speeches · March 1, 2009
Regional President Speech
Jeffrey M. Lacker · President
Government Lending and Monetary Policy
National Association for Business Economics
2009 Washington Economic Policy Conference
Alexandria, Virginia
March 2, 2009
Jeffrey M. Lacker
President, Federal Reserve Bank of Richmond
The U.S. economy is now in the second year of a recession that began at the end of
2007.1 The deterioration in economic activity has been particularly sharp since
September of last year. But throughout this downturn, a singular feature has been the
extent of the disruption to financial markets and losses suffered by financial institutions.
The financial dimension of this contraction has brought an historic expansion in
government lending to financial market participants, mostly through an expanding array
of Federal Reserve initiatives. In contrast, the Fed's response to most recessions in recent
decades has been limited to adjustments of the target federal funds rate. We've done that
in this cycle, too, bringing the funds rate target from 5 ¼ percent in September of 2007 to
between zero and 25 basis points now.
These two dimensions of the Fed's response are interconnected, since both involve the
use of our balance sheet, but they have different impacts on the economy. So today, I'd
like to speak about the economic effects of government lending and how that relates to
our broader monetary policy goals. In doing so, I'll note what I see as important
differences between monetary and credit policy and I’ll offer my thoughts on the Fed's
role in the extension of government credit. And I'm sure you won't be surprised to hear
that these are my own views and not necessarily those of any of my colleagues on the
FOMC.
The Recent Slowdown
Views about the role of government credit in promoting financial and macroeconomic
stability tend to be shaped by views about the role of credit in the business cycle. In one
popular view, credit market disturbances, such as the recent rise in losses on mortgage-
backed securities, cause banks and other credit intermediaries to pull back credit supply
as they attempt to repair their balance sheets. The reduction in lending to households and
firms forces them to reduce their spending on goods and services and creates an
additional drag on growth. An alternative view is that shocks to the economy affect
spending more directly, and that as growth declines, the creditworthiness of households
and firms deteriorates, causing credit flows to fall and spreads to widen.
These two views represent opposite directions of causality between credit and aggregate
spending. In reality, both of these directions may well be in operation at the same time,
and determining the quantitative importance of each is very hard. But my reading of
1
recent events emphasizes the second view, in which the effect of slowing growth on
credit conditions predominates. This view has received much less attention than it
deserves, I believe, so let me say a few words about the current cycle in light of this
issue.
The antecedent of the contraction we are in was the boom in home sales, prices and
construction coming out of the last recession. Untangling the causes of that boom poses
research challenges that will launch a thousand dissertations, I expect. The most plausible
suspects at this point include financial innovation, regulatory laxity, accommodative
monetary policy and a global savings glut; but all worked through the expanding
availability of mortgage credit. Even with favorable financing conditions though, the
increasingly leveraged purchases of homes would not have made sense without
confidence – in hindsight misplaced confidence – in a continued upward path for home
prices.
Whatever the causes of the boom, the result was what turned out to be a glut of housing,
which, as people’s beliefs about demand growth adjusted, led to historic declines in
prices. The most immediate effect was a collapse in residential investment, and large
consequent declines in employment in construction and related sectors. The reduction in
home owners’ wealth as home prices declined, together with growing uncertainty about
labor market prospects, caused household spending to slow beginning in mid-2007, and
then decline outright in mid-2008. The dimming outlook for consumer spending also
dampened business investment spending in turn, and spread the employment slowdown
beyond the residential construction sector. This, in turn, further dampened consumer
spending.
These trends reduced prospects for and increased uncertainty about household incomes
and firm revenues. As a result, households and firms are riskier lending prospects than
they were a couple of years ago, given the change in the overall macroeconomic
environment. Note that surveys that ask lenders whether they have “tightened terms” in
recent months do not really get at this question. Any given profile of borrower
characteristics – income, balance sheet and credit score, for example – is likely to
translate into a riskier loan now, so banks are likely to have tightened qualification cut-
offs even without any reduction in their risk appetite.2
The downturn in home prices in many regions has resulted in increased losses on home
mortgages, particularly subprime mortgages. Uncertainty about the ultimate depth of the
decline in home values has meant ongoing uncertainty about the magnitude of aggregate
losses that will be realized on mortgage-related assets. Financial market participants have
also faced uncertainty about where these losses will turn up. Mortgage risks were split up
and spread widely, both within the United States and abroad, through securitization and
use of the insurance capabilities provided by credit derivative contracts, making it
difficult to assess any individual institution’s share of the aggregate exposure. In addition,
financial market participants have at times faced uncertainty about prospective public
sector intervention. The disparate responses to potential failures at several high-profile
organizations may have made it difficult for market participants to forecast whether
2
official support would be forthcoming for a given counterparty, and where in the capital
structure that support would land.
