Assessments, 23516-23556 [2010-10161]
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Federal Register / Vol. 75, No. 84 / Monday, May 3, 2010 / Proposed Rules
FEDERAL DEPOSIT INSURANCE
CORPORATION
12 CFR Part 327
RIN 3064–AD57
Assessments
AGENCY: Federal Deposit Insurance
Corporation.
ACTION: Notice of proposed rulemaking
and request for comment.
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SUMMARY: The FDIC proposes to amend
our regulations to revise the assessment
system applicable to large institutions to
better differentiate institutions by taking
a more forward-looking view of risk; to
better take into account the losses that
the FDIC will incur if an institution
fails; to revise the initial base
assessment rates for all insured
depository institutions; and to make
technical and other changes to the rules
governing the risk-based assessment
system.
DATES: Comments must be received on
or before 60 days after publication.
ADDRESSES: You may submit comments,
identified by RIN number, by any of the
following methods:
• Agency Web Site: https://
www.fdic.gov/regulations/laws/federal/
propose.html. Follow instructions for
submitting comments on the Agency
Web Site.
• E-mail: Comments@FDIC.gov.
Include the RIN number in the subject
line of the message.
• Mail: Robert E. Feldman, Executive
Secretary, Attention: Comments, Federal
Deposit Insurance Corporation, 550 17th
Street, NW., Washington, DC 20429
• Hand Delivery/Courier: Guard
station at the rear of the 550 17th Street
Building (located on F Street) on
business days between 7 a.m. and 5 p.m.
Instructions: All submissions received
must include the agency name and RIN
for this rulemaking. Comments will be
posted only to the extent practicable
and, in some instances, the FDIC may
post summaries of categories of
comments, with the comments
themselves available in the FDIC’s
reading room. Comments will be posted
at: https://www.fdic.gov/regulations/
laws/federal/propose.html, including
any personal information provided with
the comment.
FOR FURTHER INFORMATION CONTACT: Lisa
Ryu, Chief, Large Bank Pricing Section,
Division of Insurance and Research,
(202) 898–3538; Heather L. Etner,
Financial Analyst, Banking and
Regulatory Policy Section, Division of
Insurance and Research, (202) 898–
6796; Robert L. Burns, Chief, Exam
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Support and Analysis, Division of
Supervision and Consumer Protection
(704) 333–3132 x4215; Christopher
Bellotto, Counsel, Legal Division, (202)
898–3801; Sheikha Kapoor, Senior
Attorney, Legal Division, (202) 898–
3960.
SUPPLEMENTARY INFORMATION:
I. Background
The Reform Act
On February 8, 2006, the President
signed the Federal Deposit Insurance
Reform Act of 2005 into law; on
February 15, 2006, he signed the Federal
Deposit Insurance Reform Conforming
Amendments of 2005 (collectively, the
Reform Act).1 The Reform Act, among
other things, gives the FDIC, through its
rulemaking authority, the opportunity to
better price deposit insurance for risk.2
The Federal Deposit Insurance Act, as
amended by the Reform Act, requires
that the assessment system be risk-based
and allows the FDIC to define risk
broadly. It defines a risk-based system
as one based on an institution’s
probability of causing a loss to the
Deposit Insurance Fund (the Fund or
the DIF) due to the composition and
concentration of the institution’s assets
and liabilities, the likely amount of any
such loss, and the revenue needs of the
DIF. The Reform Act leaves in place the
statutory provision allowing the FDIC to
‘‘establish separate risk-based
assessment systems for large and small
members of the Deposit Insurance
Fund.’’ 3 But the Reform Act provides
that ‘‘[n]o insured depository institution
shall be barred from the lowest-risk
category solely because of size.’’ 4
2006 Assessments Rule
On November 30, 2006, pursuant to
the requirements of the Reform Act, the
FDIC adopted by regulation (the 2006
assessments rule) an assessment system
that placed insured depository
institutions into risk categories (Risk
Category I, II, III or IV), depending upon
supervisory ratings and capital levels.5
Within Risk Category I, the 2006
assessments rule created different
1 Federal Deposit Insurance Reform Act of 2005,
Public Law 109–171, 120 Stat. 9; Federal Deposit
Insurance Conforming Amendments of 2005, Public
Law 109–173, 119 Stat. 3601.
2 Section 2109(a)(5) of the Reform Act. Section
7(b) of the Federal Deposit Insurance Act (12 U.S.C.
1817(b)).
3 Section 7(b)(1)(D) of the Federal Deposit
Insurance Act (12 U.S.C. 1817(b)(1)(D)).
4 Section 2104(a)(2) of the Reform Act amending
Section 7(b)(2)(D) of the Federal Deposit Insurance
Act (12 U.S.C. 1817(b)(2)(D)).
5 71 FR 69282. (Nov. 30, 2006). The FDIC also
adopted several other final rules implementing the
Reform Act, including a final rule on operational
changes to part 327. 71 FR 69270 (Nov. 30, 2006).
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assessment systems for large and small
institutions that combined supervisory
ratings with other risk measures to
further differentiate risk and determine
assessment rates.6
To determine assessment rates for
large Risk Category I institutions that
had a long-term debt issuer rating, the
2006 assessments rule combined the
institution’s weighted average CAMELS
component rating and any current longterm debt issuer rating or ratings
assigned by the major U.S. rating
agencies (the debt ratings method). For
large institutions that did not have a
long-term debt issuer rating, the rule set
initial assessment rates using a financial
ratios method, which combined the
weighted average CAMELS component
rating and certain financial ratios. (This
method was also applied to all small
institutions.) The 2006 assessments rule
allowed the FDIC to adjust initial
assessment rates for large Risk Category
I institutions to ensure that the relative
levels of risk posed by these institutions
were consistently reflected in
assessment rates; the adjustment is
known as the large bank adjustment.7
The FDIC provided additional detail on
the calculation of the large bank
adjustment in its Guidelines for Large
Institutions and Insured Foreign
Branches in Risk Category I (the large
bank guidelines).8
2009 Assessments Rule
Effective April 1, 2009, the FDIC
amended its assessments rule (the 2009
assessments rule) to create the current
assessment system. Under this
assessment system, the initial base
assessment rate for a Risk Category I
institution is determined by either the
financial ratios method applicable to all
small institutions or, for institutions
with at least one long-term debt rating,
by a new large bank method.9 The new
6 The 2006 final rule defined a large institution
as an institution (other than an insured branch of
a foreign bank) with $10 billion or more in assets
as of December 31, 2006 (although an institution
with at least $5 billion in assets could request
treatment as a large institution). If, after December
31, 2006, an institution classified as small reports
assets of $10 billion or more in its report of
condition for four consecutive quarters, the FDIC
will reclassify the institution as large beginning in
the following quarter. If, after December 31, 2006,
an institution classified as large reports assets of
less than $10 billion in its report of condition for
four consecutive quarters, the FDIC will reclassify
the institution as small beginning the following
quarter. 12 CFR 327.8(g) and (h) (2009) and
327.9(d)(6) (2009).
7 71 FR 69282, 69292–69294 (Nov. 30, 2006).
8 72 FR 27122 (May 14, 2007).
9 The financial ratios method also applies to large
institutions without at least one long-term debt
rating. The 2009 assessments rule added a new
measure—the adjusted brokered deposit ratio—to
the financial ratios that were considered under the
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large bank method incorporates a
financial ratios score. For a large
institution in Risk Category I with a
long-term debt issuer rating, the initial
base assessment rate combines the
institution’s weighted average CAMELS
component rating, its average long-term
debt issuer ratings, and its financial
ratios score, each equally weighted (the
large bank method). The 2009
assessments rule also increased the
maximum large bank adjustment of the
initial base assessment rate from 0.50
basis points to 1 basis point.10
Initial base assessment rates as of
April 1, 2009, are set forth in Table 1
below.
TABLE 1—INITIAL BASE ASSESSMENT RATES AS OF APRIL 1, 2009
Risk category
I*
II
Minimum
Annual Rates (in basis points) .................................................................
III
IV
Maximum
12
16
22
32
45
* Rates for institutions that do not pay the minimum or maximum rate will vary between these rates.
The 2009 assessments rule provided
for adjustments to the initial base
assessment rate for institutions in all
risk categories. An institution’s total
base assessment rate can vary from its
initial base assessment rate as the result
of an unsecured debt adjustment and a
secured liability adjustment. The
unsecured debt adjustment lowers an
institution’s initial base assessment rate
using its ratio of long-term unsecured
debt (and, for small institutions, certain
amounts of Tier 1 capital) to domestic
deposits.11 The secured liability
adjustment increases an institution’s
initial base assessment rate if the
institution’s ratio of secured liabilities
to domestic deposits is greater than 25
percent (the secured liability
adjustment).12 In addition, institutions
in Risk Categories II, III and IV are
subject to an adjustment for large levels
of brokered deposits (the brokered
deposit adjustment).13
After applying all possible
adjustments, the minimum and
maximum total base assessment rates for
each risk category under the 2009
assessments rule are set out in Table 2
below.
TABLE 2—INITIAL AND TOTAL BASE ASSESSMENT RATES
Risk category
I
Risk category
II
Risk category
III
Risk category
IV
Initial base assessment rate ............................................................................
Unsecured debt adjustment .............................................................................
Secured liability adjustment .............................................................................
Brokered deposit adjustment ...........................................................................
12–16
¥5–0
0–8
........................
22
¥5–0
0–11
0–10
32
¥5–0
0–16
0–10
45
¥5–0
0–22.5
0–10
Total Base Assessment Rate ...................................................................
7–24bp
17–43bp
27–58bp
40–77.5bp
All amounts for all risk categories are in basis points annually. Total base rates that are not the minimum or maximum rate will vary between
these rates.
The FDIC proposes to revise the
assessment system applicable to large
institutions to better capture risk at the
time an institution assumes the risk, to
better differentiate institutions during
periods of good economic and banking
conditions based on how they would
fare during periods of stress or
economic downturns, and to better take
into account the losses that the FDIC
may incur if an institution fails.
The FDIC has carefully considered the
measurements that should be used to
assess large banks’ risk. The proposal
includes quantitative measures that are
readily available and statistically
significant in predicting an institution’s
long-term performance. The FDIC
believes that other considerations—such
as stress testing, underwriting
characteristics, and risk management
practices—are also important in the risk
assessment of large institutions, and
they should be factored into the riskbased assessment system. While the
FDIC has already identified some key
metrics for these additional
considerations, the FDIC is seeking
further input in a request for comments
included in this proposed rulemaking.
The FDIC also anticipates that any final
rule issued pursuant to this notice of
proposed rulemaking would be followed
by discussions with the industry on
ways to improve the system adopted, as
well as coordination with other
regulators. Ultimately, the FDIC
anticipates a further round of
rulemaking may be needed to improve
the large bank assessment system
adopted pursuant to this rulemaking.
The FDIC proposes to eliminate risk
categories for large institutions to allow
the FDIC to draw finer distinctions
among large institutions based upon the
risk that they pose. For all large
institutions, the FDIC proposes to
eliminate use of long-term debt issuer
ratings. The FDIC has found that debt
issuer ratings, particularly for the largest
institutions, do not respond quickly to
an institution’s changing risk profile.
The FDIC proposes to continue to rely
2006 assessments rule. The adjusted brokered
deposit ratio measures the extent to which certain
brokered deposits are used to fund rapid asset
growth. The adjusted brokered deposit ratio
excludes deposits that a Risk Category I institution
receives through a deposit placement network on a
reciprocal basis, such that: (1) For any deposit
received, the institution (as agent for depositors)
places the same amount with other insured
depository institutions through the network; and (2)
each member of the network sets the interest rate
to be paid on the entire amount of funds it places
with other network members (reciprocal deposits).
10 74 FR 9525, 9535–9536 (Mar. 4, 2009).
11 Unsecured debt excludes debt guaranteed by
the FDIC under its Temporary Liquidity Guarantee
Program.
12 The initial base assessment rate cannot increase
more than 50 percent as a result of the secured
liability adjustment.
13 74 FR 9522, 9541 (Mar. 4, 2009).
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II. Overview of the Proposal
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Because some of the financial
measures that the FDIC is proposing
focus on long-term risk, they should
mitigate the pro-cyclicality of the
current system. Over the long term,
institutions that pose higher long-term
risk will pay higher assessments when
they assume these risks—usually during
economic expansions—rather than
facing large assessment increases when
conditions deteriorate. In so doing, they
should provide incentives for
institutions to avoid excessive risk
during economic expansions.
As shown in Chart 1, the proposed
measures were useful in predicting
long-term performance of large
institutions over the 2005 to 2009
period. The chart contrasts the
predictive values of the proposed
measures with weighted-average
CAMELS component ratings and with
the existing financial ratios method.
(The financial ratios method is based on
a statistical model that predicts
downgrades of small banks within 12
months, but the method also applies to
large Risk Category I banks.) The
proposed measures predict the FDIC’s
view, based on its experience and
judgment, of the proper rank ordering of
risk for large institutions do
significantly better than the other two
methods and, thus, better than the
current system used for most large Risk
Category I institutions, which combines
weighted-average CAMELS composite
scores, the financial ratios method and
long-term debt issuer ratings. (As noted
above, debt issuer ratings, particularly
for the largest institutions, do not
respond quickly to an institution’s
changing risk profile.) For example, in
2006, the proposed measures would
have predicted the FDIC’s expert
judgment-based risk ranking of large
institutions as of year-end 2009 nearly
two and one-half times better than the
risk measures in the existing financial
ratios method, which applies to large
banks without debt ratings.
The FDIC also proposes to alter
assessment rates applicable to all
insured depository institutions to
ensure that the revenue collected under
the new assessment system would
approximately equal that under the
existing assessment system and also to
ensure that the lowest rate applicable to
both small and large institutions would
be the same. The FDIC would retain its
flexibility to raise assessment rates up to
3 basis points above or below base
assessment rates without the necessity
of further rulemaking.
14 The proposed rule clarifies that if the FDIC
disagrees with the ratings changes to an
institution’s risk assignment by its primary federal
regulator or, for state-chartered institutions, by the
state banking supervisor, the FDIC will notify the
institution of its decision and any resulting change
to an institution’s risk assignment is effective as of
the date of FDIC’s transmittal notice.
15 The expert judgment ranking is a risk ranking
of large institutions based on FDIC’s current
analyses. The ranking is largely based on the
information available through the FDIC’s Large
Insured Depository Institution (LIDI) program. Large
institutions that failed or received significant
government support over the period are assigned
the worst risk ranking and are included in the
statistical analysis. Appendix 1 describes the
statistical analysis in detail.
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upon CAMELS ratings and financial
measures to determine assessment
rates.14
The FDIC proposes to combine
CAMELS ratings and certain financial
measures into two scorecards—one for
most large institutions and another for
large institutions that are structurally
and operationally complex or that pose
unique challenges and risks in case of
failure (Highly Complex Institutions).
Each scorecard would consist of a
performance component, which would
measure an institution’s financial
performance and its ability to withstand
stress, and a loss severity component,
which would correspond to the level of
potential losses in case of failure. The
data underlying these measures are
readily available. Most of the data are
publicly available, but some are
gathered during the examination
process. Under the proposal, the FDIC
would have the ability to adjust each
component where necessary to produce
accurate relative risk rankings.
Federal Register / Vol. 75, No. 84 / Monday, May 3, 2010 / Proposed Rules
III. Risk-Based Assessment System for
Large Insured Depository Institutions
A ‘‘large institution’’ would continue
to be defined under the proposal as an
insured depository institution with $10
billion or greater in total assets for at
least four consecutive quarters. The
proposal would apply to all large
institutions regardless of whether they
are defined as new.16 Insured branches
of foreign banks would not be defined
as large institutions.
A. Scorecard for Large Institutions
(Other Than Highly Complex
Institutions)
The scorecard method would use risk
measures to derive an assessment rate
reflective of the risk that an institution
poses to the insurance fund. Each
scorecard would produce two scores: A
performance score and a loss severity
score. To arrive at a performance score,
the scorecard would combine CAMELS
ratings and financial measures into a
single performance score between 0 and
100. The FDIC would have limited
ability to adjust an institution’s
performance score based upon
quantitative or qualitative measures not
adequately captured in the scorecard.
The scorecard would also combine
loss severity measures into a single loss
severity score between 0 and 100. The
loss severity score would then be
converted into a loss severity measure.
The FDIC would also have limited
ability to alter an institution’s loss
severity score based upon quantitative
or qualitative measures not adequately
captured in the scorecard. Multiplying
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the performance score by the loss
severity measure would produce a
combined score, which would then be
converted to an initial assessment rate.
In general, a risk measure value
reflecting lower risk than the cutoff
value that results in a score of 0 would
also receive a score of 0, where 0 equals
the lowest risk for that measure. A risk
measure value reflecting higher risk
than the cutoff value that results in a
score of 100 would also receive a score
of 100, where 100 equals the highest
risk for that measure. A risk measure
value between the cutoff values would
be converted to a score between 0 and
100, which would be rounded to 3
decimal points.
Table 3 shows scorecard measures
and the possible range of scores.
TABLE 3—SCORECARD FOR LARGE INSTITUTIONS
Components
Scorecard measures
Score
CAMELS .....................................................
Weighted Average CAMELS ..........................................................................................
25–100
Ability to Withstand Asset-Related Stress
Tier 1 Common Capital Ratio (Tier 1 Common Capital/Total Average Assets less
Disallowed Intangibles).
0–100
Concentration Measure ...................................................................................................
Higher Risk Concentrations; or
Growth-Adjusted Portfolio Concentrations.
0–100
Core Earnings/Average Total Assets .............................................................................
0–100
Credit Quality Measure ...................................................................................................
Criticized and Classified Items/Tier 1 Capital and Reserves; or
Underperforming Assets/Tier 1 Capital and Reserves.
0–100
Subtotal ...........................................................................................................................
0–100
Outlier Add-ons
Criticized and Classified Items/Tier 1 Capital and Reserves; or
Underperforming Assets/Tier 1 Capital and Reserves.
Higher Risk Concentrations ............................................................................................
Core Deposits/Total Liabilities ........................................................................................
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0–100
Potential Losses/Total Domestic Deposits (loss severity measure) ..............................
0–100
0–100
Total loss severity score .................................................................................................
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0–100
Secured Liabilities/Total Domestic Deposits ..................................................................
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0–100
Total Performance Score ................................................................................................
16 In almost all cases, an institution that has had
$10 billion or greater in total assets for four
consecutive quarters will have CAMELS ratings.
0–100
Total ability to withstand funding-related stress score ................................................
Potential Loss Severity ..............................
0–100
Liquid Assets/Short-term Liabilities (liquidity coverage ratio) .........................................
Funding-Related
0–160
Unfunded Commitments/Total Assets ............................................................................
Withstand
30
Total ability to withstand asset-related stress score ...................................................
Ability to
Stress.
30
0–100
However, in the rare event that a large institution
has not yet received CAMELS ratings, it would be
given a weighted average CAMELS rating of 2 for
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assessment purposes until actual CAMELS ratings
are assigned.
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1. Performance Score
The first component of the scorecard
for large institutions would be the
performance score. The performance
score for large institutions would be the
weighted average of three inputs:
(1) Weighted average CAMELS rating;
(2) ability to withstand asset-related
stress measures; and (3) ability to
withstand funding-related stress
measures. Table 4 shows the weight
given to each of these three inputs.
TABLE 4—PERFORMANCE SCORE
INPUTS AND WEIGHTS
Weight
(percent)
Performance score inputs
CAMELS Rating .........................
Ability to Withstand Asset-Related Stress .............................
Ability to Withstand Funding-Related Stress .............................
30
score between 25 and 100 according to
the following equation:
S = 25 + [(20/3) * (C2 ¥ 1)],
Where:
S = the weighted average CAMELS score and
C = the weighted average CAMELS rating.
This equation normalizes the weighted
average CAMELS score to the same range as
the other components described below so
that it can be added to these components,
resulting in a performance score. This
conversion from a weighted average CAMELS
rating to a score is a non-linear conversion.
Other conversions used in this proposal
would be linear. The non-linear conversion
recognizes that the difference between higher
CAMELS ratings (e.g., a CAMELS 3 versus a
CAMELS 4) represents a greater difference in
risk than the difference between lower
CAMELS ratings (e.g., a CAMELS 1 versus a
CAMELS 2).
equals the lowest risk for that measure.
A value reflecting higher risk than the
cutoff value that results in a score of 100
will also receive a score of 100, where
100 equals the highest risk for that
measure. A risk measure value between
the minimum and maximum cutoff
values is converted linearly to a score
between 0 and 100. For the
Concentration Measure and Credit
Quality Measures, a lower ratio implies
lower risk and a higher ratio implies
higher risk. For these measures, a value
between the minimum and maximum
cutoff values will be converted linearly
to a score between 0 and 100, according
to the following formula:
S = (V ¥ Min)*100/(Max ¥ Min),
where S is score (rounded to three decimal
points), V is the value of the measure, Min
is the minimum cutoff value and Max is the
maximum cutoff value.
