speeches · January 28, 1998
Regional President Speech
E. Gerald Corrigan · President
Remarks at the Federal Deposit Insurance Corporation Conference on D... https://minneapolisfed.org/news-and-events/presidents-speeches/remarks-...
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TWEET SHARE EMAIL PRINT Banking in the Ninth
Last summer, in the wake of conversations with a representative
of the community bankers, we hosted two meetings at our Bank to Connect
see if we could reach consensus about deposit insurance reform. MinneapolisFed on Twitter
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The meetings included representatives of Ninth District banking
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institutions of various sizes and geographic locations, as well as a
representative of the FDIC. Needless to say, we did not reach
consensus, but the meetings stimulated us to consider the issue
of deposit insurance reform once again.
Out of this reconsideration came our current proposal, namely to
enhance market discipline by revising the Federal Deposit
Insurance Corporation Improvement Act (FDICIA) by explicitly
putting uninsured depositors at risk in situations where FDICIA's
too-big-to fail (TBTF) provisions are invoked. (Recall that under
FDICIA, uninsured depositors at banks deemed too-big-to-fail can
be fully protected.) In our proposal, the exposure of such
depositors would be limited, say, to 20 percent of their account, so
that spillover effects and the potential for contagion and systemic
risk are contained. Nevertheless, the clear intent of the proposal is
to put large depositors on notice, so that they become more
sensitive than at present to the condition of the banks with which
they are doing business. If this reform is adopted, we would
expect to see differential market pricing of bank liabilities, which
would be salutary in its own right and could also prove valuable in
establishing deposit insurance premia.
Clearly, this proposal is a variation of the coinsurance plan we
suggested about ten years ago. The idea is to get before-
the-event market discipline from large, uninsured depositors and
not to "punish" them after the fact.
Perhaps the most surprising thing that came out of our meetings
with Ninth District bankers last summer was their relative lack of
concern about the issue of deposit insurance reform. Although
certainly not true of all, many of the bankers were not bothered by
the perverse incentives of the current system, even though the
costs of moral hazard to taxpayers and to economic efficiency
have been striking, both domestically and internationally.
Upon reflection, perhaps we should not have been so surprised
because the United States banking system today appears to be
sound and stable. But that is exactly why this is the appropriate
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Remarks at the Federal Deposit Insurance Corporation Conference on D... https://minneapolisfed.org/news-and-events/presidents-speeches/remarks-...
time to consider seriously deposit insurance reform. Because our
banking system is healthy, reform can be assessed deliberately
and objectively. It can also be phased in over time, so that both
bankers and depositors have ample opportunity to adjust, and
disruptions can be held to a minimum. Further, it is not as if bank
supervision is a free good; it requires considerable real resources
from bankers as well as regulators, and it has not been foolproof.
Thus, there appears to be a case for enhanced market discipline
as a complement to supervision.
Both the Presidential commission that examined the causes of the
savings and loan fiasco in this country and the U.S. Treasury in
formulating its financial services restructuring proposal in 1991
concluded unequivocally that the moral hazard of deposit
insurance had been fundamental in the savings and loan debacle
and the exposure of taxpayers. Similarly, examination of the
banking crises of the 1980s and earlier this decade in Asia and
other parts of the world by the World Bank, the International
Monetary Fund, and the Bank for International Settlements,
among others, singled out the moral hazard of government
depositor protection as a major culprit.
To be sure, introduction of additional market discipline raises the
risk of instability, and some may consider this unacceptable. But
as I have argued previously (see "Government Safety Nets,
Banking System Stability, and Economic Development," remarks
prepared for a conference on "Money and Financial Markets in
Asia: A Challenge to Asian Industrialization"), the challenge to
policymakers in this arena is to balance two competing objectives,
namely banking system stability and elimination of the costs of
moral hazard. There is clearly a trade-off here: stability can be
achieved at the expense of high moral hazard costs, or moral
hazard can be eliminated at the cost of instability. We think our
revised coinsurance proposal strikes a reasonable balance
between these objectives.
Let me emphasize that striking this balance is a critical issue.
About a year ago, the FDIC hosted a symposium on the banking
history of the 1980s and its lessons for the future. Many of you
were probably in attendance. Near the end of that symposium,
Paul Volcker commented on the repercussions of the TBTF
decision to fully protect the creditors of Continental Illinois in 1984.
He said: "Even when you had headlines about the weakness of an
institution no depositors moved their money because they had
been convinced that the government was going to take care of
everything, so you had no market discipline .... How do you get
some balance between the rescue and retaining some discipline?"
In concluding, I would offer four additional observations. (1) In our
proposal, the burden of increased market discipline falls on large,
presumably sophisticated depositors. More important, if our
proposal is in place, we would expect the market for information
about the financial condition of banks to broaden and deepen over
time. We also would expect depositors to diversify more than
formerly. (2) Community banks should welcome our proposal
because it goes some distance to leveling the playing field. It does
so because, as matters now stand, uninsured depositors have an
incentive to bank with TBTF institutions, an advantage that is
diminished by our scheme. (3) If our proposal is successful in
enhancing market discipline, it should over time permit a reduction
in the regulatory burden on banks. (4) History has shown that
damage to a country's banks may well damage its growth
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Remarks at the Federal Deposit Insurance Corporation Conference on D... https://minneapolisfed.org/news-and-events/presidents-speeches/remarks-...
prospects. If we are committed to attaining over time maximum
sustainable economic growth, and I believe we are, then we
should take the steps available to improve incentives in the
banking system.
Thank you.
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Cite this document
APA
E. Gerald Corrigan (1998, January 28). Regional President Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/regional_speeche_19980129_e_gerald_corrigan
BibTeX
@misc{wtfs_regional_speeche_19980129_e_gerald_corrigan,
author = {E. Gerald Corrigan},
title = {Regional President Speech},
year = {1998},
month = {Jan},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/regional_speeche_19980129_e_gerald_corrigan},
note = {Retrieved via When the Fed Speaks corpus}
}