speeches · June 28, 2012
Regional President Speech
Eric Rosengren · President
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“Our Financial Structures –
Are They Prepared for
Financial Instability?”
Eric S. Rosengren
President & Chief Executive Officer
Federal Reserve Bank of Boston
Keynote Remarks,
Conference on Post-Crisis Banking*
Amsterdam, The Netherlands
June 29, 2012
*Conference sponsored by the Dutch Central Bank, the European
Banking Center at Tilberg University, and the University of Kansas
School of Business; in affiliation with the Journal of
Money, Credit, and Banking
It is a great pleasure to be invited to speak at the Dutch Central Bank and to be introduced
by Klaas Knot. I had the pleasure of working with Klaas on a variety of issues related to the Basel
Accord, and also had the opportunity to spend some time as a visiting scholar at the Dutch Central
Bank, which provided a wonderful opportunity to interact with Klaas and his colleagues on a variety
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of research topics. I am happy for the opportunity to discuss how problems in financial markets and
at financial intermediaries can spill over into the real economy, especially at a central bank that has
had a longstanding interest in these issues.
As always, I should note that the views I express today are my own, not necessarily those of
my colleagues on the Federal Reserve’s Board of Governors or the Federal Open Market Committee
(the FOMC).
Since the severe financial stresses of 2008, a variety of actions have been taken to strengthen
the financial infrastructure and make banks more resilient in the face of adverse shocks. While many
banks have improved their capital and liquidity positions since 2008, we still see in the headlines of
newspapers around the world that financial stability remains very much an issue.
In some ways, central bankers must approach the issue of financial stability much like a
structural engineer. Where are the potential stresses in the system? Under what circumstances could
those stresses be particularly problematic? Most importantly, what remedial actions could reduce the
possibility of an unstable outcome?
Today I want to highlight an area where remedial action is still required. My goal is to focus
more attention on financial structures that by design or reality1 reduce or avoid capital charges – what
is often called engaging in “capital arbitrage.” Such structures are vulnerable to stresses that can have
destabilizing effects on financial markets and the broader economy. After some introductory
comments about financial structures with inadequate capital, I will touch on two specific areas that
merit consideration – money market mutual funds sponsored by banking organizations, and broker-
dealer financing.
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The Social Costs of Financial Structures with Inadequate Capital
Holding little or no capital for risky activities can, during good times, generate significant
profits; even in relatively low-margin businesses. However, during times of stress, the power of
leverage works in reverse, amplifying the negative impact of risky activities and necessitating
substantial capital and liquidity at a time when both are in short supply.
These problems become compounded in episodes when the inadequacy of capital becomes
apparent in the marketplace. Investors who normally fund these structures, very often via short-term
lending, flee – and they also flee financial institutions that are perceived to stand behind these
structures (sponsoring institutions, which I will discuss in a moment). In this way, the capital
arbitrage that motivated the risky structures could contribute to a liquidity strain on what has come to
be known as the shadow banking system, and could stress the financial institutions that were integral
to its creation. The reason we care about this is that such an episode often produces instability in
important channels for funding real economic activity – so these Wall Street concerns can have Main
Street impacts.2
Structured investment vehicles or “SIVs” illustrated this dynamic very well. Financial
institutions created SIVs as off-balance-sheet structures that were financed with short-term liabilities
but frequently invested in longer-term assets, such as mortgage-backed securities.3 The associated
credit and interest-rate risk became apparent, as losses from these assets rose. Investors were no
longer willing to purchase the short-term paper issued by these structures. Consequently, many
financial institutions, as a result of implicit or explicit guarantees, were forced to bring these assets
onto their balance sheet – where they were often subject to more significant capital requirements.
This led to substantial losses, balance sheet expansion, and a shortage of capital – all of which
hindered the meeting of funding needs in the real economy.
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Fortunately, the riskiest and most opaque structures of this sort have largely disappeared from
the marketplace. But problematic structures still remain.
Runs on complex securitizations, prime money market mutual funds, and investment banks all
contributed to the severity of the 2008 crisis. Compounding the problem, the investment bank
structures were built on an assumption that runs were unlikely as long as lenders held collateral
against their loans. In the depths of the crisis, however, lenders realized that relying on collateral
could leave them with securities that they did not wish to hold – or in some cases that they were not
even legally allowed to hold.4 When large losses on subprime mortgage assets and complex products
amplified uncertainty about the value of collateral, investors ran – even though they held
collateralized positions.
Despite the lessons provided by the crisis, there remain a variety of financial structures that are
“capital efficient” from the perspective of market participants, but in my view continue to be
susceptible to strains on short-term funding during times of financial market stress or crisis.