50
b. Ability To Withstand Asset-Related
Stress Component
20
A weighted average CAMELS rating
would be converted to a score that
ranges from 25 to 100. A weighted
average rating of 1 would equal a score
of 25 and a weighted average of 3.5 or
greater would equal a score of 100.
Weighted average CAMELS ratings
between 1 and 3.5 would be assigned a
score between 25 and 100. The score
would increase at an increasing rate as
the weighted average CAMELS rating
increases.
Weighted average CAMELS ratings
between 1 and 3.5 would be assigned a
The ability to withstand asset-related
stress component would contain
measures that are most relevant to
assessing a large institution’s ability to
withstand such stress. These measures
would be the following:
• Tier 1 common capital ratio;
• Concentration measure (the higher
of the higher-risk concentrations
measure or growth-adjusted portfolio
concentrations measures);
• Core earnings/average total assets;
and
• Credit quality measure (the higher
of the criticized and classified items/
Tier 1 capital and reserves or
underperforming assets/Tier 1 capital
and reserves).
In general, these measures proved to
be the most statistically significant
measures of an institution’s ability to
withstand asset-related stress, as
described in Appendix 1. Appendix B
describes these measures in detail and
gives the source of the data used to
determine them.
Each risk measure within the ability
to withstand asset-related stress portion
of the scorecard would be converted
linearly to a score between 0 and 100
where 100 equals the highest risk and 0
equals the lowest risk for that
measure.17 For each risk measure, a
value reflecting lower risk than the
cutoff value that results in a score of 0
will also receive a score of 0, where 0
The concentration measure score
would equal the higher of the two scores
that make up the concentration measure
score, as would the credit quality
score.18 The credit quality score would
be based upon the higher of the
criticized and classified items ratio
score or the underperforming assets
ratio score.19 Table 6 shows each of the
measures, gives the cutoff values for
each measure and shows the weight
assigned to the measure to derive a
score for an institution’s ability to
withstand asset-related stress. Most of
the minimum and maximum cutoff
values for each risk measure equal the
10th and 90th percentile values of the
particular measure among large
institutions based upon data from the
period between the first quarter of 2000
and the fourth quarter of 2009.20 21
17 This process, in effect, normalizes all the ratios
to the same range of values and allows the numbers
to be added together.
18 The higher-risk concentration measure gauges
concentrations that are currently deemed to be high
risk. The growth-adjusted portfolio concentration
measure does not solely consider high-risk
portfolios, but considers all portfolio
concentrations.
19 The criticized and classified items ratio
measures commercial credit quality while the
underperforming assets ratio is often a better
indicator for consumer portfolios.
20 Cutoff values are rounded to one decimal point.
21 The measures in which the 10th and 90th
percentiles would not be used would be the higherrisk concentration measure and the criticized and
classified asset ratio due to data availability. Data
on the higher-risk concentration measure are
available consistently since second quarter 2008,
and criticized and classified assets are only
available consistently since first quarter 2007. For
the higher-risk concentration measure, the 85th
percentile value is used as a maximum cutoff value.
The maximum cutoff value for the criticized and
classified asset ratio is close to but does not equal
the 90th percentile value. These alternative cutoff
values are partly based on recent experience.
a. Weighted Average CAMELS Score
To derive the weighted average
CAMELS score, a weighted average of
an institution’s CAMELS component
ratings would first be calculated using
the weights that are applied in the
current rule as shown in Table 5 below.
TABLE 5—WEIGHTS FOR CAMELS
COMPONENT RATINGS
Weight
(percent)
CAMELS component
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C .................................................
A .................................................
M .................................................
E .................................................
L ..................................................
S .................................................
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For the Tier 1 Common Capital Ratio
and Core Earnings to Average Total
Assets Ratio, a lower value represents
higher risk and a higher value
represents lower risk. For these
measures, a value between the
minimum and maximum cutoff values
is converted linearly to a score between
0 and 100, according to the following
formula:
S = (Max ¥ V)*100/(Max ¥ Min),
where S is score (rounded to three decimal
points), V is the value of the measure, Min
is the minimum cutoff value and Max is the
maximum cutoff value.
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TABLE 6—CUTOFF VALUES AND WEIGHTS FOR ABILITY TO WITHSTAND ASSET-RELATED STRESS MEASURES
Cutoff values
Minimum
Maximum
Weight
(percent)
5.8
........................
0.0
7.6
0.0
........................
6.5
2.3
12.9
........................
3.2
154.7
2.3
........................
100.0
35.1
15
35
........................
........................
15
35
........................
........................
Scorecard measures
Tier 1 Common Capital Ratio ......................................................................................................
Concentration Measure ...............................................................................................................
Higher Risk Concentrations; or ............................................................................................
Growth-Adjusted Portfolio Concentrations ...........................................................................
Core Earnings/Average Total Assets ..........................................................................................
Credit Quality Measure ................................................................................................................
Criticized and Classified Items/Tier 1 Capital and Reserves; or .........................................
Underperforming Assets/Tier 1 Capital and Reserves ........................................................
Each score would be multiplied by a
respective weight and the resulting
weighted score for each measure would
be summed to arrive at an ability to
withstand asset-related stress score,
which could range from 0 to 100. The
FDIC recognizes that extreme values for
some measures should have an
additional effect on the final scorecard
total. For extreme values of certain
measures reflecting particularly high
risk, this score could increase through
an outlier add-on. Specifically, if an
institution’s ratio of criticized and
classified items to Tier 1 capital and
reserves exceeded 100 percent or its
ratio of underperforming assets to Tier
1 capital and reserves exceeded 50.2
percent, the ability to withstand assetrelated stress component score would be
increased by 30 points. Additionally, if
the higher risk concentration measure
exceeded 4.8, the ability to withstand
asset-related stress component score
would be increased by 30 points. These
increases (outlier add-ons) would be
determined separately and could
increase the ability to withstand assetrelated stress score by up to 60 points;
thus, the ability to withstand assetrelated stress component score could be
as high as 160 points.22
Table 7 illustrates how the ability to
withstand asset-related stress score
would be calculated for a hypothetical
bank, Bank A.
TABLE 7—ABILITY TO WITHSTAND ASSET-RELATED STRESS COMPONENT FOR BANK A
Weight
(percent)
Weighted
score
74.37
78.13
78.13
25.42
78.26
100.00
100.00
95.91
15
35
........................
........................
15
35
........................
........................
11.15
27.35
........................
........................
11.74
35.00
........................
........................
........................
........................
........................
85.24
Criticized and Classified Items/Tier 1 Capital and Reserves; or .............
104.32
........................
........................
30.00
Underperforming Assets/Tier 1 Capital and Reserves .............................
Higher Risk Concentrations .............................................................................
33.76
2.50
30.00
0.00
........................
........................
........................
........................
Total ability to withstand asset-related stress score .............................................................................................................
115.24
Scorecard measures
Value
Tier 1 Common Capital Ratio ..........................................................................
Concentration Measure ...................................................................................
Higher Risk Concentrations; or ................................................................
Growth-Adjusted Portfolio Concentrations ...............................................
Core Earnings/Average Total Assets ..............................................................
Credit Quality Measure ....................................................................................
Criticized and Classified Items/Tier 1 Capital and Reserves; or .............
Underperforming Assets/Tier 1 Capital and Reserves .............................
7.62
........................
2.50
45.00
0.50
........................
104.32
33.76
Subtotal .............................................................................................
Score
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Outlier Add-ons:
Bank A’s higher risk concentrations
score (78.13) is higher than its growthadjusted portfolio concentration score
(25.42). Thus, the higher risk
concentration score is multiplied by the
35 percent weight to get a weighted
score of 27.35 and the growth-adjusted
portfolio concentration score would be
ignored. Similarly, Bank A’s criticized
and classified items to Tier 1 capital and
reserves ratio score (100) is higher than
its underperforming assets to Tier 1
capital and reserves ratio score (95.91).
Therefore, the criticized and classified
items to Tier 1 capital and reserves ratio
score would be multiplied by the 35
percent weight to get a weighted score
of 35.00 and the underperforming assets
to Tier 1 capital and reserves ratio score
would be ignored. These weighted
scores, along with the weighted scores
for the Tier 1 common capital ratio
(11.15) and core earnings to average
total assets ratio (11.74), would be
22 That is, the statistical analysis shows that a
significant amount of criticized and classified items
or underperforming assets, or concentrations in
high risk portfolios are the most significant (having
coefficients with the largest absolute value)
measures that help differentiate the risk profiles of
large institutions and predict an institution’s longterm performance. In addition, recent experience
suggests that a small number of institutions with
very high levels of criticized and classified items or
underperforming assets, or high risk portfolio
concentrations are particularly vulnerable to
unexpected asset-related stress. The value that
triggers the outlier add-on for the criticized and
classified items to Tier 1 capital and reserves was
determined using FDIC’s judgment. The value that
triggers the outlier add-on for the underperforming
assets to Tier 1 capital and reserves is the 95th
percentile value for the distribution of values of that
measure for large institutions from 2000 to 2009.
The value that triggers the outlier add-on for the
higher risk concentration measure is the 90th
percentile value for the distribution of values of that
measure for large institutions from second quarter
2008 to fourth quarter 2009. A lower value was
chosen for this measure due to a short history of
available data.
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added together, resulting in the subtotal
of 85.24. Because Bank A’s criticized
and classified items to Tier 1 capital and
reserves ratio score is greater than 100,
the criticized and classified items to
Tier 1 capital and reserves ratio outlier
add-on would be triggered, and an
additional 30 points would be added to
Bank A’s score. Bank A’s higher risk
concentrations measure score does not
exceed 4.8; therefore, the second outlier
add-on would not be triggered. Thus,
only the outlier add-on for the criticized
and classified items to Tier 1 capital and
reserves ratio would be added to the
subtotal to arrive at the asset
vulnerability component score of 115.24
for Bank A.
c. Ability To Withstand FundingRelated Stress
The ability to withstand fundingrelated stress component would contain
three measures that are most relevant to
assessing a large institution’s ability to
withstand such stress—a core deposits
to total liabilities ratio, an unfunded
commitments to total assets ratio, and a
liquid assets to short-term liabilities
(liquidity coverage) ratio. These ratios
are significant in predicting a large
institution’s long-term performance in
the statistical test described in
Appendix 1. Appendix B describes
these ratios in detail and gives the
source of the data used to determine
them.
Each risk measure would be
converted to a score between 0 and 100
where 100 equals the highest risk and 0
equals the lowest risk for that measure.
A risk measure value reflecting lower
risk than the cutoff value that results in
a score of 0, will also receive a score of
0, where 0 equals the lowest risk for that
measure. A risk measure value reflecting
higher risk than the cutoff value that
results in a score of 100, will also
receive a score of 100, where 100 equals
the highest risk for that measure. For the
Core Deposits/Liabilities measure and
the Liquidity Coverage Ratio, a lower
ratio implies higher risk and a higher
ratio implies lower risk. For these
measures, a value between the
minimum and maximum cutoff values
will be converted linearly to a score
between 0 and 100, according to the
following formula:
S = (Max ¥ V)*100/(Max ¥ Min)
Where S is score (rounded to three decimal
points), V is the value of the measure,
Min is the minimum cutoff value and
Max is the maximum cutoff value.
For the Unfunded Commitments/
Assets measure, a lower value
represents lower risk and a higher value
represents higher risk. For these
measures, a value between the
minimum and maximum cutoff values
is converted linearly to a score between
0 and 100, according to the following
formula:
S = (V ¥ Min)*100/(Max ¥ Min)
Where S is score (rounded to three decimal
points), V is the value of the measure,
Min is the minimum cutoff value and
Max is the maximum cutoff value.
The ability to withstand fundingrelated stress component score would be
the weighted average of the three
measure scores. Table 8 shows the
cutoff values and weights for these
measures.
TABLE 8—CUTOFF VALUES AND WEIGHTS FOR ABILITY TO WITHSTAND FUNDING-RELATED STRESS MEASURES
Cutoff values
Scorecard measures
Minimum
Core Deposits/Total Liabilities .....................................................................................................
Unfunded Commitments/Total Assets .........................................................................................
Liquid Assets/Short-term Liabilities (liquidity coverage ratio) ......................................................
d. Calculation of Performance Score
The weighted average CAMELS score,
the ability to withstand asset-related
stress score, and the ability to withstand
funding-related stress score would then
be multiplied by their weights and the
results would be summed to arrive at
the performance score. This score would
Maximum
3.2
0.3
5.6
Weight
(percent)
79.1
42.2
170.9
40
40
20
not be less than 0 or more than 100
under the proposal. In the example in
Table 9, Bank A’s performance score
would be 81.70.
TABLE 9—PERFORMANCE SCORE FOR BANK A
Weight
(percent)
Performance score components
Score
Weighted
score
30
50
20
65.15
115.24
22.69
19.54
57.62
4.54
Total Performance Score .......................................................................................................................
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Weighted Average CAMELS Score ...............................................................................................................
Ability to Withstand Asset-Related Stress Score ..........................................................................................
Ability to Withstand Funding-Related Stress Score ......................................................................................
..................
..................
81.70
The performance score could be
adjusted, up or down, by a maximum of
15 points, based upon significant risk
factors that are not adequately captured
in the scorecard. The resulting score,
however, could not be less than 0 or
more than 100. The FDIC would use a
process similar to the current large bank
adjustment to determine the amount of
the adjustment to the performance
score.23 This discretionary adjustment is
discussed in more detail below.
2. Loss Severity Score
The loss severity score would
measure the relative magnitude of
potential losses to the FDIC in the event
of an institution’s failure. The loss
severity score would be based on two
measures that are most relevant to
23 12
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assessing an institution’s potential loss
severity. The loss severity measure is
the ratio of possible losses to the FDIC
in the event of an institution’s failure to
total domestic deposits, averaged over
three quarters. A standardized set of
assumptions—based on recent failures—
regarding liability runoffs and the
recovery value of asset categories are
applied to calculate possible losses to
the FDIC. (Appendix D to the NPR
describes the calculation of the measure
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in detail.) A loss severity measure is
used as part of the current large bank
adjustment. The second measure is the
ratio of secured liabilities to total
domestic deposits. (The greater an
institution’s secured liabilities relative
to domestic deposits, the greater the
FDIC’s potential rate of loss in the event
of failure, since secured liabilities have
priority in payment over deposits at
failure.) These measures are quantitative
measures that are derived from readily
available data. Appendix B defines
these measures and gives the source of
the data used to calculate them.
Each risk measure would be
converted to a score between 0 and 100
where 100 equals the highest risk and 0
equals the lowest risk for that measure.
A risk measure value reflecting lower
risk than the minimum cutoff value
results in a score of 0, where 0 equals
the lowest risk for that measure. A risk
measure value reflecting higher risk
than the maximum cutoff value results
in a score of 100, where 100 equals the
highest risk for that measure. A risk
measure value between the minimum
and maximum cutoff values is
converted linearly to a score between 0
and 100, according to the following
formula:
S = (V ¥ Min)*100/(Max ¥ Min),
Where S is score (rounded to three decimal
points), V is the value of the measure, Min
is the minimum cutoff value and Max is the
maximum cutoff value.
The loss severity score would be the
weighted average of these scores. Table
10 shows cutoff values and weights for
these measures. The loss severity score
would not be less than 0 or more than
100 under the proposal.
TABLE 10—CUTOFF VALUES AND WEIGHTS FOR LOSS SEVERITY SCORE MEASURES
Cutoff values
Weight
(percent)
Scorecard measures
Minimum
Potential Losses/Total Domestic Deposits (Loss Severity Measure) .........................................
Secured Liabilities/Total Domestic Deposits ...............................................................................
0.0
0.0
Maximum
30.1
75.7
50
50
In the example in Table 11, Bank A’s
loss severity score would be 36.04.
TABLE 11—LOSS SEVERITY SCORE FOR BANK A
Scorecard measures
Ratio
Score
Weight
(percent)
Weighted
score
Potential Losses/Total Domestic Deposits (Loss severity measure) ..............
Secured Liabilities/Total Domestic Deposits ...................................................
15.20
16.34
50.50
21.59
50
50
25.25
10.79
Total Loss Severity Score ........................................................................
........................
........................
........................
36.04
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Similar to the performance score, the
loss severity score could be adjusted, up
or down, by a maximum of 15 points,
based on significant risk factors specific
to the institution that are not adequately
captured in the scorecard. The resulting
score, however, could not be less than
0 or more than 100. The FDIC would use
a process similar to the current large
bank adjustment to determine the
amount of the adjustment to the loss
severity score.24 This discretionary
adjustment is discussed in more detail
below.
3. Initial Base Assessment Rate
Under the proposal, once the
performance and loss severity scores are
calculated, and potentially adjusted,
these scores would be converted to an
initial base assessment rate using the
following method:
First, the loss severity score would be
converted into a loss severity measure
that ranges from 0.8 (score of 5 or lower)
24 12
CFR 327.9(d)(4) (2009).
score of 30 and 90 equals about the 20th
and about the 97th percentile values, respectively,
25 The
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to 1.2 (score of 85 or higher). Scores that
fall at or below the minimum cutoff of
5 would receive a loss severity measure
of 0.8 and scores that fall at or above the
maximum cutoff of 85 would receive a
loss severity score of 1.2. Again, a linear
interpolation would be used to convert
loss severity scores between the cutoffs
into a loss severity measure. The
conversion would be made using the
following formula:
Loss Severity Measure = 0.8 + [(Loss
Severity Score ¥ 5) × 0.005]
For example, if Bank A’s loss severity
score is 36.04, its loss severity measure
would be 0.96, calculated as follows:
0.8 + [(36.04 ¥ 5) * 0.005] = 0.96.
Next, the performance score would be
multiplied by the loss severity measure
to produce a total score (total score =
performance score * loss severity
measure). Since the loss severity
measure ranges from 0.8 to 1.2, the total
score could be up to 20 percent higher
or lower than the performance score.
The total score would be capped at 100
under the proposal and would be
rounded to two decimal places. For
example, if Bank A’s performance score
is 81.70 and its loss severity measure is
0.96, its total score would be 78.43,
calculated as follows:
81.70 * 0.96 = 78.43
A large institution with a total score
of 30 or lower would pay the minimum
initial base assessment rate and an
institution with a total score of 90 or
greater would pay the maximum initial
base assessment rate.25 For total scores
between 30 and 90, initial base
assessment rates would rise at an
increasing rate as the total score
increased. The initial base assessment
rate (in basis points) would be
calculated according to the following
formula (assuming that the maximum
initial base assessment rate was 40 basis
points higher than the minimum rate): 26
based on scorecard results as of first quarter 2005
through fourth quarter 2006.
26 The rate of increase in the initial base
assessment rate is based on a statistical analysis of
failure probabilities as described in Appendix 2.
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5
⎛
⎛ Score ⎞ ⎞
Rate = Minimum Rate − 0.165289 + ⎜ 68.02027 × ⎜
⎟ ⎟
⎜
⎟
⎝ 100 ⎠ ⎠
⎝
For example, if Bank A’s total score
were 78.43, and the minimum and
maximum initial base assessment rates
were 10 basis points and 50 basis
points, respectively, its initial base
assessment rate would be 30.02 basis
points, calculated as follows:
5
⎛
⎛ 78.43 ⎞ ⎞
27
(10 bps − 0.165289) + ⎜ 68.02027 × ⎜
⎟ ⎟ = 30.02 basis points
⎜
100 ⎠ ⎟
⎝
⎝
⎠
more intermediate parent companies
that are wholly owned by a holding
company with more than $500 billion in
assets, or (2) a processing bank and trust
company with greater than $10 billion
in total assets, provided that the
information required to calculate
assessment rates as a highly complex
institution is readily available to the
FDIC.28 Under the proposal, highly
complex institutions would have a
27 The initial base assessment rate would be
rounded to two decimal points.
28 A parent company would be defined as a bank
holding company under the Bank Holding
Company Act of 1956 or a savings and loan holding
company under the Home Owners’ Loan Act. A
credit card bank would be defined as a bank for
which credit card plus securitized receivables
exceed 50 percent of assets plus securitized
receivables. A processing bank and trust company
would be defined as an institution whose last 3
years’ non-lending interest income plus fiduciary
revenues plus investment banking fees exceed 50
percent of total revenues (and last 3 years’ fiduciary
revenues are non-zero).
B. Scorecard for Highly Complex
Institutions
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As mentioned above, those
institutions that are structurally and
operationally complex or that pose
unique challenges and risks in case of
failure (highly complex institutions)
would have a different scorecard under
the proposal. A ‘‘highly complex
institution’’ would be defined as: (1) An
insured depository institution
(excluding a credit card bank) with
greater than $50 billion in total assets
that is wholly owned by a parent
company with more than $500 billion in
total assets, or wholly owned by one or
EP03MY10.008
scores and Bank A’s assessment rate is
indicated on the curve.
