Connect with us

Finance

Non-bank financial institutions’ reliance on banks for contingent credit under stress and its consequences

Published

on

In recent years, banks’ credit line exposure to ‘shadow banks’, or non-bank financial institutions (NBFIs), has grown significantly faster than exposure to non-financial corporations. Between 2013 and 2023, bank credit lines to NBFIs tripled from $500 billion to $1.5 trillion, and in 2023 over 20% of all bank credit lines were committed to NBFIs (Acharya et al. 2024). How do the growing linkages between banks and NBFIs impact the performance and systemic stability of banks? We answer this question by studying an important leading example of a non-bank financial institution – real estate investment trusts (REITs; Acharya et al. 2025).

REITs are significant investors in commercial real estate (CRE), with over $4 trillion in investments, corresponding to 20% of the CRE market that is currently valued at $21 trillion.
Rising interest rates and an economic slowdown can therefore exert considerable pressure on the CRE sector.
Considering the vast scale of the CRE market, disruptions in the CRE sector can influence the availability of bank credit to households and businesses. Consequently, regulators and policymakers have increasingly focused on the risks associated with CRE loans in recent times. REITs, being large CRE investors, inherit these fundamental economic and financial risks.

Importantly, nearly half of all bank-originated credit lines to public NBFIs are allocated to REITs. As shown in Figure 1, REITs exhibit significantly higher utilisation rates on bank credit lines compared to other NBFIs and non-financial corporates. Moreover, their credit line usage is markedly more sensitive to aggregate market performance, as indicated by the slope coefficients in the figure. Notably, REIT utilisation rates spike during periods of market stress (such as the COVID-19 period), making credit lines to REITs a potentially significant source of systemic risk for banks.

However, despite these factors, the significant exposure of large banks to the CRE sector via their credit lines to REITs is often underappreciated. It is commonly assumed that disruptions in the CRE sector mainly affect smaller banks. Figure 2 illustrates the on-balance-sheet exposure in the form of CRE loans as a proportion of total equity over the past decade for three types of banks: community banks (assets under $10 billion), regional banks (assets between $10 billion and $100 billion), and large banks (assets exceeding $100 billion). The exposure of regional and community banks, when scaled by equity, is approximately four and five times greater, respectively, than that of large banks. As per this exposure measure, there has been a notable increase over the past decade in CRE loan exposure among regional and, especially, community banks, but not among large banks. This might suggest that the CRE stress does not pose systemic risk to the largest banks in the economy.

Figure 1 Average credit line utilisation by borrower group

Advertisement
Notes: This figure plots the average credit line utilisation rate by three groups of borrowers – REITs, NBFIs (excluding REITs), and non-financial companies – versus the S&P 500 return. Each dot indicates the utilisation rate in one of the quarters between 2005Q1 and 2023Q4. The dots for 2008Q4 and 2020Q1 are labelled to highlight the main crisis quarters. The solid blue line indicates the slope of a regression of utilisation rates onto the S&P 500 return for REITs, the dashed red line and the green dotted line indicate the respective slopes of the same regression for NBFIs excluding REITs and non-financial companies. Data are obtained from Capital IQ and CRSP.

However, these figures ignore loans and credit lines provided by banks to REITs. The primary conclusion that emerges from our empirical analysis is that to get a complete picture of bank exposure to CRE risks, it is important to focus not just on the direct CRE exposure of banks but also on the provision of credit, especially by large banks, to REITs. Once the indirect exposure of banks via term loans and credit lines to REITs is accounted for, CRE exposures are concentrated not only in the portfolios of smaller banks but also among the largest US banks. Figure 3 illustrates this fact. In this figure, we categorise bank exposure into direct CRE exposure, indirect exposure via term loans to REITs, and indirect exposure through credit lines to REITs. For large banks, indirect exposure constitutes about a third of their total exposure, whereas for regional banks, the indirect exposure through REITs is considerably smaller, and for community banks, it is practically negligible.

Figure 2 Total on-balance-sheet exposure to the commercial real estate market

Notes: This figure shows the total reported on-balance sheet exposure to the commercial real estate market scaled by the total book value of equity of the bank. Data are from the FR Y-C at the quarterly frequency from 2013Q1 to 2023Q4. We split banks into three types: community banks (assets

Figure 3 Total exposure of banks to commercial real estate

Notes: This figure shows the total exposure of banks to commercial real estate (CRE) by stacking their direct exposure through on-balance sheet CRE loans and indirect exposure through banks’ term loans and credit lines to Real Estate Investment Trusts (REITs). Banks are classified as follows: community banks (assets
Advertisement

What, then, are the underlying mechanisms through which credit-line exposure of banks to REITs might pose a system-wide risk? In summary, there is a higher utilisation rate of credit lines by REITs relative to other NBFIs and non-financial corporates, especially when the performance of the underlying real estate assets declines and particularly during periods of aggregate economic stress. This behaviour is associated with a notable decrease in stock returns for banks more heavily exposed to undrawn credit lines extended to REITs, consistent with capital encumbrance imposed by credit line drawdowns impeding banks’ future intermediation activities.

