speeches · November 12, 2008
Regional President Speech
E. Gerald Corrigan · President
Embargoed until Thursday, November 13, at 11:45 a.m. Central Time
Gary H. Stern
President
Federal Reserve Bank of Minneapolis
Winona State University
Winona, Minnesota
November 13, 2008
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Too Big to Fail: The Way Forward
Gary H. Stern
The too-big-to-fail (TBTF) problem now rests at the very top of the ills elected
officials, policymakers and bank supervisors must address.1 This ranking is sound
given the expansion of the safety net over the last year, an expansion essential to
quell recent market turmoil. And when thinking about what policymakers should
do to address TBTF going forward, we have argued that the recommendations we
have made over the last several years offer a promising approach.2
In explaining the merits of our specific recommendations, we have noted
that the analytical framework used in developing those recommendations seems
widely accepted at this point. But agreement on a general policy framework may,
quite reasonably, not strike observers as a compelling reason to adopt our
recommendations; a general framework may be consistent with a large number of
specific reforms. Seemingly more compelling would be an assessment indicating
that these reforms would have been of appreciable benefit if implemented prior to
the recent turmoil. Indeed, we are frequently asked, “Would your reforms have
made a difference?” suggesting real and, we think, understandable doubt on the
part of observers.
I say “understandable” because we cannot truly know what might have
ameliorated the many spillovers, particularly from one financial institution to
another, that followed the collapse of the subprime lending market. In any case,
policymakers have had to face developments in real time, not aspirations for what
1 Policymakers have made this point directly. See, for example, Kate Gibson and Greg Robb, “Bernanke Sees Long
Slowdown, but Still Confident,” Market Watch, Oct. 15, 2008. Recent press accounts also highlight the importance
of TBTF. For example, see Cheyenne Hopkins, “Big Policy Choices Face New President,” American Banker, Nov.
5, 2008. See also Bob Davis, Jonathan Weisman and Timothy Aeppel, “New Economic Ills Will Force Winner’s
Hand,” Wall Street Journal, Nov. 4, 2008.
2 Many of these recommendations are developed in Gary H. Stern and Ron J. Feldman, Too Big to Fail: The
Hazards of Bank Bailouts (Washington, D.C.: Brookings Institution Press, 2004).
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might have occurred, and as I indicated, I think the response was fully appropriate.
That said, we would not have put forward recommendations if we did not think
they would have provided benefited in the here and now. In particular, I will argue
in this speech that these recommendations would have better prepared
policymakers for the fallout that accompanied the weakening of systemically
important financial firms. Such preparation may not have prevented the need for
safety net expansion, but would have raised the odds that more narrow measures
would have sufficed.
In the rest of these remarks, I first briefly describe recent Federal Reserve
actions. I then provide some examples of recommended steps that would have led
to better preparation in advance of the crisis. Finally, I offer some specific
proposals for near-term adoption.
Recent Federal Reserve Actions
The Federal Reserve has taken a wide range of extraordinary actions to
respond to conditions in the financial markets over the last year or so. Given
the tools available to the Federal Reserve and our mission, we have largely
focused our efforts on increasing the availability of liquidity to financial
institutions. Without trying to be comprehensive, I would note the following:
We have eased the terms of our discount window lending to
traditional users, including reducing prices and lengthening maturities, for
example. We have also rolled out new ways to provide this credit, including
auctioning it off. More dramatically, we have allowed certain securities
firms, the so-called primary dealers, to access our credit facilities. Finally, in
two cases, we have used our lending powers to try to facilitate the orderly
resolution of financial firms whose failure otherwise posed systemic risk.
3
I could point to other actions, such as increasing our coordinated
lending of dollars with other central banks, but suffice it to say the Federal
Reserve has responded to unprecedented times with equally unprecedented
actions. And, of course, we have lowered the federal funds rate target from
5¼ percent in September 2007 to 1 percent today. Such actions were
appropriate given the challenges we faced, although I will comment soon
about the downside associated with these policies.