EP03MY10.006
its estimated three-year cumulative
failure probability.
Chart 2 illustrates the initial base
assessment rate based on a range of total
The initial base assessment rate could
be adjusted as a result of the unsecured
debt adjustment, secured liability
adjustment and brokered deposit
adjustment (discussed below).
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
This calculation of an initial
assessment rate is based on an
approximated statistical relationship
between an institution’s total score and
Federal Register / Vol. 75, No. 84 / Monday, May 3, 2010 / Proposed Rules
scorecard with measures tailored to the
risks posed by these institutions, but the
methodology involved would be the
same for both scorecards.
The scorecard for highly complex
institutions has four additional
measures that do not appear in the
scorecard for other large institutions
(the senior bond spread, the institution’s
parent company’s tangible common
equity (TCE) ratio, the 10-day 99 percent
Value at Risk (VaR), and the short-term
funding to total assets ratio). These
measures were designed to measure
vulnerability to changes in the market
and would be incorporated into the
calculation of a highly complex
institution’s initial base assessment rate
because of the institution’s greater
involvement in market activities.
Appendix B describes these measures in
detail and gives the source of the data
used to calculate the measures.
The scorecard for highly complex
institutions, like the scorecard for other
large institutions, would contain a
23525
performance component and a loss
severity component. However, the
performance score for highly complex
institutions would contain an additional
component—the market indicators
component. Table 12 shows the
scorecard measures and the possible
range of scores that would be used for
these institutions. Table 13 gives the
weights associated with the four
components of the performance
scorecard for highly complex
institutions.
TABLE 12—SCORECARD FOR HIGHLY COMPLEX INSTITUTIONS
Components
Scorecard measures
Score
CAMELS .....................................................
Weighted Average CAMELS ..........................................................................................
25–100
Market Indicator .........................................
Senior Bond Spread .......................................................................................................
0–100
Outlier Add-ons
Parent Company Tangible Common Equity (TCE) Ratio ...............................................
Total Market Indicator score ...........................................................................................
0–130
Tier 1 Common Capital Ratio (Tier 1 Common Capital/Total Average Assets less
Disallowed Intangibles).
0–100
Concentration Measure ...................................................................................................
Higher Risk Concentrations; or
Growth-Adjusted Portfolio Concentrations
0–100
Core Earnings/Average Total Assets .............................................................................
0–100
Credit Quality Measure ...................................................................................................
Criticized and Classified Items/Tier 1 Capital and Reserves Underperforming Assets/Tier 1 Capital and Reserves
0–100
10-day 99% VaR/Tier 1 Capital ......................................................................................
0–100
Subtotal ...........................................................................................................................
Ability to Withstand Asset-Related Stress
30
0–100
Outlier Add-ons
Criticized and Classified Items/Tier 1 Capital and Reserves; or
Underperforming Assets/Tier 1 Capital and Reserves
Higher Risk Concentrations Measure .............................................................................
0–100
0–100
0–100
Short-term Funding/Total Assets ....................................................................................
0–100
Subtotal ...........................................................................................................................
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Core Deposits/Total Liabilities ........................................................................................
Liquid Assets/Short-term Liabilities (liquidity coverage ratio) .........................................
Funding-Related
0–160
Unfunded Commitments/Total Assets ............................................................................
Withstand
30
Total ability to withstand asset-related stress score ......................................................
Ability to
Stress.
30
0–100
Outlier Add-ons
Short-term funding/Total Assets .....................................................................................
Total ability to withstand funding-related stress score ...................................................
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0–130
Total Performance Score ................................................................................................
Potential Loss Severity ..............................
30
0–100
Potential Losses/Total Domestic Deposits (loss severity measure) ..............................
0–100
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TABLE 12—SCORECARD FOR HIGHLY COMPLEX INSTITUTIONS—Continued
Components
Scorecard measures
Score
Secured Liabilities/Total Domestic Deposits ..................................................................
0–100
Total loss severity score .................................................................................................
0–100
The additional component, the market
indicator component, would be added
TABLE 13—PERFORMANCE SCORE
to the performance scorecard for highly
COMPONENTS AND WEIGHTS
complex institutions. The market
indicator component contains only one
Weight
measure, the senior bond spread score,
Performance score components
(percent)
and one outlier add-on. The FDIC would
CAMELS Rating .......................
20 use the senior bond spread because this
Market Indicators ......................
10 measure can be compared consistently
Ability to Withstand Asset-Reacross institutions. The senior bond
lated Stress ...........................
50 spread would be converted linearly to a
Ability to Withstand Fundingscore between 0 and 100. The minimum
Related Stress ......................
20
and maximum cutoff values for the
market indicator measure are shown in
Table 14. The market indicator
component score would be adjusted by
up to 30 points if the institution’s parent
company’s tangible common equity
(TCE) ratio fell below 4 percent since
the market generally perceives a parent
company to be vulnerable if its TCE is
less than 4 percent. Including the outlier
add-on, the market indicator component
score could be as high as 130 points.
TABLE 14—CUTOFF VALUES AND WEIGHT FOR MARKET INDICATOR MEASURE
Cutoff values
Minimum
Maximum
Weight
(percent)
0.6
3.8
100
Scorecard measures
Senior Bond Spread ........................................................................................................................................
The scorecard for highly complex
institutions adds one additional factor
to the ability to withstand asset-related
stress component—the 10-day 99
percent Value at Risk (VaR)/Tier 1
capital—and one additional factor to the
ability to withstand funding-related
stress component—the short-term
funding to total assets ratio. Table 15
and Table 16 show cutoff values and
weights for ability to withstand assetrelated stress measures and ability to
withstand funding-related stress
measures, respectively.
TABLE 15—CUTOFF VALUES AND WEIGHTS FOR ABILITY TO WITHSTAND ASSET-RELATED STRESS MEASURES
Cutoff values
Scorecard measures
Minimum
Tier 1 Common Capital Ratio ......................................................................................................
Concentration Measure:
Higher Risk Concentrations; or ............................................................................................
Growth-Adjusted Portfolio Concentrations ...........................................................................
Core Earnings/Average Total Assets ..........................................................................................
Credit Quality Measure:
Criticized and Classified Items to Tier 1 Capital and Reserves; or .....................................
Underperforming Assets/Tier 1 Capital and Reserves ........................................................
10-day 99 VaR/Tier 1 Capital ......................................................................................................
Maximum
5.8
12.9
0.0
7.6
0.0
3.2
154.7
2.3
6.5
2.3
0.1
Weight
(percent)
10
35
100.0
35.1
0.5
10
35
10
TABLE 16—CUTOFF VALUES AND WEIGHTS FOR ABILITY TO WITHSTAND FUNDING-RELATED STRESS MEASURES
Cutoff values
Scorecard measures
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Minimum
Core Deposits/Total Liabilities .....................................................................................................
Unfunded Commitments/Total Assets .........................................................................................
Liquid Assets/Short-term Liabilities (liquidity coverage ratio) ......................................................
Short-term Funding/Total Assets .................................................................................................
The scorecard for highly complex
institutions also adds an additional
outlier add-on. The ability to withstand
funding-related stress component score
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for highly complex institutions would
be adjusted by 30 points if the ratio of
short-term funding to total assets
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3.2
0.3
5.6
0.0
Maximum
Weight
(percent)
79.1
42.2
170.9
19.1
30
30
20
20
exceeded 26.9 percent.29 The use of
29 Historical analysis shows that a significant
amount of short-term funding can increase the risk
profile of an institution. External funding sources
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can be a critical source of liquidity but short-term
funding exposes an institution to near-term price
risk and rollover risk. These risks increase for an
institution during periods of market disruption or
when the institution itself is experiencing financial
distress. The add-on is triggered when the level of
short-term funding to total assets ratio exceeds
26.9%. This is the 95th percentile of this measure
among large institutions based upon data from the
period between the third quarter of 1999 and the
second quarter of 2009.
30 12 CFR 327.9(d)(4)(2009).
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⎡⎛ P +C ⎞5 ⎛ P ⎞5 ⎤
Au = 68.02027 × ⎢⎜
⎟ − ⎜
⎟ ⎥
⎢⎝ 100 ⎠ ⎝ 100 ⎠ ⎥
⎣
⎦
and the effect of a downward
adjustment to a score on the
institution’s assessment rate would be
⎡⎛ P ⎞5 ⎛ P − C ⎞5 ⎤
Ad = 68.02027 × ⎢⎜
⎟ − ⎜
⎟ ⎥,
⎥
⎢
⎣⎝ 100 ⎠ ⎝ 100 ⎠ ⎦
where Au is an increase in the assessment
rate, Ad is a decrease in the assessment rate,
C is the amount of upward adjustment to
score, and P is pre-adjustment score.
Notifications involving an upward
adjustment to an institution’s
assessment rate would be made in
advance of implementing such an
adjustment so that the institution has an
31 12
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opportunity to respond to or address the
FDIC’s rationale for proposing an
upward adjustment. Adjustments would
be implemented after considering the
institution’s response to this notification
along with any subsequent changes
either to the inputs or other risk factors
that relate to the FDIC’s decision.
The FDIC acknowledges the need to
clarify and make technical changes to its
adjustment guidelines for large
institutions to ensure consistency with
this rulemaking.32
D. Liability-Based Adjustments
The proposed rule would continue to
allow for adjustments to an institution’s
initial base assessment rate as a result of
certain long-term unsecured debt,
secured liabilities and brokered
deposits. These adjustments are
currently provided for in the 2009
assessments rule, except that the
brokered deposit adjustment currently
applies only to institutions in Risk
Categories II, III and IV. The proposed
rule would extend the brokered deposit
adjustment to all large institutions since
the adjusted brokered deposit ratio
(which took brokered deposits and
growth into account for large Risk
Category I institutions) would no longer
apply. The unsecured debt adjustment,
secured liability adjustment and
brokered deposit adjustment would be
applicable to both large institutions and
highly complex institutions under the
proposal.
E. Calculation of Total Assessment Rate
After making the adjustments just
described, the resulting assessment rate
would be the total assessment rate.
Under the proposal, unlike the current
rule for both large and small
institutions, a large institution’s total
assessment rate could not be more than
50 percent lower than its initial base
assessment rate. This change ensures
that all institutions would pay
assessments even if the minimum initial
base assessment rate is set at 5 basis
points or less.
F. Updating Scorecard
The FDIC proposes that it have the
flexibility to update the minimum and
maximum cutoff values and weights
used in each scorecard annually,
without notice-and-comment
rulemaking. In particular, the FDIC
could add new data from each year to
its analysis and could, from time to
time, exclude some earlier years from its
analysis. Updating the minimum and
maximum cutoff values and weights
would allow the FDIC to use the most
32 72
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FR 27122 (May 14, 2007).
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EP03MY10.010
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
C. Large Bank Adjustment to the
Performance Score and Loss Severity
Score
Under current rules, large institutions
and insured branches of foreign banks
within Category 1 are subject to an
assessment rate adjustment (the large
bank adjustment). The large bank
adjustment was designed to preserve
consistency in the relative risk rankings
of large institutions as indicated by
assessment rates, to ensure fairness
among all large institutions, and to
ensure that assessment rates take into
account all available information that is
relevant to the FDIC’s risk-based
assessment decision. The FDIC proposes
that a large bank adjustment be retained
that would be imposed in the same
manner (and subject to the same notice
requirements) as under the current
rule.31
As proposed, the FDIC could adjust
the performance score and/or the loss
severity score for all large institutions
and highly complex institutions, up or
down, by a maximum of 15 points each,
based upon significant risk factors that
are not adequately captured in the
scorecard. In determining whether to
make a large bank adjustment, the FDIC
may consider such information as
financial performance and condition
information and other market or
supervisory information. The FDIC
would also consult with an institution’s
primary Federal regulator and, for state
chartered institutions, state banking
supervisor. Appendix E lists some, but
not all, criteria that could be considered
in determining whether or not a
discretionary adjustment is necessary.
In general, the proposed adjustments
to the performance and loss severity
scores would have a proportionally
greater effect on the assessment rate of
those institutions with a higher total
score. The effect of an upward
adjustment to a score on the
institution’s assessment rate would be
calculated as
EP03MY10.009
short-term funding has proved to be
highly unstable and the FDIC has found
an increased vulnerability, particularly
for institutions that are active
participants, when there is a heavy
reliance on this type of funding.
Including the outlier add-on, the ability
to withstand funding-related stress
component score for highly complex
institutions could be as high as 130
points.
To calculate the performance score for
highly complex institutions, the
weighted average CAMELS score, the
market indicators score, the ability to
withstand asset-related stress score, and
the ability to withstand funding-related
stress score would be multiplied by
their weights and the results would be
summed to arrive at the performance
score. The score would be capped at 100
under the proposal. The loss severity
score for highly complex institutions
would be calculated the same way as
the loss severity score for other large
institutions.
As is the case for other large
institutions, the performance score and
the loss severity score for highly
complex institutions could be adjusted,
up or down, by maximum of 15 points
each, based upon significant risk factors
that are not adequately captured in the
scorecard. The resulting scores,
however, could not be less than 0 or
more than 100. The FDIC would use a
process similar to the current large bank
adjustment to determine the amount of
any adjustments.30 This discretionary
adjustment is discussed in more detail
below.
The initial base assessment rate for
highly complex institutions would be
calculated from the total score in the
same manner as for other large
institutions as described above. As in
the case of other large institutions, the
initial base assessment rate could also
be adjusted as a result of the unsecured
debt adjustment, the secured liability
adjustment, and the brokered deposit
adjustment (discussed below).
23527
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recent data, thereby improving the
accuracy of the scorecard method.
On the other hand, if, as a result of its
review and analysis, the FDIC concludes
that additional or alternative measures
should be used to determine risk-based
assessments or that a new method
should be used to differentiate risk
among large institutions and highly
complex institutions, such changes
would be made through notice-andcomment rulemaking.
Financial ratios for any given quarter
would continue to be calculated from
the report of condition filed by each
institution or data collected through the
FDIC’s LIDI program as of the last day
of the quarter.33 CAMELS component
rating changes would continue to be
effective as of the date that the rating
change is transmitted to the institution
for purposes of determining assessment
rates.34
IV. Assessment Rates
As discussed above, the FDIC
proposes a wider range of assessment
rates than under the current assessment
system. To maintain approximately the
same total revenue under the proposed
rule as under the current system, the
FDIC proposes that the Board adopt new
initial and total base assessment rate
schedules set out in Tables 17 and 18,
effective January 1, 2011.
Under the proposed rule, the range of
initial base assessment rates for small
institutions and insured branches of
foreign banks in Risk Category I would
be uniformly 2 basis points lower than
under the current assessment system;
the initial base assessment rate for
institutions in Risk Category II would be
unchanged; while the proposed initial
base assessment rate for small
institutions and insured branches in
Risk categories III and IV would be
somewhat higher. For large and highly
complex institutions the minimum rate
in the proposed range of rates would be
2 basis points lower than the current
Risk Category I minimum assessment
rate and the maximum rate in the range
would be slightly higher than current
maximum Risk Category IV assessment
rates.35
Actual total assessment rates will be
set uniformly 3 basis points higher than
the proposed rates in accordance with
the Amended Restoration Plan that the
FDIC adopted on September 29, 2009.36
TABLE 17—PROPOSED INITIAL AND TOTAL BASE ASSESSMENT RATES FOR SMALL INSTITUTIONS AND INSURED BRANCHES
OF FOREIGN BANKS
Risk category I
Risk category II
Risk category III
Risk category IV
Initial base assessment rate ............................................................
Unsecured debt adjustment .............................................................
Secured liability adjustment .............................................................
Brokered deposit adjustment ...........................................................
10–14
¥5–0
0–7
............................
22
¥5–0
0–11
0–10
34
¥5–0
0–17
0–10
50
¥5–0
0–25
0–10
Total Base Assessment Rate ...................................................
5–21
17–43
29–61
45–85
All amounts for all risk categories are in basis points annually. Total base rates that are not the minimum or maximum rate will vary between
these rates. All rates shown would increase 3 basis points on January 1, 2011, pursuant to the FDIC Amended Restoration Plan adopted on
September 29, 2009. 74 FR 51062 (Oct. 2, 2009).
TABLE 18—PROPOSED INITIAL AND TOTAL BASE ASSESSMENT RATES FOR LARGE INSTITUTIONS
Large institutions
Initial base assessment rate ............................................................................................................................................................
Unsecured debt adjustment .............................................................................................................................................................
Secured liability adjustment .............................................................................................................................................................
Brokered deposit adjustment ...........................................................................................................................................................
10–50
¥5–0
0–25
0–10
Total Base Assessment Rate ...................................................................................................................................................
5–85
All amounts are in basis points annually. Total base rates that are not the minimum or maximum rate will vary between these rates. All rates
shown would increase 3 basis points on January 1, 2011, pursuant to the FDIC Amended Restoration Plan adopted on September 29, 2009. 74
FR 51062 (Oct. 2, 2009).
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Based upon the analysis and
projections below, the FDIC has
concluded that the proposed assessment
rate structure (including the previously
announced 3 basis point uniform
increase in assessment rates beginning
January 1, 2011) should satisfy the
FDIC’s revenue and liquidity needs.
Under the proposal, for the fourth
quarter 2009 assessment period, total
base assessment rates would have been
lower for about 52 percent of large
institutions and 76 percent of small
institutions.37 The rates would have
been higher for about 48 percent of large
institutions and 9 percent of small
institutions. The rates would have
remained the same for 15 percent of
small institutions.
33 Reports of condition include Reports of Income
and Condition and Thrift Financial Reports.
34 Pursuant to existing supervisory practice, the
FDIC does not assign a different component rating
from that assigned by an institution’s primary
federal regulator, even if the FDIC disagrees with a
CAMELS component assigned by an institution’s
primary federal regulator, unless: (1) The
disagreement over the component rating also
involves a disagreement over a CAMELS composite
rating; and (2) the disagreement over the CAMELS
composite rating is not a disagreement over whether
the CAMELS composite rating should be a 1 or a
2. The FDIC has no plans to alter this practice.
35 12 U.S.C. 1817(b)(2)(D) provides that ‘‘No
insured depository institution shall be barred from
the lowest risk category solely because of size.’’
36 74 FR 51062 (Oct. 2, 2009). Under current
rules, the FDIC has discretion to increase or
decrease assessment rates in effect up to 3 basis
points above or below total base assessment rates
without the need for additional rulemaking. The
proposed rule would not affect this provision.
37 For the purpose of this analysis, large
institutions are those with total assets of $10 billion
or greater as of December 31, 2009. The estimates
in the text regarding the effect of the proposal on
assessment rates, the effect on industry capital and
earnings discussed later in the text and the
Regulatory Flexibility Act analysis discussed later
in the text, are based in part on approximations of
a few risk measures.
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Fund Balance and Reserve Ratio
Projections
In September 2009, the FDIC
projected that both the Fund balance
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emcdonald on DSK2BSOYB1PROD with PROPOSALS2
and the reserve ratio as of September 30,
2009, would be negative, owing, in part,
to an increase in provisioning for
anticipated failures. The FDIC also
projected the Fund balance and reserve
ratio for each quarter over the next
several years using the then most
recently available information on
expected failures and loss rates and
statistical analyses of trends in CAMELS
downgrades, failure rates and loss rates.
The FDIC projected that, over the period
2009 through 2013, the Fund could
incur approximately $100 billion in
failure costs; the FDIC projected that
most of these costs would occur in 2009
and 2010.
Partly as a result of these projections,
the FDIC increased risk-based
assessment rates uniformly by 3 basis
points effective January 1, 2011. Despite
this increase, the FDIC projected that
the Fund balance would become
significantly negative in 2010 and
would remain negative until first
quarter 2013. According to these
projections, the reserve ratio would
return to the statutorily mandated
minimum reserve ratio of 1.15 percent
in the first quarter of 2017.
As projected, the Fund balance and
reserve ratio as of September 30, 2009,
and December 31, 2009, were negative.
(The Fund balance on December 31,
2009 was negative $20.9 billion; the
reserve ratio was ¥0.39 percent.) In
February 2010, the FDIC reexamined its
projections using the most recently
available information on expected
failures and loss rates, and statistical
analyses of trends in CAMELS
downgrades, failure rates and loss rates.
This reexamination resulted in no
material changes to the FDIC’s
projections. However, these projections
are subject to considerable uncertainty.
Losses could be less than or exceed
projected amounts, for example, if
conditions affecting the national or
regional economies, prove less or more
severe than is currently anticipated.
