speeches · April 15, 2004
Speech
Ben S. Bernanke · Governor
For release on delivery
9:00 a.m. EDT (8:00 a.m. CDT)
April 16, 2004
Financial Access for Immigrants: The Case of Remittances
Remarks by
Ben S. Bernanke
Member
Board of Governors ofthe Federal Reserve System
at the
Conference: "Financial Access for Immigrants: Learning from Diverse Perspectives"
Federal Reserve Bank of Chicago
Chicago, Illinois
April 16, 2004
I am delighted to join you here at the Federal Reserve Bank of Chicago to address
this conference on financial access for immigrants.
As everyone attending this meeting knows well, immigrant communities in the
United States have become increasingly visible as well as economically important.
Unlike some earlier periods, during which political refugees made up a larger share of the
inflow of migrants to the United States, most immigrants today come for economic
reasons, driven by the hope of making better lives for themselves and their families.
Immigrants today tend to be younger than in the past, and in most cases they are imbued
with a strong work ethic and an entrepreneurial spirit. Indeed, although they represent
about 11 percent of the U.S. population as a whole, immigrants today constitute nearly 13
percent of the labor force (Population Resource Center, 2002). Even more impressive,
when we consider the limited financial resources of most immigrants, is the rate of
entrepreneurship among the foreign-born; at 10 percent, this rate is nearly equal to the 11
percent rate of business ownership of people born in this country (Camarota, 2002). The
positive values and attitudes of most contemporary immigrants hold the promise of
upward mobility, particularly for the second and third generations, and they help to make
immigration a key source of American economic dynamism.
As we discuss the barriers that immigrants must overcome to achieve full
integration into American society, we should keep in mind that virtually all of us here are
immigrants, even if at some remove. To speak personally for a moment: All four of my
grandparents were foreign-born, coming from Europe to the United States either just
before or directly after the First World War--a period, incidentally, that represented a
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high-water mark of immigration to the United States.1 My grandfather Jonas, who came
to the United States from Austria after a stint in the army ofthe Emperor Franz Josef, was
probably the most entrepreneurial member of my family. He put himself through school
and became a pharmacist in New York City, on the East Side. He didn't like working for
someone else, however, and so he resolved that he would become the owner of the
pharmacy where he was employed. The owner was interested in selling, and my
grandfather had some savings, but not enough to meet the owner's price. Evidently
impressed by the young man's potential, the storeowner agreed to lend my grandfather,
on a handshake, the $1,000 he needed to buy the pharmacy, with the remainder to be paid
back out of future profits. My grandfather, who had the restlessness characteristic of
many immigrants, owned several drugstores around New York City before finally buying
a store and settling in what became my hometown of Dillon, South Carolina. My father
and his brother purchased that same South Carolina store from their father with the same
type of owner financing that Jonas had used in New York. I understand that they even
got a good interest rate.
My grandfather'S method of financing the purchase ofa small business, as well as
his subsequent sale of the South Carolina store to his sons, illustrates the traditional
importance of informal networks, especially family networks, in the financial lives of
immigrants. Informal credit networks have some important advantages; for example,
lenders in informal networks tend to know their borrowers well, and borrowers may feel
a particularly strong obligation to repay lenders who happen to be friends or family
In 1910, the foreign-born made up nearly 15 percent of the U.S. population, compared
I
with today's figure, already noted, of about 11 percent. Thus, the challenges posed by
the current influx of immigrants are hardly unique in our history.
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members. But informal credit networks also have important drawbacks, such as limits on
the scale of financing and on the range of financial instruments available. As the papers
and discussions at this conference have emphasized, full economic integration of
immigrants requires that they have access not only to the informal financial sector but
also to the formal one, including banking, insurance, pension funds, and other
institutions. Only by using such institutions will immigrants successfully expand their
range as entrepreneurs, become homeowners, build credit histories, save for retirement,
and insure against financial and other risks.
How do we provide immigrants, many of whom have little experience with
financial institutions, with access to the U.S. financial system? Many approaches are
possible. At the risk of anticipating some of the themes of a session to be held later
today, I will talk briefly this morning about the provision of remittance services as a way
to bring immigrants into the formal financial sector. This topic is especially appropriate
because, as I will discuss, the Federal Reserve System has recently expanded its support
for international money transfers. However, I should say that my remarks today
represent my own views and not necessarily those of my colleagues in the Federal
Reserve System. 2
* * *
Many immigrants to the United States send substantial shares of their earnings--
sometimes half of their incomes or more--to family members in their home countries.
