speeches · March 18, 1997
Speech
Alan Greenspan · Chair
For release on delivery
10 00am EST
March 19, 1997
Statement by
Alan Greenspan
Chairman
Board of Governors of the Federal Reserve System
before the
Subcommittee on Capital Markets, Securities and
Government Sponsored Enterprises
of the
Committee on Banking and Financial Services
U S House of Representatives
March 19, 1997
Mr Chairman, members of the Subcommittee, thank you for inviting me
to present the views of the Federal Reserve Board on the supervision of our
nation's banking organizations should they be authorized by the Congress to
engage in a wider range of activities As you know, the Board has supported
financial modernization for many years and hopes that the Congress will act to
facilitate reforms that, by enhancing competition within the financial services
industry, would benefit the consumers of financial products in the United
States
Financial modernization may well mean that future banking
organizations will be sufficiently different from today as to require perhaps
substantial changes in the supervisory process for the entire organization Just
how much modification may be needed will depend on the kinds of reforms
the Congress adopts In evaluating those modifications, I would like to
underline the significant supervisory role required by the Federal Reserve to
carry out its central bank responsibilities I also would like briefly to discuss
the continued importance of umbrella supervision and the implications of a
wider role for bank subsidiaries in the modernization process
Supervision and Central Banking
There are compelling reasons why the central bank of the United States-
the Federal Reserve—should continue to be involved in the supervision of
banks The supervisory activities of the Federal Reserve, for example, have
benefited from its economic stabilization responsibilities and its recognition
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that safety and soundness goals for banks must be evaluated jointly with its
responsibilities for the stability and growth of the economy The Board
believes that these joint responsibilities make for better supervisory and
monetary policies than would result from either a supervisor divorced from
economic responsibilities or a macroeconomic policymaker with no practical
experience in the review of individual bank operations
To carry out its responsibilities, the Federal Reserve has been required to
develop extensive, detailed knowledge of the intricacies of the U S, and indeed
the world, financial system That expertise is the result of dealing constantly
over many decades with changing financial markets and institutions and their
relationships with each other and with the economy, and from exercising
supervisory responsibilities It comes as well from ongoing interactions with
central banks and financial institutions abroad These international contacts
are critical because today crises can spread more rapidly than in earlier times—
in large part reflecting new technologies—and require a coordinated
international response
Crisis Management and Systemic Risk Second only to its macrostability
responsibilities is the central bank's responsibility to use its authority and
expertise to forestall financial crises (including systemic disturbances in the
banking system) and to manage such crises once they occur In a crisis, the
Federal Reserve, to be sure, could always flood the market with liquidity
-3-
through open market operations and discount window loans, at times it has
stood ready to do so, and it does not need supervisory and regulatory
responsibilities to exercise that power But while sometimes necessary in times
of crises, such an approach may be costly and distortive to economic incentives
and long-term growth, as well as an insufficient remedy Supervisory and
regulatory responsibilities give the Federal Reserve both the insight and the
authority to use techniques that are less blunt and more precisely calibrated to
the problem at hand Such tools improve our ability to manage crises and,
more importantly, to avoid them The use of such techniques requires both the
authority that comes with supervision and regulation and the understanding of
the linkages among supervision and regulation, prudential standards, risk
taking, relationships among banks and other financial market participants, and
macroeconomic stability
Our financial system—market oriented and characterized by innovation
and rapid change—imparts significant benefits to our economy But one of the
consequences of such a dynamic system is that it is subject to episodes of
stress In the 1980s and early 1990s we faced a series of international debt
crises, a major stock market crash, the collapse of the most important player in
the junk bond market, the virtual failure of the S&L industry, and extensive
losses at many banking institutions More recently, we faced another Mexican
crisis and, while in the event less disruptive, the failure of a large British
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merchant bank In such situations the Federal Reserve stands ready to provide
liquidity, if necessary, and monitors continuously the condition of depository
institutions to contain the secondary consequences of any problem The
objectives of the central bank in crisis management are to contain financial
losses and prevent a contagious loss of confidence so that difficulties at one
institution do not spread more widely to others The focus of its concern is not