We have seen some important progress in recent weeks in funding
markets, due to these policy responses and due to related actions taken by
other governmental institutions. That said, significant strains continue in
some markets and among financial institutions. It is critical that the steps we
have taken succeed in restoring stability. But as I noted, these actions have
had the undesirable side effect of exacerbating the TBTF problem. Once
immediate fires have been doused, policymakers will have to turn to reining
in TBTF because, left unchecked, the TBTF embers remaining from our
emergency response will likely contribute to future financial conflagrations.
I now discuss some reforms to address TBTF that I think policymakers
ought to consider seriously at that point.
Policies to Address TBTF
I have long recommended that policymakers evaluate policies to address
TBTF against their ability to appropriately reduce the likelihood that
government will provide support to nominally uninsured creditors of large
financial institutions. I believe that policymakers provide such support in
order to limit the fallout, or spillovers, that arise when a large financial
institution gets into trouble. So effective TBTF policies are those that allow
policymakers to better manage the spillovers from the collapse or failure of a
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large financial firm. Based on recent public statements from a range of
officials, I see a consensus emerging on this policy framework for
addressing the TBTF problem.
This framework, however, does not provide sufficient detail to really
guide policy. In prior work, we have provided a fairly extensive list of
specific recommendations; more recently, we have offered a near-term plan
with three specific reforms, which I will discuss later. These
recommendations flow directly from the framework that policymakers seem
comfortable with and thus are a good place to start.
However, both implicit and explicit feedback we have received suggest
some underlying doubt about the reforms recommended and the justification
for them. Put simply, we have been asked the rhetorical equivalent of the
following two questions:
1. If our reforms were so on-target, why were they not adopted in the
first place?
2. Would these reforms have actually made a difference to recent
events?
Let me try to respond to these questions.
In terms of the first question, it is clear that we viewed TBTF as a
greater risk and higher priority than many. I am not precisely sure why, but I
think there are good reasons why others did not have the same level of
concern. Some may have viewed TBTF reforms as a poor use of scarce
resources. Policymakers always have a large number of initiatives under
way, but they can only give priority to a select few. In this context, recall
that by virtually all measures, most of the largest financial institutions were
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in excellent condition prior to recent turmoil. So ex ante, other issues may
have reasonably seemed more important even if, ex post, TBTF is now
viewed as paramount.
In other cases, I think the answer lies, at least partly, in the belief that
previously enacted reforms would make it both exceedingly difficult and
unnecessary for policymakers to support uninsured creditors. Observers
seemed to believe these reforms put creditors at risk of loss and obviated
concerns about TBTF. In particular, we heard from many that the regime
created by the 1991 Federal Deposit Insurance Corporation Improvement
Act (FDICIA) to limit TBTF support rendered our concerns about the scale
and persistence of TBTF moot. Adherents of this view would not be
expected to push efforts to fix TBTF to the top of the “to do” list.
Suffice it to say that we had a different view on this topic, one which
we have been fairly vocal about for some time. In short, we did not think
that FDICIA reforms would, when push came to shove, act effectively as a
limit on creditor expectations or on policymaker actions, and recent events,
in large part, bear this out. For example, policymakers invoked FDICIA’s
so-called systemic risk exception when they provided unlimited deposit
insurance on noninterest-bearing business accounts at all banks.3 To the
extent that these explanations provide the rationale for not enacting TBTF
reforms previously, they no longer seem relevant, and thus we think that our
recommendations are worthy of attention.
3 Policymakers invoked the so-called systemic risk exception of FDICIA in creating the FDIC’s “Temporary
Liquidity Guarantee Program” and in the context of the proposed acquisition of Wachovia Corp. by Citicorp Inc.