Effect on Industry Capital and Earnings
The proposed changes involve
increases in premiums for some
institutions and reductions in premiums
for other institutions. Because overall
revenue remains almost constant, the
effect on aggregate earnings and capital
is small. Projections show that
imposition of the new premiums will
increase aggregate capital by 2 onehundredths of one percent (0.02
percent) over one year. For 6,042
institutions, assessment rates would
decrease and earnings and capital
would increase; for 771 institutions,
assessment rates would increase and
earnings and capital would decline. For
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institutions whose initial earnings are
positive, the change in premiums will
increase earnings by an average of 0.87
percent (on an asset weighted basis). For
institutions whose initial earnings are
negative, the change in premiums will
increase losses by an average of 0.85
percent (on an asset weighted basis).38
Imposition of the proposed
assessment rates would make a critical
difference for two institutions, whose
tier 1 capital ratio would fall below 2
percent over a one-year horizon
(assuming the proposed rule were
adopted for 2010). No institution’s
equity-to-capital ratio would fall below
4 percent over a one-year horizon.39
V. Effective Date
January 1, 2011.
VI. Request for Comments
The FDIC seeks comment on every
aspect of this proposed rule. In
particular, the FDIC seeks comment on
the questions set out below. The FDIC
asks that commenters include reasons
for their positions.40 The FDIC
specifically requests comment on the
following:
A. Questions for Future Rulemakings
As mentioned above, the FDIC seeks
input on additional measures that could
38 The proposed changes to assessment rates
would not take effect until January 1, 2011. For two
reasons, the analysis in the text examines the effect
on earnings and capital had proposed rates been in
effect on January 1, 2010. First, it is difficult to
project 2011 institution income so far in advance.
Second, as discussed in the text, because overall
assessment revenue under the proposed system
would remain approximately the same as the
current system, the effect on earnings and capital
is small for almost all institutions. This conclusion
holds true for 2011, as well, because both current
and proposed assessment rates will increase
uniformly by three basis points beginning January
1, 2011. (A detailed analysis of the projected effects
of the payment of proposed assessment on the
capital and earnings of insured institutions is
contained in Appendix 3.)
39 In setting assessment rates, the FDIC’s Board of
Directors of the FDIC is authorized to set
assessments for insured depository institutions in
such amounts as the Board of Directors may
determine to be necessary. 12 U.S.C. 1817(b)(2)(A).
In so doing, the Board shall consider: (1) The
estimated operating expenses of the DIF; (2) the
estimated case resolution expenses and income of
the DIF; (3) the projected effects of the payment on
the capital and earnings of insured depository
institutions; (4) the risk factors and other factors
taken into account pursuant to 12 U.S.C. 1817(b) (1)
under the risk-based assessment system, including
the requirement under such paragraph to maintain
a risk-based system; and (5) any other factors the
Board of Directors may determine to be appropriate.
12 U.S.C. 1817(b)(2)(B). As reflected in the text, in
making its projections of the Fund balance and
liquidity needs, and in making its recommendations
regarding assessment rates, the Board has taken into
account these statutory factors.
40 The FDIC may not address all of the questions
posed in the current rulemaking, but may consider
the information gathered in future actions.
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23529
be incorporated into the assessment
system in future rulemakings.
a. The FDIC would like to factor into
the scorecard credit, liquidity, market,
and interest rate stress tests. How
should these stress tests be factored into
the scorecard? What methodology and
assumptions should be used?
b. Underwriting is a key determinant
of credit quality. The FDIC would like
to develop metrics to measure
underwriting quality. How could
underwriting quality best be measured?
c. A high level of counterparty risk
can significantly increase an
institution’s ability to withstand stress.
How could counterparty risk best be
measured?
d. A high level of market risk can
significantly increase an institution’s
ability to withstand stress. How could
market risk best be measured?
e. How could liquidity risk best be
measured?
f. How should the exposure of
individual banks to systemic risk be
measured? What activities and behavior
constitute exposure to systemic risk?
g. How is the capability of risk
management best assessed?
h. Should the FDIC review the
assessment system applicable to small
institutions to determine whether
improvements, including improvements
analogous to those being proposed for
the large institution assessment system,
should be made to the assessment
system used for small institutions?
B. Questions About the Proposal
1. Deposit Insurance Pricing System:
(a) Should the risk categories be
eliminated as proposed?
(b) Should the two scorecards be
combined?
(c) Should highly complex
institutions be defined as proposed?
(d) Should the risk measures,
particularly the components of the high
risk concentrations measure, be defined
as proposed?
(e) Should the performance score and
loss severity score be combined as
proposed?
(f) Should the initial base assessment
rate be calculated as proposed?
2. Performance Scorecard:
(a) Are the proposed weights assigned
to performance score components and
measures appropriate?
(b) Are the cut-off values for the risk
measures and the outlier add-ons
appropriate?
(c) Should any other measures be
added? Should any measures be
removed or replaced?
(d) For the growth-adjusted portfolio
concentration measure, are the risk
weights assigned to each portfolio as
described in Appendix C appropriate?
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(e) For the higher-risk concentration
measure, should concentrations in other
portfolios be considered?
(f) Should purchased impaired loans
under SOP 03–3 be excluded from the
definition of criticized and classified
items or underperforming assets?
(g) Should the liquidity coverage ratio
be computed as proposed?
(h) Are the outlier add-ons
appropriate measures? Is the score
addition for add-ons appropriate?
(i) Is the size of the discretionary
adjustment to the performance score
appropriate?
3. Loss Severity Scorecard:
(a) Are asset haircuts, runoff, and
secured liability assumptions for the
loss severity measure as described in
Appendix D appropriate?
(b) Are asset adjustments due to
liability runoff and capital reductions as
described in Appendix D applied
appropriately?
(c) Are the proposed weights assigned
to loss severity measures appropriate?
(d) Are cut-off values for risk
measures and outlier add-ons
appropriate?
(e) Should any other measures be
added? Should any measures be
removed or replaced?
(f) Is the size of the discretionary
adjustment to the loss severity score
appropriate?
4. Assessment Rate Schedule:
(a) Should the entire proposed
assessment rate schedule be adjusted to
make it revenue neutral overall?
(b) Is the basis point range for
assessments appropriate?
5. Regulatory Matters:
(a) What is the extent of regulatory
burden with implementation of the
proposed deposit insurance pricing
system?
(b) Are the requirements in the
proposed regulation clearly stated? If
not, how could the regulation be more
clearly stated?
(c) Does the proposed regulation
contain language or jargon that is not
clear? If so, which language requires
clarification?
VII. Regulatory Analysis and Procedure
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
A. Solicitation of Comments on Use of
Plain Language
Section 722 of the Gramm-LeachBliley Act, Public Law 106–102, 113
Stat. 1338, 1471 (Nov. 12, 1999),
requires the Federal banking agencies to
use plain language in all proposed and
final rules published after January 1,
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2000. The FDIC invites your comments
on how to make this proposal easier to
understand. For example:
• Has the FDIC organized the material
to suit your needs? If not, how could
this material be better organized?
• Are the requirements in the
proposed regulation clearly stated? If
not, how could the regulation be more
clearly stated?
• Does the proposed regulation
contain language or jargon that is not
clear? If so, which language requires
clarification?
• Would a different format (grouping
and order of sections, use of headings,
paragraphing) make the regulation
easier to understand? If so, what
changes to the format would make the
regulation easier to understand?
• What else could the FDIC do to
make the regulation easier to
understand?
B. Regulatory Flexibility Act
The Regulatory Flexibility Act (RFA)
requires that each Federal agency either
certify that a proposed rule would not,
if adopted in final form, have a
significant economic impact on a
substantial number of small entities or
prepare an initial regulatory flexibility
analysis of the rule and publish the
analysis for comment.41 Certain types of
rules, such as rules of particular
applicability relating to rates or
corporate or financial structures, or
practices relating to such rates or
structures, are expressly excluded from
the definition of ‘‘rule’’ for purposes of
the RFA.42 The proposed rule relates
directly to the rates imposed on insured
depository institutions for deposit
insurance, and to the risk-based
assessment system components that
measure risk and weigh that risk in
determining each institution’s
assessment rate, and includes technical
and other changes to the FDIC’s
assessment regulations. Nonetheless, the
FDIC is voluntarily undertaking an
initial regulatory flexibility analysis of
the proposed rule for publication.
As of December 31, 2009, of the 8,012
insured commercial banks and savings
associations, there were 4,427 small
insured depository institutions as that
term is defined for purposes of the RFA
(i.e., those with $175 million or less in
assets).
For purposes of this analysis, whether
the FDIC were to collect needed
41 See
42 5
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U.S.C. 601.
Frm 00016
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assessments under the existing rule or
under the proposed rule, the total
amount of assessments collected would
be the same. The FDIC’s total
assessment needs are driven by
statutory requirements and by the
FDIC’s aggregate insurance losses,
expenses, investment income, and
insured deposit growth, among other
factors. Given the FDIC’s total
assessment needs, the proposed rule
would merely alter the distribution of
assessments among insured institutions.
Using data as of December 31, 2009, the
FDIC calculated the total assessments
that would be collected under the base
rate schedule in the proposed rule.
The economic impact of the final rule
on each small institution for RFA
purposes (i.e., institutions with assets of
$175 million or less) was then
calculated as the difference in basis
points and annual assessments under
the proposed rule compared to the
existing rule, assuming the same total
assessments collected by the FDIC from
the banking industry.43 44
Based on the December 2009 data,
under the proposed rule, the change in
the assessment system would result in
lower assessments for the majority of
small institutions. Small institutions
would experience an average drop of
1.39 basis points in their assessment
rates under the proposed rule. More
than 86 percent of these institutions
would face a lower assessment rate,
with 76 percent of them being charged
1 to 2 basis points lower than the
current pricing rule. Of the total 4,427
small institutions, only 13 percent
would experience an increase and only
173 institutions would experience an
assessment rate increase of more than 2
basis points. These figures indicate that
the proposed rule will have a positive
economic impact for a substantial
number of small insured institutions.
Table 19 below sets forth the results of
the analysis in more detail.
43 Throughout this regulatory flexibility analysis
(unlike the rest of the final rule), a ‘‘small
institution’’ refers to an institution with assets of
$175 million or less.
44 The proposed rule would not go into effect
until January 1, 2011. Under the existing
assessment system and under the proposed rule,
assessment rates would increase uniformly by three
basis points beginning on that date. Because the
increase is uniform in both cases, the analysis in the
text, which compares current assessment rates with
proposed base assessment rates, should apply
equally to 2011.
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TABLE 19—CHANGE IN BASIS POINT ASSESSMENTS UNDER THE PROPOSED RULE
Number of
institutions
Change in basis point assessments
Percent of
institutions
More than ¥2 basis points lower ....................................................................................................................
¥2 to ¥1 basis points lower ..........................................................................................................................
¥1 to 0 basis points lower ..............................................................................................................................
0 to 1 basis points higher ................................................................................................................................
1 to 2 basis points higher ................................................................................................................................
More than 2 basis points higher ......................................................................................................................
114
3,377
356
243
164
173
2.58
76.28
8.04
5.49
3.70
3.91
Total ..........................................................................................................................................................
4,427
100.00
The FDIC performed a similar
analysis to determine the impact on
profits for small institutions. Based on
December 2009 data, under the final
rule, 96 percent of the 3,039 small
institutions with reported profits would
experience a positive change in their
annual profits. Table 20 sets forth the
results of the analysis in more detail.
TABLE 20—CHANGE IN ASSESSMENTS UNDER THE PROPOSAL AS A PERCENTAGE OF PROFIT *
Number of
institutions
Change in assessments as a percentage of profit
Percent of
institutions
More than .2 percent lower .............................................................................................................................
.1 to .2 percent lower .......................................................................................................................................
.05 to .1 percent lower .....................................................................................................................................
0 to .05 percent lower ......................................................................................................................................
0 to 1 percent higher .......................................................................................................................................
18
18
41
2,841
121
0.59
0.59
1.35
93.48
3.98
Total ..........................................................................................................................................................
3,039
100.00
* Institutions with negative or no profit were excluded. These institutions are shown separately in the next table.
Of those small institutions with
reported profits, less than 4 percent
would have experienced a decrease in
their profits under the proposed rule.
More than 96 percent of these small
institutions would have an increase in
their profits. Again, these figures
indicate a positive economic impact on
profits for the majority of small insured
institutions.
Table 21 excludes small institutions
that either show no profit or show a
loss, because a percentage cannot be
calculated. The FDIC analyzed the effect
of the proposed rule on these
institutions by determining the annual
assessment change that would result.
Table 21 below shows that only 2.81
percent (39) of the 1,388 small insured
institutions in this category would
experience an increase in annual
assessments of $10,000 or more. More
than 10 percent of these institutions
would experience a decrease of $5,000
or more.
TABLE 21—CHANGE IN ASSESSMENTS UNDER THE PROPOSED RULE FOR INSTITUTIONS WITH NEGATIVE OR NO
REPORTED PROFIT
Number of
institutions
Change in assessments
Percent of
institutions
147
468
334
151
249
39
10.59
33.72
24.06
10.88
17.94
2.81
Total ..........................................................................................................................................................
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
$5,000–$10,000 decrease ...............................................................................................................................
$1,000–$5,000 decrease .................................................................................................................................
$0–$1,000 decrease ........................................................................................................................................
$0–$1,000 increase .........................................................................................................................................
$1,000–$10,000 increase ................................................................................................................................
$10,000 increase or more ...............................................................................................................................
1,388
100.00
The proposed rule does not directly
impose any ‘‘reporting’’ or
‘‘recordkeeping’’ requirements within
the meaning of the Paperwork
Reduction Act. The compliance
requirements for the proposed rule
would not exceed existing compliance
requirements for the present system of
FDIC deposit insurance assessments,
which, in any event, are governed by
separate regulations.
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The FDIC is unaware of any
duplicative, overlapping or conflicting
Federal rules.
The initial regulatory flexibility
analysis set forth above demonstrates
that the proposed rule would not have
a significant economic impact on a
substantial number of small institutions
PO 00000
within the meaning of those terms as
used in the RFA.45
C. Paperwork Reduction Act
No collections of information
pursuant to the Paperwork Reduction
Act (44 U.S.C. 3501 et seq.) are
contained in the proposed rule.
45 5
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Federal Register / Vol. 75, No. 84 / Monday, May 3, 2010 / Proposed Rules
D. The Treasury and General
Government Appropriations Act, 1999—
Assessment of Federal Regulations and
Policies on Families
The FDIC has determined that the
proposed rule will not affect family
well-being within the meaning of
section 654 of the Treasury and General
Government Appropriations Act,
enacted as part of the Omnibus
Consolidated and Emergency
Supplemental Appropriations Act of
1999 (Pub. L. 105–277, 112 Stat. 2681).
List of Subjects in 12 CFR Part 327
Bank deposit insurance, Banks,
Banking, Savings associations.
For the reasons set forth in the
preamble, the FDIC proposes to amend
chapter III of title 12 of the Code of
Federal Regulations as follows:
PART 327—ASSESSMENTS
1. The authority citation for part 327
continues to read as follows:
Authority: 12 U.S.C. 1441, 1813, 1815,
1817–1819, 1821; Sec. 2101–2109, Pub. L.
109–171, 120 Stat. 9–21, and Sec. 3, Pubic
Law 109–173, 119 Stat. 3605.
2. In § 327.4, revise paragraphs (c) and
(f) to read as follows:
§ 327.4
Assessment rates.
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
*
*
*
*
*
(c) Requests for review. An institution
that believes any assessment risk
assignment provided by the Corporation
pursuant to paragraph (a) of this section
is incorrect and seeks to change it must
submit a written request for review of
that risk assignment. An institution
cannot request review through this
process of the CAMELS ratings assigned
by its primary Federal regulator or
challenge the appropriateness of any
such rating; each Federal regulator has
established procedures for that purpose.
An institution may also request review
of a determination by the FDIC to assess
the institution as a large or a small
institution (12 CFR 327.9(d)(9)) or a
determination by the FDIC that the
institution is a new institution (12 CFR
327.9(d)(10)). Any request for review
must be submitted within 90 days from
the date the assessment risk assignment
being challenged pursuant to paragraph
(a) of this section appears on the
institution’s quarterly certified
statement invoice. The request shall be
submitted to the Corporation’s Director
of the Division of Insurance and
Research in Washington, DC, and shall
include documentation sufficient to
support the change sought by the
institution. If additional information is
requested by the Corporation, such
information shall be provided by the
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institution within 21 days of the date of
the request for additional information.
Any institution submitting a timely
request for review will receive written
notice from the Corporation regarding
the outcome of its request. Upon
completion of a review, the Director of
the Division of Insurance and Research
(or designee) or the Director of the
Division of Supervision and Consumer
Protection (or designee), as appropriate,
shall promptly notify the institution in
writing of his or her determination of
whether a change is warranted. If the
institution requesting review disagrees
with that determination, it may appeal
to the FDIC’s Assessment Appeals
Committee. Notice of the procedures
applicable to appeals will be included
with the written determination.
*
*
*
*
*
(f) Effective date for changes to risk
assignment. Changes to an insured
institution’s risk assignment resulting
from a supervisory ratings change
become effective as of the date of
written notification to the institution by
its primary Federal regulator or state
authority of its supervisory rating (even
when the CAMELS component ratings
have not been disclosed to the
institution), if the FDIC, after taking into
account other information that could
affect the rating, agrees with the rating.
If the FDIC does not agree, the FDIC will
notify the institution of the FDIC’s
supervisory rating; resulting changes to
an insured institution’s risk assignment
become effective as of the date of
written notification to the institution by
the FDIC.
*
*
*
*
*
3. In § 327.8, revise paragraphs (g),
(h), (i), (m), (n), (o), (p), (q), and (r), and
add paragraphs (t), (u) and (v) to read as
follows:
§ 327.8
Definitions.
*
*
*
*
*
(g) Small Institution. An insured
depository institution with assets of less
than $10 billion as of December 31,
2006, and an insured branch of a foreign
institution, shall be classified as a small
institution. If, after December 31, 2006,
an institution classified as large under
paragraph (h) of this section (other than
an institution classified as large for
purposes of § 327.9(d)(8)) reports assets
of less than $10 billion in its quarterly
reports of condition for four consecutive
quarters, the FDIC will reclassify the
institution as small beginning the
following quarter.
(h) Large Institution. An institution
classified as large for purposes of
§ 327.9(d)(9) or an insured depository
institution with assets of $10 billion or
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Fmt 4701
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more as of December 31, 2006 (other
than an insured branch of a foreign bank
or a highly complex institution) shall be
classified as a large institution. If, after
December 31, 2006, an institution
classified as small under paragraph (g)
of this section reports assets of $10
billion or more in its quarterly reports
of condition for four consecutive
quarters, the FDIC will reclassify the
institution as large beginning the
following quarter.
(i) Highly Complex Institution. A
highly complex institution is an insured
depository institution with greater than
$50 billion in total assets that is not a
credit card bank and is wholly owned
by a parent company with more than
$500 billion in total assets, or wholly
owned by one or more intermediate
parent companies that are wholly
owned by a holding company with more
than $500 billion in assets, or a
processing bank and trust company with
greater than $10 billion in total assets,
provided that the information required
to calculate assessment rates as a highly
complex institution is readily available
to the FDIC. If, after December 31, 2010,
an institution classified as highly
complex falls below $50 billion in total
assets in its quarterly reports of
condition for four consecutive quarters,
or its parent company or companies fall
below $500 billion in total assets for
four consecutive quarters, or a
processing bank and trust company falls
below $10 billion in total assets in its
quarterly reports of condition for four
consecutive quarters, the FDIC will
reclassify the institution beginning the
following quarter.
*
*
*
*
*
(m) Established depository institution.
An established insured depository
institution is a bank or savings
association that has been federally
insured for at least five years as of the
last day of any quarter for which it is
being assessed.
(1) Merger or consolidation involving
new and established institution(s).
Subject to paragraphs (m)(2), (3), (4),
and (5) of this section and
§ 327.9(d)(10)(iii), (iv), when an
established institution merges into or
consolidates with a new institution, the
resulting institution is a new institution
unless:
(i) The assets of the established
institution, as reported in its report of
condition for the quarter ending
immediately before the merger,
exceeded the assets of the new
institution, as reported in its report of
condition for the quarter ending
immediately before the merger; and
(ii) Substantially all of the
management of the established
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emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Federal Register / Vol. 75, No. 84 / Monday, May 3, 2010 / Proposed Rules
institution continued as management of
the resulting or surviving institution.
(2) Consolidation involving
established institutions. When
established institutions consolidate, the
resulting institution is an established
institution.
(3) Grandfather exception. If a new
institution merges into an established
institution, and the merger agreement
was entered into on or before July 11,
2006, the resulting institution shall be
deemed to be an established institution
for purposes of this part.
(4) Subsidiary exception. Subject to
paragraph (m)(5) of this section, a new
institution will be considered
established if it is a wholly owned
subsidiary of:
(i) A company that is a bank holding
company under the Bank Holding
Company Act of 1956 or a savings and
loan holding company under the Home
Owners’ Loan Act, and:
(A) At least one eligible depository
institution (as defined in 12 CFR
303.2(r)) that is owned by the holding
company has been chartered as a bank
or savings association for at least five
years as of the date that the otherwise
new institution was established; and
(B) The holding company has a
composite rating of at least ‘‘2’’ for bank
holding companies or an above average
or ‘‘A’’ rating for savings and loan
holding companies and at least 75
percent of its insured depository
institution assets are assets of eligible
depository institutions, as defined in 12
CFR 303.2(r); or
(ii) An eligible depository institution,
as defined in 12 CFR 303.2(r), that has
been chartered as a bank or savings
association for at least five years as of
the date that the otherwise new
institution was established.
