speeches · September 18, 2012
Regional President Speech
Thomas M. Hoenig · President
Financial Stability
Through Properly Aligned Incentives;
Thomas M. Hoenig, Director,
Federal Deposit Insurance Corporation,
Delivered to the Exchequer Club,
Washington, D.C.
September 19, 2012
Introduction
In 2011, with significant input from others at the Federal Reserve Bank of Kansas City, I
proposed that the U.S. financial system be restructured by business lines with
accompanying money market reforms. Since then, I often have been asked why I think
there is any stomach for a modern version of Glass-Steagall or any other major financial
reform when Dodd-Frank has not yet been fully implemented.
I recognize that enactment of such a proposal1 is no simple task, but doing so will
reduce the subsidy for too-big-to-fail firms and better align their economic incentives
and rewards. Importantly, a return to a more accountable financial system is an
essential step if we expect to rebuild public trust in our financial institutions and in the
government that regulates them. That trust can be reestablished and accountability can
be put back into the system so that the banking industry can win without the rest of us
losing.
It is well understood that our country faces many challenges that are beyond the
financial system. Post financial crisis, the United States faces an expanding fiscal
challenge that will affect future discussions on tax structure and spending priorities. We
cannot hope to find meaningful solutions or common ground to work from regarding
these challenges if the public fails to trust its financial and governmental institutions.
Who will agree to make sacrifices for the good of the country if they judge that reforms
will be poorly or unfairly applied? How can we possibly convince Americans that the
fiscal steps will be equitable when we bailed out the largest banks and yet they remain -
- larger, more powerful, and insulated from the market's discipline?
The Proposal
The proposal I have submitted would return the public safety-net -- deposit insurance
and the discount window -- to the purpose for which it was intended: protecting from
systemic disruptions the payments system and the intermediation of funds from
depositor to borrower that is commercial banking. For this protection, commercial
banks would again be restricted from engaging in higher risk/return activities such as
trading, creating derivatives, or other broker dealer activities. However, they would
continue to do trust and wealth management, and underwrite new issues of stocks and
bonds, as those activities bring new capital to commercial firms.
The proposal also would rein-in the shadow banking system by requiring that money
funds represent themselves for what they are: uninsured investments, the value of
which changes daily. It would discipline the repo market by subjecting repo lenders that
accept mortgage-related collateral to the same bankruptcy laws as other secured
creditors.
The Wrong Incentives
This division of activities fundamentally describes the structure of the financial system
between the great depression and 1999 -- a period of relative stability for the country's
financial markets and strong growth of the economy. In 1999, however, the law
changed to allow the melding of commercial banking, investment banking, and broker-
dealer activities. With this change, the safety-net was expanded to cover higher-risk
activities, which enabled them to be funded at lower costs and with more debt because
of the government's guarantee.
This greatly changed the incentive structure in banking and finance, encouraging
greater risk taking and ever-more leverage within the system. Firms expanded their
business lines to ever-more esoteric activities. The largest firms saw their tangible
capital to assets decline to less than 3 percent. Stated plainly, every dollar of assets in
the largest firms was supported by less than 3 cents of capital.
Furthermore, cost advantages related to the safety-net encouraged and facilitated
consolidation among market players resulting in the 10 largest financial firms increasing
their control of industry assets from 31 percent to 68 percent. We acknowledged all too
late that the failure of any one of these firms would have a severe systemic impact on
the broader economy.
The changing structure also fundamentally changed the nature of some banks' business
model. In commercial banking the model is set around win-win, where the success of
the borrower means success to the lender in the repayment and growth of the credit
relationship. In broker-dealer and trading activities, the incentives are centered around
win-lose in which the parties are placing bets on asset price movements or directional
changes in activity. Having this activity within the safety-net changes the risk/return
trade-off, changes behavior, and adds significant new risks to commercial banking and
vulnerability to the safety-net. What social purpose is served by subsidizing these
activities with the safety-net? While such activities are essential to the market's
function, they belong outside the safety-net where they can compete using private,
uninsured funds.