See FDIC press releases 100-2008 and 88-2008, respectively. In contrast, policymakers did not invoke the exception
in the failures of IndyMac Bank, F.S.B., and Washington Mutual Bank despite the large size of these two
depositories (see FDIC press releases 56-2008 and 85-2008).
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In terms of the second question, “Would the reforms have made a
difference?” let me point to some representative examples suggesting that
the reforms we recommended would have contributed to better preparation
prior to the crisis.
One recommendation that would have increased preparedness for
recent events concerns what we called scenario planning. We described key
aspects of this reform as follows:
Policymakers could reduce the uncertainty that they face when
a large bank fails by knowing the potential exposures other
banks have to the failing institution in advance and practicing
their response to such failures. … [Supervisors should examine]
how the failure of one institution would affect the solvency of
[other large banks]. … This amounts to checking out how much
one bank … owes the others at a point in time—say, at the end
of a business day. … [T]he government would focus on
spillovers and cross-institution exposure. … Supervisors should
develop detailed plans for addressing the failure of a large bank,
test those procedures in simulations, and revise the procedures
to account for test results. Supervisors should repeat the cycle
regularly, given the rapidly changing operations of the largest
banks. … [S]upervisors must identify the documents and data
they will need to determine a bank’s solvency and the
exposures it would present to other banks at the time of failure.
… Ultimately, supervisors must identify the gaps between what
institutions can provide and what supervisors require. We view
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it as of the highest priority for supervisors to eliminate such
gaps.4
This approach would have been of considerable value when
determining potential responses to the illiquidity and/or insolvency of
specific large financial institutions over the last year. To be sure, such
preparation may not have ultimately changed the need for significant policy
action, but policymakers would have likely had a better understanding of the
specific “interconnectedness” of large financial firms, suggesting that
responses to the outcomes could have been more timely and better focused.
In particular, if we (as policymakers) had grasped the net of
connections of large financial firms in, say, 2006 instead of 2008, we might
have taken steps to figure out how to contain the ability of this network to
spread risk. For example, policymakers have now identified the absence of
an effective resolution scheme as a major weakness in addressing the
spillovers created when large nonbank financial firms get into trouble. This
absence and a desire to contain these spillovers explain, in part, the
extraordinary support such firms ultimately received. It is likely that the type
of exploration we advocated would have raised the visibility of this problem.
In a second recommendation, we emphasized the importance of
communicating and signaling to creditors their likely treatment in the
resolution of institutions they might consider TBTF. We have been clear that
policymakers need to “anchor” the expectations of these creditors to avoid
surprising them with the eventual support that may, or may not, be
forthcoming. Some observers have attributed the deterioration of credit and
4 See Stern and Feldman, pages 112 and 114. We explain our broad definition of the term “bank” and our use of it
on pages 14-16.
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financial market conditions over the last several months to surprises that
creditors of large institutions experienced.5
In a third example, we encouraged policymakers to consider new
capital regimes that would have enhanced bank capital positions in bad times
by locking in the ability to raise capital in the future.6 At the time we
highlighted it, we noted that this proposal may not have been practicable,
and it still might not be. But certainly many observers have concluded that a
more “procyclical” capital regime would have better addressed the recent
turmoil than the one currently in place.7
There are other recommendations we could mention. For example, we
identified the benefits of increasing the use of centralized clearinghouses for
derivative markets and stressed the importance of resolution schemes that
could quickly make payments to uninsured creditors of the funds owed them
by the failing institution.8
Again, I should stress that even with adoption of our
recommendations, recent events might have unfolded largely as they did.
Better preparation would not have changed the cause of our current financial
troubles, though it almost certainly would have altered the effect, because
better preparation makes for better policy. That said, we recognize that some
recommendations we have made in the past have not held up. And I
certainly make no claim for having foreseen how the decline in housing
prices would spill over so aggressively to the financial sector and real
5 For our suggestions, see Gary H. Stern and Ron J. Feldman, “Constructive Commitment: Communicating Plans to
Impose Losses on Large Bank Creditors,” in Douglas D. Evanoff and George G. Kaufman (eds.), Systemic Financial
Crises: Resolving Large Bank Insolvencies (Hackensack, N.J.: World Scientific Publishing, 2005).