(5) Effect of credit union conversion.
In determining whether an insured
depository institution is new or
established, the FDIC will include any
period of time that the institution was
a federally insured credit union.
(n) Risk assignment. For all small
institutions and insured branched of
foreign banks, risk assignment includes
assignment to Risk Category I, II, III, or
IV, and, within Risk Category I,
assignment to an assessment rate or
rates. For all large institutions and
highly complex institutions, risk
assignment includes assignment to an
assessment rate or rates.
(o) Unsecured debt. For purposes of
the unsecured debt adjustment as set
forth in § 327.9(d)(6), unsecured debt
shall include senior unsecured
liabilities and subordinated debt.
(p) Senior unsecured liability. For
purposes of the unsecured debt
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adjustment as set forth in § 327.9(d)(6),
senior unsecured liabilities shall be the
unsecured portion of other borrowed
money as defined in the quarterly report
of condition for the reporting period as
defined in paragraph (b) of this section,
but shall not include any senior
unsecured debt that the FDIC has
guaranteed under the Temporary
Liquidity Guarantee Program, 12 CFR
Part 370.
(q) Subordinated debt. For purposes
of the unsecured debt adjustment as set
forth in § 327.9(d)(6), subordinated debt
shall be as defined in the quarterly
report of condition for the reporting
period; however, subordinated debt
shall also include limited-life preferred
stock as defined in the quarterly report
of condition for the reporting period.
(r) Long-term unsecured debt. For
purposes of the unsecured debt
adjustment as set forth in § 327.9(d)(6),
long-term unsecured debt shall be
unsecured debt with at least one year
remaining until maturity.
*
*
*
*
*
(t) Processing bank and trust
company. A processing bank and trust
company is an institution whose last 3
years’ non-lending interest income plus
fiduciary revenues plus investment
banking fees exceed 50 percent of total
revenues (and its last 3 years’ fiduciary
revenues are non-zero).
(u) Parent company. A parent
company is a bank holding company
under the Bank Holding Company Act
of 1956 or a savings and loan holding
company under the Home Owners’ Loan
Act.
(v) Credit Card Bank. A credit card
bank is a bank for which credit card
plus securitized receivables exceed 50
percent of assets plus securitized
receivables.
4. Revise § 327.9 to read as follows:
§ 327.9 Assessment risk categories and
pricing methods.
(a) Risk Categories. Each small
insured depository institution and each
insured branch of a foreign bank shall
be assigned to one of the following four
Risk Categories based upon the
institution’s capital evaluation and
supervisory evaluation as defined in
this section.
(1) Risk Category I. Institutions in
Supervisory Group A that are Well
Capitalized;
(2) Risk Category II. Institutions in
Supervisory Group A that are
Adequately Capitalized, and institutions
in Supervisory Group B that are either
Well Capitalized or Adequately
Capitalized;
(3) Risk Category III. Institutions in
Supervisory Groups A and B that are
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Fmt 4701
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23533
Undercapitalized, and institutions in
Supervisory Group C that are Well
Capitalized or Adequately Capitalized;
and
(4) Risk Category IV. Institutions in
Supervisory Group C that are
Undercapitalized.
(b) Capital evaluations. Each small
institution and each insured branch of
a foreign bank will receive one of the
following three capital evaluations on
the basis of data reported in the
institution’s Consolidated Reports of
Condition and Income, Report of Assets
and Liabilities of U.S. Branches and
Agencies of Foreign Banks, or Thrift
Financial Report dated as of March 31
for the assessment period beginning the
preceding January 1; dated as of June 30
for the assessment period beginning the
preceding April 1; dated as of
September 30 for the assessment period
beginning the preceding July 1; and
dated as of December 31 for the
assessment period beginning the
preceding October 1.
(1) Well Capitalized. (i) Except as
provided in paragraph (b)(1)(ii) of this
section, a Well Capitalized institution is
one that satisfies each of the following
capital ratio standards: Total risk-based
ratio, 10.0 percent or greater; Tier 1 riskbased ratio, 6.0 percent or greater; and
Tier 1 leverage ratio, 5.0 percent or
greater.
(ii) For purposes of this section, an
insured branch of a foreign bank will be
deemed to be Well Capitalized if the
insured branch:
(A) Maintains the pledge of assets
required under § 347.209 of this chapter;
and
(B) Maintains the eligible assets
prescribed under § 347.210 of this
chapter at 108 percent or more of the
average book value of the insured
branch’s third-party liabilities for the
quarter ending on the report date
specified in paragraph (b) of this
section.
(2) Adequately Capitalized. (i) Except
as provided in paragraph (b)(2)(ii) of
this section, an Adequately Capitalized
institution is one that does not satisfy
the standards of Well Capitalized under
this paragraph but satisfies each of the
following capital ratio standards: Total
risk-based ratio, 8.0 percent or greater;
Tier 1 risk-based ratio, 4.0 percent or
greater; and Tier 1 leverage ratio, 4.0
percent or greater.
(ii) For purposes of this section, an
insured branch of a foreign bank will be
deemed to be Adequately Capitalized if
the insured branch:
(A) Maintains the pledge of assets
required under § 347.209 of this chapter;
and
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(B) Maintains the eligible assets
prescribed under § 347.210 of this
chapter at 106 percent or more of the
average book value of the insured
branch’s third-party liabilities for the
quarter ending on the report date
specified in paragraph (b) of this
section; and
(C) Does not meet the definition of a
Well Capitalized insured branch of a
foreign bank.
(3) Undercapitalized. An
undercapitalized institution is one that
does not qualify as either Well
Capitalized or Adequately Capitalized
under paragraphs (b)(1) and (b)(2) of this
section.
(c) Supervisory evaluations. Each
small institution and each insured
branch of a foreign bank will be
assigned to one of three Supervisory
Groups based on the Corporation’s
consideration of supervisory evaluations
provided by the institution’s primary
Federal regulator. The supervisory
evaluations include the results of
examination findings by the primary
Federal regulator, as well as other
information that the primary Federal
regulator determines to be relevant. In
addition, the Corporation will take into
consideration such other information
(such as state examination findings, as
appropriate) as it determines to be
relevant to the institution’s financial
condition and the risk posed to the
Deposit Insurance Fund. The three
Supervisory Groups are:
(1) Supervisory Group ‘‘A.’’ This
Supervisory Group consists of
financially sound institutions with only
a few minor weaknesses;
(2) Supervisory Group ‘‘B.’’ This
Supervisory Group consists of
institutions that demonstrate
weaknesses which, if not corrected,
could result in significant deterioration
of the institution and increased risk of
loss to the Deposit Insurance Fund; and
(3) Supervisory Group ‘‘C.’’ This
Supervisory Group consists of
institutions that pose a substantial
probability of loss to the Deposit
Insurance Fund unless effective
corrective action is taken.
(d) Determining Assessment Rates for
Insured Depository Institutions. A small
insured depository institution in Risk
Category I shall have its initial base
assessment rate determined using the
financial ratios method set forth in
paragraph (d)(1) of this section. An
insured branch of a foreign bank in Risk
Category I shall have its assessment rate
determined using the weighted average
ROCA component rating method set
forth in paragraph (d)(2) of this section.
A large insured depository institution
shall have its initial base assessment
rate determined using the large
institution method set forth in
paragraph (d)(3) of this section. A highly
complex insured depository institution
shall have its initial base assessment
rate determined using the highly
complex institution method set forth at
paragraph (d)(4) of this section.
(1) Financial ratios method. Under the
financial ratios method for small Risk
Category I institutions, each of six
financial ratios and a weighted average
of CAMELS component ratings will be
multiplied by a corresponding pricing
multiplier. The sum of these products
will be added to or subtracted from a
uniform amount. The resulting sum
shall equal the institution’s initial base
assessment rate; provided, however, that
no institution’s initial base assessment
rate shall be less than the minimum
initial base assessment rate in effect for
Risk Category I institutions for that
quarter nor greater than the maximum
initial base assessment rate in effect for
Risk Category I institutions for that
quarter. An institution’s initial base
assessment rate, subject to adjustment
pursuant to paragraphs (d)(6) and (7) of
this section, as appropriate (resulting in
the institution’s total base assessment
rate, which in no case can be lower than
50 percent of the institution’s initial
base assessment rate), and adjusted for
the actual assessment rates set by the
Board under § 327.10(c), will equal an
institution’s assessment rate. The six
financial ratios are: Tier 1 Leverage
Ratio; Loans past due 30–89 days/gross
assets; Nonperforming assets/gross
assets; Net loan charge-offs/gross assets;
Net income before taxes/risk-weighted
assets; and the Adjusted brokered
deposit ratio. The ratios are defined in
Table A.1 of Appendix A to this
subpart. The ratios will be determined
for an assessment period based upon
information contained in an
institution’s report of condition filed as
of the last day of the assessment period
as set out in § 327.9(b). The weighted
average of CAMELS component ratings
is created by multiplying each
component by the following percentages
and adding the products: Capital
adequacy—25%, Asset quality—20%,
Management—25%, Earnings—10%,
Liquidity—10%, and Sensitivity to
market risk—10%. The following table
sets forth the initial values of the pricing
multipliers:
Pricing multipliers **
Risk measures *
Tier 1 Leverage Ratio ....................................................................................................................................................................
Loans Past Due 30–89 Days/Gross Assets ..................................................................................................................................
Nonperforming Assets/Gross Assets .............................................................................................................................................
Net Loan Charge-Offs/Gross Assets .............................................................................................................................................
Net Income before Taxes/Risk-Weighted Assets ..........................................................................................................................
Adjusted brokered deposit ratio .....................................................................................................................................................
Weighted Average CAMELS Component Rating ..........................................................................................................................
(0.056)
0.575
1.074
1.210
(0.764)
0.065
1.095
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
* Ratios are expressed as percentages.
** Multipliers are rounded to three decimal places.
The six financial ratios and the
weighted average CAMELS component
rating will be multiplied by the
respective pricing multiplier, and the
products will be summed. To this result
will be added the uniform amount of
9.861. The resulting sum shall equal the
institution’s initial base assessment rate;
provided, however, that no institution’s
initial base assessment rate shall be less
than the minimum initial base
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assessment rate in effect for Risk
Category I institutions for that quarter
nor greater than the maximum initial
base assessment rate in effect for Risk
Category I institutions for that quarter.
Appendix A to this subpart describes
the derivation of the pricing multipliers
and uniform amount and explains how
they will be periodically updated.
(i) Publication and uniform amount
and pricing multipliers. The FDIC will
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Fmt 4701
Sfmt 4702
publish notice in the Federal Register
whenever a change is made to the
uniform amount or the pricing
multipliers for the financial ratios
method.
(ii) Implementation of CAMELS rating
changes—(A) Changes between risk
categories. If, during a quarter, a
CAMELS composite rating change
occurs that results in an institution
whose Risk Category I assessment rate is
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determined using the financial ratios
method moving from Risk Category I to
Risk Category II, III or IV, the
institution’s initial base assessment rate
for the portion of the quarter that it was
in Risk Category I shall be determined
using the supervisory ratings in effect
before the change and the financial
ratios as of the end of the quarter,
subject to adjustment pursuant to
paragraphs (d)(6) and (7) of this section,
as appropriate, and adjusted for the
actual assessment rates set by the Board
under § 327.10(c). For the portion of the
quarter that the institution was not in
Risk Category I, the institution’s initial
base assessment rate, which shall be
subject to adjustment pursuant to
paragraphs (d)(6), (7) and (8) of this
section, shall be determined under the
assessment schedule for the appropriate
Risk Category. If, during a quarter, a
CAMELS composite rating change
occurs that results in an institution
moving from Risk Category II, III or IV
to Risk Category I, and its initial base
assessment rate would be determined
using the financial ratios method, then
that method shall apply for the portion
of the quarter that it was in Risk
Category I, subject to adjustment
pursuant to paragraphs (d)(6) and (7) of
this section, as appropriate, and
adjusted for the actual assessment rates
set by the Board under § 327.10(c). For
the portion of the quarter that the
institution was not in Risk Category I,
the institution’s initial base assessment
rate, which shall be subject to
adjustment pursuant to paragraphs
(d)(6), (7) and (8) of this section, shall
be determined under the assessment
schedule for the appropriate Risk
Category.
(B) Changes within Risk Category I. If,
during a quarter, an institution’s
CAMELS component ratings change in a
way that would change the institution’s
initial base assessment rate within Risk
Category I, the initial base assessment
rate for the period before the change
shall be determined under the financial
ratios method using the CAMELS
component ratings in effect before the
change, subject to adjustment pursuant
to paragraphs (d)(6) and (7) of this
section, as appropriate. Beginning on
the date of the CAMELS component
ratings change, the initial base
assessment rate for the remainder of the
quarter shall be determined using the
CAMELS component ratings in effect
after the change, again subject to
adjustment pursuant to paragraphs
(d)(6) and (7) of this section, as
appropriate.
(2) Assessment rate for insured
branches of foreign banks—(i) Insured
branches of foreign banks in Risk
Category I. Insured branches of foreign
banks in Risk Category I shall be
assessed using the weighted average
ROCA component rating.
(ii) Weighted average ROCA
component rating. The weighted
average ROCA component rating shall
equal the sum of the products that result
from multiplying ROCA component
ratings by the following percentages:
Risk Management—35%, Operational
Controls—25%, Compliance—25%, and
Asset Quality—15%. The weighted
average ROCA rating will be multiplied
by 5.076 (which shall be the pricing
multiplier). To this result will be added
1.873 (which shall be a uniform amount
for all insured branches of foreign
banks). The resulting sum—the initial
base assessment rate—will equal an
institution’s total base assessment rate;
provided, however, that no institution’s
total base assessment rate will be less
than the minimum total base assessment
rate in effect for Risk Category I
institutions for that quarter nor greater
than the maximum total base
assessment rate in effect for Risk
Category I institutions for that quarter.
(iii) No insured branch of a foreign
bank in any risk category shall be
subject to the unsecured debt
adjustment, the secured liability
adjustment, the brokered deposit
adjustment, or the adjustment in
paragraph (d)(5) of this section.
23535
(iv) Implementation of changes
between Risk Categories for insured
branches of foreign banks. If, during a
quarter, a ROCA rating change occurs
that results in an insured branch of a
foreign bank moving from Risk Category
I to Risk Category II, III or IV, the
institution’s initial base assessment rate
for the portion of the quarter that it was
in Risk Category I shall be determined
using the weighted average ROCA
component rating. For the portion of the
quarter that the institution was not in
Risk Category I, the institution’s initial
base assessment rate shall be
determined under the assessment
schedule for the appropriate Risk
Category. If, during a quarter, a ROCA
rating change occurs that results in an
insured branch of a foreign bank moving
from Risk Category II, III or IV to Risk
Category I, the institution’s assessment
rate for the portion of the quarter that
it was in Risk Category I shall equal the
rate determined as provided using the
weighted average ROCA component
rating. For the portion of the quarter that
the institution was not in Risk Category
I, the institution’s initial base
assessment rate shall be determined
under the assessment schedule for the
appropriate Risk Category.
(v) Implementation of changes within
Risk Category I for insured branches of
foreign banks. If, during a quarter, an
insured branch of a foreign bank
remains in Risk Category I, but a ROCA
component rating changes that would
affect the institution’s initial base
assessment rate, separate assessment
rates for the portion(s) of the quarter
before and after the change(s) shall be
determined under paragraph (d)(2) of
this section.
(3) Assessment scorecard for large
institutions (other than highly complex
institutions). All large institutions other
than highly complex institutions shall
have their quarterly assessments
determined using the scorecard for large
institutions.
SCORECARD FOR LARGE INSTITUTIONS
Scorecard measures
CAMELS .....................................................
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Components
Weighted Average CAMELS ..........................................................................................
25–100
Ability to Withstand Asset-Related Stress
Tier 1 Common Capital Ratio (Tier 1 Common Capital/Total Average Assets less
Disallowed Intangibles).
0–100
Concentration Measure ...................................................................................................
Higher Risk Concentrations; or Growth-Adjusted Portfolio Concentrations.
0–100
Core Earnings/Average Total Assets .............................................................................
0–100
Credit Quality Measure ...................................................................................................
Criticized and Classified Items/Tier 1 Capital and Reserves; or
0–100
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SCORECARD FOR LARGE INSTITUTIONS—Continued
Components
Scorecard measures
Score
Underperforming Assets/Tier 1 Capital and Reserves.
Subtotal ...........................................................................................................................
0–100
Outlier Add-ons
Criticized and Classified Items/Tier 1 Capital and Reserves; or ....................................
Underperforming Assets/Tier 1 Capital and Reserves
Higher Risk Concentrations ............................................................................................
Core Deposits/Total Liabilities ........................................................................................
0–100
0–100
Total Performance Score ................................................................................................
0–100
Potential Losses/Total Domestic Deposits (loss severity measure) ..............................
0–100
Secured Liabilities/Total Domestic Deposits ..................................................................
0–100
.........................................................................................................................................
Total loss severity score .....................
0–100
Total ability to withstand funding-related stress score ...................................................
Potential Loss Severity ..............................
0–100
Liquid Assets/Short-Term Liabilities (liquidity coverage ratio) ........................................
Funding-Related
0–160
Unfunded Commitments/Total Assets ............................................................................
Withstand
30
Total ability to withstand asset-related stress score ......................................................
Ability to
Stress.
30
0–100
Note: The large institution scorecard produces two scores: Performance and loss severity.
(i) Performance score. The
performance score for large institutions
is the weighted average of three inputs:
Weighted average CAMELS rating
(30%); ability to withstand asset-related
stress measures (50%); and ability to
withstand funding-related stress
measures (20%).
(A) Weighted Average CAMELS score.
To derive the weighted average
CAMELS score, a weighted average of
an institution’s CAMELS component
ratings is calculated using the following
weights:
CAMELS component
Weight
(percent)
C ...............................................
A ...............................................
M ...............................................
E ...............................................
L ................................................
S ...............................................
25
20
25
10
10
10
A weighted average CAMELS rating is
converted to a score that ranges from 25
to 100. A weighted average rating of 1
equals a score of 25 and a weighted
average of 3.5 or greater equals a score
of 100. Weighted average CAMELS
ratings between 1 and 3.5 are assigned
a score between 25 and 100 according
to the following equation:
S = 25 + [(20/3)*(C2 ¥ 1)],
Where:
S = the weighted average CAMELS score and
C = the weighted average CAMELS rating.
(B) Ability to Withstand Asset-Related
Stress. The ability to withstand assetrelated stress component contains four
measures: Tier 1 common ratio;
Concentration measure (the higher of
the higher-risk concentrations measure
or growth-adjusted portfolio
concentrations measures); Core earnings
to average assets; and Credit quality
measure (the higher of the criticized and
classified assets to Tier 1 capital and
reserves or underperforming assets to
Tier 1 capital and reserves). Appendices
B and C define these measures in detail
and give the source of the data used to
determine them.
The concentration measure score is
the higher of the scores of the two
measures that make up the
concentration measure score (higher risk
concentrations or growth adjusted
portfolio concentrations). The credit
quality score is the higher of the
criticized and classified items ratio
score or the underperforming assets
ratio score. Each asset related stress
measure is assigned the following cutoff
values and weight to derive a score for
an institution’s ability to withstand
asset-related stress:
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
CUTOFF VALUES AND WEIGHTS FOR ABILITY TO WITHSTAND ASSET-RELATED STRESS MEASURES
Cutoff values
Minimum
Maximum
Weight
(percent)
5.8
........................
0.0
7.6
0.0
........................
6.5
12.9
........................
3.2
154.7
2.3
........................
100.0
15
35
........................
........................
15
35
........................
Scorecard measures
Tier 1 Common Capital Ratio ......................................................................................................
Concentration Measure: ..............................................................................................................
Higher Risk Concentrations; or ............................................................................................
Growth-Adjusted Portfolio Concentrations ...........................................................................
Core Earnings/Average Total Assets ..........................................................................................
Credit Quality Measure: ...............................................................................................................
Criticized and Classified Items/Tier 1 Capital and Reserves; or .........................................
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CUTOFF VALUES AND WEIGHTS FOR ABILITY TO WITHSTAND ASSET-RELATED STRESS MEASURES—Continued
Cutoff values
Weight
(percent)
Scorecard measures
Minimum
Underperforming Assets/Tier 1 Capital and Reserves ........................................................
For each of the risk measures within
the ability to withstand asset-related
stress portion of the scorecard, a value
reflecting lower risk than the cutoff
value that results in a score of 0 will
also receive a score of 0, where 0 equals
the lowest risk for that measure. A value
reflecting higher risk than the cutoff
value that results in a score of 100 will
also receive a score of 100, where 100
equals the highest risk for that measure.
