speeches · January 4, 2021
Regional President Speech
Charles L. Evans · President
______________________________________________________________________________
The New Monetary Policy Framework and
Some Implications for Financial Stability
______________________________________________________________________________
Charles L. Evans
President and Chief Executive Officer
Federal Reserve Bank of Chicago
Federal Reserve Actions During the Coronavirus Pandemic
A Panel Hosted by IBEFA (International Banking, Economics, and
Finance Association) and the
AEA (American Economic Association) at the
ASSA (Allied Social Science Associations) 2021 Virtual Annual Meeting
January 5, 2021
_____________________________________
FEDERAL RESERVE BANK OF CHICAGO
The views expressed today are my own and not necessarily those of the
Federal Reserve System or the FOMC.
The New Monetary Policy Framework and
Some Implications for Financial Stability
Charles L. Evans
President and Chief Executive Officer
Federal Reserve Bank of Chicago
Introduction
Thank you for the introduction and the opportunity to participate alongside these
distinguished panelists in today’s important discussion. I had hoped to welcome all of
you to Chicago in person, but, well, here we are in our virtual world. Wherever you are, I
wish you a happy and healthy new year. Before I begin my remarks, I should note that
these views are my own and do not necessarily represent those of my colleagues on
the Federal Open Market Committee (FOMC) or others in the Federal Reserve System.
The current upsurge in Covid cases is a serious problem. But progress on the vaccine
front has been very positive, and it looks like the health crisis will be brought under
control as we move through the year. So as we look forward to life after Covid-19, what
is in store for monetary policy?
Of course, we’ll be entering this period with policy rates at the effective lower bound
(ELB), where we swiftly brought them last March in recognition of the severe impact the
pandemic would have on economic activity and inflation.1 We also took a wide range of
classic lender-of-last-resort actions to address the massive shock in financial markets.
My fellow panelists undoubtedly will have more to say about these actions. For my
1 See Federal Open Market Committee (2020e, 2020f).
2
remarks, though, I would like to look beyond the short-term financial market response
and focus on longer-term macroeconomic and financial stability issues raised by the
proximity of the effective lower bound.
The effective lower bound has become all too familiar. Indeed, we have been in a
similar situation before—when we brought policy rates to the effective lower bound with
the Great Financial Crisis and, in the end, held them there for seven years.2 The threat
of the ELB is now clearly a persistent feature of the economic landscape, and it poses
profound challenges for central banks to provide sufficient accommodation to meet their
monetary policy goals. One of these goals is hitting an inflation target. Recall that the
Fed first announced a formal inflation target of 2 percent in 2012.3 In 2016, we clarified
that the target was symmetric and that we would be concerned if inflation were running
persistently above or below 2 percent.4 Yet, with only a few exceptions, inflation has
consistently undershot our 2 percent objective ever since we announced that target.
This experience, together with a growing body of research, strongly shows that under
traditional monetary policies, proximity to the effective lower bound imparts a downward
bias to inflation expectations and actual inflation.5 This is a serious problem. The
inflation rate over the longer run is primarily determined by monetary policy. It is the
central bank’s responsibility. So in my view we can’t spend the next five years
underrunning our target and just offer up explanations for why bringing inflation up to
2 See Federal Open Market Committee (2008).
3 Federal Open Market Committee (2012).
4 Federal Open Market Committee (2016).
5 Adam and Billi (2007).
3
2 percent is so hard. Instead, we have to avoid such poor outcomes by using policy
strategies that offset this downward bias.
With these challenges in mind, the FOMC recently revised our long-run monetary policy
strategy that guides our policy responses.6 In the remainder of my remarks, I will review
the new framework in a bit more detail. I will discuss how I see our new framework
relating to recent research on how monetary policy can address the downward bias in
inflation expectations and then discuss what this might actually look like in practice. I will
finish up with some implications of these policies for risk-taking in financial markets.
The revised long-run framework
To me, the biggest impetus for updating our monetary policy strategy came from an
undeniable realization: The effective lower bound on the federal funds rate was not just
an anomaly we stumbled into during the Great Financial Crisis, but a persistent threat to
the achievement of our dual mandate goals.
