speeches · April 6, 2010
Speech
Ben S. Bernanke · Chair
For release on delivery
12:30 p.m. CDT (1:30 p.m. EDT)
April 7, 2010
Economic Challenges: Past, Present, and Future
Remarks by
Ben S. Bernanke
Chairman
Board of Governors of the Federal Reserve System
at the
Dallas Regional Chamber
Dallas, Texas
April 7, 2010
This is a momentous time. During the past two and a half years, our nation has
endured the worst global financial crisis since the Great Depression, a crisis that in turn
helped cause a deep recession both here and abroad. During some of the worst phases of
the crisis, a new depression seemed a real possibility.
Fortunately, today the financial crisis looks to be mostly behind us, and the
economy seems to have stabilized and is beginning to grow again. But we are far from
being out of the woods. Many Americans are still grappling with unemployment or
foreclosure, or both. Cities and states are struggling to maintain essential services. And,
although much of the financial system is functioning more or less normally, bank lending
remains very weak, threatening the ability of small businesses to finance expansion and
new hiring.
In my comments today, I will briefly describe the origins of the financial crisis
and economic downturn, with a particular focus on the policy response of my institution,
the Federal Reserve. I will then turn to some near-term and longer-term challenges
facing our country.
Origins of the Crisis
The financial crisis that began in the summer of 2007 was an extraordinarily
complex event with multiple causes. Its immediate trigger was a downturn in the
national housing market that followed a long period of rapid construction and rising
home prices. The housing slump in turn brought to light some very poor lending
practices, especially for subprime mortgages extended to less-creditworthy borrowers.
Relative to the global financial system, the market for subprime mortgages was quite
small, probably less than 1 percent of global financial assets. How, then, did problems in
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this market appear to have such widespread consequences? One important reason is that
the subprime mortgage market was closely linked to a broader framework for credit
provision that came to be known as the shadow banking system. That broader
framework, at least as it was structured during the run-up to the crisis, proved deeply
flawed.
The innovation underlying the shadow banking system was that it helped provide
a wide range of borrowers indirect access to global credit markets. For example,
originators of subprime mortgages did not typically retain the loans they made on their
own books. Instead, the mortgages were packaged together in complex ways, sometimes
with other types of loans, stamped with a seal of approval from one or more credit rating
agencies, and sold to investors worldwide, thus--it was thought--broadly dispersing the
underlying risks. Credit risks were further dispersed--again, at least in theory--through
the use of derivative financial instruments such as credit default swaps. Importantly,
residential mortgage markets were not the only markets caught up in the boom. In part
because large flows of capital into the United States drove down the returns available on
many traditional long-term investments, such as Treasury bonds, investors’ appetite for
alternative investments--such as loans to finance corporate mergers or commercial real
estate projects--increased greatly in the years leading up to the crisis. These securities
too were packaged and sold through the shadow banking system.
As we now know, however, neither the investors, nor the rating agencies, nor the
regulators, nor even the firms that designed the securities fully appreciated the risks that
those securities entailed. Nor were the risks as widely dispersed as thought: For
example, many complex securities were held in off-balance-sheet vehicles financed by
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short-term loans. When investors lost confidence in the underlying securities and pulled
their funding, many firms that sponsored the off-balance sheet vehicles found that they
were bound by explicit or implicit promises to stand behind the securities. Together with
other direct or indirect exposures to risky debt, these commitments left financial
institutions dangerously exposed to rising losses.
These risks grew rapidly in the period before the crisis, in part because the
regulators--like most financial firms and investors--did not fully understand or appreciate
them. But significant gaps in the regulatory framework itself also contributed to the
inadequate government response. For example, firms like the insurance giant American
International Group (AIG), which sold credit insurance on large quantities of risky
securities, or the investment bank Lehman Brothers, which speculated heavily in these
securities, were not subject by law to strong consolidated supervision by federal
regulators. Moreover, none of the federal regulators had a mandate or sufficient powers
to evaluate and respond to the risks posed by large financial organizations to the financial
system as a whole.
