speeches · October 3, 1990
Regional President Speech
Robert T. Parry · President
Robert T. Parry, President
Federal Reserve Bank of San Francisco
Community Investment Conference
for delivery October 4, 1990
:, -·~ ___, \_ 9:00 a.m. PDT
San Francisco, CA
1 &DU<il\div'fty Investment:
\i..U~~time to Get Serious
Good morning, and welcome. I'm Bob Parry, President of the Federal
Reserve Bank of San Francisco, one of the co-sponsors of this conference on
community investment. In the next day and a half, you'll hear a lot about the
recent changes in the CRA and what they mean for community investment. For
example, you're going to hear about CRA's new teeth --that is, the tougher
regulatory standards and the new requirement that CRA evaluations be disclosed
publicly. You're also going to hear about how you can implement an effective
CRA program. And you're going to hear about how community groups can act as
watchdogs to improve access to financial services in low-income communities.
One message that should come through loud and clear in all the sessions
you attend is that there is a renewed sense of urgency about community
investment. The changes in laws and regulations governing lenders•
obligations in this area have been more sweeping in the last 18 months than at
any time since the CRA was passed in 1977.
So, today, what I'd like to do is step back a bit and ask, why now?
Which is really another way of asking why we have the CRA at all, and why it's
important to get serious about community investment. I believe there are four
concerns that have led to the growing emphasis on the CRA.
First, there's a perception that even though the CRA is on the books,
lenders still are not doing an adequate job of providing credit to low- and
moderate-income neighborhoods. Many are concerned that this lack of credit in
low- and moderate-income communities is stunting economic growth, limiting
opportunities for advancement, and contributing to decay in these areas. This
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isn't a new argument, but it's taken on new force in light of the recent
slowdown in the economy and the speculation that a nationwide credit crunch is
partly to blame for the slowdown.
A second reason community investment has become so important is that the
need for affordable housing has grown tremendously since the CRA was passed.
In the past decade, the median price of housing in major metropolitan areas
has risen nationwide, while the (real) income of the bottom 40 percent of the
population has declined. Indeed, the decade of the '80s was none too kind to
the poorest households: their income declined 12.5 percent, compared to a 14.3
percent gain for the richest households.
And when you look at who's among the poorer households, it's clear that
they're not only the unemployed. There are many so-called working poor who
are priced out of housing. In the San Francisco Bay Area, for example, a
family of four attempting to live on a starting teacher's salary would easily
qualify as a low-income household.
A third factor that has led to the heightened emphasis on CRA is the
increasing scarcity of public monies for community development. This is
coupled with a growing belief that the government's efforts to solve the
problem of neighborhood decay have been largely unsuccessful. So, it's no
surprise that Congress and community groups have turned up the heat on the
private sector as a source of capital for community investment.
A final consideration is that, whether you agree with the proposition or
not, in the mind of the public, depository institutions share a public trust
to meet the credit and financial services needs of all communities. This
perception has grown stronger over time. It's been evident in the
Congressional debate about the need for ''lifeline" banking services, among
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other things.
For all these reasons, the obligation of lenders to reinvest in their
communities has come under increased scrutiny in recent years. So have the
regulators• efforts to enforce the CRA.
In March last year, the federal regulatory agencies published new
guidelines to clarify what is acceptable performance under the CRA. The
revised guidelines don't change the basic framework for evaluating that
performance, but they do recognize that a successful CRA program now requires
more than loans; a successful program also frequently involves familiarity
with federal, state, and local assistance programs. It also usually involves
the provision of low-cost checking accounts and a willingness to provide
technical and administrative support to community development organizations.
The most important requirement for a successful CRA program, however, is
top-management involvement. Without support from the top, community
investment can never be integrated into an institution's decision-making and
planning processes the way it needs to be. In this regard, I've been
encouraged to see that more and more chief executives of the banks we
supervise have become involved in developing and shaping their institution's
CRA program.