The research here is clear. For all the well-known structural reasons, the long-run
equilibrium real fed funds rate7 is much lower now than it was in the 1980s and ’90s.
This means even average business cycle shocks will drive the funds rate to its effective
lower bound—let alone the kind of shock we received in March. Research also shows
that under traditional monetary policy strategies, the limits on reducing policy rates
presented by the proximity of the ELB will impart a downward bias to inflation and
6 Federal Open Market Committee (2020d).
7 The equilibrium, or neutral, federal funds rate is the funds rate associated with a neutral monetary policy
(policy that is neither expansionary nor contractionary).
4
inflation expectations relative to our 2 percent target. This bias is always present; it’s not
just an occasional risk associated with a large negative shock. In addition, these limits
on reducing rates will also impede achievement of our maximum employment mandate.
These facts imply a couple of things. First, a systematic adjustment to monetary policy
strategy is needed to offset the bias. Second, at times this bias-adjustment will require
generating inflation above 2 percent in order to center inflation and inflation
expectations at target. I am happy to say that the new monetary policy strategy delivers
on these two fundamental principles with its flexible inflation averaging goal and explicit
recognition for the need, at times, for policy to purposely aim for inflation rates higher
than 2 percent.
The new framework also emphasizes that our maximum employment mandate is a
broad-based and inclusive goal and that monetary policy will seek to eliminate shortfalls
from maximum employment. Recall that the old strategy sought to minimize
deviations—both positive and negative—from maximum employment, not just shortfalls.
This was an important refinement. The new framework recognizes that we should not
rush to raise rates and risk ending a vibrant, more inclusive job market unless inflation
threatens to become uncomfortably high. Such an approach can help ensure that the
many individual and community benefits that come with high employment are more
effectively reaching a broader share of the population. Furthermore, as we all are well
aware, the link between unemployment and inflation pressures is subject to a great deal
of uncertainty—just think how before the pandemic, inflation was running below target
despite a historically low 3-1/2 percent unemployment rate.
5
Now, the new strategy statement does not include specific operational details for how to
achieve our goals. I think that is a feature, not a bug. I have long thought that no specific
formulaic monetary policy rule will be robust to all of the changes in the economic
environment that inevitably will occur. The strategy statement is, instead, a commitment
to an outcome-based policy approach—a philosophy that I have supported throughout
my tenure on the FOMC. The precise policy tools and their settings may vary with
economic conditions, but the ultimate policy goals remain the same.
Policy research
Now let me take a step back and talk about the academic literature. I believe our new
framework is quite consistent with researchers’ conclusions about optimal monetary
policy in the presence of the ELB.
This literature has established that the ELB induces a downward bias to achieving an
inflation target under standard symmetric policy responses. It also has proposed a
range of alternative monetary policy frameworks to address this bias. Such frameworks
include flexible average inflation targeting, as the Federal Reserve has adopted; price
level targeting; so-called dovish policies, such as described by Thomas Mertens and
John Williams; and also asymmetric reaction functions and target ranges, as found in
work by Francesco Bianchi, Leonardo Melosi, and Matthias Rottner.8
Now, these types of models involve very strong assumptions: completely rational and
forward looking agents, complete credibility of the monetary authority, and no
8 See Mertens and Williams (2019) and Bianchi, Melosi, and Rottner (2019).
6
adjustment lags or other inertias in the economy. Under such conditions, these models
offer clear policy prescriptions and their implementation works perfectly. Rational agents
immediately align their views with the bias-corrected distribution of inflation generated
by the new policy rule.
Of course, this idealized setting is unrealistic when it comes to actually implementing
monetary policy. I view our new flexible average inflation target strategy as a way to
implement the spirit of some of these models while acknowledging the complexities of
the real world. Importantly, in the real world, actual outcomes are needed to build
credibility. Some actors will need to see inflation actually average 2 percent in practice
before they fully adjust their expectations. Real-world implementation also will require
extensive and ongoing communication so that the public understands our efforts to
offset the inflation bias. Well-articulated outcome-based forward guidance will be a key
part of this process.