Most of what has been observed in financial markets since the summer of 2007 seems
readily intelligible as a consequence of the increased uncertainty facing market
participants resulting from the significant economic downturn. Apprehension about
potential losses caused lenders to demand higher risk premia in interbank credit markets
for institutions with at least some presumed mortgage-related exposure. Market
participants became especially concerned about the heightened risk associated with
lending at longer maturities, and so risk premia became especially elevated for term
lending. Some borrowers were unwilling to pay higher premia for term loans, and
shortened the tenor of their funding. Others sought to protect themselves against an
erosion in counterparties’ perception of their creditworthiness by paying the unusually
high premia in order to “lock in” funding or by hoarding liquid assets despite high
opportunity costs. More broadly, the proliferation of intermediation channels in recent
years has meant that for many borrowers, the next best financing option may not be much
more costly. For example, many commercial paper issuers have back-up lines of credit
with banks that they can draw on in the event they are unsatisfied with market pricing.
Thus observing that a given intermediation channel is “frozen,” “clogged,” or “dried up”
may not indicate dysfunction, per se, but may indicate instead just a portfolio reallocation
in response to a shift in risk assessments.
Federal Reserve Lending
In response to the credit market turmoil, the Federal Reserve, the Treasury and the FDIC
have undertaken a sequence of interventions. Some of these have been fairly direct
extensions of the Fed’s standard discount window lending – such the Term Auction
Facility, or even the primary dealer credit facility, which extended credit to a specific set
of non-bank financial institutions. Others involve the use of Fed credit to support specific
classes of assets – for instance, commercial paper and now asset backed securities.3 Still
others, of course, have provided direct assistance to specific institutions, such as Bear
Stearns and AIG. Citibank and Bank of America obtained asset guarantees provided
jointly by the Fed, the FDIC and the Treasury.
Each of these credit programs involves Federal Reserve lending or lending commitments.
Before last October, the Fed was able to “sterilize” new lending through offsetting asset
sales that soaked up the additional bank reserves, which otherwise would have increased
the monetary base and pushed the federal funds rate below its target at the time. After
October, the cumulative amount lent became too large to sterilize, and further lending
added to the monetary base. Luckily, and perhaps not coincidentally, the implementation
of these large credit programs has coincided with a time in which additional monetary
stimulus is warranted.
Even though the conventional measure of the stance of monetary policy is the central
bank’s interest rate target, monetary policy fundamentally is always about the amount of
monetary liabilities issued by the central bank – also known as the “monetary base.”
3
After all, hitting an interest rate target requires varying the quantity of central bank
money, reducing the supply to raise rates and increasing the supply to reduce rates. Even
when the policy rate has been driven down to zero, central banks can still dictate the
supply of central bank money. And changes in the monetary base can still provide
economic stimulus. Even if the funds rate does not change in response to an increase in
the monetary base, some other rates of return must change to induce banks to voluntarily
hold the additional supply of bank reserves.
These government lending programs, by targeting particular market sectors, alter the
allocation of credit across markets. Consequently, while some market segments benefit
from reduced funding costs, others may actually see their costs rise as credit is diverted to
those markets that have been targeted for support. An alternative approach to expanding
the monetary base is to do it in a way that is more neutral across market segments. Since
risky financial assets are presumably priced in relation to U.S. Treasury securities, which
are free of credit risk, purchasing Treasuries is likely to have little effect on the relative
credit spreads on different financial instruments. This is one reason I expressed my
preference, in my dissent at the last FOMC meeting, for managing the monetary base by
purchasing U.S. Treasury securities rather than through targeted credit programs.
Moral Hazard
Another reason for that preference is that targeted credit programs, in addition to their
immediate effect on the allocation of credit and resources across market segments,
contribute to the moral hazard problem inherent in the provision of government-funded
credit or guarantees. Safety net support for financial institutions encourages private
market participants to view some institutions as “too big to fail,” and weakens those
institutions’ incentive to monitor and manage the risks they face in their business
strategies and financial market transactions.4 Intervention to support particular asset
classes similarly weakens incentives by encouraging private market participants to
discount the cost of credit losses that would depress asset prices. And this weakening of
incentives, by inducing greater risk-taking, eventually increases the ultimate cost of
providing safety net protection.