We first tease out why REITs have higher utilisation rates on credit lines, especially during stress. By regulation, REITs are required to pay out at least 90% of their income in the form of dividends, restricting the amount of cash REITs can accumulate.
This leads to a disproportionately large dependence of REITs on bank credit lines for liquidity during stress periods. For example, Blackstone REIT (BREIT) and SREIT (managed by Starwood Capital) relied on their lines of credit during 2022 and 2024 respectively, nearly exhausting their credit line capacity to satisfy investor withdrawal requests.
We show that the findings in these case studies generalise to a broader setting in which we find significant positive correlations between redemptions and credit line drawdowns for all REITs in our sample. We also find that REITs increase investments and dividend payouts and reduce cash in the four quarters after a drawdown. This seems to indicate that they use both their cash and the liquidity from credit lines to acquire properties and pay out dividends. During crises (Global Crisis and COVID-19) however, we find that REITs start building cash buffers and they discontinue investing, i.e. acquiring properties. In fact, 72 cents of each dollar drawn is used to increase cash holdings. In other words, REITs use bank credit lines like ‘working capital’ for business activities in normal times, but to hoard cash during stress times.

We next investigate the impact of higher credit line utilisation by REITs on banks. Unlike term loan exposures that banks report on their balance sheet and fund with capital, and whose potential risks they manage through loan loss provisions, credit lines are off-balance-sheet and funded with equity capital to a much lesser extent until drawn down. Moreover, the risk of simultaneous drawdowns by borrowers during widespread market stress may suddenly constrain bank capital and/or liquidity, thereby reducing the banks’ ability to intermediate effectively. Consistent with these channels, we find that banks with higher undrawn credit line commitments to REITs experience lower stock returns during crises (controlling for banks’ total credit line commitments).

Finally, we document that credit lines to REITs substantially increase banks’ capital requirements during aggregate stress periods. We estimate an expected (market-equity-based) capital shortfall under aggregate market stress (e.g. -40% correction to MSCI Global Index) vis-à-vis a benchmark capital requirement (e.g. 8% of market equity relative to market equity plus non-equity liabilities), by incorporating REIT and non-REIT credit lines in stress test scenarios. We compare three models: one treating all borrowers uniformly, one distinguishing REITs by their unique drawdown behaviour, and one considering direct on-balance-sheet CRE exposure. As of Q4 2023, we estimate that the incremental capital requirement for publicly traded US banks rises by approximately 20% — from $180 billion to $217 billion — primarily due to REIT drawdowns, while CRE exposures add only $2 billion. Notably, over 90% of this additional capital burden falls on large banks. These results highlight the systemic risks posed to banks, and in turn to the real economy, by REIT credit lines, underscoring the need for careful regulatory scrutiny.

While we have focused on publicly traded REITs, this raises broader questions about the growing linkages between banks and NBFIs. Acharya et al. (2024) document that NBFI drawdowns have risen from 25% in 2013 to over 50% post‐COVID, with private NBFIs accounting for nearly 60% of drawdowns by private firms (compared to 30% for public ones). Additionally, credit lines to NBFIs such as business development companies (BDCs) and collateralised loan obligations (CLOs) have increased from 28% to 42% of total bank credit to NBFIs between 2013 and 2023. Given that private NBFIs generally exhibit higher credit line utilisation rates than REITs, stress in their funding conditions could similarly affect banks via the credit line channel. In essence, as NBFIs continue to expand their role in credit intermediation, their continuing reliance on banks for contingent liquidity highlights a critical channel through which risks may be transmitted back to the banking system.

Advertisement

References

Acharya, V V, N Cetorelli and B Tuckman (2024), “Where Do Banks End and NBFIs Begin?”, NBER Working Paper.

Acharya, V V, M Gopal, M Jager and S Steffen (2025), “Shadow Always Touches the Feet: Implications of Bank Credit Lines to Non-Bank Financial Intermediaries”, NBER Working Paper No. w33590.

Gupta, A, V Mittal and S Van Nieuwerburgh (2022), “Work from home and the office real estate apocalypse”, Working Paper, NYU Stern School of Business.

Hardin III, W and M Hill (2011), “Credit line availability and utilization in REITs”, Journal of Real Estate Research 33: 507–530.

Jiang, E X, G Matvos, T Piskorski and A Seru (2023), “Monetary Tightening, Commercial Real Estate Distress, and US Bank Fragility”, NBER Working Paper.

Advertisement

Mei, J and A Saunders (1995), “Bank risk and real estate: an asset pricing perspective”, The Journal of Real Estate Finance and Economics 10: 199–224.

Continue Reading
Click to comment

Leave a Reply

Your email address will not be published. Required fields are marked *

This site uses Akismet to reduce spam. Learn how your comment data is processed.