The tougher compliance standards embodied in the revised CRA policy are
one sign that financial institutions need to get serious about community
investment. Public disclosure of CRA examination findings is another. As you
know, following every examination conducted after July 1 of this year, the CRA
rating and written evaluation must be made available to the public. Not only
will this subject individual institutions to heightened public scrutiny, it
will also subject the regulators to closer scrutiny. And you'd better believe
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we have an incentive not to allow grade inflation in our ratings!
Some of these ratings have come out already. None of them has caused
much stir. Indeed, for most institutions, disclosure probably will be a non
event in the sense that their record is pretty good. At any rate, for every
institution, the new policy offers the opportunity and the incentive to
improve communications with community groups. Public disclosure of the CRA
evaluation is one way to tell potential customers about the services and
products your institution provides. This sort of communication should help to
increase lenders• awareness of the needs of the communities they serve.
It also should help dispel some misconceptions about community-based
lending. For example, some lenders seem to think that when there•s very
little lending going on in certain low- and moderate-income neighborhoods,
there can•t be any profitable lending opportunities in those areas. This sort
of thinking reminds me of the joke about the guy who wouldn•t pick up the 100
dollar bill he saw on the sidewalk; he figured that if it were genuine, it
would have been picked up by someone else before he saw it.
Some lenders also seem to think that the CRA requires them to make loans
only on concessionary terms. Community investment is not charity. Charity
may be commendable in its own right, but it will never be sufficient to meet
the need for capital in low-income neighborhoods. Loans made according to
prudent underwriting standards are the backbone of a successful CRA program.
But I don•t want to give the impression that a successful program is
always easy or straightforward to implement. Sometimes it means rethinking
delivery systems to make services more accessible. It may also mean working
with inexperienced nonprofit developers. And it may mean redesigning tests of
creditworthiness to take into account the needs and circumstances of a new and
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different clientele.
At times, it means finding more economical ways to underwrite and
service relatively small loans. The California Community Reinvestment
Corporation is an example of this. Forty-six of the state's banks formed the
CCRC to provide long-term financing for low-income rental housing
developments. CCRC has approved $53 million in loans during its first nine
months of operation. Ultimately, it intends to find secondary market
investors for its loans, so that its $100 million loan pool can be recycled
many times over.
I'm proud to say that the San Francisco Fed played a role in seeing that
the CCRC got off the ground. And we're now working with bankers to develop
similar organizations in Hawaii, Nevada, and Washington.
The goal of the San Francisco Fed is to promote community investment by
encouraging the establishment of such consortia, by sponsoring conferences
like this one, by serving as a clearinghouse of information on community
lending programs, and by publishing a quarterly newsletter on community
investment issues.
Our Community Affairs staff also helps lenders identify market
opportunities by preparing ''Needs Assessment Reports'' on selected metropolitan
areas in the West. In these reports, we provide a review of the economic
health of the targeted community, a description of its housing stock, the
availability of banking, shopping, and other commercial services, as well as
suggestions regarding ways lenders can help meet the community's need for
financial services.
At the Federal Reserve Bank of San Francisco, we're serious about
community investment. We want to help financial institutions and community
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groups work together to meet the needs for affordable housing and economic
development, both urban and rural. Together, we can make our communities
better places to live in. Improving our communities and helping them to
prosper makes good business sense.
Now, I'd like to turn the program over to John Cardemone. John is Vice
President of Credit Services at the Federal Home Loan Bank here in San
Francisco -- the other co-sponsor of this conference. He will be moderating
our program today. John, •••
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Cite this document
APA
Robert T. Parry (1990, October 3). Regional President Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/regional_speeche_19901004_robert_t_parry
BibTeX
@misc{wtfs_regional_speeche_19901004_robert_t_parry,
author = {Robert T. Parry},
title = {Regional President Speech},
year = {1990},
month = {Oct},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/regional_speeche_19901004_robert_t_parry},
note = {Retrieved via When the Fed Speaks corpus}
}