speeches · October 19, 2011
Regional President Speech
William C. Dudley · President
FEDERAL RESERVE BANK of NEW YORK ServingtheSecondDistrictandtheNation
SPEECH
Opening Remarks at the Global Association of Risk Professionals Forum
October 20, 2011
Posted October 21, 2011
William C. Dudley, President and Chief Executive Officer
Opening remarks at the Global Association of Risk Professionals Forum, New York City
I want to welcome you to the Federal Reserve Bank of New York, and to the risk forum we are sponsoring jointly with the Global
Association of Risk Professionals. I want to thank Rich Apostolik and Rene Stulz for their work in organizing this forum with us.
Before I introduce tonight’s speaker, Pat Parkinson, I’d like to make some brief remarks.
The financial crisis underscores the importance of good risk management practices and systems. Some firms had a better
understanding of the risks that they were exposed to and liquidated positions and bought protection as the housing boom turned
bust. But others took too much comfort in credit ratings or felt too comfortable operating with very high risk concentrations. The
desire to protect revenue streams also caused some firms to stick much too long with businesses that were much more exposed to
risk than anticipated.
Value at risk measures proved inadequate—understating risk in numerous ways—first, by putting too much weight on historical
volatilities, second, by understating tail risks, and third, overstating diversification benefits in adverse economic circumstances.
Also, some firms had difficulty in assessing their exposures on a consolidated basis. Thus, while risks in particular business units
might have looked manageable, there was a lack of understanding about how the risks aggregated up at the firm level and how
adverse shocks could reverberate more broadly throughout the firm’s activities and business.
There has been considerable progress made since the crisis hit. Risk management practices have been bolstered, MIS systems
improved, and scenario stress analyzes have become more commonplace. But there is still much to do. In particular, transparency
into risk management practices remains poor. Investors have little information by which to assess the competencies of firms as
risk managers or how well firms will likely do in adverse economic circumstances. Also, the ability to discern various basis risk
exposures is poor. The large banks have huge books of business that net down to much more modest net exposures. Investors are
uncertain about how to think about this as they cannot easily discern how solid the hedges, collateral, and guarantees will turn out
to be under stress. Right now, investors are focused on exposures to European sovereigns and banks. The gross exposures are
sometimes quite sizable, but the net positions are typically small. We need to figure out better ways to present these exposures and
risks in the firm’s disclosures.
Two more points, I would like to make about risk management.
First, in thinking about risk management, we need to be cognizant that, at times, that risk management objectives for the firm may
diverge from those of the regulator. In the spring of 2009, the largest U.S. banks did not want to raise more capital because in
good states of the world they would not need it and raising that capital in order to have capital for bad states of the world would be
very dilutive for shareholders.
The regulatory perspective was different. If banks did not prepare for a bad state of the world, this made the bad state of the world
more likely. By forcing the banks to hold sufficient capital to withstand bad states of the world, the SCAP exercise made a bad state
of the world less likely. This underscored an important externality—if an individual firm strengthens itself, this strengthens the
financial system and makes everyone better off. I would argue that this issue is relevant right now with respect to the European
bank and sovereign debt crisis.
Second, there are limits on the ability of good risk management practices to protect the financial system. We have to recognize that
the feedback loops and contagion channels within our complex financial system are extraordinarily complex and that risk
management modeling will often be inadequate in describing how such a complex system is likely to perform under stress. For
example, I think we can take too much comfort by focusing on bilateral, direct exposures. As we have seen in the financial crisis,
the lines of contagion can occur in unanticipated ways. Also, I may understand well my exposures to my counterparties, but what
about my counterparties’ exposures to others in the financial system? I conclude that good risk management practices are
essential, but not sufficient. Appropriate capital and liquidity buffers; fulsome transparency and disclosure, and incentives that are
consistent with safety and soundness are all also important. Also, working towards a financial system structure in which shocks
are attenuated rather than amplified is important.
I’m pleased tonight to introduce Pat Parkinson as our keynote speaker. Pat has been Director of the Federal Reserve Board’s
Division of Banking Supervision and Regulation since October 2009. Prior to that, Pat was Deputy Director of the Board’s Division
of Research and Statistics, with responsibility for oversight of the micro-financial policy. In addition, from 1993 until 2009 he was
the principal staff advisor to the Board’s Chairman on issues considered by the President’s Working Group on Financial Markets.
He first joined the Board’s staff in 1980. During the first half of 2009 Mr. Parkinson served as Counselor to Treasury Secretary
Geithner and played a leading role in development of the Administration’s proposals for reforming financial institutions and
markets, including the OTC derivatives markets.
Pat is one of our most experienced risk management experts. His international experience is extensive. From 1999 to 2004 he co-
chaired the CPSS-IOSCO Joint Task Force on Securities Settlement Systems, which developed the international standards for
securities settlement systems (including central counterparty arrangements for derivatives). This work has been the basis for the
current effort to update these standards. Pat’s earlier contributions are an important reason why this work has been moving ahead
smoothly.
Finally, let me underscore my own appreciation of Pat’s work. He and I worked very closely together during the worst days of the
financial crisis in the fall of 2008 developing some of the special liquidity facilities such as the CPPF and the TALF. Those were
very difficult and uncertain days. I have a great appreciation for his ability and insight.
Cite this document
APA
William C. Dudley (2011, October 19). Regional President Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/regional_speeche_20111020_william_c_dudley
BibTeX
@misc{wtfs_regional_speeche_20111020_william_c_dudley,
author = {William C. Dudley},
title = {Regional President Speech},
year = {2011},
month = {Oct},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/regional_speeche_20111020_william_c_dudley},
note = {Retrieved via When the Fed Speaks corpus}
}