speeches · August 18, 2011
Regional President Speech
Sandra Pianalto · President
The Evolving Financial Services Industry and the Outlook for U.S. Economic Growth :: August 19, 2011 :: Federal Reserve Bank of Cleveland
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The Evolving Financial Services
Industry and the Outlook for U.S.
Additional Information
Economic Growth
Sandra Pianalto
President and CEO,
Federal Reserve Bank of Cleveland
Opening Remarks
Community Bankers Association of
When I was preparing my comments for today, I was reminded that
Ohio Annual Convention
the Community Bankers Association of Ohio was founded in 1974 and
at your first annual meeting, you welcomed about a dozen members Columbus, OH
to the table. Today this convention draws nearly 400 members from
across the state. What a testament to the tremendous value your August 19, 2011
organization has brought to Ohio's community bankers for nearly four
decades.
I'm sure I don't need to tell this audience about the critical role that
community banks play not just in our local economies, but in
America’s economy. As president of the Federal Reserve Bank of
Cleveland, I rely on input from community bankers to better
understand economic activity in my district. Your perspective
matters. Community bankers serve on the board of directors of the
Cleveland Federal Reserve Bank as well as on our branch boards in
Cincinnati and Pittsburgh.
In fact, the entire Federal Reserve System values your voice. This
past year, we formed Community Depository Institution Advisory
Councils in each of our 12 Federal Reserve districts across the
country. A national council comprised of the chairs of each regional
advisory panel meets with the Board of Governors in Washington
twice a year. These councils were formed to collect information and
insights on the economy, lending conditions, regulatory matters, and
other issues from the standpoint of community bankers. And believe
me—I am listening. What I am consistently hearing from you are
concerns about the many challenges facing your industry. In the
aftermath of the financial crisis and the very deep recession, you find
yourselves dealing with new regulations, fierce competition, and
tepid demand for loans in a disappointingly weak economy.
Today, I am going to give you my perspective on some of these
challenges. Specifically, in my comments this morning, I'm going to
touch upon three related areas.
--First, I'll share my outlook for the U.S. economy.
--Next, I'll talk about small business access to credit.
--Finally, I'll discuss the ongoing process of regulatory reform.
Please note that the views I'll share with you today are my own and
do not necessarily represent the opinions of my colleagues in the
Federal Reserve System.
Economic Outlook
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The Evolving Financial Services Industry and the Outlook for U.S. Economic Growth :: August 19, 2011 :: Federal Reserve Bank of Cleveland
Let me begin, then, with a description of my outlook for the U.S.
economy.
Usually, deep recessions produce strong and fast recoveries. Based on
historic patterns, we should have experienced a roughly 10 percent
rebound in real GDP growth during the first year of our expansion.
Instead, our first four quarters of growth amounted to only a 3.3
percent gain. In fact, we are still not back to the overall level of
economic activity that we attained before the recession that began
at the end of 2007.
The unusual combination of forces that caused the recession is also
making the exact course of the recovery difficult to forecast. You
might recall that early last year, it appeared that the economy was
finally showing the first "green shoots" of growth. Yet, over the
summer, dark clouds appeared on the horizon in the form of a
weakening recovery and falling inflation leading the Federal Open
Market Committee to initiate a second round of large scale asset
purchases. Early this year, once again, the economy appeared to be
strengthening, and yet once again, in the summer, storm clouds
appeared. In January, most FOMC members projected real GDP would
expand by 3-1/2 to 4 percent this year. In June, the FOMC's
projections fell to the range of 2-3/4 to 3 percent.
Then a lightning bolt struck on Friday, July 29, when the Commerce
Department revised its estimates for economic growth going back to
2003, and at the same time, gave us our first look at economic
growth in the second quarter of this year. The new statistics gave us
two critically important pieces of information. First, we learned that
the magnitude of the recession was worse than we had thought, and
second, we learned that growth in the first half of this year was
considerably slower than we had expected. In the period between
the FOMC's June and August meetings, other incoming data had also
been disappointing, leading the Committee to conclude at our
meeting last week that labor market conditions had deteriorated in
recent months, household spending had flattened out, and the
housing sector remained depressed. As a result, last week the
Committee indicated that it now expected a somewhat slower pace of
recovery over the coming quarters and that the downside risks to the
economic outlook had increased.
Key among the issues revealed in the latest GDP release is that
consumption growth has been exceptionally soft throughout the
recovery and was virtually unchanged in the second quarter.
