speeches · November 19, 2012
Regional President Speech
Jeffrey M. Lacker · President
Perspectives on Monetary and Credit Policy
November 20, 2012
Jeffrey M. Lacker
President
Federal Reserve Bank of Richmond
Shadow Open Market Committee Symposium
New York, N.Y.
The Federal Open Market Committee in January formally announced a numerical objective for
inflation, a step which has long been argued to be essential to anchoring longer-term
expectations about the conduct of monetary policy.1 So it might seem a bit surprising, as this
year draws to a close, to find a member of the Committee speaking at an event whose title is
“The Fed’s Monetary Policy Adrift.” But on further reflection, I don’t think it should be
surprising at all. Both the FOMC’s articulation of an inflation target and the sense that policy is
adrift are related, I believe, to the extraordinary circumstances and resulting policy actions of the
last few years. In my remarks this morning, I will discuss two dimensions of Federal Reserve
policy that came in the wake of the financial crisis and Great Recession: first, the effort to
provide stimulus and policy guidance at the zero bound; and second, the expansion of the scope
of Fed policy beyond monetary policy to a broader engagement in credit policy. Before I begin,
however, I need to recite a disclaimer that should be quite familiar to members of the Shadow
Open Market Committee — my remarks reflect my own views and not necessarily those of any
other members of the FOMC.2
Maintaining Credibility
Let me begin by noting that when the FOMC announced an explicit numerical objective for
inflation this year, we had experienced an extended period of relative monetary stability.
Specifically, since December of 1993, inflation (as measured by the price index for personal
consumption expenditures) has averaged very close to 2 percent per year — a very good
performance when compared against previous decades. To be sure, that performance has not
been perfect; inflation averaged over 3 percent for the five years from mid-2003 to mid-2008, a
subpar outcome for which we at the Fed should accept responsibility. Nevertheless, despite such
swings, inflation has generally tended to return to around 2 percent, and this appears to have
enhanced public confidence in the Fed’s willingness and ability to keep inflation low and stable.
Critical to that process was the Fed’s demonstrated determination to act preemptively against
inflationary pressures over the last three decades, particularly in 1994, an episode to which I will
return.3
This period of relative success on our implicit inflation objective helped make the announcement
of an explicit numerical inflation objective in the January statement possible. Actions speak
louder than words, after all, and without having seen the Fed take action to preempt inflation,
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mere words might have done little, by themselves, to bolster credibility. The clear statement of
the FOMC’s monetary policy objective was still important, though, to help dispel lingering
doubts about the Committee’s intentions and to provide a clear benchmark for accountability.
Implicit in the Fed’s credibility is some measure of public understanding of how the Fed will
typically respond to changes in economic circumstances. That understanding no doubt depends
heavily on the Fed’s observed responses over the last 20 years or more, but the postwar historical
record does not include any extended periods in which the Fed’s target interest rate was
effectively at the zero lower bound. As a consequence, uncertainty about future Fed policy
actions is bound to be greater now than in a more typical interest rate environment. This provides
a compelling reason, in my view, for the FOMC to attempt to provide greater guidance about
future policy conduct. The recent appearance of drift in policy may be attributable to the
Committee’s search for more effective ways to communicate about future policy in a relatively
unique setting.
Communicating Policy Actions
The most recent innovation in communication has been the use of a calendar date rather than a
qualitative phrase to characterize the time period over which the Committee anticipates interest
rates will be exceptionally low. Specifically, the Committee said in August 2011 that it
“currently anticipates that economic conditions … are likely to warrant exceptionally low levels
for the federal funds rate through at least mid-2013.” At subsequent meetings, “mid-2013” was
changed to “late 2014,” and then “mid-2015.” The minutes of the August 2011 meeting said that
the Committee viewed the change in language as “a shift toward more accommodative policy,”
implying a desire to shift the yield curve downward. The language of the statement, however,
was phrased as simply a forecast of future Committee behavior.