6 See Stern and Feldman, page 128.
7 For an example of an extension of the capital proposal we highlighted, see Anil K. Kashyap, Raghuram G. Rajan
and Jeremy C. Stein, “Rethinking Capital Regulation,” 2008,
http://www.kc.frb.org/publicat/sympos/2008/KashyapRajanStein.09.15.08.pdf.
8 See Stern and Feldman, pages 137 and 122-123, respectively.
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economy. Finally, others did implement select reforms to address TBTF,
which they identified with no help from us.
These caveats notwithstanding, by the standard of these two direct
questions, our previously articulated reforms clearly have merit and deserve
a second look. So where should policymakers start?
Systemic Focused Supervision
Having recognized the value of establishing priorities in my previous
comments, I have tried to impose the same discipline on myself. We would
begin the effort to manage TBTF with an approach we call systemic focused
supervision (SFS). I have detailed this plan elsewhere, so let me just hit the
main points here.9 In general, SFS attempts to focus supervision and
regulation efforts on reduction of spillovers, and it consists of three pillars:
early identification, enhanced prompt corrective action (PCA) and stability-
related communication.
Early identification. This is a process to identify and to respond,
where appropriate, to the material exposures among large financial
institutions and between these institutions and capital markets. This process
relates closely to the scenario planning recommendation I discussed a few
moments ago. The goals of the exercise I described are (1) to give
policymakers a sense of which events are not likely to severely impair a
large financial institution, thus permitting them to avoid providing support,
and (2) to identify those exposures that might bring down the firm, and thus
are deserving of closer policy scrutiny and, most importantly, an effective
and timely response.
9 See Gary H. Stern, “Limiting Spillovers Through Focused Supervision,” The Region, September 2008.
10
Enhanced prompt corrective action. PCA works by requiring
supervisors to take specified actions against a bank as its capital falls below
specified triggers. Closing banks while they still have positive capital, or at
most a small loss, can reduce spillovers in a fairly direct way. If a bank’s
failure does not impose large losses, by definition it cannot directly threaten
the viability of other depository institutions that have exposure to it. Thus,
the PCA regime offers an important tool to manage systemic risk. However,
this regime currently uses triggers that do not adequately account for future
losses and gives too much discretion to bank management. We would
augment the triggers with more forward-looking data outside the control of
bank management to address these concerns.
Communication. The first two pillars of SFS seek to increase market
discipline by reducing the motivation policymakers have for protecting
creditors. But creditors will not know about efforts to limit spillovers, and
therefore will not change their expectations of support, absent explicit
communication by policymakers about these efforts.
Conclusion
Recent events have been unprecedented. I’m skeptical of claims that the
Federal Reserve or anyone else should have foreseen the situation as it
actually played out. I also strongly support the actions the Federal Reserve
has taken in response to these events, even with the undesired side effect of
intensifying the TBTF problem. A significant issue, though, is what reforms
should policymakers introduce to address the magnified TBTF problem?
One criterion is that we consider reforms that would have helped prepare
policymakers for the financial fallout they have faced over the last year or
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so, and it is my conviction that several reforms I have previously articulated
fit that bill.
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Cite this document
APA
E. Gerald Corrigan (2008, November 12). Regional President Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/regional_speeche_20081113_e_gerald_corrigan
BibTeX
@misc{wtfs_regional_speeche_20081113_e_gerald_corrigan,
author = {E. Gerald Corrigan},
title = {Regional President Speech},
year = {2008},
month = {Nov},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/regional_speeche_20081113_e_gerald_corrigan},
note = {Retrieved via When the Fed Speaks corpus}
}