Consumer spending accounts for two-thirds of GDP, so it is a key
driver of economic growth. This year, consumers are being
extraordinarily cautious, and perhaps understandably so. Those who
haven't lost their jobs have certainly seen friends and family lose
theirs. And just about every American household has suffered losses
of wealth during the past four years. Under these conditions, it’s
understandable that consumers are focused on rebuilding their lost
wealth, not on spending.
Household incomes have been growing slowly during the past two
years, and consumers are spending less of what income they are
earning. They are saving more, and they are reluctant to take on new
debt. Last month, consumer confidence fell to levels not seen since
the depths of the recession in 2009. More households expect their
incomes to fall over the next 12 months than to rise. The recent
volatility we have seen in equity markets is both an expression of
worry and yet another cause for worry about consumer spending.
When I put all of these facts together, I do not expect much of an
economic boost from consumer spending anytime soon.
Then there is the housing market, whose fortunes are closely tied to
the welfare of most households. Although the housing sector accounts
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The Evolving Financial Services Industry and the Outlook for U.S. Economic Growth :: August 19, 2011 :: Federal Reserve Bank of Cleveland
for only about 5 percent of GDP, it is very sensitive to interest rates
and normally grows rapidly in the early stages of an expansion. Not
this time, though. The housing sector remains very depressed. Home
prices are still under downward pressure, inventories of existing
homes are still very high, and foreclosures continue to be a serious
national problem.
Under these conditions, many people are reluctant to buy homes out
of concern that prices may fall further, while others are reluctant to
sell because they believe they won't receive the full value of their
homes. Also, lenders have tightened their underwriting standards, so
some who may want to buy a home are unable to do so because they
can’t secure a loan. Bottom line—there is actually less investment in
housing taking place in our economy today than there was at the
bottom of the recession. This situation is putting a severe strain on
our recovery.
Business investment on equipment and software has been relatively
strong and continues to expand. Many businesses have the capacity
to spend more, but are simply hesitant to do so; they are still
stockpiling record amounts of cash. Lately, business executives have
been telling me that they are just unsure whether consumer demand
will be strong enough to justify much in the way of new job creation.
Nine million jobs were lost in the recession, and we have added back
only 2 million jobs in the past two years. Recent labor reports have
not brought any relief, either. We’re now contending with an
extremely high unemployment rate of 9.1 percent, and nearly half of
those currently unemployed have been without a job for six months
or longer. Millions more are underemployed. What’s more, the loss of
income and income security is feeding back through the system and
further impairing growth.
My latest forecast is for the economy to grow at a rate of about 2
percent this year, and about 3 percent in each of the next two years.
Our economy has to grow at about a 2-1/2 percent clip just to absorb
new labor force entrants and to keep the unemployment rate from
rising. If we're going to dig ourselves out of the hole that we're in
and begin to drive down the unemployment rate, we need even
faster growth than that. I think it will take a quite a few years for
the unemployment rate to fall to more typical levels, in the
neighborhood of 5-1/2 percent.
Turning to inflation, there is no question that food and energy prices
have risen rapidly this year, but I expect these pressures to abate
over time. As always, monthly inflation statistics reflect some forces
that are temporary and others that are more persistent. In my view,
after allowing for all of the temporary factors that cause consumer
prices to bounce up and down, and in light of the amount of slack in
the economy, I see the inflation rate stepping down from its current
level over the rest of this year and into next year as well. I project
that overall inflation will average 2 percent or a bit less in 2012 and
2013. Financial market participants appear to agree: my projection is
consistent with a measure of inflation expectations that we produce
at the Federal Reserve Bank of Cleveland that is based partly on
financial market data.
With my diminished outlook for economic growth, and my outlook for
inflation to soon fall back to 2 percent, I was in favor of providing
additional support to the recovery at last week's FOMC meeting. With
the federal funds rate essentially at zero, the FOMC needed a way to
put downward pressure on interest rates along the yield curve. That
need led us to employ a nontraditional monetary policy tool; namely,
clarifying our intention about the period of time we have in mind for
keeping our federal funds rate target exceptionally low.
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The Evolving Financial Services Industry and the Outlook for U.S. Economic Growth :: August 19, 2011 :: Federal Reserve Bank of Cleveland
Our outlook could change, of course, but right now the Committee
anticipates that it will be at least mid-2013 before we increase our
federal funds rate target. Under the circumstances, I think it made
sense to take the unprecedented step of including that conditional
guidance in our press statement.