to avoid the failure of entities that have made poor decisions or have had bad
luck, but rather to see that such failures-or threats of failures—do not have
broad and serious impacts on financial markets and the national, and indeed
the global, economy
The Federal Reserve's ability to respond expeditiously to any particular
incident does not necessitate comprehensive information on each banking
institution But it does require that the Federal Reserve have in-depth
knowledge of how institutions of various sizes and other characteristics are
likely to behave, and what resources are available to them in the event of
severe financial stress Even for those events that might, but do not, precipitate
financial crises, the authorities turn first to the Federal Reserve, not only
because, as former Chairman Volcker noted last month, we have the money,
but also because we have the expertise and the experience We currently gain
the necessary insight by having a broad sample of banks subject to our
supervision and through our authority over bank holding companies
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Payment and Settlement Systems Virtually all of the U S dollar
transactions made worldwide—for securities transfers, foreign exchange and
other international capital flows, and for payment for goods and services-are
settled in the United States banking system A small number of transactions
that comprise the vast proportion of the total value of transactions are
transferred over large-dollar payment systems Banks use two of these
systems—Fed wire, operated by the Federal Reserve, and CHIPS, operated by
the New York Clearing House—currently to transfer $1 6 trillion and $1 3
trillion a day, respectively CHIPS settles its members' net positions on
Fedwire
These interbank transfers, for banks' own accounts and for those of their
customers, occur and are settled over a network and structure that is the
backbone of the U S financial system Indeed, it is arguably the linchpin of the
international system of payments that relies on the dollar as the major
international currency for trade and finance Disruptions and disturbances in
the U S payment system thus can easily have global implications Fedwire,
CHIPS, and the specialized depositories and clearinghouses for securities and
other financial instruments, are crucial to the integrity and stability not only of
our financial markets and economy, but those of the world Similarly, adverse
developments in transfers in London, Tokyo, Singapore, and a host of other
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centers could rapidly be transferred here, given the financial interrelationships
among the individual trading nations
In all these payment and settlement systems, commercial banks play a
central role, both as participants and providers of credit to nonbank
participants Day-in and day-out, the settlement of payment obligations and
securities trades requires significant amounts of bank credit In periods of
stress, such credit demands surge just at the time when some banks are least
willing or able to meet them These demands, if unmet, could produce
gridlock in payment and settlement systems, halting activity in financial
markets Indeed, it is in the cauldron of the payments and settlement systems,
where decisions involving large sums must be made quickly, that all of the
risks and uncertainties associated with problems at a single participant become
focussed as participants seek to protect themselves from uncertainty Better
solvent than sorry, they might well decide, and refuse to honor a payment
request Observing that, others might follow suit And that is how crises often
begin
Limiting, if not avoiding, such disruptions and ensuring the continued
operation of the payment system requires broad and indepth knowledge of
banking and markets, as well as detailed knowledge and authority with respect
to the payment and settlement arrangements and their linkages to banking
operations This type of understanding and authority—as well as knowledge
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about the behavior of key participants-cannot be created on an ad hoc basis It
requires broad and sustained involvement in both the payment infrastructure
and the operation of the banking system Supervisory authority over the major
bank participants is a necessary element
Monetary Policy While financial crises and payment systems
disruptions arise only sporadically, the Federal Reserve conducts monetary
policy on an ongoing basis In this area, too, the Federal Reserve's role in
supervision and regulation provides an important perspective to the policy
process Monetary policy works through financial institutions and markets to
affect the economy, and depository institutions are a key element in those
markets Indeed, banks and thrifts are more important in this regard than
might be suggested by a simple arithmetic calculation of their share of total
credit flows While diverse securities markets handle the lion's share of credit
flows these days, banks are the backup source of liquidity to many of the
securities firms and large borrowers participating in these markets Moreover,
banks at all times are the most important source of credit to most small- and
intermediate-sized firms that do not have ready access to securities markets
These firms are the catalyst for U S economic growth and the prime source of