The current formulation of the forward guidance raises the question: How can a change in the
forecast of future policy settings also be a shift to more accommodative policy? Indeed, market
participants have seemed confused about the extent to which the forward guidance represents a
commitment. Committee members have emphasized in public statements that the time frame
should be viewed as contingent on incoming data. But describing the forward guidance language
as “a shift to more accommodative policy” seems to imply that the Committee intends to choose
policy settings in the future in a way they would not otherwise see fit at that time. The lack of
clarity about forward guidance has contributed to a problem highlighted by Michael Woodford
— namely, that observers may misinterpret a change in the forward guidance date as a
pessimistic shift in the Committee’s assessment of the drivers of economic growth rather than as
a clarification of its reaction function.4
Experimentation with more explicit forward guidance has been motivated by suggestions from
some economists that the Fed can make current policy more stimulative by assuring the public
that it will keep its interest rate target at the zero bound longer than it would if it were following
its normal pattern of behavior.5 It’s not clear whether this mechanism can work, however,
without raising expected inflation over some horizon.6 Adopting such a strategy without
compromising longer-term credibility may be feasible in model environments, where absolute
credibility can easily be assumed. In practice, however, a central bank’s credibility is often
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contingent and incomplete. My reading of recent history is that the Fed’s credibility is not so
unassailable that inflation expectations can be dialed up for a time and then easily dialed back to
price stability. At the very least, the precedent set by an opportunistic attempt to raise inflation
temporarily is likely to cloud our credibility for decades to come.
It should be unobjectionable, however, to provide forward guidance that reduces unnecessary
uncertainty about the central bank’s reaction function and thereby helps people make better
predictions about future monetary policy. For example, the Committee could provide some sense
of the economic conditions under which it’s likely to begin raising rates and reducing the size of
its balance sheet. But it’s important to avoid spurious precision. Some of my colleagues have
suggested that the Committee provide specific numerical thresholds to help characterize future
policy. For example, they suggest that the Committee state that interest rates will be
exceptionally low at least until the unemployment rate falls below some specific number, as long
as inflation is projected to be close to the Committee’s 2 percent objective, and inflation
expectations remain stable.
This approach would place great weight on a single indicator of labor market conditions, one that
can easily lead you astray. This risk seems particularly germane now, given the difficulty of
disentangling the trend and cyclical components of labor force participation. The January
statement in which the Committee announced its 2 percent inflation objective also explained that
“[the] Committee considers a wide range of indicators” in assessing labor market conditions.
Crisp numerical thresholds may work well in the classroom models used to illustrate policy
principles, but one or two economic statistics do not always capture the rich array of policy-
relevant information about the state of the economy.
Proponents of numerical thresholds sometimes reply to this criticism by citing the inflation
“safety valve” clause that says: “as long as inflation is projected to be close to the Committee’s 2
percent objective and inflation expectations remain stable.” They argue that if a poorly specified
unemployment threshold caused us to hold interest rates low for too long, inflation expectations
would rise and a rate increase would be indicated. This strikes me as an inadequate defense
because it essentially requires that we lose a measure of credibility before it can be invoked. Our
policy should strive to maintain the stability of inflation expectations. At times, this requires a
preemptive tightening of monetary policy, before inflation expectations have deteriorated or
inflation has surged. In February 1994, for example, the FOMC began tightening monetary
policy, despite well-behaved inflation and an unemployment rate over 7 percent.7
Purchasing Assets
In addition to forward guidance, the FOMC’s other main initiative at the zero bound has been
asset purchases, with the most recent installment being the purchases of agency mortgage-backed
securities that began after the September meeting. Back in 2009, I fully supported the first wave
of purchases of U.S. Treasury securities because it was clear that heightened uncertainty had
increased the demand for safe liquid assets, such as reserve account balances. Furnishing an
elastic supply of central bank liabilities in that instance helped prevent deflation.
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Since then, the FOMC’s asset purchase programs have increasingly focused on altering the
composition of the Fed’s asset holdings in order to affect the net public supply of assets with
particular characteristics and thereby affect their relative prices. The idea is that some type of
market segmentation breaks the standard arbitrage relationships that would generally keep
various asset prices aligned. Thus, purchases of longer-term Treasury securities are thought to
reduce the slope of the yield curve, and purchases of mortgage-backed securities, or MBS, are
thought to reduce their spreads over comparable Treasuries.
There is ample room for skepticism about the effect of the Fed’s asset purchases on asset returns.
A broad array of investors seems to be capable of operating across multiple asset markets, and
the markets in which the Fed has been active tend to be relatively broad and deep. Moreover, the
empirical evidence on the effects of Fed asset purchases, which is based on yield movements
around the announcements of asset purchases, is ambiguous, given the difficulty of parsing
policy signals from pure supply effects.
When the Fed expands reserves by buying private assets, it extends public sector credit to private
borrowers. To the extent that purchases of private claims have any effect, they do so by
distorting the relative cost of credit among different borrowers. Such differential effects are
unlikely to be beneficial, on net, unless borrowers in the favored sector would otherwise face
artificially high rates. I think it’s difficult to make this case for agency MBS, a sector that
historically has benefited from heavy subsidies, which arguably contributed to dangerously high
homeowner leverage. So I do not see the rationale for reducing the interest rates paid by
conforming home mortgage borrowers relative to those paid by, say, small-business borrowers.