In the week leading up to our meeting, most market participants had
already fixed on mid-2013 as the time when we would begin to raise
our federal funds rate target. So, you might ask, how does being
more specific about our monetary policy intentions make any
difference? I expected that the announcement would push interest
rates down along the yield curve, especially in the middle range of
maturities, as a result of changing the expectations of those who
thought a rate increase would come sooner, and by providing more
certainty for everyone. The result of our action has been consistent
with what I had anticipated.
I grant you that monetary policy alone cannot cure all of the
economy’s ills. Nevertheless, I think it is vital that monetary policy
does what it can to promote a stronger economic recovery in the
context of price stability.
Small Business Access to Credit and Bank
Supervision
Well, as the old saying goes, "Enough about me; let's talk about YOU!"
I'm well aware of the fact that these tough times are providing you
with plenty of challenges. Among them is the challenge of providing
credit to small businesses. I am sure I don't have to sell the
importance of a healthy small business sector to community bankers.
In the early stages of an economic recovery, small businesses provide
much-needed fuel to job creation.
I would like to take a moment to address some of the concerns I have
heard about small business access to credit. I know that bankers are
eager to make loans to creditworthy borrowers, and that small
business owners report that weak customer demand is a bigger
problem for them than access to credit. Nevertheless, some small
business owners do think that bankers are being too stringent in their
evaluation of requests for credit, and some bankers are blaming
banking supervisors for discouraging them from lending. To be blunt,
some bankers have been outspoken in their belief that supervisors
are being overly harsh in evaluating small business loans.
This is an issue that greatly concerns me and my colleagues in the
Federal Reserve System. The Federal Reserve Board, along with the
other bank supervisory agencies, has issued examination guidance
over the past years to stress the importance of taking a fair and
balanced approach in assessing loans, one that considers the full
range of information provided by bankers. Now, it's one thing to
provide this guidance; it's another to know how it's working in
practice.
To learn more, the Federal Reserve Bank of Cleveland and other bank
regulatory agencies worked with the Ohio Bankers League to survey
Ohio bankers on the topic of small business lending. The survey
results suggested that some bankers had concerns about the
supervisory process, but the results were not specific enough. So we
decided to drill down deeper. A few members of my non-supervisory
staff spent a fair amount of time talking individually with about two
dozen community bankers about supervisory practices, regardless of
which agency was responsible for their supervision.
Based on their responses, the bankers who participated in the
interviews can be divided into three distinct categories. The first
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The Evolving Financial Services Industry and the Outlook for U.S. Economic Growth :: August 19, 2011 :: Federal Reserve Bank of Cleveland
group—slightly more than a third of the bankers we spoke with—told
us that their lending decisions were not influenced by their banking
supervisors.
A second group of bankers explained that supervisory pressure was a
factor in their small business lending decisions. However, they
acknowledged that some underlying problems at their banks, such as
growing loan losses and deterioration in their capital positions, may
have been the cause of this increased scrutiny. These bankers
generally conceded that their supervisors' actions were appropriate.
We were most interested in the responses from the third group of
bankers, nearly a quarter of those interviewed. These bankers
described their banks' financial condition and supervisory ratings as
strong and yet they said that they were holding back lending because
of the supervisory and regulatory environment. These bankers have
become intensely cautious about risks even when they feel borrowers
are creditworthy. The feedback from this group is what concerns me.
Based on what we learned, we have discussed the interview results
with our supervision staff at the Cleveland Fed to remind them about
the importance of frequent, clear, and open communication during
the exam process. It's a two-way street; we expect bankers to ask
questions about findings they don't understand, or disagree with, and
we expect our examiners to provide factual support for their
supervisory findings.
Our supervisors are well-trained and take their responsibilities
seriously. They know that their actions have consequences. I do not
want to have situations where bankers deny loans to creditworthy
small businesses, especially in this slow-growth economy in which
every good loan counts.
I can tell you that the bankers we spoke with were very appreciative
of the opportunity to discuss these supervisory issues outside their
examination cycle. They also took advantage of the opportunity to
share some opinions about the ongoing process of regulatory reform.
So let me now turn to that topic.
Impact of Regulations on the Financial
Services Industry
The Dodd-Frank Wall Street Reform and Consumer Protection Act is
just over a year old. As you know, the Federal Reserve and other
financial regulators are in the process of developing and
implementing hundreds of new rules. The reforms will affect nearly
every aspect of the financial services industry, including how
regulators operate. For example, the Federal Reserve recently
assumed responsibility for savings and loan holding company
supervision. While savings and loan holding companies are similar to
bank holding companies, they are not identical, so we are working to
deepen our knowledge about the savings and loan industry.
