speeches · May 9, 2002
Regional President Speech
Michael Moskow · President
FINANCIAL MARKET BEHAVIOR AND APPROPRIATE REGULATION OVER
THE BUSINESS CYCLE
38TH ANNUAL CONFERENCE ON BANK STRUCTURE AND COMPETITION
Chicago, Illinois
May 10, 2002
.....................................................................
Financial Market Behavior and Appropriate Regulation Over the Business Cycle:
Summary Comments
Good afternoon. I’m Michael Moskow, president and CEO of the Federal Reserve Bank of Chicago. As you fin-
ish your dessert, and before I introduce our distinguished luncheon speaker, I’d like to take a few minutes to
summarize some of the discussion we’ve had over the past couple of days.
The theme for this year’s conference deals with the changing behavior of financial firms - and the appropri-
ate regulatory response - over the business cycle.
The topic has generated significant interest in recent months as the U.S. economy experienced its first cycli-
cal downturn in nearly a decade, and there is growing disagreement over the cyclical implications of proposed
adjustments to bank capital requirements.
At issue is whether banks behave in a manner that tends to accentuate business cycles, and whether bank reg-
ulation further augments this volatility. It is generally thought that during business cycle up-swings, bank lend-
ing activity expands as loan standards soften and risk managers are excessively optimistic about future events.
Alternatively, when the economy starts to slow, risk managers realize they have been overly optimistic and
may over-compensate at the first sign of credit deterioration. This leads to cyclical reductions in bank lend-
ing, and increased macroeconomic instability. Regulation can further augment this cyclicality since it restricts
bank activity during downturns, and is generally not binding during upswings.
Two basic questions concerning the cyclical issues were repeatedly raised during yesterday’s sessions:
Does this paradigm of bank lending activity still accurately describe the situation?
42 Michael Moskow Speeches 2002
Or has the industry changed sufficiently as a result of increased geographic diversification, a wider array of
product offerings, increased ability to hedge risk, improved use of loan sales and, in general, increased indus-
try resiliency to adverse economic shocks?
and
Does regulation add to this procyclicality and can (or should) it be used to partially dampen cycles?
On the first point, most of the discussion yesterday simply assumed that bank behavior continues to accent
the business cycle. However one of our theme panel speakers emphasized that we have had limited ability in
recent years to evaluate whether the traditional paradigm continues to hold true. He emphasized the difficul-
ty involved in assessing bank valuation over the course of the business cycle.
This is partially because of limited evidence from downturns over the past two decades and partially because
of the increased opaqueness in banks’ balance sheets during this period.
Fundamentally, it remains unclear how recent industry changes, and resulting changes in industry resilien-
cy, have affected the typical banking cycle.
This morning, however, Chairman Greenspan emphasized an additional element in the changing nature of
banking that could tend to dampen banking cycles; that is the development and increase use of sophisticat-
ed risk-management practices. As these practices improve, and the role of the risk manager increases, they
can more promptly recognize and respond to changes in asset quality. As a result, cycles should be dampened.
Concerning the impact of regulation on business cycles, there was general consensus that regulation, by its
very nature, is somewhat procyclical. When economic conditions are good there are typically fewer demands
on bank capital.
There was less agreement, however, on the procyclical nature of the proposed revisions to bank capital
requirements; and what, if anything, should be done about it. During yesterday’s theme panel it was argued
that the objective should not be to fine-tune the business cycle via regulatory policy, but to simply try to
avoid aggravating the cycle. Fine tuning is inappropriate because there is no predictable cyclical pattern of
fluctuations.
How can you protect against a downturn whose arrival is essentially unpredictable?
At best, one may hope to build up capital reserves during good times when asset prices are rising in an
attempt to cushion banks during slower periods.
Discussions of the procyclicality of regulation were dominated by evaluation of the proposed Basel Accord.
BaselII, asthe new capital proposal is labeled, was intended to address the arbitraging which the current rules
have encouraged. The proposed rules strive for a more precise calibration of economic and regulatory capital.
While there is general agreement that there are significant problems with the existing capital guidelines, there
was little agreement on the appropriate adjustments. In fact, it was argued yesterday that the new rules raise
at least as many questions as they answer.
Michael Moskow Speeches 2002 43
There were concerns expressed that the proposed revisions could actually increase systemic risk and pro-
cyclicality; not reduce it. It was recommended that the capital proposal should include substantial revisions
to the credit risk rules, including far greater reliance on reserves for expected losses, as a means to smooth
the business cycle.
Perhaps the most contentious aspect of the Basel II debate is the introduction of a capital charge for “opera-
tion risk;” defined as the risk of the breakdown of information systems, internal controls and corporate gov-
ernance. This component of the proposed Accord has evolved substantially from the original Basel proposal,
reflecting significant input from the industry.