Incentives and Crisis
A decade of expanding financial subsidies and misaligned incentives gave us an
economy ripe for crisis, which erupted full bore in the fall of 2008. Its negative effects
extended well beyond the firms that precipitated the crisis and onto the public that was
its victim. Early effects were channeled through the economy into significant declines
in asset values, lost wealth, and lost jobs.
Containing the crisis required enormous amounts of FDIC and taxpayer support. The
taxpayer-funded bailouts of the very firms that precipitated the crisis too often benefited
creditors and shareholders when other less-generous solutions could have been
implemented if a simpler, more manageable financial structure had been in place.
What is particularly troubling to many is that activities leading to the crisis continue
today -- and continue to be subsidized -- well after the lessons should have been
learned. Home mortgage loans that had been extended using irresponsible
underwriting were foreclosed on without due process. Some of our largest financial
institutions misled the markets regarding interest rates and profited by it. These rates
still affect borrowers today. Firms using FDIC-insured funds continue to make
directional bets on asset values and global events, made even more objectionable by
ineffective risk management practices.
Given this record, it is alarming that CEOs of some financial firms fail to grasp why they
are trusted so little nor appreciate the reputational damage they caused their industry.
They acknowledge very little offense in taking a public subsidy and squandering it in a
series of actions that place billions of taxpayer dollars at risk. They fail to appreciate
how in so many ways it seems that the game is fixed in favor of a privileged few. The
public is aware that there seems to be no accounting for the enormous damage inflicted
on our economy. It is difficult to understand how this could have happened in a country
like the United States, or how it is possible that a satisfactory solution has not been fully
implemented.
More Regulation Is Not the Solution
In reaction to these events, new laws were passed and new regulations were written.
The regulations are extensive, and the regulatory burden is significant. The result is
thousands of pages of instructions meant to control nearly every aspect of a bank's
operations with the expectation that future crises will be far less disruptive or costly.
I suggest that despite hundreds of added regulations, the incentives facilitating the
excesses leading to the crisis remain largely unchanged. The reason is that the
fundamental cause of the problem has not been fixed. The government safety-net has
actually expanded to more firms. It protects firms engaged in the payments system,
intermediation process, asset management, and broker-dealer activities. In addition
and despite the Volcker rule, the safety-net will continue to cover most elements of
derivatives trading and market-making activities, much of which could become veiled
prop-trading.
The safety-net subsidy alters incentives, and incentives drive behavior. The behavior
and practices leading to this crisis will soon reemerge and these highly complex, more
vulnerable firms will have an even more devastating effect on the economy.
The public understands that accountability remains theory, not practice. While many
cannot always define the problem in detail or articulate the technical jargon, they
correctly sense that something is out of balance.
Failure to Act
Failure to act suggests that we are resigned to more of the same and that public
guarantees -- both explicit and implicit -- will continue to subsidize an ever wider array of
financial activities that should be subject to the forces of the market. Failure to act
suggests that we accept the view that it is beyond our control and that the genie is out
of the bottle.
This must not be the case. If it is, then capitalism is at risk and the government not the
market will pick winners and losers. If it is, the most influential will win. Worse yet, only
the least powerful will be held accountable for their actions.
We deserve better institutions and better outcomes. U.S. financial firms should not
expect to remain the strongest banking and capital markets because investors grade on
the curve and the rest of the world is in turmoil. We can do better. The large economy
that gets the financial structure right first will be the most competitive and successful in
this century. It should be the United States. We do have a choice. I understand the
financial system, and it is not too late for meaningful restructuring. I'm not saying it's an
easy choice, but it will bring greater financial stability and long-term economic benefit.
