The management mandate for the Government Pension Fund Global enters into force on 1 January 2011. Section 3-7 of the mandate requires the Bank to issue supplementary limits in a number of areas. These limits are to be presented to the Ministry by 1 December 2010(1)  for planned implementation from 1 January 2011.

On 24 November 2010 the Executive Board approved a new investment mandate for the CEO of Norges Bank Investment Management (NBIM) for the management of the Government Pension Fund Global, for entry into force on 1 January 2011 (see enclosure). This mandate contains the limits requested by the Ministry. Some of the limits are a continuation of those issued previously by the Board, while some are new. We have also made a number of minor changes to the limits issued previously.

The Executive Board’s investment mandate, the limits therein and the changes made are presented in more detail below. The mandate for NBIM’s CEO reflects the provisions of chapters 2, 3 and 4 of the mandate from the Ministry of Finance and the objectives formulated in chapter 1 of the mandate. The following looks particularly at the limits which have been established by the Executive Board against the background of section 3-7 (5) of the mandate and which must be submitted to the Ministry before entering into force under section 9-2 (1) of the mandate.

Regulatory framework and governance model


On the basis of the Ministry’s mandate and previous rules, the Executive Board and NBIM have issued supplementary rules and guidelines for the management of the Government Pension Fund Global. The Executive Board’s supplementary rules and requirements for the management of the fund are found in four key documents governing NBIM’s activities:

The Ministry of Finance’s requirements for the management of the fund are addressed in these four documents. It is natural for some of these requirements to be included directly in these key documents, while others have been met by the Executive Board itself setting limits. In some cases the Executive Board has delegated the setting of detailed limits and rules to NBIM’s CEO. The enclosed diagram illustrates the governance model for NBIM’s activities. We would also refer to our presentation of the governance model in our letter of 21 October 2009 in connection with the Ministry’s public consultation on new rules for the management of the fund.

The Executive Board’s investment mandate

The Executive Board has issued a mandate for the management of the Government Pension Fund Global spanning a broad set of risk indicators. The rules will therefore capture more aspects of investment risk in the management of the fund and provide a basis for a broader risk picture. In some cases, limits of this kind may partially overlap or be complementary. There are few objective or exact methods for selecting or setting risk limits. Normally they will be based on an assessment of risk tolerance for different types of investment and investment strategy. Historical usage of limits may also provide an insight into what is an appropriate level of risk.

The Executive Board has considered these factors in setting the limits in the mandate for NBIM’s CEO. Usage of the Board’s limits is reported regularly. The limits set by the Board should be viewed as thresholds which the fund should not normally cross, and which trigger signals to risk management when the portfolio approaches or exceeds them. An assessment will then be made of how quickly the fund is to be brought back within the limit.

Management of the equity and bond portfolio

Chapter 3 of the mandate from the Ministry of Finance deals with the management of the equity and bond portfolio. These provisions are reflected in sections 1 to 4 of the Executive Board’s investment mandate, where section 3 reiterates the provisions concerning the strategic benchmark index and section 4 defines the investment universe.

Section 5 of the Board’s investment mandate sets out investment restrictions for the equity and bond portfolio. The quantitative investment restrictions issued by the Ministry in its mandate for the management of the fund have been reiterated in the Board’s investment mandate. In addition, section 3-7 (5) requires the Bank to set supplementary risk limits for the management of the fund, as the Bank has done previously. The following risk limits have therefore been set by Norges Bank’s Executive Board with reference to section 3-7 (5):

Management of the real estate portfolio

Section 6 of the Executive Board’s mandate is new but reflects the provisions of chapter 4 of the mandate from the Ministry of Finance on the investment universe and strategic benchmark for the real estate portfolio. Section 7 of the Board’s mandate continues the previously established risk limits for the management of the real estate portfolio (see section 4-6 (2)).

Yours faithfully

Svein Gjedrem Yngve Slyngstad
  


(1)Deadline moved back to 3 December 2010, cf the Ministry’s e-mail of 1 December 2010.