I will argue today that one way to address these structures is to make them the focus of stress
tests that result in meaningful decisions about capital adequacy. Continuing the structural engineer
analogy, the stress tests can be helpful much in the way that structural engineers test the resilience of
different designs against modeled events like earthquakes and storms. Banking organizations that
sponsor so-called capital-efficient structures should conduct stress tests that include a focus on
whether these structures will require support during periods of severe market or idiosyncratic stress,
and what the impact would be on the organization at that time. This might lead financial institutions
to be more attentive to these undercapitalized structures, consistent with institutions focusing on the
amount of capital required to survive stressed conditions – rather than the capital needed strictly to
satisfy regulatory requirements.
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By using stress tests to identify the possible capital and liquidity demands from these
structures during a crisis, the institution’s management, board of directors, and regulators can better
determine the appropriateness of the structures and the associated capital and liquidity – and whether
these structures are likely to be beneficial to the organization at all times, or only during good times.
Money Market Mutual Funds Sponsored by Banking Organizations
As an example, I want to highlight money market mutual fund sponsors in the United States.
Specifically, I will discuss the possibility of using stress tests to illuminate the impact of various
scenarios on fund sponsors, many of which are banks or financial institutions.
My primary focus will be on prime money market mutual funds, with approximately $1.41
trillion in total assets as of May 31.5 Prime funds invest in a variety of securities that carry more
credit risk than traditional U.S. Treasury securities.6 Money market mutual funds allow investors to
potentially earn a higher return on short-term investments in part because – unlike banks – money
market mutual funds are not required to hold capital. As a result, they often pay a competitive rate
relative to bank deposits, and they provide investors many features similar to traditional bank deposits
– for example, immediate availability of funds as well as a fixed net asset value that does not fluctuate
when the value of assets held by the money fund changes.
So money market mutual funds provide investors with an investment vehicle with features like
bank deposits – but the funds do not hold capital. The problem is that a financial intermediary –
which has no capital, but takes credit risk, and provides under normal circumstances7 immediately
available funds at a fixed net asset value – may be inviting trouble. Such a fund can be susceptible if
the credit risk of the assets it invests in were to rise, causing investors to become concerned about the
fund’s ability to sell its assets, meet redemption demands, and maintain a stable net asset value.
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Consequently, the implicit expectation of a bank-deposit-like investment can unravel, and the
incentives to redeem could be strong.
As Figure 1 shows, when the Reserve Primary Fund could no longer provide a fixed net asset
value to investors in the wake of the Lehman Brothers failure, investors ran not only from the Reserve
Primary Fund, but also from prime money market mutual funds in general. The top panel shows the
outflows in the form of the daily changes in prime fund assets. It is particularly easy for investors to
exit prime money market mutual funds, especially when they can easily redeem shares8 from a prime
fund and invest the proceeds in a government-securities-only fund, even within the same fund family.
As is clear in Figure 1, the large outflow of funds from prime money market mutual funds was
accompanied to a notable degree by an inflow of funds to government-only money market mutual
funds. This is shown in the bottom panel on the figure.
While the funds may remain in the same fund family with this shift, investors who do not exit
from the prime money market mutual fund could be financially impacted,9 and the prime fund might
need to engage in a fire sale of assets to meet investor demands. Furthermore, firms counting on
money market mutual funds to provide funding (for example by buying their debt – their commercial
paper) can suddenly find that the primary purchasers of their paper are no longer active in the
market.10
Facing all this in 2008, as well as the damage to credit flows and eventually economic activity
in general, the U.S. Treasury responded to the run on prime money market mutual funds by providing
insurance, and the Federal Reserve created a lending facility designed to provide liquidity to money
market mutual funds.11 Questions remain as to whether support could or would be possible today,
given changes ushered in by the Dodd-Frank Act.
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Our concerns should be amplified by the fact that many prime funds are sponsored by
depository institutions or their affiliates. Figure 2 shows the breakdown of prime money market
mutual funds (by percent of assets and by number of funds) by category of sponsor. Just under half
the assets are held in funds sponsored by an asset manager not affiliated with a depository institution.
But domestic (U.S.) bank holding companies, foreign bank holding companies, and savings and loan
holding companies (in other words companies affiliated with depository institutions) combined serve
as the sponsoring organizations for a bit more than half the prime fund assets, and more than half of
the number of funds.
While SEC regulations restrict the credit risk and maturity risk of prime money market mutual
fund investments, these funds nonetheless can and do invest in risky assets. An example is provided
by the number and value of Dexia obligations held by money market mutual funds at the end of 2010,
less than one year before the Belgian and French governments needed to bail out the bank.
As Figure 3 shows, a large number of money market mutual funds with various types of
sponsors held Dexia paper at the beginning of the year in which Dexia failed. However, funds
sponsored by banks or bank affiliates were over-weighted relative to funds sponsored by asset
management firms not affiliated with a bank, both in the number of funds invested in Dexia and the
value of Dexia assets.