Policy under the new framework
This naturally brings us to the forward guidance the Committee issued in September.9
This guidance created a two-pronged plan. The first prong calls for the federal funds
rate to remain at the effective lower bound until our employment mandate is met and
inflation reaches 2 percent and is on target to overshoot. Then, the second prong
involves increasing the federal funds rate slowly enough to maintain the accommodation
needed to achieve moderate overshooting for some time, so that inflation actually
9 Federal Open Market Committee (2020c).
7
averages 2 percent. And last month we augmented this with guidance saying we will
maintain our current pace of asset purchases until substantial further progress has been
made toward our maximum and inclusive employment and price stability goals.10 For
this approach to be successful, economic agents must have strong confidence that
policy will remain sufficiently accommodative to generate these outcomes.
How will this work out in practice? After all, there are multiple paths that could achieve
2 percent average inflation, depending on the horizon and the extent of overshoot
tolerated. Let me give you a couple of examples. Suppose that we take as our
benchmark the average of inflation beginning in the first quarter of 2020. According to
the most recent Summary of Economic Projections, core PCE inflation is projected to be
1.4 percent in 2020 and to gradually rise to 2 percent in 2023.11 Suppose then that core
PCE inflation reaches 2-1/4 percent in 2024 and stays there. In this scenario, average
core inflation would not reach 2 percent until late 2025 or early 2026. A 2 percent
average could be achieved about a year sooner if inflation rose to 2-1/2 percent in 2024.
Now, we are not going to follow a strict numerical formula for moving policy. Still, these
examples illustrate an inevitable bottom line: It likely will take years to get average
inflation up to 2 percent, which means monetary policy will be accommodative for a long
time. This translates into low-for-long policy rates, and indicates that the Fed likely will
be continuing our current asset purchase program for a while as well. So economic
10 Federal Open Market Committee (2020b).
11 Federal Open Market Committee (2020a). While our objective is stated in terms of overall inflation
measured by the Price Index for Personal Consumption Expenditures (PCE), core inflation—which strips
out the volatile food and energy sectors—is a better gauge of sustained inflationary pressures and where
inflation is headed in the future.
8
agents should be prepared for a period of very low interest rates and an expanding Fed
balance sheet as we work to achieve both our dual mandate objectives. Of particular
relevance for this session, financial market participants and financial market regulators
are going to have to operate against this backdrop.
Financial stability
What are the implications of this monetary policy accommodation for financial markets?
Low interest rates for extended periods of time and a relatively flat yield curve12 amid
ongoing asset purchases by the Federal Reserve raise concerns that a reach for yield in
markets could generate financial instability risks. Institutional investors, such as life
insurance companies and pension funds that have nominal return targets, may have an
incentive to take on extra risk to meet a stream of fixed liabilities. Other investors may
simply decide that low interest rates provide an opportunity to cheaply take on more
leverage and, consequently, operate with more risk.
Of course, looser financial conditions are part of the monetary policy transmission
channel. By providing more accommodation, central banks encourage private risk-
taking and investment that would not have otherwise been optimal for private-sector
decision-makers. In such cases, the public policy goal of maximum, inclusive
employment and average 2 percent inflation may be achieved sooner and more
assuredly. So the concern is not just whether more risk is being taken by private agents,
12 A yield curve is the line plotting the yields or interest rates of assets of the same credit quality but with
differing maturity dates at a certain point in time. These assets, such as U.S. Treasury securities, typically
yield incrementally more at longer maturities.
9
because of course it is. Rather, the concern is whether excessive risk-taking gives rise
to marketwide financial instability by accelerating negative shocks when they arise or by
otherwise imparting some negative economic externality that limits the attainment of
maximum, inclusive employment and average 2 percent inflation.
Suppose that monetary policymakers were to respond to these financial stability
concerns and raise interest rates or reduce asset purchases preemptively, before being
on track to meet their policy objectives. The result could be a lose-lose scenario. A
premature tightening of monetary policy could not just threaten the achievement of our
dual mandate objectives, but might not even improve financial stability either, given that
financial stability is bolstered by a strong economy. Furthermore, if forced to react to
highly uncertain and fast-moving financial stability concerns, monetary policy could
become less predictable and, therefore, potentially less credible and effective. This lack
of predictability would also raise the level of risk premiums in financial markets being
generated by policy uncertainty instead of by underlying economic fundamentals. This is
especially important in our revised framework, with its strong reliance on clear and
consistent forward guidance.