A risk measure value between the
minimum and maximum cutoff values
is converted linearly to a score between
0 and 100. For the Concentration
Measure and Credit Quality Measures, a
lower ratio implies lower risk and a
higher ratio implies higher risk. For
these measures, a value between the
minimum and maximum cutoff values
will be converted linearly to a score
between 0 and 100, according to the
following formula:
S = (V ¥ Min)*100/(Max ¥ Min),
Where S is score (rounded to three decimal
points), V is the value of the measure,
Min is the minimum cutoff value and
Max is the maximum cutoff value.
For the Tier 1 Common Capital Ratio
and Core Earnings to Average Total
Assets Ratio, a lower value represents
higher risk and a higher value
represents lower risk. For these
measures, a value between the
minimum and maximum cutoff values
is converted linearly to a score between
0 and 100, according to the following
formula:
S = (Max ¥ V)*100/(Max ¥ Min),
Where S is score (rounded to three decimal
points), V is the value of the measure,
Min is the minimum cutoff value and
Max is the maximum cutoff value.
Each score is multiplied by a
respective weight and the resulting
weighted score for each measure is
summed to arrive at an ability to
withstand asset-related stress score,
which ranges from 0 to 100.
For extreme values of certain
measures reflecting particularly high
risk, this score can increase through an
outlier add-on. If an institution’s ratio of
criticized and classified items to Tier 1
capital and reserves exceeds 100 percent
or its ratio of underperforming assets to
Tier 1 capital and reserves exceeds 50.2
Maximum
2.3
35.1
........................
percent, the ability to withstand assetrelated stress component score is
increased by 30 points. Additionally, if
the higher risk concentration measure
exceeds 4.8, the ability to withstand
asset-related stress component score is
increased by 30 points. These increases
(outlier add-ons) are determined
separately and can increase the ability
to withstand asset-related score by up to
60 points; thus, the ability to withstand
asset-related component score can be as
high as 160 points.
(C) Ability to Withstand FundingRelated Stress. The ability to withstand
funding-related stress component
contains three risk measures: A core
deposits to liabilities ratio, an unfunded
commitments to total assets ratio, and a
liquidity coverage ratio. Appendix B
describes these ratios in detail and gives
the source of the data used to determine
them. The ability to withstand fundingrelated stress component score is the
weighted average of the three measure
scores. Each measure is assigned the
following cutoff values and weights to
derive a score for an institution’s ability
to withstand funding-related stress:
CUTOFF VALUES AND WEIGHTS FOR ABILITY TO WITHSTAND FUNDING-RELATED STRESS MEASURES
Cutoff values
Scorecard measures
Minimum
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Core Deposits/Total Liabilities .....................................................................................................
Unfunded Commitments/Total Assets .........................................................................................
Liquid Assets/Short-term Liabilities (Liquidity Coverage Ratio) ..................................................
A risk measure value reflecting lower
risk than the cutoff value that results in
a score of 0, will also receive a score of
0, where 0 equals the lowest risk for that
measure. A risk measure value reflecting
higher risk than the cutoff value that
results in a score of 100, will also
receive a score of 100, where 100 equals
the highest risk for that measure. For the
Core Deposits/Liabilities measure and
the Liquidity Coverage Ratio, a lower
ratio implies higher risk and a higher
ratio implies lower risk. For these
measures, a value between the
minimum and maximum cutoff values
will be converted linearly to a score
between 0 and 100, according to the
following formula:
S = (Max ¥ V)*100/(Max ¥ Min)
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Where S is score (rounded to three decimal
points), V is the value of the measure,
Min is the minimum cutoff value and
Max is the maximum cutoff value.
For the Unfunded Commitments/
Assets measure, a lower value
represents lower risk and a higher value
represents higher risk. For these
measures, a value between the
minimum and maximum cutoff values
is converted linearly to a score between
0 and 100, according to the following
formula:
S = (V ¥ Min)*100/(Max ¥ Min)
Where S is score (rounded to three decimal
points), V is the value of the measure,
Min is the minimum cutoff value and
Max is the maximum cutoff value.
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0.3
5.6
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79.1
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170.9
Weight
(percent)
40
40
20
(D) Calculation of Performance Score.
The weighted average CAMELS score,
the ability to withstand asset-related
stress score, and the ability to withstand
funding-related stress score are
multiplied by their weights and the
results are summed to arrive at the
performance score. The performance
score cannot exceed 100. The
performance score is subject to
adjustment, up or down, by a maximum
of 15 points, as set forth in section
(d)(5). The resulting score cannot be less
than 0 or more than 100.
(ii) Loss severity score. The loss
severity score is based on two measures:
Loss severity measure and secured
liabilities to total domestic deposits
ratio. Appendices B and D describe
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these measures in detail. The loss
severity score is the weighted average of
these scores. Each measure is assigned
the following cutoff values and weight
to derive a score for an institution’s loss
severity score:
CUTOFF VALUES AND WEIGHTS FOR LOSS SEVERITY SCORE MEASURES
Cutoff values
Scorecard measures
Minimum
Potential Losses/Total Domestic Deposits (loss severity measure) ...........................................
Secured Liabilities/Total Domestic Deposits ...............................................................................
A risk measure value reflecting lower
risk than the minimum cutoff value
results in a score of 0, where 0 equals
the lowest risk for that measure. A risk
measure value reflecting higher risk
than the maximum cutoff value results
in a score of 100, where 100 equals the
highest risk for that measure. A risk
measure value between the minimum
and maximum cutoff values is
converted linearly to a score between 0
and 100, according to the following
formula:
S = (V ¥ Min)*100/(Max ¥ Min)
Where S is score (rounded to three decimal
points), V is the value of the measure,
Min is the minimum cutoff value and
Max is the maximum cutoff value.
The loss severity score is subject to
adjustment, up or down, by a maximum
of 15 points, as set forth in section
(d)(5). The resulting score cannot be less
than 0 or more than 100.
(iii) Initial base assessment rate. The
performance and loss severity scores,
with any adjustments under paragraph
(d)(5) of this section, are converted to an
initial base assessment rate. The loss
severity score is converted into a loss
severity measure that ranges from 0.8
(score of 5 or lower) and 1.2 (score of
85 or higher). Scores that fall at or below
the minimum cutoff of 5 receive a loss
severity measure of 0.8 and scores that
falls at or above the maximum cutoff of
85 receive a loss severity score of 1.2.
The following linear interpolation
0.0
0.0
Maximum
Weight
(percent)
30.1
75.7
50
50
converts loss severity scores between
the cutoffs into a loss severity measure:
(Loss Severity Measure = 0.8 + [(Loss
Severity Score ¥ 5) × 0.005]. The
performance score is multiplied by the
loss severity measure to produce a total
score (total score = performance score *
loss severity measure). The total score
cannot exceed 100. A large institution
with a total score of 30 or lower pays the
minimum initial base assessment rate
and an institution with a total score of
90 or greater pays the maximum initial
base assessment rate. For total scores
between 30 and 90, initial base
assessment rates rise at an increasing
rate as the total score increases,
calculated according to the following
formula:
5
⎛
⎛ Score ⎞ ⎞
Rate = Minimum Rate − 0.165289 + ⎜ 68.02027 × ⎜
⎟ ⎟
⎜
⎟
⎝ 100 ⎠ ⎠
⎝
Where Rate is the initial base assessment rate
and Minimum Rate is the minimum
initial base assessment rate then in
effect. Initial base assessment rates are
subject to adjustment pursuant to
sections (d)(6), (d)(7), and (d)(8),
resulting in the institution’s total base
assessment rate, which in no case can be
lower than 50 percent of the institution’s
initial base assessment rate.
(4) Assessment scorecard for highly
complex institutions. All highly
complex institutions shall have their
quarterly assessments determined using
the scorecard for highly complex
institutions.
SCORECARD FOR HIGHLY COMPLEX INSTITUTIONS
Components
Scorecard measures
Score
CAMELS .....................................................
Weighted Average CAMELS ..........................................................................................
25–100
Market Indicator .........................................
Senior Bond Spread .......................................................................................................
0–100
Outlier Add-ons
Total Market Indicator score ...........................................................................................
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0–100
0–100
0–100
Credit Quality Measure ...................................................................................................
Criticized and Classified Items/Tier 1 Capital and Reserves.
16:37 Apr 30, 2010
Tier 1 Common Capital Ratio (Tier 1 Common Capital/Total Average Assets less
Disallowed Intangibles).
Core Earnings/Average Total Assets .............................................................................
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0–130
Concentration Measure ...................................................................................................
Higher Risk Concentrations; or
Growth-Adjusted Portfolio Concentrations.
Ability to Withstand Asset-Related Stress
30
0–100
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Parent Company Tangible Common Equity (TCE) Ratio ...............................................
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SCORECARD FOR HIGHLY COMPLEX INSTITUTIONS—Continued
Components
Scorecard measures
Score
Underperforming Assets/Tier 1 Capital and Reserves.
10-day 99% VaR/Tier 1 Capital ......................................................................................
0–100
Subtotal ...........................................................................................................................
0–100
Outlier Add-ons
Criticized and Classified Items/Tier 1 Capital and Reserves;
or
Underperforming Assets/Tier 1 Capital and Reserves
Higher Risk Concentrations Measure .............................................................................
Core Deposits/Total Liabilities ........................................................................................
0–100
0–100
Liquid Assets/Short-term Liabilities (liquidity coverage ratio) .........................................
0–100
Short-term Funding/Total Assets ....................................................................................
0–100
Subtotal ...........................................................................................................................
Funding-Related
0–160
Unfunded Commitments/Total Assets ............................................................................
Withstand
30
Total ability to withstand asset-related stress score ......................................................
Ability to
Stress.
30
0–100
Outlier Add-ons
Short-term funding/Total Assets .....................................................................................
Total ability to withstand funding-related stress score ...................................................
0–130
Total Performance Score ................................................................................................
0–100
Potential Losses/Total Domestic Deposits (loss severity measure) ..............................
0–100
Secured Liabilities/Total Domestic Deposits ..................................................................
0–100
Total loss severity score .................................................................................................
Potential Loss Severity ..............................
30
0–100
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
The scorecard for highly complex
institutions contains the performance
components and the loss severity
components of the large bank scorecard
and employs the same methodology.
The assessment process set forth in
section (d)(3) for the large bank
scorecard applies to highly complex
institutions, modified as follows. The
scorecard for highly-complex
institutions contains an additional
component—market indicator—in the
performance score; an additional
component—10-day 99 percent Value at
Risk (VaR)/Tier 1 capital—in the ability
to withstand asset-related stress; and an
additional component—short-term
funding to total assets ratio—in the
ability to withstand funding-related
stress.
(i) Performance score for highly
complex institutions. The performance
score for highly complex institutions is
the weighted average of four inputs:
Weighted average CAMELS rating
(20%); market indicator score (10%);
ability to withstand asset-related stress
score (50%); and ability to withstand
funding-related stress score (20%). To
calculate the performance score for
highly complex institutions, the
weighted average CAMELS score, the
market indicator score, the ability to
withstand asset-related stress score, and
ability to withstand funding-related
stress score are multiplied by their
weights and the results are summed to
arrive at the performance score. The
resulting score cannot exceed 100.
(A) Market indicator. The market
indicator component contains one
component—the senior bond spread
score, and one outlier add-on—the
Parent Tangible Common Equity (TCE)
ratio. The senior bond spread is
converted to a score according to the
linear interpolation method used for the
large bank scorecard. The minimum and
maximum cutoff values for the market
indicator measure are:
CUTOFF VALUES AND WEIGHTS FOR MARKET INDICATOR MEASURE
Cutoff values
Scorecard measures
Minimum
Senior Bond Spread ....................................................................................................................
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3.8
Weight
(percent)
100
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A risk measure value reflecting lower
risk than the minimum cutoff value
results in a score of 0, where 0 equals
the lowest risk for that measure. A risk
measure value reflecting higher risk
than the maximum cutoff value results
in a score of 100, where 100 equals the
highest risk for that measure. A value
between the minimum and maximum
cutoff values will be converted linearly
to a score between 0 and 100, according
to the following formula:
S = (V ¥ Min)*100/(Max ¥ Min)
The market indicator component
score can be adjusted by up to 30 points
if the outlier add-on—institution’s
parent company’s TCE ratio—falls
below 4 percent. Including the outlier
add-on, the market indicator component
score can be as high as 130 points.
(B) Ability to withstand asset-related
stress. The scorecard for highly complex
institutions adds one additional factor
to the ability to withstand asset-related
stress component—the 10-day 99
percent Value at Risk (VaR)/Tier 1
capital. The cutoff values and weights
for ability to withstand asset-related
stress measures are set forth below.
CUTOFF VALUES AND WEIGHTS FOR ABILITY TO WITHSTAND ASSET-RELATED STRESS MEASURES
Cutoff values
Minimum
Maximum
Weight
(percent)
5.8
........................
0.0
7.6
0.0
........................
6.5
2.3
0.1
12.9
........................
3.2
154.7
2.3
........................
100.0
35.1
0.5
10
35
........................
........................
10
35
........................
........................
10
Scorecard measures
Tier 1 Common Ratio ..................................................................................................................
Concentration Measure ...............................................................................................................
Higher Risk Concentrations; or ............................................................................................
Growth-Adjusted Portfolio Concentrations ...........................................................................
Core Earnings/Average Total Assets ..........................................................................................
Credit Quality Measure ................................................................................................................
Criticized and Classified Items/Tier 1 Capital and Reserves; or .........................................
Underperforming Assets/Tier 1 Capital and Reserves ........................................................
10-day 99% VaR/Tier 1 Capital ...................................................................................................
Appendix B describes these measures
in detail and gives the source of the data
used to calculate the measures.
(C) Ability to withstand funding
related stress. The scorecard for highly
complex institutions adds one
additional factor to the ability to
withstand funding-related stress
component—the short-term funding to
total assets ratio. The cutoff values and
weights for ability to withstand fundingrelated stress measures for highly
complex institutions are set forth below.
CUTOFF VALUES AND WEIGHTS FOR ABILITY TO WITHSTAND FUNDING-RELATED STRESS MEASURES
Cutoff values
Scorecard measures
Minimum
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Core Deposits/Total Liabilities .....................................................................................................
Unfunded Commitments/Total Assets .........................................................................................
Liquid Assets/Short-term Liabilities (liquidity coverage ratio) ......................................................
Short-term Funding/Total Assets .................................................................................................
Appendix B describes these measures
in detail and gives the source of the data
used to calculate the measures.
The scorecard for highly complex
institutions adds an additional outlier
add-on to the scorecard for large
institutions. The ability to withstand
funding-related stress component score
for highly complex institutions is
adjusted by 30 points if the ratio of short
term funding to total assets exceeds 26.9
percent. The maximum ability to
withstand funding-related stress
component score for highly complex
institutions, including the outlier addon, is 130 points.
(ii) Loss severity score for highly
complex institutions. The loss severity
score for highly complex institutions is
calculated as provided for the loss
severity score for large institutions in
section (d)(3)(ii).
(iii) The performance score and the
loss severity score for highly complex
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institutions can be adjusted, up or
down, by maximum of 15 points each,
as set forth in section (d)(5), resulting in
the institution’s initial base assessment
rate.
(iv) The initial base assessment rate
for highly complex institutions is
calculated from the total score in the
same manner as for large institutions as
set forth in section (d)(3). Initial base
assessment rates are subject to
adjustment pursuant to sections (d)(6),
(d)(7), and (d)(8), resulting in the
institution’s total base assessment rate,
which in no case can be lower than 50
percent of the institution’s initial base
assessment rate.
(5) Adjustment to performance score
and/or loss severity score for large
institutions and highly complex
institutions. The performance score and
the loss severity score for large
institutions and highly complex
institutions are subject to adjustment
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0.3
5.6
0.0
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79.1
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19.1
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30
30
20
20
under paragraph (d)(5) of this section,
up or down, by a maximum of 15 points
each, based upon significant risk factors
that are not adequately captured in the
appropriate scorecard. In making such
adjustments, the FDIC may consider
such information as financial
performance and condition information
and other market or supervisory
information. Appendix E lists some, but
not all, criteria that the FDIC may
consider in determining whether to
make such adjustments.
(i) Prior notice of adjustments—(A)
Prior notice of upward adjustment. Prior
to making any upward adjustment to an
institution’s performance score and/or
loss severity score because of
considerations of additional risk
information, the FDIC will formally
notify the institution and its primary
Federal regulator and provide an
opportunity to respond. This
notification will include the reasons for
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the adjustment(s) and when the
adjustment(s) will take effect.
(B) Prior notice of downward
adjustment. Prior to making any
downward adjustment to an
institution’s performance score and/or
loss severity score because of
considerations of additional risk
information, the FDIC will formally
notify the institution’s primary Federal
regulator and provide an opportunity to
respond.
(ii) Determination whether to adjust
upward; effective period of adjustment.
After considering an institution’s and
the primary Federal regulator’s
responses to the notice, the FDIC will
determine whether the adjustment to an
institution’s performance score and/or
loss severity score is warranted, taking
into account any revisions to scorecard
measures, as well as any actions taken
by the institution to address the FDIC’s
concerns described in the notice. The
FDIC will evaluate the need for the
adjustment each subsequent assessment
period. The amount of adjustment will
in no event be larger than that contained
in the initial notice without further
notice to, and consideration of,
responses from the primary Federal
regulator and the institution.
(iii) Determination whether to adjust
downward; effective period of
adjustment. After considering the
primary Federal regulator’s responses to
the notice, the FDIC will determine
whether the adjustment to performance
score and/or loss severity score is
warranted, taking into account any
revisions to scorecard measures, as well
as any actions taken by the institution
to address the FDIC’s concerns
described in the notice. Any downward
adjustment in an institution’s
performance score and/or loss severity
score will remain in effect for
subsequent assessment periods until the
FDIC determines that an adjustment is
no longer warranted. Downward
adjustments will be made without
notification to the institution. However,
the FDIC will provide advance notice to
an institution and its primary Federal
regulator and give them an opportunity
to respond before removing a downward
adjustment.
(iv) Adjustment without notice.
Notwithstanding the notice provisions
set forth above, the FDIC may change an
institution’s performance score and/or
loss severity score without advance
notice under this paragraph, if the
institution’s supervisory ratings or the
scorecard measures deteriorate.
(6) Unsecured debt adjustment to
initial base assessment rate for all
institutions. All small, large, and highly
complex institutions, except new small
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institutions as provided under
paragraph (d)(10)(i) of this section, are
subject to downward adjustment of
assessment rates for unsecured debt,
based on the ratio of long-term
unsecured debt (and, for small
institutions as defined in paragraph
(d)(6)(ii) of this section, specified
amounts of Tier 1 capital) to domestic
deposits. Any unsecured debt
adjustment shall be made after any
adjustment under paragraph (d)(5) of
this section. Insured branches of foreign
banks are not subject to the unsecured
debt adjustment as provided in
paragraph (d)(2)(iii).
(i) Large institutions and highly
complex institutions. The unsecured
debt adjustment for large institutions
and highly complex institutions shall be
determined by multiplying the
institution’s ratio of long-term
unsecured debt to domestic deposits by
40 basis points.
(ii) Small institutions—The unsecured
debt adjustment for small institutions
will factor in an amount of Tier 1 capital
(qualified Tier 1 capital) in addition to
any long-term unsecured debt; the
amount of qualified Tier 1 capital will
be the sum of the amounts set forth
below:
Range of Tier 1 capital to adjusted average assets
Amount of Tier
1 capital within
range which is
qualified
(percent)
≤ 5% .....................................
> 5% and ≤ 6% ....................
> 6% and ≤ 7% ....................
> 7% and ≤ 8% ....................
> 8% and ≤ 9% ....................
> 9% and ≤ 10% ..................
> 10% and ≤ 11% ................
> 11% and ≤ 12% ................
> 12% and ≤ 13% ................
> 13% and ≤ 14% ................
> 14% ...................................
0
10
20
30
40
50
60
70
80
90
100
For institutions that file Thrift
Financial Reports, adjusted total assets
will be used in place of adjusted average
assets in the preceding table. The sum
of qualified Tier 1 capital and long-term
unsecured debt as a percentage of
domestic deposits will be multiplied by
40 basis points to produce the
unsecured debt adjustment for small
institutions.
(iii) Limitation—No unsecured debt
adjustment for any institution shall
exceed 5 basis points. No unsecured
debt adjustment for any institution shall
result in a total base assessment rate that
is less than 50 percent of the
institution’s initial base assessment rate.
(iv) Applicable quarterly reports of
condition—Ratios for any given quarter
shall be calculated from quarterly
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23541
reports of condition (Call Reports and
Thrift Financial Reports) filed by each
institution as of the last day of the
quarter.