Particularly notable is the number of foreign-bank-sponsored money market mutual funds with
exposure to Dexia. While money funds unloaded their Dexia holdings before the government bailout,
there was a noteworthy willingness to hold the obligations of a troubled large financial intermediary
that had widely known problems – perhaps because many expected it to receive government support
in the event of distress. This is similar to what happened with the Lehman failure – when such
expectations turned out to be quite wrong.
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As recent studies have highlighted, it is quite common for money market mutual funds that
have impaired assets to obtain support from their sponsors.12 Whether this is a cash infusion or a
purchase at face value of an impaired asset,13 this support can represent draws on capital14 at times
when the sponsoring organization is facing other capital pressures.
Figure 4 shows support-related losses by fund sponsors, using data provided by Moody’s and
broken down by sponsor type. Moody’s data capture losses attributed to money market mutual funds
that are disclosed on the sponsoring company’s financial statements.15 Note that depository
institution sponsors had significant losses during 2008, a time when many depository institutions were
already facing significant capital and liquidity pressures.
While most of the losses were during stressful times, even during non-stressful times there are
some losses. Figure 5 sums the losses recognized over the five-year period of 2007 to 2011. The
degree of sponsor support is substantial. Support has been quite large and particularly prevalent for
prime money market mutual funds which have depository institution or depository institution
affiliated sponsors. Over this period, Moody’s reports almost $9 billion in losses associated with
money market mutual funds by depository institution or depository institution affiliated sponsors.
The SEC has been working on reform proposals that would provide several measures to
reduce the risk of stresses during times of financial market crisis and provide some capital support.16
I am very supportive of the current push within the SEC for additional reforms, which have the
potential of mitigating many of the concerns I am sharing today. As the primary regulator of money
funds, the SEC is in a position to adopt rules that would address the vulnerabilities of those funds
more comprehensively, effectively, and efficiently than other approaches. However, at this time it is
unclear what the final proposal will be, or whether the SEC’s final proposal will be adopted.
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In the absence of such reforms for all money market mutual funds, an alternative for funds
with depository institution or depository institution affiliated sponsors would be to include likely
money market mutual fund support in the sponsor’s stress tests. Based on the historical experience of
their money market funds, the historical experience of similar funds, and their money market funds’
exposures, sponsors could calculate the likely capital support needed from the organization in a stress
scenario.
Again, this is an admittedly partial approach, in the absence of more comprehensive reforms
that I hope will occur. But this approach would at least make more banking organizations more
resilient (it would not be just money market mutual fund structures that would need capital – any
financial structure that broke down during stress would need more capital) but it would also make
clearer to money market mutual fund investors that banks had capital that could support funds during
stressful periods. It would thus make clear that money market mutual funds with well capitalized
sponsors are likely to be less risky than those that do not have well capitalized sponsors.
Similarly, other financial products that circumvent standard capital requirements – such as non
2a-7 “money market like” funds, stable value wrap products, and asset-backed commercial paper –
could lead investors to expect that the sponsor holds capital for the support that these products could
need in times of stress. While some firms are likely to argue they would not provide support for so-
called capital efficient products, the high frequency of support of money market mutual funds and
other off-balance-sheet items during the crisis makes such claims dubious.
In fact, this support might be encouraged by regulators during a crisis, in order to avoid
broader problems of financial instability. U.S. banking regulators have17 tacitly acknowledged that
bank holding companies may provide such support, subject to limitations identified in Figure 6.18
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Broker-Dealer Financing
Allow me now to turn to a second area for consideration. What we call broker-dealer
financing became particularly problematic during the financial crisis. With the failure of Bear Stearns
and Lehman, it became apparent that broker-dealers, like traditional depository institutions, could be
vulnerable to stresses during times of crisis.
For depository institutions, of course, concerns over the potential for runs have led to
significant regulations to reduce their likelihood. During the Great Depression, runs on banks created
banking panics that resulted in large losses for depositors and a significant reduction in credit – and
those difficult episodes led to a variety of regulations to make runs on banks less likely. The creation
of deposit insurance reduced the incentive for insured depositors to run during periods of financial
stress, and mitigated the sharp reduction in credit availability that accompanies large deposit outflows
from banks. In addition, in the U.S. (and some other countries) depository institutions have access to
the central bank’s “lender of last resort” credit facilities, which are intended to provide liquidity but
not protection from insolvency. Deposit insurance and the lender of last resort function assist banks in
providing one of their fundamental services – transforming short-term deposits into longer-term
assets, since the risk of a sudden need to liquidate assets to meet unexpected outflows of deposits is
greatly diminished.
Broker-dealers in the United States have not had the benefit of similar regulatory protections.