With these considerations in mind, my view is that financial stability objectives are best
addressed through supervision and regulation rather than through monetary policy
tools. Since the financial crisis, the Federal Reserve and other regulators have made
progress in macroprudential supervision, including enhanced monitoring of financial
stability and the development of new tools, such as stress tests in the supervision of
banks. But more can and should be done. The reality that the effective lower bound is
no longer an unusual occurrence prompted the FOMC to embark on a comprehensive
10
review of its monetary policy framework and make changes in our monetary policy
strategy. Perhaps it is time for financial institutions and their supervisors to do the
same—that is, review their business models and make their supervisory and regulatory
strategies as robust and resilient as possible—in this low nominal interest rate
environment.
11
References
Adam, Klaus, and Roberto M. Billi, 2007, “Discretionary monetary policy and the zero
lower bound on nominal interest rates,” Journal of Monetary Economics, Vol. 54, No. 3,
April, pp. 728–752.
Bianchi, Francesco, Leonardo Melosi, and Matthias Rottner, 2019, “Hitting the elusive
inflation target,” Federal Reserve Bank of Chicago, working paper, No. 2019-07,
August, available online, https://www.chicagofed.org/publications/working-
papers/2019/2019-07.
Federal Open Market Committee, 2020a, Summary of Economic Projections,
Washington, DC, December 16, available online,
https://www.federalreserve.gov/monetarypolicy/files/fomcprojtabl20201216.pdf.
Federal Open Market Committee, 2020b, “Federal Reserve issues FOMC statement,”
press release, Washington, DC, December 16, available online,
https://www.federalreserve.gov/newsevents/pressreleases/monetary20201216a.htm.
Federal Open Market Committee, 2020c, “Federal Reserve issues FOMC statement,”
press release, Washington, DC, September 16, available online,
https://www.federalreserve.gov/newsevents/pressreleases/monetary20200916a.htm.
Federal Open Market Committee, 2020d, “Statement on longer-run goals and monetary
policy strategy,” Washington, DC, as amended effective August 27, available online,
https://www.federalreserve.gov/monetarypolicy/review-of-monetary-policy-strategy-
tools-and-communications-statement-on-longer-run-goals-monetary-policy-strategy.htm.
Federal Open Market Committee, 2020e, “Federal Reserve issues FOMC statement,”
press release, Washington, DC, March 15, available online,
https://www.federalreserve.gov/newsevents/pressreleases/monetary20200315a.htm.
Federal Open Market Committee, 2020f, “Federal Reserve issues FOMC statement,”
press release, Washington, DC, March 3, available online,
https://www.federalreserve.gov/newsevents/pressreleases/monetary20200303a.htm.
Federal Open Market Committee, 2016, “Statement on longer-run goals and monetary
policy strategy,” Washington, DC, as amended effective January 26, available online,
https://www.federalreserve.gov/monetarypolicy/files/FOMC_LongerRunGoals_2016012
6.pdf.
Federal Open Market Committee, 2012, “Federal Reserve issues FOMC statement of
longer-run goals and policy strategy,” press release, Washington, DC, January 25,
available online,
https://www.federalreserve.gov/newsevents/pressreleases/monetary20120125c.htm.
Federal Open Market Committee, 2008, “FOMC statement,” press release, Washington,
DC, December 16, available online,
https://www.federalreserve.gov/newsevents/pressreleases/monetary20081216b.htm.
12
Mertens, Thomas M., and John C. Williams, 2019, “Tying down the anchor: Monetary
policy rules and the lower bound on interest rates,” Federal Reserve Bank of New York,
staff report, No. 887, revised August 2019, available online,
https://www.newyorkfed.org/research/staff_reports/sr887.html.
13
Cite this document
APA
Charles L. Evans (2021, January 4). Regional President Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/regional_speeche_20210105_charles_l_evans
BibTeX
@misc{wtfs_regional_speeche_20210105_charles_l_evans,
author = {Charles L. Evans},
title = {Regional President Speech},
year = {2021},
month = {Jan},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/regional_speeche_20210105_charles_l_evans},
note = {Retrieved via When the Fed Speaks corpus}
}