Let me by point out that the bulk of Dodd-Frank is aimed primarily at
the very large, complex banks and financial services providers, some
of whom were less tightly regulated before the financial crisis—in
other words, the shadow players. Nevertheless, I hear from
community bankers that you are concerned that the expectations
being set for the largest institutions will ultimately be imposed in a
burdensome manner on smaller institutions, adversely affecting the
community bank model. I understand your concerns and recognize
that well-intentioned legislation can sometimes lead to unintended
consequences.
In the past, you may have heard me talk about a regulatory and
supervisory framework called "tiered parity." In this framework,
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The Evolving Financial Services Industry and the Outlook for U.S. Economic Growth :: August 19, 2011 :: Federal Reserve Bank of Cleveland
financial firms would be placed into a particular category, or tier,
based on their complexity and the level of risk they pose to the
overall financial system. The regulatory and supervisory approach
applied to each tier would be consistent within each tier—resulting in
parity of treatment for firms with similar risk profiles. However, the
regulatory and supervisory approach would differ between the tiers.
They would become less restrictive from one tier to the next as the
risk to the financial system decreases.
I am pleased that the provisions of the Dodd-Frank Act embody the
spirit of this tiered parity framework—that is, the most restrictive
regulatory requirements are imposed on the riskiest, systemically
important firms. That means that the riskiest firms receive the
highest degree of supervisory scrutiny. At the same time, the Act also
clearly seeks to minimize the regulatory burden on banks with assets
of less than $10 billion. So there is no "one size fits all" formula for
regulations or supervision.
To be realistic, though, all players in the financial services industry
will face a number of challenges as they adapt to the new regulatory
environment. While Dodd-Frank is not fundamentally aimed at
community banks, your institutions will also have to adjust to this
new environment.
An important and relevant example involves enterprise risk
management. The Dodd-Frank Act requires that large, complex
financial organizations establish risk committees and risk
management processes. But truthfully, financial firms of all sizes
would benefit from an effective enterprise risk management program
that is scaled to the nature and complexity of the risk found in that
institution.
Let me provide a specific illustration. One component of enterprise
risk management is managing concentrations of credit. I have no
doubt that all of you know the importance of managing the risks
posed by credit concentrations within your organizations. However,
with the benefit of hindsight, it is clear that poorly managed
concentrations in commercial real estate and construction lending
made many small and mid-size institutions highly vulnerable to a real
estate downturn. In fact, such concentrations have been at the heart
of many of the bank failures we have seen across the country.
These failures punctuate the need for an effective risk management
program to go beyond traditional audit, compliance functions, and
loan review. These programs should look broadly and holistically at
the many places where risks can build up in an institution, and to
mitigate excessive exposures such as concentrations of credit. I
realize that small banks have limited resources to engage in this sort
of effort, but even a modest program that uses key personnel to
develop internal checks and balances and to develop effective
management reports can pay big dividends.
I could make similar observations about many other topics--such as
stress testing, capital planning, and incentive compensation-- that
financial regulators are working to overhaul. The point is, as new
regulations and supervisory practices are developed, it is important
that the regulatory agencies remain sensitive to the burden that new
regulations will place on all banks. The supervisory demands must be
calibrated to the risks we see.
I assure you that the Federal Reserve Bank of Cleveland is committed
to ensuring that our supervisory practices are appropriate to the size
and risk profile of the institution. We will continue to strive to be
fair, balanced, and consistent supervisors.
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The Evolving Financial Services Industry and the Outlook for U.S. Economic Growth :: August 19, 2011 :: Federal Reserve Bank of Cleveland
Conclusion
As community bankers, you are on the front lines of our nation's
battle to emerge from the recession. You are out there in the
neighborhoods and understand the challenges brought by layoffs and
foreclosures, stressed government budgets, and nervous business
owners. These are your customers, your depositors, and your friends.
But we all have to keep moving forward with a positive attitude.
Remember that even in a slow-growth economy, people will continue
to buy homes and cars and finance their children's educations. The
question then becomes, who will help them fund these purchases?
Business will always need a trusted financial partner to help them
grow; who will be that partner? With your deep knowledge of your
customers, your commitment to your community, and your back-to-
basics approach to banking, you can position yourselves to be that
partner.
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Cite this document
APA
Sandra Pianalto (2011, August 18). Regional President Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/regional_speeche_20110819_sandra_pianalto
BibTeX
@misc{wtfs_regional_speeche_20110819_sandra_pianalto,
author = {Sandra Pianalto},
title = {Regional President Speech},
year = {2011},
month = {Aug},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/regional_speeche_20110819_sandra_pianalto},
note = {Retrieved via When the Fed Speaks corpus}
}