Thus, the stage was set for the unraveling that began in the summer of 2007 and
continued throughout 2008. As house prices and the equity of homeowners fell,
mortgage delinquencies and defaults soared. As I mentioned, investors--stunned by the
resulting losses on mortgage-backed securities and other credit instruments they had
believed to be safe--pulled back from a wide range of credit markets and financial
institutions. As funding dried up, losses mounted, and confidence plummeted, a number
of major financial firms, both here and abroad, came under severe pressure. In March
2008, the investment house Bear Stearns became the first major firm to come to the brink
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of failure, nearly collapsing before being purchased, with government assistance, by
JPMorgan Chase. In August, the two largest players in the housing market, the
government-sponsored enterprises (GSEs) Fannie Mae and Freddie Mac, were taken into
conservatorship. In September, the sharply intensifying panic hit the investment bank
Lehman Brothers, and soon after, AIG. Much as in a traditional run on a bank, the
creditors and counterparties of these companies raced to call in loans or demand extra
collateral, ratcheting up the pressure on already shaky firms. Concerted government
attempts to find a buyer for Lehman proved unavailing; lacking sufficient collateral to
secure a Federal Reserve loan, the company’s only option was bankruptcy.
In contrast to Lehman, AIG had sufficient assets to secure credit from the Federal
Reserve and thus avoid imminent failure. I have said before that nothing made me
angrier during the crisis than the irresponsible decisions at AIG that put our entire
financial system and economy at grave risk and left the government with no good
options. However, with the financial system already teetering on the brink of collapse,
the disorderly failure of AIG, the world’s largest insurance company, would have
undoubtedly led to even greater financial chaos and a far deeper economic slump than the
very severe one we have experienced.
The rapidly worsening crisis soon spread beyond financial institutions into the
money and capital markets more generally. Losses on Lehman’s commercial paper at a
prominent money market mutual fund led to a run on that fund and many others; over the
subsequent weeks, fearful money-fund investors withdrew more than $400 billion.
Equity prices fell precipitously, large firms and banks hoarded cash, and short-term credit
became available, if at all, only at very high interest rates and for very short terms.
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As we now know, the financial turmoil dealt an economic body blow that spread
worldwide. Businesses slashed production and payrolls, including in countries that had
not thus far experienced much effect. International trade collapsed, and many nations
dependent on trade experienced even sharper slides in economic activity than the United
States.
The Federal Reserve’s Policy Response
As the crisis became global, the policy response became global as well. After
watershed meetings in Washington of finance ministers and central bank governors on
October 10-11, 2008, many countries, including the United States, announced
comprehensive plans to stabilize their banking systems. They expanded deposit
insurance, injected public capital into banks, guaranteed bank-issued debt, and increased
access to funding from central banks.1 This strong and unprecedented response--a sharp
contrast to the failures of international cooperation that helped make the depression of the
1930s so devastating--proved broadly effective. During the subsequent months the risk
of a global financial meltdown and economic collapse receded.
In support of these efforts to stabilize the financial system, and in its traditional
central bank role as backstop liquidity provider, the Federal Reserve developed
innovative programs to provide well-collateralized, mostly short-term credit to the
financial system. Without this credit, otherwise sound financial institutions could have
been forced to dump assets onto the market, further depressing prices, or even been
driven into failure, intensifying the crisis. We provided this liquidity through a number
of channels. To help stabilize banks of all sizes, we eased the terms of lending to banks
1 In addition, a number of foreign governments--including the United Kingdom, Ireland, Germany,
Belgium, France, the Netherlands, Luxembourg, and Iceland--took steps to prevent the disorderly failures
of distressed financial firms.
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through our regular short-term lending facility, known as the discount window, and
auctioned fixed quantities of discount window credit. We also expanded access to our
short-term lending to many securities firms, whose normal funding sources had been
disrupted by the crisis. And we worked closely with the Treasury to develop programs
that successfully ended the run on the money market mutual funds.
The Federal Reserve also acted to help restore normal functioning in key financial
markets. We established a backstop commercial paper facility to help address severe
strains in the commercial paper market, on which many firms rely to finance their
operations. To improve the availability of credit more broadly, we created a facility to
support the issuance of securities backed by a range of assets including small business
loans, auto loans, credit card receivables, student loans, and commercial real estate.
Additionally, after heavy foreign demand for dollar funding began to disrupt money
markets and squeeze credit availability in the United States, we established cooperative
programs with 14 foreign central banks to allow them to provide sufficient dollar funding
to help calm markets in their own jurisdictions. Importantly, these programs--most of
which have been deemed no longer necessary and shut down--not only helped stabilize
financial conditions and restart the flow of credit to American families and businesses,
they did so at no financial cost to taxpayers and with no credit losses.
Beyond its actions to help stabilize the financial system, the Federal Reserve also
responded to the deepening recession with an aggressive monetary policy, in both
conventional and less conventional forms. We lowered interest rates sharply, including,
in October 2008, an unprecedented coordinated rate cut with five other major central
banks. For the past 15 months, we have maintained our target short-term interest rate
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near zero. In a less conventional operation, we also purchased more than $1.7 trillion of
Treasury securities and securities issued or guaranteed by the housing-related GSEs.