new employment opportunities for our citizens The Federal Reserve must
make its monetary policy with a view to how banks are responding to the
economic environment This was especially important during the "credit
crunch" of 1990 Our supervisory responsibilities give us important qualitative
and quantitative information that not only helps us in the design of monetary
policy, but provides important feedback on how our policy stance is affecting
bank actions
The macroeconomic stabilization responsibilities of the Federal Reserve
make us particularly sensitive to how regulatory and supervisory postures can
influence bank behavior and hence how banks respond to monetary policy
actions For example, capital, liquidity, loan loss reserve, and asset quality
evaluation policies of supervisors will directly influence the manner and speed
with which monetary policy actions work In the development of interagency
rules and policies, the Federal Reserve brings to the table its unique concerns
about the impact of these rules on credit availability, potential responses to
changes in interest rates, and the consequences for the economy We believe
that, as a result, supervisory policy is improved
Federal Reserve's Supervisory Role
For all of these reasons, the Board believes the Federal Reserve needs to
retain a significant supervisory role in the banking system Just exactly how
that is achieved depends critically on the types of reforms the Congress enacts
and the direction the banking industry takes in structuring and conducting its
activities In the Board's view, its current authority is adequate for the current
structure For today's financial system, we are able to meet our obligations by
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the intelligence we gain from, and the authorities we have over the modest
number of large banks we directly supervise and the holding companies of
these and other large banks over which we have a direct umbrella supervisory
role Our information is importantly supplemented by our supervision of a
number of other banks of all sizes, namely state member banks Currently, the
latter group gives us a good representative sample of organizations of all sizes
outside the largest entities
The large entities are essential if we are to address the Federal Reserve's
crisis management and systemic risk responsibilities, deal with international
financial issues involving foreign central banks, manage risk exposures in
payment systems, and retain our practical knowledge and skill base in rapidly
changing financial markets Large bank holding companies are typically at the
forefront in financial innovation and in developing sophisticated techniques for
managing risks It is crucial that the Federal Reserve stay informed of these
events and understand directly how they work in practice Directly
supervising both these large organizations and a sample of others is also
critical to our ability to conduct monetary policy by permitting us to gain first-
hand on-the-spot intelligence on how changes in financial markets—including
those induced by monetary policy—are affecting money and credit flows
If in the future the holding company becomes a less clear window into
the banking system, the Board believes that the Congress would need to
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change the supervisory structure if the central bank is to carry out the
responsibilities I have discussed today
Umbrella Supervision
The Congress, in its review of financial modernization, must consider
legal entity supervision alone versus legal entity supervision supplemented by
umbrella supervision The Board believes that umbrella supervision is a
realistic necessity for the protection of our financial system and to limit any
misuse of the sovereign credit, that is, the government's guarantees that
support the banking system through the safety net
The bank holding company organization increasingly is being managed
so as to take advantage of the synergies between its component parts in order
to deliver better products to the market and higher returns to stockholders
Such synergies cannot occur if the model of the holding company is one in
which the parent is just, in effect, a portfolio investor in its subsidiary Indeed,
virtually all of the large holding companies now operate as integrated units
and are managed as such, especially in their management of risk
One could argue that regulators should be interested only in the entities
they regulate and, hence, review the risk evaluation process only as it relates
to their regulated entity Presumably each regulator of each entity—the bank
regulators, the SEC, the state insurance and any state finance company
authorities—would look only at how the risk management process affected
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their units It is our belief that this simply will not be adequate Risks
managed on a consolidated basis cannot be reviewed on an individual legal
entity basis by different supervisors
The latter logic motivated the congressional decision just five years ago
to require that foreign banks could enter the United States if, and only if, they
were subject to consolidated supervision This decision, which is consistent with
the international standards for consolidated supervision of banking organizations,
was a good decision then It is a good decision today, especially for those banking
organizations whose disruption could cause major financial disturbances in