They do not typically have access to central bank lending, and they do not have insurance that reduces
the risk of unexpected outflows. Instead, broker-dealers rely on collateralized arrangements that
allow them to be market makers, under the assumption that wholesale creditors will be comfortable
providing funds as long as there is sufficient collateral backing them. In addition, banks that are part
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of larger bank holding companies are subject to Section 23 A and B restrictions designed to protect
the deposit insurance fund from providing support to non-bank affiliates, including broker-dealers.
Figure 7 details the direct access that broker-dealers have to central bank credit in various
jurisdictions as well as constraints to indirect access through affiliated banks. It shows the differences
across countries in providing liquidity to broker-dealers from the central bank or from bank affiliates.
In both Switzerland and Japan, broker-dealers do have access to liquidity facilities at the central bank.
However, it is not unusual to place limitations on the ability of bank affiliates to provide liquidity to
their broker dealer affiliates as countries seek to avoid or limit having deposit insurance funds
exposed to non-bank affiliate activities.
Figure 8 summarizes the average composition of the balance sheets of large bank holding
companies with high and low concentrations of broker-dealer activities. The figure highlights the
very different asset-liability mix, on average, of bank holding companies that have sizeable broker-
dealer operations compared to those that do not. A traditional depository institution has loans as the
primary asset class, and core deposits as the primary liability category. The loans and certain
securities held can serve as collateral for potential discount window borrowings, and deposit
insurance limits the incentive for insured depositors to run.
In contrast, bank holding companies with a relatively high concentration of broker-dealer
activity tend to hold more assets that are liquid and invest in highly marketable securities that can be
refinanced through repurchase agreements – since broker-dealer operations cannot be funded by
insured deposits. In short, you see greater use of short-term, non-deposit funding sources at the bank
holding companies with high concentrations of broker-dealer activity.
During the financial crisis in 2008, the difficulty in maintaining collateralized funding
prompted the introduction of a primary dealer credit facility at the Federal Reserve. This facility
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provided a way for broker-dealers to obtain short-term funding for their marketable securities because
they otherwise did not have direct access to the Fed’s discount window.
Given the potential liquidity challenges to broker-dealer financing during periods of great
stress, many broker-dealers have bolstered their regulatory capital and adjusted the composition of
their balance sheet. Figure 9 shows that bank holding companies with large broker-dealer affiliates
have been increasing their Tier 1 common equity capital ratios and holding more Tier 1 common
equity capital than bank holding companies with less of a concentration in broker-dealer activities
(although they have also been increasing their Tier 1 common equity capital). Figure 10 shows that
the improvement in capital is less dramatic when using a leverage ratio measure of capital that does
not reflect a shift to lower risk-weighted assets.
Markets are sensitive to the differences in these risk profiles. Figure 11 shows how stock
prices of bank holding companies were impacted during three elevated stress periods – the fall of
2008, the fall of 2011, and the first part of this year. The chart shows that during stress periods, bank
holding companies with a low concentration in broker-dealer activities had less stock price response
to the stress periods than institutions with greater concentrations in broker-dealer activities.
One way to assess the increased market sensitivity of bank holding companies might be to
model in stress tests how a sudden shortage of liquidity might impact broker-dealer operations, and
determine the capital implications. Potentially, broker-dealers could be structured in such a way that
liquidity facilities would not be necessary for broker-dealers during times of financial stress.
However, if a stress test highlights the benefits to those firms of having additional capital or
more liquid assets, it should also take into account the costs involved. Firms might be less willing to
make markets in less liquid assets or might shrink their balance sheets to meet higher capital
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requirements, and thus reduce market-making activities in potentially important sectors of financial
markets.
An alternative would be to develop a framework where, under certain conditions, liquidity
facilities would be regularly made available for broker-dealers during periods of high stress. This
arrangement would recognize that, like more traditional depositories, broker-dealers are subject to
illiquidity in markets, and their reaction to that illiquidity can exacerbate the problem.
From a public policy perspective, the rationale for promoting market functioning during times
of stress is that liquidity strains and other stresses at market makers, like the matter of runs on
depositories, can have a broader impact on the overall economy. However, more analytical work
needs to be done to better understand broker-dealer activities during times of stress, as well as the
potential costs and benefits of alternatives for addressing the potential for stresses at broker-dealers.19
At a minimum, stress tests that focus on the behavior of broker-dealers and their counterparties during
times of stress should be undertaken and their implications well understood.
Concluding Observations
In conclusion, I would note that a major innovation that resulted from the financial crisis was
increased attention to stress tests. The stress tests provide an opportunity for banking organization
management teams, boards of directors, investors, and regulators to better understand the impact of
stressful financial conditions. Increasing the focus of stress tests beyond safety and soundness of
individual institutions to more systemic concerns and implications — such as how markets and
institutions behave during periods of stress — is an under-researched area that deserves more
attention. These are the relatively early stages of understanding how best to conduct stress tests, and
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what the implications of those tests should be for financial institutions. This is, and will continue to
be, an iterative process.