The U.S. Department of Treasury estimates that remittances to developing countries
I wish to thank Sandy Braunstein and members of the Federal Reserve Board's Division
2
of Consumer and Community Affairs for their excellent assistance in the preparation of
this talk.
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totaled more than $90 billion last year.3 These remittances have a significant economic
impact on the receiving countries. Remittance flows to developing countries typically
exceed official development assistance, are similar in magnitude to foreign direct
investment, and are more stable than either ofthese other flows. For example, in 2002,
the Latin American and Caribbean countries received $32 billion in remittances, of which
$25 billion came from immigrants to the United States. These remittances constituted
about 2 percent of the gross national products (GNP) of the region in that year. In 2002,
remittances from citizens working abroad accounted for nearly 30 percent of the GNP of
Nicaragua, 25 percent of the GNP of Haiti, and 15 percent of the GNP of EI Salvador.
Mexico receives the largest absolute amount of remittances in Latin America--about $9
billion in 2002.4 Just-released figures show that total remittances to Latin American and
Caribbean countries in 2003 rose about 19 percent from the total in 2002, to $38 billion
(Inter-American Dialogue Task Force on Remittances, 2004).
Who sends remittances? In its report Billions in Motion: Latino Immigrants,
Remittances, and Banking, the Pew Hispanic Center/Multilateral Investment Fund (2002)
profiled a typical remitter. Of Latinos in the United States who send remittances to their
home countries, 63 percent are under the age of forty, 59 percent have not completed
high school, 72 percent rent their homes, 54 percent speak little or no English, and 64
percent of those who are employed are low-skilled laborers. One would not expect this
group to be financially sophisticated, and that expectation is borne out by the data: The
Testimony of Treasury Secretary John W. Snow before the Committee on Financial
3
Services, U.S. House of Representatives, State of the International Financial System,
March 25, 2004.
4 All in the Family: Latin America's Most Important International Flow, Inter-American
Dialogue, January 2004).
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Pew Center found that 55 percent ofthese remitters do not have credit cards and 43
percent do not have bank accounts.
In particular, Latino immigrants, about half of whom send remittances, tend not to
use banks when sending money home, employing services such as wire transfer
companies instead. For example, in Los Angeles, according to the Survey of Financial
Activities and Attitudes administered by the Office of the Comptroller of the Currency,
37 percent of immigrant remitters used wire transfers, compared with only 14 percent of
non-immigrants who remitted. Immigrants are also much less likely to have any kind of
banking relationship. In Los Angeles, only 53 percent oflow- and moderate-income
immigrants reported having a bank account, compared with 82 percent of low- and
moderate-income non-immigrants. Concern that opening a bank account may require
proof of legal residence may inhibit some immigrants from doing so (in fact, many banks
now accept foreign-provided documents such as the matricula consular); but lack of
knowledge about the services banks offer and the fees they charge is likely an important
factor as well. Indeed, the Pew Center study found that, of remitters without bank
accounts, fewer than 25 percent understood that sending a remittance through a bank was
even possible.
Supporting the idea that information and previous experience are critical for
financial access, the research of Una Osili and Anna Paulson (2003) found that the
propensity of immigrants to the United States to use financial services is closely linked to
their financial experience in their home countries. In particular, these researchers found
that immigrants from financially underdeveloped countries, like most of those in Latin
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u.s.
America and the Caribbean, are significantly less likely to participate in financial
markets than are native-born people of similar age, education, and income.
I do not mean to imply that using nonbanks such as money transfer companies for
remittances is a poor choice in all circumstances. Nonbank providers of remittance
services vary greatly in quality, and in some cases nonbanks can provide better service or
greater convenience than banks can. For example, wire transfer services may allow
remittances to be sent to rural areas of the home country where access to banks (which
tend to be urban institutions) may be limited. Anecdotal evidence suggests that some
nonbank providers are attractive to immigrants because of their "personal touch"--a
Spanish-speaking agent who lives in the community, for example. Moreover, increased
competition among providers has lowered the cost of sending money home through
nonbanks as well as banks. According to Manuel Orozco (2003), who has done much
interesting research on remittances, the typical cost of sending remittances to Latin
American and Caribbean countries has fallen from 15 percent of the principal amount in
the 1990s to between 5 percent and 9 percent today, depending on the receiving country.