Simplifying the structure and realigning the industry's incentives are necessary steps
toward this goal. Banks that operate within a fair, competitive, and accountable
structure is capitalism as intended, not crony capitalism by default. In such a structure
incentives are better aligned and success is determined by performance.
In my experience, the majority of CEOs of large or small banks act with integrity in
carrying out the duties of their profession. They work to see that their communities and
borrowers are well served. I am confident that U.S. bankers can be part of the solution
in a global financial system that seeks to find its moorings.
However, bankers, like all of us, react to incentives that are placed before them. A
banking structure carrying subsidies that skew incentives and misalign risk and returns
must be limited in its scope of activities.
The Role of Financial Supervision
Finally, to those who say that the supervisory authorities failed in their role to oversee
the financial markets. I agree. As deregulation accelerated through the decade of the
‘90s, supervisors too often ignored the effect of incentives and accepted the notion that
bigger institutions were better, safer, and more competitive. The supervisors' emphasis
changed from examining these firms to modeling them. They accepted the notion that
despite rising leverage and risks, the market would self regulate and their models would
keep them informed. They bought the notion that the consumer would be best served
under such a framework. In their enthusiasm for sophisticated oversight, the regulators
lost sight of their job and mission, which was to examine banks for safety and
soundness, to assure compliance with established rules, and to do so in a fair and
impartial way.
With the proposed restructuring of the industry, there will be a clearer line of sight for
carrying out our supervisory responsibilities. The role of supervisors is to ask tough
questions, examine the books, be professional skeptics, and enforce rules on the
books. We must not look the other way as financial firms gamble with insured deposits.
We must more firmly apply anti-trust and financial standards for mega-mergers that
create a more concentrated system with a weaker capital structure.
I do not expect institutions with a vested interest in the status quo to come along
willingly, but they must be brought along. That's where integrity, fairness, and resolve
from the regulators becomes the critical link to success. We are the referees, and like
the best referees we must know the rules expertly and enforce them impartially. The
market works best when the rule of law carries the day.
Conclusion
In television commercials, one large bank is advertising its celebration of 200 years in
business. It is well documented that this bank has received U.S. government support
four times in the last 100 years. What does that say to the small business struggling to
succeed or wanting to expand?
We have slowly, perhaps unintentionally, expanded the safety-net and its subsidy
beyond what is justified to serve the long-run interests of the economy. What started as
a means to providing stability to the payments system and intermediation process --
both vital to our economy -- has become a tool for leverage and a subsidized expansion
into activities that has led to greater instability.
The proposal I have put forward serves to reduce what is protected by the safety-net
and realigns incentives so that the market has a much greater impact on the outcomes.
Confining the safety-net to what it was intended to protect by separating banking from
broker-dealing will not eliminate crises, but it will contain them and in the end allow for a
stronger, more accountable system.
Can this be done? The actions of two presidents stand out as our country faces an
issue of this nature. President Teddy Roosevelt, the trust buster, changed the
competitive landscape of America for the good. President Franklin Roosevelt enacted
the Glass-Steagall Act, from which decades of relative financial stability followed.
Americans are not easily fooled. Rather than ever more complicated and redundant
regulation, it's time for meaningful reform in the U.S. financial system to lay a foundation
for a stronger U.S. economy.
1My proposal to limit financial activities supported by the public safety-net can be found
at http://www.fdic.gov/about/learn/board/Restructuring-the-Banking-System-05-24-
11.pdf.
The views expressed are those of the author and not necessarily those of the FDIC.
Last Updated 9/19/2012
Cite this document
APA
Thomas M. Hoenig (2012, September 18). Regional President Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/regional_speeche_20120919_thomas_m_hoenig
BibTeX
@misc{wtfs_regional_speeche_20120919_thomas_m_hoenig,
author = {Thomas M. Hoenig},
title = {Regional President Speech},
year = {2012},
month = {Sep},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/regional_speeche_20120919_thomas_m_hoenig},
note = {Retrieved via When the Fed Speaks corpus}
}