I have highlighted two areas where more work needs to be done. The first is to provide more
focus on financial structures that were designed to be “capital efficient.” Such structures can be major
stress points in the financial infrastructure. Using stress tests to better understand the implications of
undercapitalized financial structures will take time, but needs to be better integrated into frameworks
for managing and supervising institutions. Money market mutual funds with bank or bank affiliated
sponsors provide one example, especially because there has been a pattern of support for money
market mutual funds without an explicit recognition that such funds can be a capital drain during
times of stress.
A second area that deserves more attention is the behavior and resilience of broker-dealer
arrangements during times of financial stress. While the role of depositories and their susceptibility to
runs has received much attention, I believe more work needs to be done on the implications of
potential crisis-related stresses at broker-dealers that do not have access to liquidity facilities.
Utilizing stress tests to better understand vulnerabilities should help inform us about ways to enhance
financial stability.
Thank you again for inviting me to speak with you today. I look forward to our continued
progress on these important issues of financial stability – which, as we have learned, can impact the
real economy and all its participants.
NOTES:
1 In the case of money market mutual funds, the initial motivation of the design was to provide investors a way
to avoid Regulation Q restrictions. In practice, the money market mutual fund structure also has what some
would see as a competitive benefit – holding no capital while banks did need to hold capital. Thus, even after
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Regulation Q restrictions no longer applied, money market mutual funds remained an alternative to deposits in
banks.
2 For more information see prior speeches including the following:
• “Remarks for a Panel Discussion of the Global Outlook and Risks” –
http://www.bostonfed.org/news/speeches/rosengren/2012/060712/index.htm
• “Money Market Mutual Funds and Financial Stability” –
http://www.bostonfed.org/news/speeches/rosengren/2012/041112/index.htm
• “Avoiding Complacency: The U.S. Economic Outlook, and Financial Stability” –
http://www.bostonfed.org/news/speeches/rosengren/2012/032712/index.htm
• “Global Financial Intermediaries: Lessons and Continuing Challenges” –
http://www.bostonfed.org/news/speeches/rosengren/2011/101911/index.htm
• “Towards Greater Financial Stability in Short-Term Credit Markets” –
http://www.bostonfed.org/news/speeches/rosengren/2011/092911/index.htm
• “Defining Financial Stability, and Some Policy Implications of Applying the Definition” –
http://www.bostonfed.org/news/speeches/rosengren/2011/060311/index.htm
3 In other words, engaged in credit intermediation and maturity transformation.
4 See the recent speech by Federal Reserve Board Governor Daniel Tarullo, who noted that “In addition, the
presumed stabilizing function of collateral was weakened, since a default by a dealer or clearing bank could
leave lenders with securities posted as collateral that they had no desire, operational capacity, or even, in some
cases, legal authority to hold, or at least liquidate in an orderly way.” See “Shadow Banking After the
Financial Crisis” available on the Board’s website at the following link:
http://www.federalreserve.gov/newsevents/speech/tarullo20120612a.htm.
5 Source: iMoneyNet data
6 For example, prime money market funds have a significant exposure to short-term debt instruments of
European banks.
7 It should be noted that the money market fund industry discloses that investments may lose value and are not
insured by the Federal Deposit Insurance Corporation.
8 MMMF investors are shareholders, not depositors.
9 For example, heavy redemption pressures may force fire sales of assets that depress net asset values or
concentrate losses over a shrinking number of shares.
10 The Investment Company Institute notes that “money market funds hold more than one-third of corporate
commercial paper.” A paper by Sergey Chernenko and Adi Sunderam describes this impact on borrowers of
money market funds in 2011. See “The Quiet Run of 2011: Money Market Funds and the European Debt
Crisis” – Working Paper, Harvard Business School, March 2012.
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11 For a description of actions taken during this period and the impact of the Federal Reserve lending facility,
see a forthcoming article in The Journal of Finance entitled “How Effective Were the Federal Reserve
Emergency Liquidity Facilities? Evidence from the Asset-Backed Commercial Paper Money Market Mutual
Fund Liquidity Facility”, by Burcu Duygan-Bump, Patrick M. Parkinson, Eric S. Rosengren, Gustavo A.
Suarez, and Paul S. Willen; and the related working paper of the same title and authorship, available at
http://www.bostonfed.org/bankinfo/qau/wp/2010/qau1003.pdf. Also see John V. Duca, “Did the Commercial
Paper Funding Facility Prevent a Great Depression Style Money Market Meltdown?” published by the
Research Department of Federal Reserve Bank of Dallas, available at the following link:
http://www.dallasfed.org/assets/documents/research/papers/2011/wp1101.pdf. Another paper that highlights
that a failure to address problems in short-term credit markets contributed to the Great Depression is John V.