These purchases contributed to a marked improvement in credit markets. In particular,
they significantly lowered mortgage interest rates, which made housing more affordable
and allowed millions of Americans to reduce their payments by refinancing.
Finally, the Federal Reserve also responded to the crisis in its capacity as a bank
supervisor. Last spring we led a forward-looking, simultaneous evaluation of the
financial conditions and capital positions of 19 of the largest bank holding companies in
the United States, with the Treasury committing to provide public capital as needed. The
goal of the Supervisory Capital Assessment Program--popularly called the stress test--
was to ensure that these firms held sufficient capital, in both quantity and quality, to
withstand worse-than-expected economic conditions over the subsequent two years and
yet remain healthy and capable of lending to creditworthy borrowers.2 This exercise was
unprecedented in scale and scope, as well as in the range of information we made public
regarding the projected losses and revenues of the tested firms, which allowed private
analysts to judge for themselves the credibility of the exercise. Markets responded
favorably to the release of the stress test results, and many of the tested banks were able
to raise substantial amounts of capital from investors and to repay government capital.
Overall, the policy actions implemented over the past two and a half years by the
Federal Reserve and other agencies in the United States and abroad have helped stabilize
2 See Board of Governors of the Federal Reserve System (2009), “Federal Reserve, OCC, and FDIC
Release Results of the Supervisory Capital Assessment Program,” press release, May 7,
www.federalreserve.gov/newsevents/press/bcreg/20090507a.htm; and Ben S. Bernanke (2009), “The
Supervisory Capital Assessment Program,” speech delivered at the Federal Reserve Bank of Atlanta 2009
Financial Markets Conference, Jekyll Island, Ga., May 11,
www.federalreserve.gov/newsevents/speech/bernanke20090511a.htm.
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key global financial markets: Short-term funding markets are essentially back to normal,
corporate bond issuance has been strong, and stock prices have partially recovered. Bank
lending remains constrained, as I will discuss in a moment, but critically, fears of
financial collapse have lessened substantially. Most important, the economy has
stabilized and is growing again, although we can hardly be satisfied when 1 out of every
10 U.S. workers is unemployed and family finances remain under great stress.
Toward Better Financial Regulation and Supervision
As I noted earlier, we found some of the choices that we faced during the
financial crisis exceedingly distasteful. The Federal Reserve has always recognized the
importance of allowing markets to work, and government oversight of financial firms
will never be fully effective without the aid of strong market discipline. The decisions
we took, in collaboration with the Treasury, to assist distressed firms during the height of
the crisis thus ran strongly against the grain of our institution. However, as I said, our
options under extremely difficult circumstances were bad and worse, as our ability to
respond effectively was sharply limited by the lack of tools available to act in a crisis. In
particular, the U.S. government lacked any workable means to address the potential
disorderly failure of a large, systemically important firm in a way that protected the
economy and taxpayers from severe collateral damage.
With the crisis largely behind us, we as a country must now turn to fixing
structural weaknesses in the financial system, in particular in the regulatory framework.
We need tough new rules to make financial institutions safer and to constrain excessive
risk-taking, and we need a regulatory framework that gives the Federal Reserve and other
agencies the ability to address risks to the financial system as a whole. Critically, so that
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we will never again face the unpalatable choice between bailouts and a disorderly
bankruptcy that threatens to bring down our financial system, we must bring an end to the
belief that some financial institutions are too big to fail. To do that, we urgently need a
new resolution regime for large, complex, and interconnected financial firms, similar to
that already established for banks. To end too-big-to-fail, the new regime should permit
regulators to close a failing firm and impose losses on shareholders and creditors; indeed,
I would argue that no financial instrument counted as regulatory capital should be
allowed to receive any protection from losses. At the same time, regulators must have
the tools necessary to minimize the associated disruption to the financial system and the
broader economy.3
The Federal Reserve strongly supports ongoing congressional efforts to reform
our financial regulatory framework, but we are not waiting for new legislation to make
improvements. We have been working hard to strengthen our own oversight of financial
institutions and to broaden our field of vision to include potential risks to the financial
system as a whole as well as risks to individual firms. For example, we have played a
key part in ongoing international efforts to ensure that systemically critical financial
institutions hold more and higher-quality capital and have sufficient liquid assets on hand
to be able to survive a market crisis. And we are leading the international and domestic
initiative to push banking organizations of all sizes to ensure their compensation practices
link pay to performance and do not encourage excessive risk-taking.