Some have questioned the empirical relevance of moral hazard in the current episode of
financial market turmoil, citing the fact the equity holders in institutions receiving
government support have suffered significant – and in a few cases, total – losses. But this
observation misses an important point about the moral hazard effects of government
lending. The most direct effect of government credit or guarantees is to lower the cost of
private credit to protected borrowers. Limiting the circumstances in which the benefiting
institution will have insufficient liquidity to survive, means that private debt holders bear
less risk and have less incentive to constrain risk-taking by the borrower. Absent
regulatory constraints, this encourages those institutions to take on more risks than they
otherwise would, including by becoming more highly leveraged. The more leveraged a
firm, the greater the incentive of management and equity to take on risk. Indeed, limited
liability means that equity holders could find a negative net present value investment to
be worthwhile, if it is risky enough. So the fact that equity has absorbed large losses is
4
not strong evidence against moral hazard effects if the safety net protects – and reduces
the cost of – debt. Indeed, the risk-shifting effect of moral hazard makes large losses to
equity more likely to occur, because it makes large gambles more attractive.
It is also commonly argued that moral hazard, while a real and undesirable consequence
of the safety net, is an unavoidable cost of the need to respond forcefully to prevent the
disorderly failure of a large complex institution. This view seems to be based on the
assumption that the systemic risks posed by large financial institutions – stemming from
concentrated and correlated exposures among a complex web of counterparties – are an
inherent and unavoidable trait of modern financial markets. But the pervasiveness of such
characteristics can itself be an endogenous consequence of moral hazard. If systemic
risks at large financial institutions are particularly protected by the safety net of
government credit, then such institutions will have an extra incentive to acquire precisely
those risks. This may be why the unexpectedly large exposures of large banking
organizations to home-mortgage-related risks stemmed from their provision of backstop
liquidity commitments to a wide array of off-balance-sheet securitization arrangements.
Institutions that are viewed as too big to fail may have had a comparative advantage in
supplying contingent liquidity that was most likely to be needed in the event of dire
macroeconomic shocks because those are the circumstances most likely to elicit broad-
scale government lending support.
Cart Before the Horse
The regulatory and supervisory regime surrounding institutions that benefit from access
to government lending support plays a critical role in constraining and preventing the
excessive risk-taking that would otherwise be induced by the moral hazard effects of that
support. The dramatic recent expansion in government lending has extended safety net
support beyond the set of institutions previously covered by that regime. If no corrective
action is taken, the next economic expansion would likely see more excessive risk-taking
that could again destabilize the financial system. It is critical that the scope of regulatory
and supervisory oversight should match the extent of access to government credit support
in order to contain moral hazard effectively. For that match to take place, the boundaries
of government credit support need to be well-defined. In my view, it would be preferable
for those boundaries to be rolled back.
The Federal Reserve System has been digesting and analyzing the lessons learned from
the recent episode and is exploring steps to strengthen supervisory practices and
processes accordingly. More broadly, many observers have urged a restructuring or
reengineering of our approach to financial regulation.5 No doubt much will be said about
financial regulatory reform in the weeks ahead, and a discussion of the relevant issues
would be beyond my scope here. I will just offer the observation that restoring
compatibility between the scope of government support and the scope of government
supervision seems essential to a healthy and sustainable financial system. That vantage
point suggests that when we do get around to considering concrete proposals for our
financial regulatory structure, our choices about whom to regulate and how to regulate
them ought to be driven by our decisions about who is eligible for public sector credit and
5
under what conditions. In 1983, John Kareken of the University of Minnesota and the
Minneapolis Fed described financial deregulation as “putting the cart before the horse,”
suggesting that expanding the powers of banking and thrift institutions without
appropriate attention to design of the financial safety net could be a risky move.6 His
analysis was prescient, given the savings and loan debacle that followed later in that
decade. Karaken’s emphasis was on deregulation in the presence of deposit insurance, but
in the current episode, lending by the Fed and the Treasury has become just as important
a part of the federal financial safety net. Nobody is talking about deregulation now, but
the same principle applies: namely, redesigning our financial regulatory system before
establishing the boundaries of the financial safety net would be like putting the cart
before the horse.