Moreover, purchasing agency MBS encourages the continuation of a housing finance model
based heavily on government-sponsored enterprises, at a time when the housing sector would be
better served by a new model that relies less on government credit subsidies.
Credit Market Intervention
The pattern of Federal Reserve credit market intervention has evolved over time. The most
recent articulation of an explicit credit policy, as such, is the Joint Statement of the Department
of Treasury and the Federal Reserve of March 23, 2009, which stated that “[government]
decisions to influence the allocation of credit are the province of the fiscal authorities.” This
expresses well the core idea of a “credit accord” that Professor Marvin Goodfriend first
advocated many years ago while at the Richmond Fed, and that I and others have endorsed.8 The
apparent contradiction between the March 2009 Treasury-Fed statement and the FOMC’s recent
interventions to steer credit to the housing market also may be contributing to the perception that
Federal Reserve credit policy is adrift.
Uncertainty regarding Fed credit policy has precedents, whether it involves direct lending or
purchases of private sector assets. For several decades prior to the recent crisis, policy regarding
lending to financially stressed firms was often characterized by “constructive ambiguity.”9
Financial firms and their creditors were encouraged to believe they would not be rescued in the
event of distress, while officials preserved their ability to intervene should a crisis actually arise.
Constructive ambiguity sought to obtain the ex-ante incentive benefits of commitment without
giving up the discretion to act freely ex post. But taking their cues from central bank actions
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rather than its words, market participants’ expanded their reliance on implied commitments of
central bank liquidity support. This created excruciating dilemmas in times of stress, as was
vividly illustrated during 2008: Disappoint short-term creditors and massive investor realignment
destabilizes markets; rescue short-term creditors and the additional precedent reinforces
expectations of future rescues and further intensifies moral hazard. Constructive ambiguity
became increasingly hopeless in the face of accumulating instances of intervention, and the
toxicity of credit policy opacity is now quite clear. Financial stability is likely to remain elusive
without constraints on ad hoc rescues of firms facing financial stress.
Unconstrained credit policy thus poses a thorny problem for the modern central bank, as
Professor Goodfriend has forcefully argued.10 Independent management of their balance sheet is
essential to a central bank’s ability to conduct monetary policy in a way that is relatively free of
the short-term pressures associated with electoral politics. But an immediate consequence of a
central bank’s independence is the capacity to use its balance sheet to direct the flow of credit
toward particular market segments, circumventing the constitutional checks and balances that
would otherwise apply to such fiscal initiatives. Marvin Goodfriend and my predecessor, Al
Broaddus, writing in 1994, warned that central bank forays into fiscal policy would be perceived
as redistributional and would risk entanglement in partisan politics. The political backlash
following the Federal Reserve’s 2008 actions, I believe, validates their concerns.
The reactive evolution of Fed credit policy over recent decades parallels the way monetary
policy drifted into instability during the 1960s and 1970s.11 The process of solving the inherent
time consistency problem and restoring monetary stability was long and costly. Legislative and
constitutional solutions were proposed, but success depended on the Fed itself making price
stability a priority and culminated with the FOMC’s adoption of the self-imposed constraint of a
numerical inflation target.
Limiting Central Bank Lending
The process of establishing credible limits on central bank lending could be even more difficult
than the pursuit of price stability. Whether self-imposed lending constraints could be effective
remains to be seen. One approach would be for the Fed to operationalize the principles
articulated in the March 2009 Joint Statement of the Treasury and the Fed. The alternative to
self-imposed restraint is legislative action. The Dodd-Frank Act pared back the Fed’s ability to
lend beyond the banking system by limiting the Fed’s so-called “13(3)” powers to lend to
nondepository firms in “unusual and exigent circumstances.” These restrictions are modest,
however. One could imagine legislation that limits the Fed to a narrowly defined set of ordinary
lending activities — very short-term lending to sound, solvent banks, against good collateral, at
rates above interbank market rates. If the Federal Reserve cannot limit credit policy of its own
accord, legislation may be the best option. And the restraint of credit policy would not be
complete unless limits on reserve bank lending are complemented by limits on the Fed’s ability
to buy private sector assets.