Nevertheless, typical nonbank fees for remittances remain high on an absolute
basis, and consumers who deal with the less-scrupulous providers of remittance services
may bear a significant financial cost. One problem in practice is that users of remittance
services often do not know precisely how much they are paying. For example, many
remitters do not appear to be aware that some services exchange dollars for foreign
currencies at rates less favorable to the consumer than the market-determined exchange
rate.
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A related concern is that regulatory oversight of nonbank remittance services
remains somewhat uneven, both in the United States and in the immigrants' home
countries. In the United States, federal law requires funds transfer services to register
with the Treasury Department, but these laws are concerned primarily with preventing
money laundering rather than with protecting consumers. The consumer protection rules
that exist in the United States are set mostly at the local level. For example, twenty-eight
states and the District of Columbia have regulations requiring transfer services to be
licensed by the state banking agency, and some of these states have specific laws
regarding foreign transmittals. California has a mandatory disclosure law that requires
funds transfer services to provide each consumer with a post-transaction receipt, in
English and in the language used by the wire transfer licensee, listing the fees charged,
the amount presented by the customer, and the amount to be delivered to the beneficiary.
In June 2003, Texas passed a similar law, under which consumers are entitled to receive,
upon request, certain pre-transaction disclosures from money transmitters, including the
exchange rate that applies and the amount that will be paid in the foreign currency.
Of course, these protections are effective only to the degree that consumers know
their rights, such as how to file a complaint. It is interesting that one of the more
effective sources of information about remitters' rights in the United States is Profeco,
the Mexican consumer protection agency. Profeco provides consumers with practical
advice about how to remit money to Mexico, including information on the costs of
remitting, a comparison chart of the prices charged by twenty-three money order
transmitters in eight U.S. cities (updated weekly), and information about where to lodge
complaints, both in the United States and in Mexico (through a toll-free number).
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Beyond the quality and cost of remittance services provided by nonbanks,
however, another factor should be considered: By using nonbanks for making
remittances, many immigrants forgo the opportunity to enjoy the wider benefits that arise
from an established relationship with a bank. A money transfer company, for example,
cannot provide the opportunity to open a savings account.
As you would expect, mainstream financial institutions in the United States are
aware of the potential financial return to serving immigrant popUlations, both in
facilitating remittances and in performing other types of financial services. Indeed,
immigrants have become just too important economically to ignore. According to the
University of Georgia's Selig Center, the Hispanic market represented some $653 billion
in purchasing power in 2003, about 8 percent of the U.S. total, and the Asian market
represented another $344 billion, about 4 percent ofthe total (Humphreys, 2003).
According to the data from the Federal Reserve's 2001 Survey of Consumer Finances,
more than 44 percent of all Hispanic households own their own homes, a statistic that
implies a demand for mortgage loans, insurance, and other services. Reflecting this
growing potential market, a 2003 survey of 340 banks by the American Banking
Association found that 47 percent of these banks are either "active in multicultural
marketing, or plan to market to different ethnic groups." Almost three-fourths of the
banks that target various ethnic communities tailor their marketing to reach Hispanics.5
Some of the more-successful programs involved a financial training and literacy
component. For example, a community bank in Rogers, Arkansas obtained many new
immigrants as customers through financial seminars offered through local operators of
American Banking Association, "Banks Will Boost Marketing Budgets in 2004," news
5
release, September 13, 2003, http://www.aba.com/Press+Room/091503bnkmark.htm.
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poultry fanns, the principal employers of immigrants in that community. In another
example, a Chicago-based bank leveraged its relationship with small-business clients to
provide financial education and services to employees who had not previously had bank
accounts. As a result, numerous immigrant employees established relationships with that
bank.