Monetary Policy and Credit Policy
I have spent some time discussing government lending, but the title of my talk is
“Government Lending and Monetary Policy,” so I would like to say a few words now
about the relationship between the two. Earlier, I described how the dramatic expansion
in Federal Reserve Bank lending in the last few months has caused a dramatic increase in
the size of our collective balance sheet and the monetary base.7 I noted that this is a time
in which additional monetary stimulus is needed, and so the two strategies are not in
conflict.
Nevertheless, monetary policy and credit policy are two different things. Monetary policy
consists of changes in the monetary base – the sum of outstanding currency and bank
reserves. Credit policy, in contrast, changes the Fed’s assets while holding the amount of
the monetary base fixed – sterilized lending is an example. Monetary policy aims at
keeping the price level stable and relatively predictable, and by doing so, contribute to
maximum sustainable economic growth. Credit policy is also aimed at promoting growth,
but it is a form of fiscal policy in that it uses the public sector’s balance sheet to alter the
allocation of resources.
As I said, Federal Reserve lending has been financed to a large degree recently by
increases in the monetary base, but that lending could just as well be performed by the
U.S. Treasury and financed by the issue of Treasury securities.8 No immediate change in
the assets and liabilities of the public would be required, since the additional amount of
debt the Treasury issued would exactly match the additional need for assets by the
Federal Reserve Banks if the monetary base were to remain unchanged.
There is one significant difference between lending performed by the U.S. Treasury and
lending performed by the Federal Reserve Banks, however. The Treasury can lend only
under explicit authorization from Congress. The Federal Reserve, in contrast, has
independent control of its balance sheet and funds itself outside of the normal
appropriations process. That independence was affirmed in the 1951 Fed-Treasury
Accord, which freed the Fed from an obligation to suppress interest rates for the purpose
of limiting the cost of public debt.9 Central bank independence is now widely recognized
as an important mechanism for insulating monetary policymaking from inflationary
6
political pressures, and allowing it to respond quickly to short-run macroeconomic
developments.
A New Accord?
This observation led my former colleague, Marvin Goodfriend, to argue 15 years ago for
transferring much of the Fed’s lending activities to the Treasury. He wrote:
“Congress bestows such independence only because it is necessary for the central
bank to do its job effectively. Hence, the presumption ought to be that the Fed
should perform only those functions that must be carried out by an independent
central bank.” 10
While both the Fed and the Treasury can extend credit, only the Fed issues money. Thus,
the Fed’s primary focus should be the management of its monetary liabilities.
Goodfriend advocated an understanding or agreement between Fed and Treasury on
credit policy, analogous to the 1951 Accord.11 A new “credit accord” that assigns to the
Treasury the responsibility for all but very short-term lending to solvent institutions
would have a number of advantages, I believe. On a practical level, at some point in the
future, the Fed will need to withdraw monetary stimulus to prevent a resurgence of
inflation when the economy begins to recover. That time could arrive before credit
markets are deemed to be fully enough “healed” to warrant winding down particular
credit programs. If monetary policy and credit programs remain tied together, as they
currently are, we risk having to terminate credit programs abruptly, or else compromise
on our inflation objective. Separating credit programs from monetary policy would make
it easier to devise a successful “exit strategy,” and would reduce market uncertainty about
how any potential tension between monetary and credit policy will be resolved.
Government lending, whether by the Fed or by the Treasury, fundamentally represents
fiscal policy in the sense that it channels taxpayer funds to private sector entities. The
presumption ought to be that such lending is subject to the checks and balances of the
appropriations process laid out in the Constitution. Using the Fed’s balance sheet is at
times the path of least resistance, because it allows government lending to circumvent the
Congressional approval process. This risks entangling the Fed in attempts to influence
credit allocation, thereby exposing monetary policy to political pressures.
Granted, there are circumstances in which timeliness precludes explicit Congressional
authorization. But the understanding could stipulate that the emergency lending is
transferred to the books of the Treasury after a brief period of time has elapsed.
Moreover, the Treasury could be given explicit line of credit authority, as they now have
for Fannie Mae, Freddie Mac and other entities. For longer-term credit programs that are
meant to support specific market segments, and which are designed and implemented
over a period of weeks, there would not seem to be any practical impediment to seeking
explicit Congressional authorization.