United States and foreign markets For foreign and for U S banking
organizations, retreat from consolidated supervision would, the Board believes, be
a significant step backward
We have to be careful, however, that consolidated umbrella supervision
does not inadvertently so hamper the decisionmaking process of banking
organizations as to render them ineffectual The Federal Reserve Board is
accordingly in the process of reviewing its supervisory structure and other
procedures in order to reflect a market-directed shift from conventional balance
sheet auditing to evaluation of the internal risk management process Although
focussed on the key risk management processes, it would sharply reduce routine
supervisory umbrella presence in holding companies As the Committee knows,
the Board has recently published for comment proposals to expedite the
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applications process, and the legislation Congress enacted last year eased such
procedures as well Nonetheless, the Board requests even greater modification to
its existing statutory mandate so that the required applications process could be
sharply cut back, particularly in the area of nonbank financial services
In the Board's view, those entities interested in banks are really interested
in access to the safety net, since it is far easier to engage in the nonsafety net
activities of banks without acquiring a bank If an organization chooses to deliver
some of its services with the aid of the sovereign credit by acquiring a bank, it
should not be excused from efforts of the government to look out for the stability
of the overall financial system For bank holding companies, this implies
umbrella supervision Although that process will increasingly be designed to
reduce supervisory presence and be as nonmtrusive as possible, umbrella
supervision should not be eliminated, but recognized for what it is the cost of
obtaining a subsidy
Nonetheless, we would hope that should the Congress authorize wider
activities for financial services holding companies that it recognize that a bank
which is a minor part of such an organization (and its associated safety net) can
be protected through adequate bank capital requirements and the application of
Sections 23A and 23B of the Federal Reserve Act The case is weak, in our
judgment, for umbrella supervision of a holding company in which the bank is
not the dominant unit and is not large enough to induce systemic problems
should it fail
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Subsidiaries, Subsidies, and Safety Nets
The members of this Subcommittee are, I think, aware of the Board's
concerns that the safety net constructed for banks inherently contains a
subsidy, that conducting new activities in subsidiaries of banks will
inadvertently extend that subsidy, and that extension of any subsidy is
undesriable The Subcommittee recently heard testimony that there is no net
subsidy and, therefore, the authorization of nonbank activities in bank
subsidiaries would neither inadvertently extend this undesirable side effect of
the safety net nor reduce the importance of the holding company as a
consequence of the increased incentives to shift activities from the holding
company to the bank
Mr Chairman, I would like briefly to comment on these latter views
Subsidy values—net or gross—vary from bank to bank, riskier banks
clearly get a larger subsidy from the safety net than safer banks In addition,
the value of the subsidy varies over time, in good times, markets incorporate a
low risk premium and when markets turn weak, financial asset holders
demand to be compensated by higher yields for holding claims on riskier
entities It is at this time that subsidy values are the most noticeable What
was it worth in the late 1980s and early 1990s for a bank with a troubled loan
portfolio to have deposit liabilities guaranteed by the FDIC, to be assured that
it could turn illiquid to liquid assets at once through the Federal Reserve
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discount window, and to tell its customers that payment transfers would be
settled on a riskless Federal Reserve Bank7 For many, it was worth not basis
points but percentage points For some, it meant the difference between
survival and failure
It is argued by some that the cost of regulation exceeds the subsidy I
have no doubt that the costs of regulation are large, too large in my judgment
But no bank has turned in its charter in order to operate without the cost of
banking regulation, which would require that it operate also without deposit
insurance or access to the discount window or payments system To do so
would require both higher deposit costs and higher capital Indeed, it is a
measure of the size of banks' net subsidy that most nonbank financial
institutions are required by the market to operate with significantly higher
capital-to-asset ratios than banks Most finance companies, for example, with
credit ratings and debenture interest costs equal to banks are forced by today's
market to hold six or seven percentage points higher capital-to-asset ratios
than those of banks
It is instructive that there are no private deposit insurers competing with
the FDIC For the same product offered by the FDIC, private insurers would
have to charge premiums far higher than those of government insurance, and
still not be able to match the certainty of payments in the event of default, the