Expansive central bank lending has its supporters, and some are likely to argue that such
restraints would inhibit performance of the “lender of last resort function” that is traditionally
thought to be an essential central bank role. Professor Goodfriend is persuasive, I believe, in
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demonstrating that this is a misreading of the historical record. A century ago, central bank
lending was thought of primarily as a means of rapidly increasing the supply of paper bank notes
when the demand for those notes surged, either in connection with seasonal agricultural cycles or
in connection with financial panics in which depositors sought to convert their deposits into
currency. This is consistent with the purpose of the Federal Reserve Act, which, according to the
preamble, is “to furnish an elastic currency.”12
I will conclude by noting a theme that runs through both the monetary and credit sections of my
remarks: humility. Central banks are at times asked to do too much — and at times they ask
themselves to do too much. Given their fiscal independence and their historically expansive
authority, one can see why people look to central banks as public-sector benefactors. But central
bank success arguably has been associated more with restraint than ambition. The Fed tamed
inflation when it backed away from overly ambitious notions of the role monetary policy could
play in labor market outcomes. I believe that future financial stability will depend similarly on
central bank modesty about its ability to redirect credit flows constructively. The independence
and effectiveness of the modern central bank will require limiting aspirations.
1 Board of Governors of the Federal Reserve System, “Longer-Run Goals and Policy Strategy.” News and Events,
Monetary Policy Press Release, January 25, 2012.
2 I am grateful to John Weinberg for assistance in preparing these remarks.
3 Marvin Goodfriend, “Monetary Policy Comes of Age: A Twentieth Century Odyssey,” Federal Reserve Bank of
Richmond Economic Quarterly, Winter 1997, vol. 83, no. 1, pp. 1-22.
4 Michael Woodford, “Methods of Policy Accommodation at the Interest Rate Lower Bound.” Delivered at the
Federal Reserve Bank of Kansas City’s 2012 Jackson Hole Symposium, Jackson Hole, WY, August 31, 2012.
5 Woodford, 2012. Also, Gauti Eggertsson and Michael Woodford, “Optimal Monetary and Fiscal Policy in a
Liquidity Trap.” Presented at the National Bureau of Economic Research International Seminar on Macroeconomics
2004, pp. 75-144, National Bureau of Economics, 2006.
6 Ivan Werning, “Managing a Liquidity Trap: Monetary and Fiscal Policy,” National Bureau of Economics Research
Working Paper 17344, August 2011. Werning writes that forward commitment can raise current growth even if
prices are so sticky that there is no effect on inflation. If prices are not perfectly fixed, however, commitment to
greater future stimulus raises inflation.
7 Board of Governors of the Federal Reserve System, Federal Open Market Committee, Greenbook, February 1994;
and Robert Hetzel, “The Monetary Policy of the United States: A History” (New York, NY, Cambridge University
Press, 2008, chapter 15).
8 Marvin Goodfriend, “Why We Need an ‘Accord’ for Federal Reserve Credit Policy: A Note,” Journal of Money,
Credit and Banking, August 1994, v. 26, no. 3, pp. 572-80. This was also printed in the Federal Reserve Bank of
Richmond Economic Quarterly special issue on the 50th anniversary of the Treasury-Fed Accord, 2001. Also Jeffrey
Lacker, “Government Lending and Monetary Policy.” Speech at the National Association for Business Economics
2009 Washington Economic Policy Conference, Alexandria, VA, March 2, 2009; and Charles Plosser, “Ensuring
Sound Monetary Policy in the Aftermath of the Crisis.” Speech at the U.S. Monetary Policy Forum, New York,
February 27, 2009.
9 Marvin Goodfriend and Jeffrey Lacker, “Limited Commitment and Central Bank Lending,” Federal Reserve Bank
of Richmond Economic Quarterly, 1999, v. 85, n. 4. Also Lacker, “Reflections on Economics, Policy, and the
Financial Crisis.” Speech to the Kentucky Economics Association, Lexington, KY, September 24, 2010.
10 Marvin Goodfriend, “The Ellusive Promise of Independent Central Banking,” Institute for Monetary and
Economic Studies, Bank of Japan, discussion paper 12-E-09, September 2012.
11 Goodfriend and Lacker (1999).
12 Elmus Wicker, “The Great Debate on Banking Reform: Nelson Aldrich and the Origins of the Fed” (Columbus,
OH, Ohio State University Press, 2005).
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Cite this document
APA
Jeffrey M. Lacker (2012, November 19). Regional President Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/regional_speeche_20121120_jeffrey_m_lacker
BibTeX
@misc{wtfs_regional_speeche_20121120_jeffrey_m_lacker,
author = {Jeffrey M. Lacker},
title = {Regional President Speech},
year = {2012},
month = {Nov},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/regional_speeche_20121120_jeffrey_m_lacker},
note = {Retrieved via When the Fed Speaks corpus}
}