Duca, “The Money Market Meltdown of the Great Depression, in the Journal of Money, Credit, and Banking
(forthcoming).
12 Patrick E. McCabe discusses earlier periods of support in “The Cross Section of Money Market Fund Risks
and Financial Crises” – Federal Reserve Board Working Paper 2010-51. Also see “Money Market Mutual
Funds and Financial Stability,” a speech by Eric Rosengren at Federal Reserve Bank of Atlanta 2012 Financial
Markets Conference, Stone Mountain, Georgia April 11, 2012, available at the following link:
http://www.bostonfed.org/news/speeches/rosengren/2012/041112/index.htm. In addition, a forthcoming white
paper detailing our analysis of sponsor support is expected to be published this summer by the Federal Reserve
Bank of Boston.
13 The purchase could be actual or promised. The Boston Fed used actual purchases in its analysis, to be
conservative. Other studies (such as Moody’s) have also noted promised purchases or guarantees.
14 Even guarantees, which may require no initial cash outlay, result in a recorded liability on the books of the
sponsor and an associated reduction in sponsor capital.
15 Source: Moody's. Data for the period August 2007 to December 2011 obtained from public disclosures,
either at the fund level or holding company level (ultimate sponsor). Holding company level support was
generally reported on a pre-tax basis in local currencies. In certain instances, local currencies were converted
into U.S. dollars as of the reporting date and losses associated with non 2a-7 stable value funds were included
in the aggregate loss/gain amounts reported by the holding company. As such, the gains/losses may be
over/under stated in these instances.
16 In addition to the proposals that have been floated by the SEC, there have been a variety of proposals that
would make money market funds less of a systemic risk. For example, see “Reforming Money Market Funds:
A Proposal by the Squam Lake Group,” published January 14, 2011, available at
http://www.squamlakegroup.org/Squam%20Lake%20MMF%20January%2014%20Final.pdf
and Testimony by David S. Sharfstein – “Perspectives on Money Market Mutual Fund Reform” – before the
Senate Committee on Banking, Housing, and Urban Affairs on June 21, 2012.
17 2004 Interagency Policy Statement on Banks/Thrifts Providing Financial Support to Funds Advised by the
Banking Organization or its Affiliates.
18 While bank holding companies are able to provide support, insured bank subsidiaries may find it difficult to
provide support due to Federal Reserve Act Section 23A and 23B restrictions designed to protect deposit
insurance funds from being used to support non-bank affiliate activities. While 23A exemptions were provided
during the crisis, the Dodd-Frank Act made such support much more difficult, going forward.
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19 For example, discount window loans are typically extended to depository institutions to provide liquidity, not
to protect from insolvency. A decision to extend a loan is informed by banking supervisors’ assessments of an
institution’s financial condition and risk management practices. Similar information would need to be
available regarding any potential discount window borrowers.
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EMBARGOED UNTIL FRIDAY, JUNE 29, 2012 AT 7:00 A.M. U.S. EASTERN TIME AND 1:00 P.M. IN AMSTERDAM; OR UPON DELIVERY
Our Financial Structures – Are They
Prepared for Financial Instability?
Eric S. Rosengren
President & CEO
Federal Reserve Bank of Boston
Conference on Post-Crisis Banking
Amsterdam, The Netherlands
June 28-29, 2012
EMBARGOED UNTIL FRIDAY, JUNE 29, 2012 AT 7:00 A.M. U.S. EASTERN TIME AND 1:00 P.M. IN AMSTERDAM; OR UPON DELIVERY
Financial Stability
What are potential stresses in the system?
Under what circumstances would these
stresses be particularly problematic?
What remedial actions could reduce the
possibility of an unstable outcome?
2
Financial Structures with
Inadequate Capital
“Capital efficient” structures are profitable
during good times; extremely costly during
bad times – example: SIVs
Runs on complex financial structures,
prime money market funds, and
investment banks all significantly
contributed to problems during the crisis
3
Role of Stress Tests
Focus stress tests more on “capital
efficient” structures
Capital for stressed situations – not
regulatory capital – should receive
increased attention of bank management,
board of directors, and regulators
For example, model the likely support
needed for bank-affiliated money market
funds during periods of stress
4
Figure 1
Daily Change in Money Market Mutual Fund
Assets in Prime and Government Funds
September 2, 2008 - October 31, 2008
Billions of Dollars
60
AMLF program begins(Sep 22)
30
0
-30
Lehman fails
-60 (Sep 15) Fed announces AMLF
program (Sep 19)
-90 The Reserve Primary
Treasury announces insurance
-120 Fund breaks the buck for MMMFs (Sep 19) Prime
(Sep 16)
-150
2-Sep-08 16-Sep-08 30-Sep-08 15-Oct-08 29-Oct-08
Billions of Dollars
60
30
0
-30
-60
-90
Government
-120
-150
2-Sep-08 16-Sep-08 30-Sep-08 15-Oct-08 29-Oct-08
Source: iMoneyNet 5
Figure 2
Prime Money Market Mutual Funds
by Fund Sponsor Type
As of May 31, 2012
Percentof Assets Under Management Number of Funds
60 80
79 Assets Under Management (Left Scale)
Number of Funds (Right Scale)
45 60
49
30 40
36
26
15 20
0 0
Asset Management Firms Domestic Banks/ Savings & Loan Foreign Banks/
Not Affiliated with Bank Holding Holding Bank Holding
Depository Institutions* Companies Companies Companies
*All other asset management firms classified by affiliation.