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hallmark of a government insurer backed by the sovereign credit of the United
States
The Federal Reserve has a similar status with respect to the availability
of the discount window and riskless final settlement during a period of
national economic stress Providing such services is out of the reach of all
private institutions The markets place substantial values on these safety net
subsidies, clearly in excess of the cost of regulation To repeat, were it
otherwise, some banks would be dropping their charters if there were not a
net subsidy
In fact it is apparently the lower funding costs at banks, that benefit
directly from the subsidy of the safety net, that has created the tendency for
banking organizations to return to the bank and its subsidiaries many activities
that are authorized to banks These activities previously had been conducted
in nonbank affiliates for reasons such as geographic and other inflexibilities,
which have gradually eased Indeed, over the last decade the share of
consolidated assets of bank holding companies associated with nonbank
affiliates—other than Section 20 securities affiliates—has declined almost half to
just 5 2 percent This tendency reflects the fact that asset growth that earlier
had been associated with nonbank affiliates of bank holding companies-
consumer and commercial finance, leasing, and mortgage banking—has most
recently occurred largely in the bank or in a subsidiary of the bank To be
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sure, as Chairman Heifer indicated to the Subcommittee earlier this month,
many banking organizations still retain nonbank subsidiaries Our discussions
with bank holding companies, however, suggest that in some cases, these
affiliates were acquired in the past and have established names and an
interstate network whose value would be reduced if subsumed within a bank
There are also often adverse tax implications for the shift And, finally, some
of these activities may not be asset intensive and hence may not benefit
significantly from bank funding
Clearly, the authorization of new activities in bank subsidiaries that are
not now permitted either to banks or their affiliates would tend to accelerate
the trend to reduce holding company activity, even if these activities were also
permitted to holding company subsidiaries The subsidy inherent in the safety
net would assure that result, extending the spread of the safety net and
requiring that the Federal Reserve's authority and ability to meet its
responsibilities be shifted to a different paradigm
Such a result is reason enough for our concern about the spreading of
the safety net subsidy But we should also be concerned because of the
distortions subsidies bring to the financial system more generally After all,
the broad premise underlying financial modernization—with its removal of
legislative and regulatory restrictions—is that free and often intense competition
will create the most efficient and customer-oriented business system
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This principle has proved itself, generation by generation, with ever
higher standards of living
In financial, as well as most other, markets the principle is rooted in
another premise—that the interaction of private competitive forces will, with
rare exceptions, create a stable error self-correcting system This premise is
very seriously called into question if government subsidies are supplied at key
balancing points By their nature, subsidies distort the establishment of
competitive market prices, and create incentives that misalign private risks
with private gains Such distortions undermine the error self-correcting
mechanisms that support strong financial markets
We must be very careful that in the name of free market efficiency we
do not countenance greater powers and profits subsidized directly or indirectly
by government
Conclusion
Mr Chairman, in conclusion, the Board believes that as the Congress
moves toward financial modernization the newly created structure of financial
organizations should limit, in so far as possible, the real and perceived transfer
of the subsidy inherent in the safety net to nonbank activities To maintain a
level playing field for all competitors, nonbank activities must be financed at
market, not subsidized, rates
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The Board also believes that financial modernization should not
undermine the ability and authority of the central bank of the United States to
manage crises, assure an efficient and safe payment system, and conduct
monetary policy We believe all of these require that the Federal Reserve
retain a significant and important role as a bank supervisor In today's
structure, we have adequate authority and coverage to meet our
responsibilities But should erosion occur, as would likely be the case if new
activities are authorized in bank subsidiaries, the Congress would have to
consider what changes would be required in the Board's supervisory authority
to assure that it continues to be able to meet its central bank responsibilities
Cite this document
APA
Alan Greenspan (1997, March 18). Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/speech_19970319_greenspan
BibTeX
@misc{wtfs_speech_19970319_greenspan,
author = {Alan Greenspan},
title = {Speech},
year = {1997},
month = {Mar},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/speech_19970319_greenspan},
note = {Retrieved via When the Fed Speaks corpus}
}