(7) Secured liability adjustment for all
institutions. All institutions, except
insured branches of foreign banks as
provided under paragraph (d)(2)(iii) of
this section, are subject to upward
adjustment of their assessment rate
based upon the ratio of their secured
liabilities to domestic deposits. Any
such adjustment shall be made after any
applicable adjustment under paragraph
(d)(5) or (d)(6) of this section.
(i) Secured liabilities for banks—
Secured liabilities for banks include
Federal Home Loan Bank advances,
securities sold under repurchase
agreements, secured Federal funds
purchased and other borrowings that are
secured as reported in banks’ quarterly
Call Reports.
(ii) Secured liabilities for savings
associations—Secured liabilities for
savings associations include Federal
Home Loan Bank advances as reported
in quarterly Thrift Financial Reports
(‘‘TFRs’’). Secured liabilities for savings
associations also include securities sold
under repurchase agreements, secured
Federal funds purchased or other
borrowings that are secured.
(iii) Calculation—An institution’s
ratio of secured liabilities to domestic
deposits will, if greater than 25 percent,
increase its assessment rate, but any
such increase shall not exceed 50
percent of its assessment rate before the
secured liabilities adjustment. For an
institution that has a ratio of secured
liabilities (as defined in paragraph (ii)
above) to domestic deposits of greater
than 25 percent, the institution’s
assessment rate (after taking into
account any adjustment under
paragraphs (d)(5) or (6) of this section)
will be multiplied by the following
amount: the ratio of the institution’s
secured liabilities to domestic deposits
minus 0.25. Ratios of secured liabilities
to domestic deposits shall be calculated
from the report of condition, or similar
report, filed by each institution.
(8) Brokered Deposit Adjustment. All
small institutions in Risk Categories II,
III, and IV, all large institutions, and all
highly complex institutions shall be
subject to an assessment rate adjustment
for brokered deposits. Any such
brokered deposit adjustment shall be
made after any adjustment under
paragraph (d)(5), (d)(6) or (d)(7) of this
section. The brokered deposit
adjustment includes all brokered
deposits as defined in Section 29 of the
Federal Deposit Insurance Act (12
U.S.C. 1831f), and 12 CFR 337.6,
including reciprocal deposits as defined
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in § 327.8(r), and brokered deposits that
consist of balances swept into an
insured institution by another
institution. The adjustment under this
paragraph is limited to those
institutions whose ratio of brokered
deposits to domestic deposits is greater
than 10 percent; asset growth rates do
not affect the adjustment. The
adjustment is determined by
multiplying by 25 basis points the
difference between an institution’s ratio
of brokered deposits to domestic
deposits and 0.10. The maximum
brokered deposit adjustment will be 10
basis points. Brokered deposit ratios for
any given quarter are calculated from
the quarterly reports of condition filed
by each institution as of the last day of
the quarter. Insured branches of foreign
banks are not subject to the brokered
deposit adjustment as provided in
section (d)(2)(iii).
(9) Request to be treated as a large
institution—(i) Procedure. Any
institution in Risk Category I with assets
of between $5 billion and $10 billion
may request that the FDIC determine its
assessment rate as a large institution.
The FDIC will grant such a request if it
determines that it has sufficient
information to do so. Any such request
must be made to the FDIC’s Division of
Insurance and Research. Any approved
change will become effective within one
year from the date of the request. If an
institution whose request has been
granted subsequently reports assets of
less than $5 billion in its report of
condition for four consecutive quarters,
the FDIC will consider such institution
to be a small institution subject to the
financial ratios method.
(ii) Time limit on subsequent request
for alternate method. An institution
whose request to be assessed as a large
institution is granted by the FDIC shall
not be eligible to request that it be
assessed as a small institution for a
period of three years from the first
quarter in which its approved request to
be assessed as a large bank became
effective. Any request to be assessed as
a small institution must be made to the
FDIC’s Division of Insurance and
Research.
(iii) An institution that disagrees with
the FDIC’s determination that it is a
large or small institution may request
review of that determination pursuant to
§ 327.4(c).
(10) New and established institutions
and exceptions—(i) New small
institutions. A new small institution
that is well capitalized shall be assessed
the Risk Category I maximum initial
base assessment rate for the relevant
assessment period, except as provided
in § 327.8(m)(1), (2), (3), (4), (5) and
paragraphs (d)(10)(ii) and (iii) of this
section. No new small institution in any
risk category shall be subject to the
unsecured debt adjustment as
determined under paragraph (d)(6) of
this section. All new small institutions
in any Risk Category shall be subject to
the secured liability adjustment as
determined under paragraph (d)(7) of
this section. All new small institutions
in Risk Categories II, III, and IV shall be
subject to the brokered deposit
adjustment as determined under
paragraph (d)(8) of this section.
(ii) New large institutions and new
highly complex institutions. All new
large institutions and all new highly
complex institutions shall be assessed
under the appropriate method provided
at paragraph (d)(3) or (d)(4) of this
section and subject to the adjustments
provided at paragraphs (d)(5), (d)(7),
and (d)(8) of this section. No new
Highly Complex or large institutions are
entitled to adjustment under paragraph
(d)(6) of this section. If a large or highly
complex institution has not yet received
CAMELS ratings, it will be given a
weighted CAMELS rating of 2 for
assessment purposes until actual
CAMELS ratings are assigned.
(iii) CAMELS ratings for the surviving
institution in a merger or consolidation.
When an established institution merges
with or consolidates into a new
institution, if the FDIC determines the
resulting institution to be an established
institution under § 327.8(m)(1), its
CAMELS ratings for assessment
purposes will be based upon the
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Risk category I
established institution’s ratings prior to
the merger or consolidation until new
ratings become available.
(iv) Rate applicable to institutions
subject to subsidiary or credit union
exception. If a small institution is
considered established under
§ 327.8(m)(4) and (5), but does not have
CAMELS component ratings, it shall be
assessed at two basis points above the
minimum initial base assessment rate
applicable to Risk Category I institutions
until it receives CAMELS component
ratings. Thereafter, the assessment rate
will be determined by annualizing,
where appropriate, financial ratios
obtained from all quarterly reports of
condition that have been filed, until the
institution files four quarterly reports of
condition. If a large or highly complex
institution is considered established
under § 327.8(m)(4) and (5), but does
not have CAMELS component ratings, it
will be given a weighted CAMELS rating
of 2 for assessment purposes until actual
CAMELS ratings are assigned.
(v) Request for review. An institution
that disagrees with the FDIC’s
determination that it is a new institution
may request review of that
determination pursuant to § 327.4(c).
(11) Assessment rates for bridge
depository institutions and
conservatorships. Institutions that are
bridge depository institutions under 12
U.S.C. 1821(n) and institutions for
which the Corporation has been
appointed or serves as conservator shall,
in all cases, be assessed at the Risk
Category I minimum initial base
assessment rate, which shall not be
subject to adjustment under paragraphs
(d)(5), (6), (7) or (8) of this section.
5. Revise § 327.10 to read as follows:
§ 327.10
Assessment rate schedules.
(a) Initial and Total Base Assessment
Rate Schedule for Small Institutions and
Insured Branches of Foreign Banks. The
initial and total base assessment rate for
a small insured depository institution or
an insured branch of a foreign bank
shall be the rate prescribed in the
following schedule:
Risk category II
Risk category III
Risk category IV
Initial base assessment rate ............................................................
Unsecured debt adjustment .............................................................
Secured liability adjustment .............................................................
Brokered deposit adjustment ...........................................................
10–14
¥5–0
0–7
22
¥5–0
0–11
0–10
34
¥5–0
0–17
0–10
50
¥5–0
0–25
0–10
TOTAL BASE ASSESSMENT RATE .......................................
5–21
17–43
29–61
45–85
All amounts for all risk categories are in basis points annually. Total base rates that are not the minimum or maximum rate will vary between
these rates. All rates shown will increase 3 basis points on January 1, 2011, pursuant to the FDIC Restoration Plan adopted on September 29,
2009 (74 FR 51062 (Oct. 2, 2009)).
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Federal Register / Vol. 75, No. 84 / Monday, May 3, 2010 / Proposed Rules
(1) Risk Category I Initial Base
Assessment Rate Schedule. The annual
initial base assessment rates for all
institutions in Risk Category I shall
range from 10 to 14 basis points.
(2) Risk Category II, III, and IV Initial
Base Assessment Rate Schedule. The
annual initial base assessment rates for
Risk Categories II, III, and IV shall be 22,
34, and 50 basis points, respectively.
(3) Risk Category I Total Base
Assessment Rate Schedule after
Adjustments. The annual total base
assessment rates after adjustments for
all institutions in Risk Category I shall
range from 5 to 21 basis points.
(4) Risk Category II Total Base
Assessment Rate Schedule after
Adjustments. The annual total base
assessment rates after adjustments for
all institutions in Risk Category II shall
range from 17 to 43 basis points.
(5) Risk Category III Total Base
Assessment Rate Schedule after
Adjustments. The annual total base
assessment rates after adjustments for
all institutions in Risk Category III shall
range from 29 to 61 basis points.
(6) Risk Category IV Total Base
Assessment Rate Schedule after
Adjustments. The annual total base
assessment rates after adjustments for
all institutions in Risk Category IV shall
range from 45 to 85 basis points.
(7) All institutions in any one risk
category, other than Risk Category I, will
be charged the same initial base
assessment rate, subject to adjustment as
appropriate.
(b) Initial and Total Base Assessment
Rate Schedule for Large Institutions and
Highly Complex Institutions. The
annual initial base assessment rate and
total base assessment rate for a large
insured depository institution or a
highly complex insured depository
institution shall be the rate prescribed
in the following schedule:
Large institutions
Initial base assessment rate ............................................................................................................................................................
Unsecured debt adjustment .............................................................................................................................................................
Secured liability adjustment .............................................................................................................................................................
Brokered deposit adjustment ...........................................................................................................................................................
10–50
¥5–0
0–25
0–10
TOTAL BASE ASSESSMENT RATE .......................................................................................................................................
5–85
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
All amounts are in basis points annually. Total base rates that are not the minimum or maximum rate will vary between these rates. All rates
shown will increase 3 basis points on January 1, 2011, pursuant to the FDIC Restoration Plan adopted on September 29, 2009 (74 FR 51062
(Oct. 2, 2009)).
(1) Initial Base Assessment Rate
Schedule for Large Institutions and
Highly Complex Institutions. The
annual initial base assessment rates for
all large institutions and highly complex
institutions shall range from 10 to 50
basis points.
(2) Total Base Assessment Rate
Schedule for Large Institutions and
Highly Complex Institutions. The
annual total base assessment rates for all
large institutions and highly complex
institutions shall range from 5 to 85
basis points.
(c) Total Base Assessment Rate
Schedule adjustments and procedures—
(1) Board Rate Adjustments. The Board
may increase or decrease the total base
assessment rate schedule for all insured
depository institutions up to a
maximum increase of 3 basis points or
a fraction thereof or a maximum
decrease of 3 basis points or a fraction
thereof (after aggregating increases and
decreases), as the Board deems
necessary. Any such adjustment shall
apply uniformly to each rate in the total
base assessment rate schedule. In no
case may such Board rate adjustments
result in a total base assessment rate that
is mathematically less than zero or in a
total base assessment rate schedule that,
at any time, is more than 3 basis points
above or below the total base assessment
schedule for the Deposit Insurance
Fund, nor may any one such Board
adjustment constitute an increase or
decrease of more than 3 basis points.
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(2) Amount of revenue. In setting
assessment rates, the Board shall take
into consideration the following:
(i) Estimated operating expenses of
the Deposit Insurance Fund;
(ii) Case resolution expenditures and
income of the Deposit Insurance Fund;
(iii) The projected effects of
assessments on the capital and earnings
of the institutions paying assessments to
the Deposit Insurance Fund;
(iv) The risk factors and other factors
taken into account pursuant to 12 U.S.C.
1817(b)(1); and
(v) Any other factors the Board may
deem appropriate.
(3) Adjustment procedure. Any
adjustment adopted by the Board
pursuant to this paragraph will be
adopted by rulemaking, except that the
Corporation may set assessment rates as
necessary to manage the reserve ratio,
within set parameters not exceeding
cumulatively 3 basis points, pursuant to
paragraph (c)(1) of this section, without
further rulemaking.
(4) Announcement. The Board shall
announce the assessment schedules and
the amount and basis for any adjustment
thereto not later than 30 days before the
quarterly certified statement invoice
date specified in § 327.3(b) of this part
for the first assessment period for which
the adjustment shall be effective. Once
set, rates will remain in effect until
changed by the Board.
6. Revise Appendix A to Subpart A of
Part 327 to read as follows:
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Appendix A to Subpart A
Method To Derive Pricing Multipliers and
Uniform Amount
I. Introduction
The uniform amount and pricing
multipliers are derived from:
• A model (the Statistical Model) that
estimates the probability that a Risk Category
I institution will be downgraded to a
composite CAMELS rating of 3 or worse
within one year;
• Minimum and maximum downgrade
probability cutoff values, based on data from
June 30, 2008, that will determine which
small institutions will be charged the
minimum and maximum initial base
assessment rates applicable to Risk Category
I; and
• The maximum initial base assessment
rate for Risk Category I, which is four basis
points higher than the minimum rate.
II. The Statistical Model
The Statistical Model is defined in
equations 1 and 3 below:
Equation 1
Downgrade (0,1)i,t = b0 + b1 (Tier 1 Leverage
RatioT) +
b2 (Loans past due 30 to 89 days ratioi,t) +
b3 (Nonperforming asset ratioi,t) +
b4 (Net loan charge-off ratioi,t) +
b5 (Net income before taxes ratioi,t) +
b6 (Adjusted brokered deposit ratioi,t) +
b7 (Weighted average CAMELS component
ratingi,t)
Where Downgrade(01)i,t (the dependent
variable—the event being explained) is
the incidence of downgrade from a
composite rating of 1 or 2 to a rating of
3 or worse during an on-site examination
for an institution i between 3 and 12
months after time t. Time t is the end of
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• Net income before taxes/Risk-weighted
assets
• Brokered deposits/domestic deposits
above the 10 percent threshold, adjusted for
the asset growth rate factor
Table A.1 defines these six ratios along
with the weighted average of CAMELS
component ratings. The adjusted brokered
deposit ratio (Bi,T) is calculated by
multiplying the ratio of brokered deposits to
domestic deposits above the 10 percent
threshold by an asset growth rate factor that
ranges from 0 to 1 as shown in Equation 2
below. The asset growth rate factor (Ai,T) is
a year within the multi-year period over
which the model was estimated (as
explained below). The dependent
variable takes a value of 1 if a downgrade
occurs and 0 if it does not.
The explanatory variables (regressors) in
the model are six financial ratios and a
weighted average of the ‘‘C,’’ ‘‘A,’’ ‘‘M,’’ ‘‘E’’
and ‘‘L’’ component ratings. The six financial
ratios included in the model are:
• Tier 1 leverage ratio
• Loans past due 30–89 days/Gross assets
• Nonperforming assets/Gross assets
• Net loan charge-offs/Gross assets
calculated by subtracting 0.4 from the fouryear cumulative gross asset growth rate
(expressed as a number rather than as a
percentage), adjusted for mergers and
acquisitions, and multiplying the remainder
by 31⁄3. The factor cannot be less than 0 or
greater than 1.
Equation 2
⎛ Brokered Depositsi,T
⎞
Bi,T = ⎜
⎜ Domestic Deposits − 0.10 ⎟ ∗ A i,T
⎟
i,T
⎝
⎠
Where
⎡⎛ GrossAssetsi,T − GrossAssetsi,T − 4
⎞ 10 ⎤
Ai,T = ⎢⎜
− 0.4 ⎟ ∗ ⎥ ,
⎟ 3
⎜
GrossAssetsi,T − 4
⎢
⎥
⎠
⎣⎝
⎦
component. Delinquency and non-accrual
data on government guaranteed loans are not
available before 1993 for Call Report filers
and before the third quarter of 2005 for TFR
filers. As a result, and as also described in
Table A.1, the Statistical Model is estimated
without deducting delinquent or past-due
government guaranteed loans from either the
loans past due 30–89 days to gross assets
subject to
0 ≤ Ai,r ≤ 1 and Bi,r ≥ 0.
The component rating for sensitivity to
market risk (the ‘‘S’’ rating) is not available for
years prior to 1997. As a result, and as
described in Table A.1, the Statistical Model
is estimated using a weighted average of five
component ratings excluding the ‘‘S’’
ratio or the nonperforming assets to gross
assets ratio. Reciprocal deposits are not
presently reported in the Call Report or TFR.
As a result, and as also described in Table
A.1, the Statistical Model is estimated
without deducting reciprocal deposits from
brokered deposits in determining the
adjusted brokered deposit ratio.
TABLE A.1—DEFINITIONS OF REGRESSORS
Regressor
Description
Tier 1 Leverage Ratio (%) ..................................
Tier 1 capital for Prompt Corrective Action (PCA) divided by adjusted average assets based
on the definition for prompt corrective action.
Total loans and lease financing receivables past due 30 through 89 days and still accruing interest divided by gross assets (gross assets equal total assets plus allowance for loan and
lease financing receivable losses and allocated transfer risk).
Sum of total loans and lease financing receivables past due 90 or more days and still accruing
interest, total nonaccrual loans and lease financing receivables, and other real estate owned
divided by gross assets.
Total charged-off loans and lease financing receivables debited to the allowance for loan and
lease losses less total recoveries credited to the allowance to loan and lease losses for the
most recent twelve months divided by gross assets.
Income before income taxes and extraordinary items and other adjustments for the most recent twelve months divided by risk-weighted assets.
Brokered deposits divided by domestic deposits less 0.10 multiplied by the asset growth rate
factor (which is the term Ai,T as defined in equation 2 above) that ranges between 0 and 1.
The weighted sum of the ‘‘C,’’ ‘‘A,’’ ‘‘M,’’ ‘‘E’’ and ‘‘L’’ CAMELS components, with weights of 28
percent each for the ‘‘C’’ and ‘‘M’’ components, 22 percent for the ‘‘A’’ component, and 11
percent for the ‘‘E’’ and ‘‘L’’ components. (For the regression, the ‘‘S’’ component is omitted.)
Loans Past Due 30–89 Days/Gross Assets (%)
Nonperforming Assets/Gross Assets (%) ...........
Net Loan Charge-Offs/Gross Assets (%) ...........
Net Income before Taxes/Risk-Weighted Assets
(%).
Adjusted brokered deposit ratio (%) ...................
Weighted Average of C, A, M, E and L Component Ratings.
7. Revise Appendix B to Subpart A of Part
327 to read as follows:
Appendix B to Subpart A
Description of Scorecard Measures
(1) Scorecard Measures Applied to All Large
Banks
Tier 1 Common Capital Ratio (Call/
TFR Reports).
Concentration Measure ...................
(1) Higher-Risk Concentrations
Measure (LIDI).
The ratio is calculated as Tier 1 capital less perpetual preferred stock and related surplus divided by average total assets less disallowed intangibles.
Concentration score takes a higher score of the following two:
The measure is a sum of following ratios squared: construction and development loans (C&D), leveraged
loans, nontraditional mortgages, subprime consumer loans, and total exposure (outstanding loan balances and unfunded commitments) to top 20 single-name borrowers, all as a ratio to tier 1 capital and
reserves.
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Description
EP03MY10.012
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Source)
Federal Register / Vol. 75, No. 84 / Monday, May 3, 2010 / Proposed Rules
23545
Quantitative measures (Data
Source)
Description
(2) Growth-Adjusted Portfolio Concentrations (Call/TFR Reports).
The measure is calculated in following steps:
(1) Concentration levels (as a ratio to total risk-based capital) are calculated for each broad portfolio category (C&D, other commercial real estate loans, residential mortgage (including mortgage-backed securities), commercial and industrial loans, credit card and other consumer loans).
(2) Three-year merger-adjusted portfolio growth rates are then scaled to a growth factor of 1 and 1.5. If
three years of data are not available, a growth factor of 1 would be assigned.
(3) Risk weights are assigned to each category based on relative SCAP loss rates.
(4) Concentration levels are multiplied by risk weights and growth factor and the resulting value for each
portfolio is squared and summed.
Both concentration measures are described in detail in Appendix C.
Core earnings are defined as quarterly net income less extraordinary items and realized gains and losses
on available-for-sale (AFS) and held-to-maturity (HTM) securities, adjusted for mergers. The ratio takes
a four-quarter sum of merger-adjusted core earnings and divides it by a five-quarter average of total assets. If four quarters of data on core earnings are not available, data for quarters that are available
would be added and annualized. If five quarters of data on total assets are not available, data for quarters that are available would be averaged.