Source: iMoneyNet, Mutual Fund Company Websites 6
Figure 3
Dexia Exposure by Fund Sponsor Type
As of December 31, 2010
Billions of Dollars Number of Funds
5 25
24
22
4 20
Dexia Exposure (Left Scale)
Number of Funds (Right Scale)
16
3 15
2 10
6
1 5
0 0
Asset Management Firms Domestic Banks/ Foreign Banks/ Savings & Loan
Not Affiliated with Bank Holding Bank Holding Holding
Depository Institutions* Companies Companies Companies
*All other asset management firms classified by affiliation.
Source: SEC Form N-MFP, Mutual Fund Company Websites, Federal Reserve Board Staff 7
Figure 4
Fund Sponsor Support-Related Losses (Gains)
by Fund Sponsor Type
2007 - 2011
Billions of Dollars
8
Savings & Loan Holding Companies
7
Foreign Banks/Bank Holding Companies
6
Domestic Banks/Bank Holding Companies
5
Asset Management Firms Not Affiliated with Depository Institutions*
4
3
2
1
0
-1
2007 2008 2009 2010 2011
*All other asset management firms classified by affiliation.
Source: Moody’s Data (in certain instances, losses associated with non 2a-7 stable value funds were included in the aggregate loss/gain
amounts reported by the holding company) 8
Figure 5
Fund Sponsor Support-Related Losses by
Fund Sponsor Type
2007 - 2011
Billions of Dollars Number of Firms
12 12
Aggregate Losses (Left Scale)
10 Number of Firms (Right Scale)
10 10
8 8
6 6
5
5
4 4
3
2 2
0 0
Asset Management Firms Domestic Banks/ Foreign Banks/ Savings & Loan
Not Affiliated with Bank Holding Bank Holding Holding
Depository Institutions* Companies Companies Companies
*All other asset management firms classified by affiliation.
Source: Moody’s Data (in certain instances, losses associated with non 2a-7 stable value funds were included in the aggregate loss/gain
amounts reported by the holding company) 9
Money Market Fund Reforms
Best – implement proposed SEC reforms –
some combination of capital requirements,
floating NAV, reduced incentive for
redemptions
Second best – sponsors must consider
capital needed during times of stress
Partial solution
Applies to other vehicles such as 2a-7 like
funds, stable-value wrap funds, ABCP, etc.
10
Figure 6
BHC Support of Affiliated Mutual Funds
Bank holding company (BHC) support of affiliated mutual funds is not limited
by affiliate transaction restrictions
BHCs are expected to have policies and procedures in place for addressing,
monitoring and controlling risks associated with the provision of support for
affiliated mutual funds
A BHC must structure its support of an affiliated mutual fund to comply with
restrictions on permissible investments
Actions taken by a BHC in support of a mutual fund may alter the BHC's
balance sheet, resulting in increased capital charges for the BHC
1For the purposes of this slide, an “affiliated mutual fund” refers to a mutual fund for which the bank or affiliate is an investment adviser.
11
22004 Interagency Policy Statement on Banks/Thrifts Providing Financial Support to Funds Advised by the Banking Organization or its Affiliates.