To make our supervision more effective and better able to identify risks to the
financial system as a whole, we are also making fundamental changes to our daily
3 Because most large financial firms are multinational, the development of an effective regime will require
consultation and collaboration with authorities abroad.
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operations. For example, we have adopted a more multidisciplinary approach that makes
better use of the wide range of expertise and skills at the Federal Reserve--in economics,
financial markets, payments systems, and other specialties, as well as bank supervision.
We will be doing more cross-firm comparisons to better understand differences in the
practices of different firms and the risks they face, and we will be complementing on-site
examinations with off-site, quantitative analyses by experts in a range of disciplines. As
we improve our supervision, we will be sure not to lose sight of the diversity of our
banking system. Banks of all sizes, including regional and community banks, make
critical contributions to our economy; thus, we must continue our efforts to ensure the
stability and vitality of smaller banks as well as larger ones.
As we’ve been working to make our supervision more effective, we have also
been taking care to ensure we do not inadvertently impede sound lending. Businesses
need access to credit to maintain or expand their payrolls and make productive
investments. Banks need to continue to lend to creditworthy borrowers to earn a profit
and remain strong. If bankers become overly conservative in response to past lending
mistakes--or if examiners force such behavior--it will hurt bankers’ own long-term
interests and the economy in general. For this reason, we have joined with the other
federal banking agencies to issue a series of policy statements to examiners: on the
importance of bank lending to creditworthy borrowers, on small business lending, and on
commercial real estate loan restructuring.4 We have followed up this formal guidance
4 See Board of Governors of the Federal Reserve System, Federal Deposit Insurance Corporation, Office of
the Comptroller of the Currency, and Office of Thrift Supervision (2008), “Interagency Statement on
Meeting the Needs of Creditworthy Borrowers,” joint press release, November 12,
www.federalreserve.gov/newsevents/press/bcreg/20081112a.htm; Board of Governors of the Federal
Reserve System, Federal Deposit Insurance Corporation, National Credit Union Administration, Office of
the Comptroller of the Currency, Office of Thrift Supervision, and Conference of State Bank Supervisors
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with training for examiners and outreach to the banking industry. Our message is a
simple one: Institutions should strive to meet the needs of creditworthy borrowers, and
the supervisory agencies should do all they can to help, not hinder, those efforts. We also
must support sensible efforts to work with troubled borrowers to bring them back into
good standing. To help us better understand what is going on in the banks we supervise
and in the communities they serve, we continue to seek many views. For example, our
Reserve Banks across the country are holding meetings with community bankers and
others to talk about opportunities for and barriers to small business lending.
Additionally, the Federal Reserve continues to demonstrate its commitment to
consumer protection in financial services. We have recently overhauled the regulations
governing mortgage transactions and implemented enhanced protections for credit card
accounts and private student loans. We also have made new rules for overdraft
protection programs and for gift cards. In addition, we have expanded our compliance
program for enforcing consumer protection rules at nonbank subsidiaries of bank holding
companies and foreign banking organizations.
In these and other areas, we at the Federal Reserve will continue to improve
how we regulate and supervise financial firms while continuing to do all in our power
to identify and mitigate risks that may endanger the financial system as a whole.
(2010), “Regulators Issue Statement on Lending to Creditworthy Small Businesses,” joint press release,
February 5, www.federalreserve.gov/newsevents/press/bcreg/20100205a.htm; Board of Governors of the
Federal Reserve System, Division of Banking Supervision and Regulation (2009), “Prudent Commercial
Real Estate Loan Workouts,” Supervision and Regulation Letter SR 09-7 (October 30),
www.federalreserve.gov/boarddocs/srletters/2009/SR0907.htm; and Office of the Comptroller of the
Currency, Federal Deposit Insurance Corporation, Federal Reserve Board, Federal Financial Institutions
Examination Council and Office of Thrift Supervision (2009), “Policy Statement on Prudent Commercial
Real Estate Loan Workouts,” joint policy statement, October 30,
www.federalreserve.gov/boarddocs/srletters/2009/sr0907a1.pdf.
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Economic Challenges
Notwithstanding the progress that I’ve noted, critical challenges--both near term
and longer term--remain. We have yet to see evidence of a sustained recovery in the
housing market. Mortgage delinquencies for both subprime and prime loans continue
to rise as do foreclosures. The commercial real estate sector remains troubled, which is
a concern for communities and for banks holding commercial real estate loans.