7
I spoke earlier of my sense that the scope of the financial safety net will need to be scaled
back. This could be difficult. When a financial crisis threatens one or more institutions
that appear to pose “systemic” risks to a broad array of counterparties, it can be hard to
contemplate not intervening. But it may also be the case that the systemic risks are partly
the result of expectations about the likelihood of government intervention. This is a
classic example of a so-called time consistency problem.12 One would like market
participants to believe you are committed to resist lending, though following through
later will be difficult. A credit accord could help limit the financial safety net by placing a
hurdle in the way of intervention beyond a well-defined set of circumstances.
Transferring authority for most government lending to the U.S. Treasury and subjecting
that authority to a legislated framework can help commit authorities to a bounded
government safety net.
Conclusion
Raising questions about the efficacy of government lending, as I have done, does not
imply a view that financial markets are working perfectly. Indeed, financial markets are
undergoing tremendous strains as they adjust to large and hard-to-predict losses. I think
the fundamental problem with our financial system involves how our large institutions
accumulated such large, concentrated exposures. Regulatory shortcomings seemed to
contribute, and much needed attention will be given to this problem in the coming
months. But part of the story of how and why institutions exposed themselves to the
losses they are now experiencing has to do with the incentive effects of the financial
safety net. And I hope that this problem also gets the attention it deserves.
1 I am grateful to John Weinberg for help in preparing this speech.
2 For a model in which it is optimal for credit standards vary over the business cycle, see John Weinberg,
“Cycles in Lending Standards?”, Federal Reserve Bank of Richmond Economic Quarterly, Summer 1995,
vol. 81, no. 3, pp. 1-18.
3 For details on the Fed’s credit market interventions see www.federalreserve.gov/monetarypolicy/bst.htm.
4 See Gary H. Stern and Ron J. Feldman, Too Big to Fail: The Hazards of Big Bank Bailouts, Washington,
D.C.: The Brookings Institution Press, 2004.
5 Working Group on Financial Reform, Financial Reform: A Framework for Financial Stability,
Washington D.C.: Group of Thirty. January 15, 2009.
6 John Kareken “Deposit Insurance Reform or Deregulation is the Cart, Not the Horse” Federal Reserve
Bank of Minneapolis Quarterly Review, vol. 7, no. 2, 1983.
7 The two do not necessarily move together one-for-one. Since last September the U.S. Treasury has issued
notes through the Supplementary Financing Program and deposited the proceeds with the Federal Reserve,
effectively draining reserves from the banking system.
8 Although Federal Reserve staff may have unique skills and expertise, there is ample precedent for sharing
skills with the Treasury; for example, the Treasury contracts with the Federal Reserve Banks to perform
fiscal agency functions.
9 For narrative accounts of the events leading to the 1951 Treasury-Federal Reserve Accord, see the articles
by Robert L. Hetzel and Ralph F. Leach in the Federal Reserve Bank of Richmond Economic Quarterly
Special Issue commemorating the 50th anniversary of the Accord (Winter 2001). That issue also contains
the article by Marvin Goodfriend cited below, as well as a related article by J. Alfred Broaddus and
Goodfriend, “What Assets Should the Federal Reserve Buy?” The associated website contains historical
documents, biographies, and additional material. Go to www.richmondfed.org/research and click on
“Treasury-Fed Accord Special Report.”
8
10 Marvin Goodfriend, “Why We Need an ‘Accord’ for Federal Reserve Credit Policy: A Note,” Federal
Reserve Bank of Richmond Economic Quarterly, Winter 2001, vol. 87, no. 1, see p. 24. Reprint of article in
Journal of Money, Credit, and Banking, vol. 26 (August, 1994).
11 See also Charles Plosser, “Ensuring Sound Monetary Policy in the Aftermath of Crisis,” Speech to U.S.
Monetary Policy Forum, New York, NY, February 27, 2009.
12 The commitment problems inherent in the financial safety net are discussed by Marvin Goodfriend and
Jeffrey M. Lacker, “Limited Commitment and Central Bank Lending,” Federal Reserve Bank of Richmond
Economic Quarterly, Fall 1999, vol. 85, no. 4, pp. 1-27; and by Stern and Feldman (2004).
9
Cite this document
APA
Jeffrey M. Lacker (2009, March 1). Regional President Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/regional_speeche_20090302_jeffrey_m_lacker
BibTeX
@misc{wtfs_regional_speeche_20090302_jeffrey_m_lacker,
author = {Jeffrey M. Lacker},
title = {Regional President Speech},
year = {2009},
month = {Mar},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/regional_speeche_20090302_jeffrey_m_lacker},
note = {Retrieved via When the Fed Speaks corpus}
}