Strains on “Shadow Banking”
System During Crises
Depositories – have deposit insurance and
access to the discount window
Broker-Dealers:
No access to the discount window
Prohibitions on getting funding from affiliated
depositories
Rely on collateralized funding rather than core
deposits
12
Figure 7
Broker-Dealer Access to LOLR Facilities
Direct and indirect access to LOLR facilities in major countries is limited1
1. Access to LOLR Facilities is typically restricted to depository institutions
2. Affiliate transaction or large exposure limits or similar regimes typically apply2
Country Availability of Direct Access Limitations on Indirect Access
U.S. No Exposures to any one affiliate limited to 10% of capital and surplus;
Access Limited to Depository Institutions exposure to all affiliates limited to 20% of capital and surplus
ECB No Large exposure limits typically apply, but exact requirements and
Access Limited to Depository Institutions application vary by country
England No Exposures to all affiliates typically limited to 25% of capital, subject to
Access Limited to Depository Institutions exceptions based on the type of transaction or location and character of
the affiliate; will be affected by ring-fencing proposal
Japan Yes No quantitative limits, but transactions cannot be disadvantageous to the
Securities companies have access to the standing liquidity bank
facility
Switzerland Yes Exposures to all affiliates typically limited to 25% of capital, with some
Securities dealers may be counterparties to the liquidity- exemptions available for exposures to fully consolidated subsidiaries
shortage financing facility
Australia No Exposures to non-bank subsidiaries of a bank or Australian parent are
Access Limited to Depository Institutions and Payment typically limited to 25% of Level 1 capital base if the subsidiary is
Related Parties regulated or 15% if the subsidiary is unregulated and aggregate exposure
to most of these subsidiaries is limited to 35% while aggregate exposures
to a non-Australian parent and its subsidiaries are limited to 50% of capital
base, with aggregate exposures to non-bank entities capped at 25%
1The information presented in this chart is intended as a high-level summary of the law; the organizational and corporate structure of any bank and its affiliated broker-
dealer, together with the specific factual situation will impact any analysis. Regulatory developments, including, for example, the implementation of the Capital
Requirements Directive IV, may modify these limitations and requirements.
2In some instances, appropriately collateralized loans to affiliated broker-dealers may be excluded from these limits. However, safety and soundness or similar limitations
may also restrict a broker-dealer’s indirect access to the LOLR through an affiliated depository institution. 13
Figure 8
Balance-Sheet Composition of Large Bank Holding
Companies by Broker-Dealer Activity Concentration
As of March 31, 2012
Assets Liabilities and Capital
100% 100%
Equity Capital
90% 90%
Subordinated Debt
Other Assets
80% 80%
Debt Maturing in More
70% Net Loans and Leases 70% than One Year
Core Deposits
60% 60%
Other Securities
Noncore Deposits
50% 50%
Other Liabilities
Trading Assets and
40% 40%
Reverse Repos
Debt Maturing in One
30% 30%
Cash and Government Year or Less
Securities Trading Liabilities
20% 20%
Repos
10% 10%
0% 0%
High Low High Low
Source: Consolidated Financial Statements for Bank Holding Companies (FR Y-9C) 14
Figure 9
Tier 1 Common Equity Capital Ratio of Large Bank Holding
Companies by Broker-Dealer Activity Concentration
2009:Q1 - 2012:Q1
Percent
12
10
8
6
4
High
2
Low
0
2009:Q1 2010:Q1 2011:Q1 2012:Q1
Note: Tier 1 Common Equity Capital Relative to Basel II Risk-Weighted Assets
Source: Consolidated Financial Statements for Bank Holding Companies (FR Y-9C) 15
Figure 10
Leverage Ratio of Large Bank Holding Companies
by Broker-Dealer Activity Concentration
2009:Q1 - 2012:Q1
Percent
10
9
8
7
6
High
5
Low
4
2009:Q1 2010:Q1 2011:Q1 2012:Q1
Source: Consolidated Financial Statements for Bank Holding Companies (FR Y-9C) 16
Figure 11
Stock Price Fluctuations at Large Bank Holding
Companies by Broker-Dealer Activity Concentration
June 2, 2008 - December 31, 2008, June 1, 2011 - December 30, 2011, January 3, 2012 - June 22, 2012
Index LevelJune 2, 2008 = 100 Index LevelJune 1, 2011 = 100 Index LevelJanuary3, 2012 = 100
160 160 160
140 140 140
120 120 120
100 100 100
80 80 80
60 60 60
Low Low Low
40 40 40
High High High
20 20 20
2-Jun-08 15-Sep-08 29-Dec-08 1-Jun-11 14-Sep-11 28-Dec-11 3-Jan-12 17-Apr-12
Source: Bloomberg 17
Avoiding Strains on Broker-Dealers
Stress tests focus more on liquidity issues,
particularly an inability to get collateralized
funding
May imply more capital and liquidity for
broker-dealers
Make explicit the conditions that would
generate broker-dealer funding facilities
that focus on illiquidity issues
18
Conclusion
Increase the focus on stress tests
Attention to “capital efficient” structures
Support for money market funds
Resilience of broker-dealers
Encourage more research on “shadow
banking” system strains during crises, and
how they can be prevented
19
Cite this document
APA
Eric Rosengren (2012, June 28). Regional President Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/regional_speeche_20120629_eric_rosengren
BibTeX
@misc{wtfs_regional_speeche_20120629_eric_rosengren,
author = {Eric Rosengren},
title = {Regional President Speech},
year = {2012},
month = {Jun},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/regional_speeche_20120629_eric_rosengren},
note = {Retrieved via When the Fed Speaks corpus}
}