Some of the toughest problems are in the job market. The unemployment rate
has edged off its recent peak, but at 9.7 percent, it is still close to its highest level since
the early 1980s. Although layoffs have eased in recent months, hiring remains very
weak. More than 40 percent of the unemployed have been out of work six months or
longer, nearly double the share of a year ago. I am particularly concerned about that
statistic, because long spells of unemployment erode skills and lower the longer-term
income and employment prospects of these workers.
That said, my best guess is that economic growth, supported by the Federal
Reserve’s stimulative monetary policy, will be sufficient to slowly reduce the
unemployment rate over the coming year. If economic conditions improve, as I expect,
we should see increased optimism among consumers and greater willingness on the part
of banks to lend, which in turn should aid the recovery. Meanwhile, for the near term,
inflation appears to be well controlled. Productivity improvements have helped firms
control costs, and little pricing power is evident. Inflation expectations, as measured in
the financial markets or in surveys, appear stable.
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What about the longer term? The economist John Maynard Keynes said that in
the long run, we are all dead.5 If he were around today he might say that, in the long
run, we are all on Social Security and Medicare. That brings me to two interrelated
economic challenges our nation faces: meeting the economic needs of an aging
population and regaining fiscal sustainability. The U.S. population will change
significantly in coming decades with the combined effect of the decline in fertility rates
following the baby boom and increasing longevity. As our population ages, the ratio of
working-age Americans to older Americans will fall, which could hold back the long-
run prospects for living standards in our country. The aging of the population also will
have a major impact on the federal budget, most dramatically on the Social Security and
Medicare programs, particularly if the cost of health care continues to rise at its
historical rate. Thus, we must begin now to prepare for this coming demographic
transition.6
The economist Herb Stein once famously said, “If something cannot go on
forever, it will stop.”7 That adage certainly applies to our nation’s fiscal situation.
Inevitably, addressing the fiscal challenges posed by an aging population will require a
willingness to make difficult choices. The arithmetic is, unfortunately, quite clear. To
avoid large and unsustainable budget deficits, the nation will ultimately have to choose
among higher taxes, modifications to entitlement programs such as Social Security and
5 See John Maynard Keynes (1923), A Tract on Monetary Reform (London: Macmillan and Co.), as quoted
in Alison Jones, ed. (1997), Chambers Dictionary of Quotations (New York: Chambers), p. 554.
6 See Ben S. Bernanke (2006), “The Coming Demographic Transition: Will We Treat Future Generations
Fairly?” speech delivered at the Washington Economic Club, Washington, October 4,
www.federalreserve.gov/newsevents/speech/bernanke20061004a.htm; and Louise Sheiner, Daniel Sichel,
and Lawrence Slifman (2006), “A Primer on the Macroeconomic Implications of Population Aging,”
Finance and Economics Discussion Series 2007-01 (Washington: Board of Governors of the Federal
Reserve System, September), www.federalreserve.gov/Pubs/feds/2007/200701.
7 See Herbert Stein (1997), “Herb Stein’s Unfamiliar Quotations,” Slate, May 16, www.slate.com/id/2561.
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Medicare, less spending on everything else from education to defense, or some
combination of the above. These choices are difficult, and it always seems easier to put
them off--until the day they cannot be put off any more. But unless we as a nation
demonstrate a strong commitment to fiscal responsibility, in the longer run we will have
neither financial stability nor healthy economic growth.
Today the economy continues to operate well below its potential, which implies
that a sharp near-term reduction in our fiscal deficit is probably neither practical nor
advisable. However, nothing prevents us from beginning now to develop a credible
plan for meeting our long-run fiscal challenges. Indeed, a credible plan that
demonstrated a commitment to achieving long-run fiscal sustainability could lead to
lower interest rates and more rapid growth in the near term.
Our economic challenges, both near term and longer term, are daunting indeed.
Nonetheless, I remain optimistic that they can be met. History has demonstrated time
and again the inherent resilience and recuperative powers of the American economy.
Our country’s competitive, market-based system, its flexible capital and labor markets,
its tradition of entrepreneurship, and its knack for innovation have ensured that the
nation’s economy has surmounted difficult challenges in the past. I do not doubt that
we can do so once again.
Cite this document
APA
Ben S. Bernanke (2010, April 6). Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/speech_20100407_bernanke
BibTeX
@misc{wtfs_speech_20100407_bernanke,
author = {Ben S. Bernanke},
title = {Speech},
year = {2010},
month = {Apr},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/speech_20100407_bernanke},
note = {Retrieved via When the Fed Speaks corpus}
}