speeches · September 29, 2015
Regional President Speech
James Bullard · President
Welcoming Remarks by James Bullard, President and CEO
Third Annual Community Banking in the 21st Century Research and Policy Conference
The Federal Reserve System and the Conference of State Bank Supervisors (CSBS)
St. Louis, Mo.
Sept. 30, 2015
Good afternoon, and welcome to the Federal Reserve Bank of St. Louis. The St. Louis Fed is
proud to serve as the host site for the third annual Community Banking in the 21st Century
research and policy conference. It is jointly sponsored by the Federal Reserve System and the
Conference of State Bank Supervisors.
Last year, in addition to hearing some of the latest research on community banking from a wide
range of academic institutions and regulatory agencies, we also engaged in a spirited debate on
the opportunities and challenges facing community banks. Perhaps not surprisingly, regulatory
burden was at the forefront of the discussion.
The energy from last year’s event helped inform much of the debate that has already taken
place in 2015.
For example, last December, the federal regulatory agencies conducted their first of six
meetings under the Economic Growth and Regulatory Paperwork Reduction Act of 1996. Under
the law, agencies are required, every 10 years, to conduct a review for the specific purpose of
identifying outdated, unnecessary or unduly burdensome regulations.
Many of the individuals who either attended last year’s conference or were part of the
conference program were actively involved in these discussions. We have received numerous
comments from the four meetings that have taken place so far, and look forward to seeing the
outcomes from these meetings next year.
There have been additional actions. Importantly, in April, the Fed announced that it was
increasing the asset-size threshold for small bank holding companies and savings and loan
holding companies from $500 million to $1 billion. This change means that more holding
company organizations are not subject to consolidated capital requirements, making it easier
for parent companies to borrow to finance certain transactions.
In addition, some changes to call report requirements were announced several weeks ago by
the Federal Financial Institutions Examination Council. The Federal Reserve is conducting its
own review of the call report and other areas and is searching for additional burden-reducing
changes that may be applicable in the future.
From my own perspective, more could be done. There appear to be some areas where we have
sufficient information and experience to warrant additional action.
For example, we may want to consider the transaction value threshold under which a property
requires an appraisal by a state-certified or licensed appraiser. The current limit of $250,000
has been in place since 1994, when it was increased from $100,000. Inflation adjustment alone
suggests that the threshold in 2015 should be higher. Based upon a sample of community bank
examinations recently performed in the St. Louis Fed’s District, we estimate the number of
required appraisals would decline significantly. Appraisals on properties in rural areas are often
of limited value, especially when the nearest appraiser may be a significant distance away. In
many rural communities, bankers know local land values better than anyone outside, and likely
even inside, their market. This is a reality of rural markets.
As another example, serious consideration should be given to mandatory escrow requirements
for taxes and insurance premiums on mortgages that are held in a community bank’s portfolio.
Recent amendments to Regulation Z were helpful in that they provided a number of
exemptions for certain types of loans made in rural or underserved areas. However, these
exemptions do not go far enough. More can likely be done to address escrow requirements for
community banks in locations that hold mortgages in portfolio.
We have touched upon these and other issues in past conferences, and I look forward to a
healthy debate during this year’s conference.
I want to express my appreciation to our conference co-sponsors and to all of the researchers,
community bankers and regulators who make this conference possible. This conference has
gained a lot of momentum in the three years since it first launched, and I expect that to
continue.
Before we move on to the research portion of our program, however, it is my great pleasure to
introduce Federal Reserve Chair Janet Yellen.
Janet Yellen became chair of the Board of Governors of the Federal Reserve System on Feb. 3,
2014. She is the first woman to hold this position in the history of the Fed. She is an outstanding
research economist with a long and influential research record, much of which was established
during her time as a professor at the University of California at Berkeley, one of the premier
economics departments in the world. Prior to her appointment as chair, she provided stellar
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public service as a member of the Board of Governors, the vice chair of the Board of Governors,
chair of the Council of Economic Advisers, chair of the Economic Policy Committee of the
Organization for Economic Cooperation and Development, and as president and chief executive
officer of the Federal Reserve Bank of San Francisco. She is a member of both the Council on
Foreign Relations and the American Academy of Arts and Sciences.
Please join me in welcoming my esteemed colleague and chair of the Federal Reserve, Janet
Yellen.
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Cite this document
APA
James Bullard (2015, September 29). Regional President Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/regional_speeche_20150930_james_bullard
BibTeX
@misc{wtfs_regional_speeche_20150930_james_bullard,
author = {James Bullard},
title = {Regional President Speech},
year = {2015},
month = {Sep},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/regional_speeche_20150930_james_bullard},
note = {Retrieved via When the Fed Speaks corpus}
}