The provision of remittance services is a potentially effective method by which
mainstream financial institutions can attract unbanked immigrants. If immigrants
establish bank accounts for the purpose of sending remittances, they become far more
likely to avail themselves of other services offered by the institution, including direct
deposit services, savings accounts, and consumer loans. An article by the Federal
Reserve Bank of Boston (Samuels, 2003) identifies several steps that financial
institutions must take, beyond identifying a local population with a demand for
remittance services, to establish successful remittances programs. First, institutions can
realize great advantages by hiring staff members who speak the immigrants' language
and are otherwise familiar with the immigrant community. Second, institutions should
establish outreach and financial education programs (in the appropriate language, of
course) that will help members of the targeted group learn about the financial services
that the institutions provide. Of course, these two steps are useful as part of any
marketing program to immigrant or ethnic groups. Third, and importantly, the institution
must offer sufficiently competitive prices for remittance services to overcome what
reluctance remains.
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Controlling the cost of international money transfers can be achieved in a number
of ways. One strategy is to employ an existing money transfer network, such as SWIFT.6
Establishing a partnership with a financial institution in the home country of the group to
be served is a second viable approach. For example, the Federal Reserve Bank of Boston
article referred to earlier (Samuels, 2003) provides an interesting case study of how
Citizens Bank, a regional bank operating in the Northeast, created a remittances program
for an immigrant popUlation from the small African country of Cape Verde by forming
partnerships with two banks from that country. A number of banks have pursued a third
strategy--entering the remittances market through partnerships with existing money
transfer organizations. Although this strategy has some potential for abuse if
mismanaged by the bank, the combination of the transfer service's transmission
infrastructure and the bank's marketing services and branch network is likely to reduce
costs, making lower charges to the consumer feasible (Orozco, 2003).
Yet another increasingly popular approach for banks is to build remittance
services on the existing networks of automatic teller machines (ATMs). Orozco (2003)
notes that Bank of America and Citibank have recently adopted this model. Bank of
America's SafeSend program and Citibank's Money Card program issue debit cards to a
person in Mexico designated by the U.S. remitter, allowing the recipient to gain access to
funds transmitted from any ATM. Remitters are typically charged a flat fee for the
transfer, for example, Bank of America charges $10 per transfer. Second Federal Savings
in Chicago offers account holders an "amigo card," a second ATM card that can be sent
to a family member in Mexico. One of the downsides of the ATM-based approach is the
The acronym stands for Society for Worldwide Interbank Financial Telecommunication.
6
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lack of access to these machines in rural areas. Most banks offering ATM -based services
therefore also offer more traditional funds transfer services as well (Bair, 2003).
Banks still have only a small market share in remittance services, but that share
seems poised to grow rapidly. Orozco (2003) notes that Wells Fargo initiated a
remittances program in 1996 and released it current product, Intercuenta Express, in
2001; under this program, amounts less than $500 can be sent to Mexico for a flat fee of
$10. In the first three years of its program, Wells made nearly half a million money
transfers to Mexico, representing at least $100 million in revenue per year.
Credit unions, particularly those serving predominantly Latino constituencies,
have been proactive in attracting customers through their remittance services. The World
Council of Credit Unions began a remittances project in 1997 and introduced its IRNet
service in July 2000. In partnership with other institutions (including Travelex, a major
retail provider of foreign exchange), IRNet now provides remittance services to more
than forty countries. At last report, nearly two hundred credit unions in thirty-seven
states offer this service (Herrera, 2003).
The Federal Reserve is attempting to support banks' efforts to better serve
immigrant popUlations, with remittances and other money transfers being a key area of
interest. Since the late 1990s, the regional Federal Reserve Banks and the National
Automated Clearinghouse Association (NACHA) have been working to improve cross
border payments services through enhancements of the Automated Clearinghouse system
(ACH). For instance, in 2001, the Reserve Banks introduced international ACH services
for payments from the United States to Canada, and in 2003 they added service to
Switzerland and the United Kingdom. The extensions of service to the latter two
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countries are the first steps in the development of the Reserve Banks' Transatlantic
Service, which will be further enhanced to include service to Austria, Germany, and the
Netherlands later this year. More important for remittances, in February 2004 the
Reserve Banks expanded their international ACH services to Mexico, in cooperation with
the Central Bank of Mexico. The service potentially connects any bank account holder in
the United States with any bank account holder in Mexico, uses an exchange rate
guaranteed to be within I percent of the Central Bank of Mexico's wholesale rate, and
costs the banks less than $1 per transaction. Providing service to Mexico is also an
important step for the U.S.-Mexican Partnership for Prosperity, an agreement designed to
improve financial linkages between the two countries. These Federal Reserve initiatives
will support U.S. banks' ability to serve immigrants by allowing remittances to be sent to
foreign banks at low cost. Ongoing improvements in the infrastructure for sending
remittances, collaborations among foreign governments, and increased competition
among service providers should ensure that cost savings are passed on to consumers.