The current proposal emphasizes using bank’s internal risk measurement models to allocate capital for oper-
ational risk. This approach reinforces banks’ existing risk management practices and should result in a more
accurate allocation of capital.
However, again, there was disagreement on the effectiveness of allocating capital to operating risk. One pan-
elist emphasized that there is no widely accepted methodology for measuring operational risk, let alone
assigning capital in relation to it.
Another panelist argued that regulators should be aware of their own limitations.
He warned that they should resist the temptation to “hard-wire” evolving management science into regula-
tions that can be changed only with great difficulty following laborious international negotiations.
However a regulator actively involved with the implementation of Basel II stated that while the new Accord
can easily be criticized, market participants must not let the views of the “best” become the enemy of achiev-
ing the “good.” He argued that there is a lot of good in the new Accord - more risk sensitivity, more options
and flexibility for banks, and more support for sound risk management. In his view it is time to move for-
ward and make Basel II a reality.
As usual at this conference, we covered a number of policy issues in addition to the conference theme. For
example, yesterday we had an excellent discussion of how the industry responded to the tragic events of
September 11 to insure the financial sector continued to function.
Federal Reserve Vice Chairman Ferguson emphasized how past industry efforts at business continuity plan-
ning had paid off during the crisis. He also stressed the cooperative effort of the industry and supervisory
agencies in evaluating best practices aimed at increasing financial system resiliency. The Federal Reserve
Banks themselves are also strengthening their own business resumption plans and updating emergency com-
munications protocols to allow cross-district servicing of financial institution needs.
There were also discussions concerning industry consolidation and geographic expansion.
Much of the research evaluating industry consolidation has found limited benefits and occasional perverse
effects for consumers.
Howeverastudy presented yesterday emphasized the need to allow sufficient time for the full effect of indus-
try consolidation to play out. Analyzing the market for bank deposits, the authors argued that the short-run
and the long-run consequences of mergers could differ significantly. They find evidence consistent with this
44 Michael Moskow Speeches 2002
contention. In the short run the costs of restructuring the consolidated firm may overshadow the gains,
which may not fully emerge for years. The result suggests that mergers can help shift assets to more produc-
tive uses, but those gains may require a significant transition period.
Timing effects were also found to be important in another study evaluating the ability of bank management
to effectively grow and expand their geographic presence.
In recent years, as banks expanded across the country, they ran into a management problem that has long
affected other industries - i.e., the integration of geographically dispersed operations.
A study presented this morning showed that operating a geographically diverse banking organization is
indeed very costly. But the costly effects of distance have declined significantly over the past 15 years. The
authors conclude that by applying new information, communications and financial technologies, banks can,
and have, increased the profitability of geographic expansion.
In summary, I believe that once again the conference has succeeded in bringing together relevant parties from
within the industry, the regulatory agencies and academia to provide critical input to help shape public policy.
Iappreciate the advancement of the debate by both program participants and experts within the audience.
This format has allowed us to discuss some of the more contentious policy issues affecting the financial serv-
ices industry. In fact, if one thinks about the relevant policy issues of the day, I believe that the only issue not
discussed that could generate as much controversy as those we have covered, may be deposit insurance reform.
How convenient!
Before I go on, I want to remind everyone that there is a very interesting session following lunch, beginning at
2:00 p.m. back on the 2nd floor, addressing: “Failure Resolution of Large Complex Financial Organizations.”
Now it’s my great pleasure to introduce our keynote speaker today, Donald E. Powell.
Don has more than thirty years of experience in the financial services industry. He was sworn in as the eigh-
teenth chairman of the Federal Deposit Insurance Corporation (FDIC) on August 29, 2001.
Prior to being named chairman of the FDIC by President George W. Bush, Don was president and chief exec-
utive officer of the First National Bank of Amarillo. He has served on a variety of boards, including chairman
of the board of regents of the Texas A&M University System, advisory board member of the George Bush
School of Government and Public Service, and chairman of the Amarillo Chamber of Congress.
Don also has a long history of community service, ranging from the City of Amarillo Housing Board to the
Franklin Lindsay Student Aid Fund and Cal Farley’s Boys Ranch.
He received a B.S. in economics from West Texas State University and is a graduate of The Southwestern
Graduate School of Banking at Southern Methodist University.
Please join me in welcoming Don Powell.
Michael Moskow Speeches 2002 45
Cite this document
APA
Michael Moskow (2002, May 9). Regional President Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/regional_speeche_20020510_michael_moskow
BibTeX
@misc{wtfs_regional_speeche_20020510_michael_moskow,
author = {Michael Moskow},
title = {Regional President Speech},
year = {2002},
month = {May},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/regional_speeche_20020510_michael_moskow},
note = {Retrieved via When the Fed Speaks corpus}
}