization efforts'' and ''provision of loans without 
				excessively relying on collateral and loans'' are still rated as 
				insufficient.
 The FSA will continue to follow up on the progress of 
				region-based relationship banking efforts, and conduct 
				supervision by focusing especially on:
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                | 
				
					|  | 1) Business revitalization efforts; and 2) Provision of loans without excessively relying on 
					collateral and guarantees.
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                | (3) Further Sophistication of Risk Management
 The third priority is ''further sophistication of risk 
				management'', as it was last year. The FSA will look into the 
				financial institutions' development of appropriate risk 
				management systems, especially in consideration of recent 
				securitization efforts, the trend of expansion of asset 
				management with complex risk profiles as exemplified by real 
				estate funds and other various fund products, and new 
				interest-rate and market environments due to the termination of 
				the zero-interest-rate policy by the Bank of Japan.
 This includes perspectives that take into account the 
				implementation of Basel II (new capital adequacy requirements) 
				in March, 2007, specifically, whether or not financial 
				institutions are properly calculating and managing their capital 
				adequacy ratios in accordance with the First Pillar (minimum 
				capital requirement), and whether or not their capital mainly 
				consists of Tier 1 capital, considering that the disclosure of 
				the basic elements of capital (Tier 1) is required under the 
				Third Pillar (market discipline).
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                | 
				
					|  | 1) Ensuring reliability of asset appraisal and credit 
					risk management 2) Development of market risk management systems
 3) Preparation for Basel II
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