Although the opening of ACH service to Mexico is an important step, broader
international coverage is needed to serve the diverse immigrant population. To help meet
that need, the Federal Reserve Banks will be hosting a conference in Atlanta this October
to explore how best to establish compatible electronic payments systems throughout the
rest of Latin America. The conference will bring together financial-sector leaders and
payments systems experts to discuss ways to facilitate cross-border electronic payments
throughout the hemisphere. This initiative supports a commitment made at the recent
Special Summit of the Americas in Monterrey, Mexico, to reduce the cost of international
remittances by at least halfby 2008.
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To conclude, I have highlighted how the sending of remittances is the most
important type of financial transaction for many immigrants and their families. This fact
engenders both a challenge and an opportunity. The challenge, for regulators,
researchers, and immigrant advocates, is to ensure that remitters can send funds to their
home countries conveniently, safely, and at a reasonable cost. The opportunity, primarily
for banks and other mainstream financial institutions, is to find ways to leverage
immigrants' need for remittance services into a broader relationship, one that will both be
profitable for the bank and will also provide immigrants and their families with greater
financial access.
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References
Bair, Sheila (2003). "Improving Access to the U.S. Banking System among Recent Latin
American Immigrants," University of Massachusetts-Amherst and the Multilateral
Investment Fund, working paper,
http://www.iadb.org/exr/prensa/images/IADBFULLREPORT .pdf.
Camarota, Steve A. (2002). "Immigrants in the United States - 2002: A Snapshot of
America's Foreign-Born Population," Center for Immigration Studies (November),
http://www.cis.orglarticles/2002Iback1302.html
Herrera, John (2003). "Developments in the International Remittance Industry."
Statement presented to the U.S. House Committee on Financial Services, October 1.
Humphreys, Jeffrey M. (2003) "The Multicultural Economy, 2003: America's Minority
Buying Power," Georgia Business and Economic Conditions, 63 (Second Quarter). Selig
Center for Economic Growth, Terry College of Business, The University of Georgia,
http://www.selig.uga.edu/forecast/GBEC/GBEC032Q.pdf.
Inter-American Dialogue Task Force on Remittances (2004). "All in the Family: Latin
America's Most Important International Financial Flow" (January),
http://www.oas.orgiudselingles2004/interamerican04.pdf.
Orozco, Manuel (2003). "Worker Remittances: Issues and Best Practices." Statement
presented to the U.S. House Committee on Financial Services, October 1.
Osili, Una Okonkwo, and Anna Paulson (2003). "Institutional Quality and Financial
Market Development: Evidence from International Migrants in the U.S.," Federal
Reserve Bank of Chicago, working paper (October).
Pew Hispanic Center/Multilateral Investment Fund (2002). "Billions in Motion: Latino
Immigrants, Remittances, and Banking," November 22,
http://www .p ewhispanic.orgl siteld ocs/pdflbillions_ in_motion. pdf.
Population Resource Center (2002). "Executive Summary Insert: 2002 Demographic
Characteristics of Immigrants," (August),
http://www. p rcdc.orgisummaries/immigrationinsert02limmigrationinsert02 .html.
Samuels, George (2003). "Banking Unbanked Immigrants through Remittances,"
Federal Reserve Bank of Boston, Communities and Banking (Fall), pp. 3-8,
http://www.bos.frb.orgicommdev/c&bI2003/fall/unbanked.pdf.
Cite this document
APA
Ben S. Bernanke (2004, April 15). Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/speech_20040416_bernanke
BibTeX
@misc{wtfs_speech_20040416_bernanke,
author = {Ben S. Bernanke},
title = {Speech},
year = {2004},
month = {Apr},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/speech_20040416_bernanke},
note = {Retrieved via When the Fed Speaks corpus}
}