Finance

Low-income Chinese girl aces gaokao, inspires live-streamers offering help

Published

on

Low-income Chinese girl aces gaokao, inspires live-streamers offering help

A girl from a disadvantaged rural family in central China topped this year’s gaokao, attracting numerous live-streamers eager to finance her education, which she declined.

The home of 18-year-old secondary school graduate Han Yaping in a Henan province village was recently bustling with live-streamers.

This attention came after Han achieved an impressive score of 699 out of 750 in the gaokao, China’s national college entrance exam.

She has received offers from China’s two leading universities, Tsinghua University and Peking University.

Han’s accomplishment is particularly remarkable given her family’s impoverished circumstances.

Advertisement

Her mother suffers from ankylosing spondylitis, an inflammatory arthritis affecting the spine, preventing her from working. Her father, who earns a living through farming and odd jobs, serves as the family’s sole provider. Han also has a younger sister.

Continue Reading

Finance

UK financial regulator publishes landmark AI review

Published

on

UK financial regulator publishes landmark AI review

The UK’s Financial Conduct Authority (FCA) published a landmark review on Monday that proposes recommendations to regulate the impact of artificial intelligence (AI) on the financial decisions made by consumers.

The review, titled the Mills Review, anticipates that both consumers and firms will start delegating “more financial decision-making to AI systems,” including for agreements, initiating transactions, and executing decisions “within agreed parameters.” One of the key findings of the review outlined that while AI can help bridge advice gaps and “support growth,” there remain risks “associated with fraud, cyber security, and consumer harm.” Conducting the review, Sheldon Mills highlighted that “AI can also amplify risks: bias, discrimination, exclusion, opaque decision-making (particularly when multiple AI models interact), misleading or hallucinatory advice and erosion of consumer trust.”

The review stated that presently, one in five adults in the UK are “already open to AI making decisions for them,” particularly when decisions feel “complex or high stakes.” It found that roughly 26 percent of the population “trust general-purpose tools such as ChatGPT, Claude or Gemini for financial advice” with little awareness that such platforms provide no “formal routes to recourse” or protections.

Overall, the Mills Review identified four areas that it anticipates will be impacted by AI in the financial sector: “the transformation of firms,” “new consumer journeys,” “a reshaped competition landscape,” and “amplified financial crime and cyber risk.” The FCA projected the shift in how consumers and firms consult AI to take place by 2030.

The Mills Review put forth seven “priority” recommendations to be considered by the FCA Board. It recommended that any transitions to autonomous AI models be monitored and that regulatory frameworks and perimeters be adapted and secured. The review called for the strengthening of “system-wide coordination and oversight,” the scaling up of the FCA’s AI Lab to enable it to support AI models and innovation for agentic finance, and an “AI-enabled agentic supervisory model” to be built and adopted.   Finally, it recommended that a trusted “public-interest AI-enabled financial capability service” be developed.

Advertisement

The FCA announced, in the press release, that it will launch an AI “good and poor practice publication” in late 2026.

Continue Reading

Finance

Fayette County Public Schools Board of Education approves audit contract, new finance director position

Published

on

Fayette County Public Schools Board of Education approves audit contract, new finance director position

LEXINGTON, Ky. (WKYT) – The Fayette County Public Schools Board of Education approved a one-year audit contract capped at $131,750 plus $225 per hour during a virtual meeting Monday, along with a new finance director job description.

The contract is with Mauldin & Jenkins Certified Public Accountants, an Atlanta-based firm, and covers the 2025-26 fiscal year and the restatement of the 2024-25 fiscal year and ancillary services through FY 2029-2030. The work is set to be completed by Nov. 15.

The board approved the contract in a 5-0 vote.

Audit contract details

Interim Chief Financial Officer Kyna Koch said the cost is already accounted for in the district’s budget.

“And is actually less than we expected given our current situation — we were thrilled with the bid,” Koch said.

Advertisement

Koch said she believes this is Mauldin & Jenkins’ first school district audit in Kentucky, but that the firm works with school districts of more than 100,000 students throughout the Southeast.

“Quite frankly when I spoke to the folks at KDE they were thrilled because we’re running kind of short of auditors who want to do school district audits — so all around I think this was a win-win for everyone,” Koch said.

New finance director position

The board also approved a new job description for the position of Director of Finance. Acting Superintendent Dr. Bill Bradford said the title will replace two associate director positions.

“Which will not only save the school district money but it’s also going to streamline our work and align internal controls to make room for a more efficient unit,” Bradford said.

Koch said the position will be posted as soon as possible following the board’s approval.

Advertisement

Closed session

The board went into closed session for more than an hour to discuss pending investigations that could lead to employee discipline. When the board returned, it took no action and adjourned the meeting.

Copyright 2026 WKYT. All rights reserved.

Continue Reading
Advertisement

Trending