Asset quality score takes a higher score of the following two:
The sum of criticized and classified items divided by a sum of Tier 1 capital and reserves. Criticized and
classified items include items with an internal grade of ‘‘Special Mention’’ or worse and include retail
items under Uniform Retail Classification Guidelines, securities that are rated sub-investment grade, and
marked-to-market counterparty positions with an internal grade of ‘‘Special Mention’’ or worse, or an external rating of sub-investment grade less credit valuation allowances (CVA). Criticized and classified
items exclude loans and securities in trading books, and the maximum amount recoverable from the
U.S. government, its agencies, or government-sponsored agencies, under guarantee or insurance provisions.
Sum of loans past due 30–89 days, loans past due 90+ days, nonaccrual loans, restructured loans, restructured 1–4 family loans, and ORE (excluding the maximum amount recoverable from the U.S. government, its agencies, or government-sponsored agencies, under guarantee or insurance provisions) divided by a sum of Tier 1 capital and reserves.
The core deposit ratio is a sum of demand deposits, NOW accounts, MMDA, other savings deposits, CDs
under $100M less insured brokered deposits under $100,000 divided by total liabilities.
Unfunded commitments are unused portions of commitments to make or purchase extensions of credit in
the form of loans or participations in loans, lease financing receivables, or similar transactions and include unused commitments for home equity line of credit, commercial real estate, construction and land
development loans either secured or not secured by real estate, securities underwriting and others, excluding unused commitments for credit card lines. Total amount of unfunded commitments is divided by
total assets.
Liquid assets are defined as the sum of cash and balances due from depository institutions, Federal funds
sold and securities purchased under agreements to resell, and agency securities (securities issued by
the U.S. Treasury, U.S. government agencies, and US government-sponsored enterprises) less securities sold under agreements to repurchase or agency securities, whichever is smaller. ‘‘Short-term’’ liabilities are defined as a sum of large CDs (larger than $100,000) with a remaining maturity of one year or
less, fed funds purchased and repos, unsecured borrowings with a remaining maturity of one year or
less, foreign deposits and unused commitments for asset-backed commercial paper with a remaining
maturity of one year or less.
The loss severity ratio is a ratio of potential losses to the DIF—as calculated in the FDIC’s loss severity
model—to domestic deposits. Appendix D describes the loss severity model in detail.
Core Earnings/Average Total Assets (Call/TFR Reports).
Credit Quality Measure: ..................
a. Criticized and Classified Items/
Tier 1 Capital and Reserves
(LIDI).
b. Underperforming Assets/Tier 1
Capital and Reserves (Call/TFR
Reports).
Core Deposits/Total Liabilities (Call/
TFR Reports).
Unfunded Commitments/Total Assets (Call/TFR Reports).
Liquid Assets/Short-term Liabilities
(Liquidity Coverage Ratio) (Call/
TFR Reports).
Potential Losses/Total Domestic
Deposits (Loss Severity Measure) (Call/TFR Reports).
Secured Liabilities/Total Domestic
Deposits (Call/TFR Reports).
The secured liability ratio is a sum of secured liabilities (FHLB advances, securities sold under repurchase
agreements, secured Federal funds purchased, and other secured borrowings) divided by domestic deposits.
(2) Scorecard Measures Applied to Highly
Complex Institutions Only
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Quantitative measures
Description
10-day 99% VaR/Tier 1 Capital
(LIDI Reports).
Short-term Funding/Total Assets
(Call/TFR Reports).
Senior Bond Spread (IDC) ..............
Parent TCE Ratio (9–Y Reports) ....
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The ratio is defined as 10-day 99%VaR based on banks’ internal model divided by Tier 1 capital.
The short-term funding ratio is a ratio of a sum of Federal funds purchased and repos to total assets. If
more granular maturity data are available, we may want to include non-deposit liabilities with a remaining maturity of three months or less.
Quarterly average of median weekly spreads for senior bonds with three to ten years remaining to maturity
issued by the parent company over comparable-maturity Treasuries.
The parent TCE ratio is a ratio of a sum of common stock, surplus, undivided profits, accumulated other
comprehensive income, and other equity capital components less intangible assets to tangible assets
(total assets less intangible assets).
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Federal Register / Vol. 75, No. 84 / Monday, May 3, 2010 / Proposed Rules
8. Revise Appendix C to Subpart A of
Part 327 to read as follows:
APPENDIX C TO SUBPART A
Concentration Measures
The concentration measure score is a
higher of the two concentration scores: a
higher-risk concentration measure and a
growth-adjusted portfolio concentration
measure.
1. Higher-Risk Concentration Measure
The higher-risk concentration measure is
the sum of the squared value of
concentrations in each of five risk areas and
is calculated as:
2
⎛ Amount of exposurei,k ⎞
Hi = ∑ ⎜
⎟
Tier 1 Capital i
k =1 ⎝
⎠
5
Where:
⎡
⎛ Amount of exposurei,k ⎞ ⎤
Ni = ∑ ⎢ gi,k × wk × ⎜
⎟⎥
Total Capital i
k =1 ⎣
⎢
⎥
⎝
⎠⎦
7
Where:
N is institution i’s growth-adjusted portfolio
concentration measure 5;
k is a portfolio;
g is a growth factor for institution i’s portfolio
k; and,
w is a risk weight for portfolio k.
The seven portfolios (k) are defined based
on the Call Report data and they are:
mortgages are mortgage products that allow
borrowers to defer payment of principal and,
sometimes, interest. These products include
‘‘interest-only’’ mortgages and ‘‘payment
option’’’ adjustable-rate mortgages.3
Subprime loans are consumer loans that are
typically made to borrowers with weakened
credit histories, including a combination of
payment delinquencies, charge-offs,
judgments, and bankruptcies who may also
display reduced repayment capacity as
measured by credit scores, debt-to-income
ratios, or other criteria.4
H is institution i’s higher-risk concentration
measure and
k is a risk area.1 The five risk areas (k) are
defined as:
• Construction and development loans;
• Leveraged lending;
• Nontraditional mortgages;
• Subprime consumer loans; and
• Total exposure (outstanding loan
balances, unfunded commitments and
counterparty credit risk) to top 20 singlename borrowers.
Data on higher-risk lending, other than
construction and development loans, are
obtained through an examination process and
defined according to the interagency
guidance for a given product. A loan is
considered to be leveraged when the obligor’s
post-financing leverage as measured by debtto-assets, debt-to-equity, cash flow-to-total
debt, or other such standards unique to
particular industries significantly exceeds
industry norms for leverage.2 Nontraditional
• First-lien residential mortgages and
mortgage-backed securities;
• Closed-end junior liens and home equity
lines of credit (HELOCs);
• Construction and development loans;
• Other commercial real estate loans;
• Commercial and industrial loans;
• Credit card loans; and
• Other consumer loans.
2. Growth-adjusted Portfolio Concentration
Measure
The growth-adjusted concentration
measure is the sum of the squared values of
concentrations in each of seven portfolios,
each of the squared values being first
adjusted for growth and risk weights before
summing. The measure is calculated as:
2
The growth factor, g, is based on a threeyear merger-adjusted growth rate for a given
portfolio; g ranges from 1 to 1.5 where a 20
percent growth rate equals a factor of 1 and
an 80 percent growth rate equals a factor of
1.5.6 7 For growth rates less than 20 percent,
g is 1; for growth rates greater than 80
percent, g is 1.5. For growth rates of 20
percent to 80 percent, the growth factor is
calculated as:
1.5 − 1.0 ⎤
⎡
⎡5
⎤
gi,k = 1 + ⎢( Gi,k − 0.20 ) ×
= 1 + ⎢ ( Gi,k − 0.20 ) ⎥
0.8 − 0.2 ⎥
⎣
⎦
⎣6
⎦
Where
Vi,k,t
Vi,k,t −12
− 1,
point of two-year cumulative indicative loss
rate ranges used in the adverse scenario for
the interagency Supervisory Capital
Assessment Program (SCAP) in early 2009.8 9
evidenced by, for example, a Fair Isaac and Co. risk
score (FICO) of 660 or below (depending on the
product/collateral), or other bureau or proprietary
scores with an equivalent default probability
likelihood; and/or (5) debt service-to-income ratio
of 50 percent or greater, or otherwise limited ability
to cover family living expenses after deducting total
monthly debt-service requirements from monthly
income. https://www.fdic.gov/news/news/press/
2001/pr0901a.html.
5 The growth-adjusted portfolio concentration
measure is rounded to two decimal points.
6 The cut-off values of 0.2 and 0.8 correspond to
about 45th percentile and 80th percentile among
the large institutions, respectively, based on the
data from 2000 to 2009.
7 The growth factor is rounded to two decimal
points.
8 Board of Governors of the Federal Reserve
System, ‘‘The Supervisory Capital Assessment
Program: Overview of Results,’’ May 7, 2009. https://
www.federalreserve.gov/newsevents/speech/
bcreg20090507a1.pdf.
9 The risk weights are based on loss rates for each
portfolio relative to the loss rate for C&I loans,
which is given a risk weight of 1.
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1 The high-risk concentration measure is rounded
to two decimal points.
2 https://www.fdic.gov/news/news/press/2001/
pr0901a.html.
3 https://www.fdic.gov/regulations/laws/federal/
2006/06noticeFINAL.html.
4 Generally, subprime borrowers will display a
range of credit risk characteristics that may include
one or more of the following: (1) Two or more 30day delinquencies in the last 12 months, or one or
more 60-day delinquencies in the last 24 months;
(2) judgment, foreclosure, repossession, or chargeoff in the prior 24 months; (3) bankruptcy in the last
5 years; (4) relatively high default probability as
EP03MY10.014
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
EP03MY10.017
Gi,k =
V is the portfolio amount as reported on the
Call Report
and t is the quarter for which the assessment
is being determined.
The risk weight for each portfolio reflects
relative loss rates and is based on the mid-
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Federal Register / Vol. 75, No. 84 / Monday, May 3, 2010 / Proposed Rules
TABLE C.1—TWO-YEAR CUMULATIVE INDICATIVE LOSS RANGE: SCAP ADVERSE SCENARIO
Two-year
cumulative loss range
Portfolio
Minimum
First-Lien Mortgages* ...........................................................
Second/Junior Lien Mortgages ............................................
Commercial and Industrial (C&I) Loans ...............................
Construction and Development (C&D) Loans .....................
Commercial Real Estate Loans, excluding C&D** ..............
Credit Card Loans ................................................................
Other Consumer Loans ........................................................
* Assumes that 80 percent of first liens are
prime and the remaining 20 percent at AltA.
** Assumes that 80 percent of CRE
portfolio are nonfarm non-residential and the
remaining 20 percent are multifamily. The
allocation is based on the aggregate bank
data.
9. Add Appendix D to Subpart A of
Part 327 to read as follows:
Appendix D to Subpart A
Description of the Loss Severity Model
The FDIC’s loss severity model applies a
standardized set of assumptions to an
institution’s balance sheet for a given quarter
to measure possible losses to the FDIC in the
event of an institution’s failure. To determine
an institution’s loss severity rate, the size and
composition of an institution’s liabilities are
adjusted to reflect expected changes (due to
uninsured deposit and other unsecured
liability runoff and growth in insured
deposits) as an institution approaches failure.
Assets are then reduced to match any
reduction in liabilities.1 The institution’s
asset values are then further reduced until
the Tier 1 leverage ratio reaches 2 percent.2
Asset adjustments are made pro rata to asset
categories to preserve the institution’s
relative proportion of assets by asset
categories. Assumptions regarding asset
losses at failure and the extent of secured
liabilities are then applied to the estimated
balance sheet at failure to determine whether
the institution has enough unencumbered
assets to cover domestic deposits. Any
projected shortfall is divided by current
domestic deposits to obtain an end-of-period
loss severity ratio, which is then averaged
over the three most recent quarters to
produce the loss severity measure for the
scorecard.
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Runoff and Capital Adjustment Assumptions
Table D.1 contains run-off assumptions.
TABLE D.1—RUNOFF RATE
ASSUMPTIONS
Liability type
Insured Deposits ...................
16:37 Apr 30, 2010
4.3
12.0
5.0
15.0
7.6
18.0
8.0
Risk weights
Midpoint
5.8
16.0
8.0
18.0
9.4
20.0
12.0
TABLE D.1—RUNOFF RATE
ASSUMPTIONS—Continued
5.1
14.0
6.5
16.5
8.5
19.0
10.0
Runoff rate*
(percent)
Liability type
Uninsured Deposits ..............
Foreign Deposits ..................
Fed Funds Purchased ..........
Repurchase Agreements ......
Trading Liabilities ..................
Federal Home Loan Bank
Borrowings <= 1 Year .......
Federal Home Loan Bank
Borrowings > 1 Year .........
Other Borrowings <= 1 Year
Other Borrowings > 1 Year ..
Subordinated Debt and Limited Liability Preferred
Stock .................................
Other Liabilities .....................
28.6
80.0
40.0
25.0
50.0
25.0
0.0
50.0
0.0
15.0
0.0
* A negative rate implies growth.
Given the resulting total liabilities after
runoff, assets are then reduced pro rata to
preserve the relative amount of assets in each
of the following asset categories and to
achieve a Tier 1 leverage of 2 percent:
• Cash and Interest Bearing Balances;
• Trading Account Assets;
• Fed Funds Sold and Repurchase
Agreements;
• Treasury and Agency Securities;
• Municipal Securities;
• Other Securities;
• Construction and Development Loans;
• Nonresidential Real Estate Loans;
• Multifamily Real Estate Loans;
• 1–4 Family Closed-End First Liens;
• 1–4 Family Closed-End Junior Liens;
• Revolving Home Equity Loans; and
• Agricultural Real Estate Loans.
Asset category
Loss rate
(percent)
Cash and Interest Bearing
Balances ...........................
Trading Account Assets .......
Fed Funds Sold and Repurchase Agreements ............
Treasury and Agency Securities .....................................
Municipal Securities ..............
Other Securities ....................
Construction and Development Loans .......................
Nonresidential Real Estate
Loans ................................
Multifamily Real Estate
Loans ................................
1–4 Family Closed-End First
Liens ..................................
1–4 Family Closed-End Junior Liens ............................
Revolving Home Equity
Loans ................................
Agricultural Real Estate
Loans ................................
Agricultural Loans .................
Commercial and Industrial
Loans ................................
Credit Card Loans ................
Other Consumer Loans ........
All Other Loans .....................
Other Assets .........................
0.0
0.0
0.0
0.0
10.0
15.0
38.2
17.6
10.8
19.4
41.0
41.0
19.7
11.8
21.5
18.3
18.3
51.0
75.0
Secured Liabilities at Failure
Table D.3 shows the percentage of each
liability category that is assumed to be
secured.
TABLE D.3—SECURED LIABILITY
ASSUMPTIONS
Recovery Value of Assets at Failure
Liability type
Percentage
secured at failure
(percent)
Foreign Deposits ..................
Repurchase Agreements ......
Federal Home Loan Bank
Borrowings <= 1 Year .......
Runoff rate*
(percent)
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0.8
2.2
1.0
2.5
1.3
2.9
1.5
TABLE D.2—ASSET LOSS RATE
ASSUMPTIONS
Table D.2 shows loss rates applied to each
of the asset categories as adjusted above.
1 In most cases, the model would yield reductions
in liabilities and assets prior to failure. Exceptions
may occur for institutions primarily funded through
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Maximum
insured deposits, which the model assumes to grow
prior to failure.
2 Of course, in reality, runoff and capital declines
occur more or less simultaneously as an institution
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approaches failure. The loss severity measure
assumptions simplify this process for ease of
modeling.
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100
100
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Federal Register / Vol. 75, No. 84 / Monday, May 3, 2010 / Proposed Rules
TABLE D.3—SECURED LIABILITY
ASSUMPTIONS—Continued
Liability type
Percentage
secured at failure
(percent)
Federal Home Loan Bank
Borrowings > 1 Year .........
Other Borrowings <= 1 Year
Other Borrowings > 1 Year ..
50
InsuredDepositsFailure
× ( DomesticDepositsFailure − Recov eryValueofAssetsFailure + SecuredLiabilitiesFailure )
DomesticDepositsFailure
scorecard is an average of end-of-period loss
severity ratio for three most recent quarters.
9. Add Appendix E to Subpart A of
Part 327 to read as follows:
Information Source
Additional Performance Indicators
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Percentage
secured at failure
(percent)
Liability type
100
50
An end-of-quarter loss severity ratio is LGD
divided by total domestic deposits at quarterend and the loss severity measure for the
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The FDIC’s loss given failure (LGD) is
calculated as:
18:22 Apr 30, 2010
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Appendix E to Subpart A
Additional Risk Considerations for Large
Institutions
Examples of Associated Risk Indicators or Information
Adequacy of Capital to Withstand Stress (Level and Trend)
• Regulatory capital ratios
• Capital composition
• Unrealized losses on securities
• Dividend payout ratios
• Internal capital growth rates relative to asset growth
• Robustness of internal stress testing models and reserve methodology
Adequacy and Stability of Earnings to Withstand Stress (Level and Trend)
• Return on assets and return on risk-adjusted assets
• Concentration of revenue sources
• Earning composition including noncash earnings e.g., mortgage servicing rights (MSR),
income from interest reserves) relative to core income
• Net interest margins, funding costs and volumes, earning asset yields and volumes
• Loan loss provisions relative to problem loans
• Historical volatility of various earnings sources
Ability to Withstand Credit-Related Stress (Level and Trend)
• Loan and securities portfolio composition and volume of higher risk lending activities or
securities
• Loan performance measures (past due, nonaccrual, classified and criticized, and renegotiated loans)
• Portfolio characteristics such as internal loan rating and credit score distributions, internal
estimates of default, internal estimates of loss given default, and internal estimates of exposures in the event of default
• Portfolio underwriting characteristics and trends (including portfolio growth)
• Robustness of credit administration and credit risk monitoring (e.g., internal loan classification)
• Off-balance sheet credit exposure measures (unfunded loan commitments, securitization
activities, counterparty derivatives exposures) and hedging activities
Ability to Withstand Liquidity-Related Stress (Level and Trend)
• Composition of deposit and non-deposit funding sources
• Liquid resources relative to short-term obligations, undisbursed credit lines, and contingent liabilities
• Reliance on securitization as a funding source
• Level of contingent liabilities
• Robustness of contingency or emergency funding strategies and analyses
Ability to Withstand Interest Rate Shocks
• Maturity and repricing information on assets and liabilities, interest rate risk analyses
• Robustness of internal interest rate models
Ability to Withstand Trading Stress (Level and Trend)
• Assessment of trading desk composition and revenue dependency (prop trading compared to customer flow, liquid products compared to illiquid products)
• Assessment of VaR framework, stress testing framework and results
• Appropriateness of desk limits.
Ability to Withstand Stress to Counterparties (Level and Trend)
• Gross current exposure (Top 5 and Total by Client Types and Ratings) to capital
• Current net exposure (Top 5 and Total by Client Types and Ratings) to capital
• Peak potential exposure (Top 5 and Total by Client Types and Ratings) to capital
• Exposure aggregation reporting
• Margining policies, netting enforceability and hedging capabilities.
Market indicator of the institution’s ability to withstand stress (Level and Trend)
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LGD =
Loss Severity Ratio Calculation
TABLE D.3—SECURED LIABILITY
ASSUMPTIONS—Continued
Federal Register / Vol. 75, No. 84 / Monday, May 3, 2010 / Proposed Rules
Information Source
23549
Examples of Associated Risk Indicators or Information
•
•
•
•
•
•
Additional Loss Severity Indicators .....................
Note: The following Appendices will
not appear in the Code of Federal
Regulations.
Subordinated debt spreads
Credit default swap spreads
Parent’s equity price volatility
Market-based measures of default probabilities
Rating agency watch lists
Market analyst reports
• Ability to identify and describe discreet business units within the banking legal entity
• Funding structure considerations relating to the order of claims in the event of liquidation
(including the extent of subordinated claims and priority claims).
• Volumes of brokered deposits, potentially more volatile deposits such as Internet or
money desk or high-cost deposits.
• Potential for significant ring-fencing of foreign assets.
• Volume of hard-to-value assets (Level 3 assets)
Appendix 1
Statistical Analysis of Measures
The risk measures included in the
scorecard and the weights assigned to those
measures are generally based on the results
of an ordinary least square (OLS) model, and
in some cases, a logistic regression model.
The OLS model estimates how well a set of
risk measures in 2005 through 2009 can
predict the FDIC’s view, based on its
experience and judgment, of the proper rank
ordering of risk (the expert judgment ranking)
for large institutions as of year-end 2009.
The OLS model is specified as:
n
Rankingi,2009 = β0 + ∑ βk × Scorei,k,t
k =1
Where:
t is the quarter that is being assessed
k is a risk measure;
n is the number of risk measures; and
The logistic regression model estimates
how well the same set of risk measures in
2005 through 2008 can predict whether a
large bank fails and it is specified as:
n
Fail (0,1)i = β0 + ∑ βk × Scorei,k,t
k =1
Where:
Fail is whether an institution i failed on or
prior to year-end 2009 or not.1
Selecting Risk Measures2
To select the risk measures for the
scorecard, the FDIC first selected a set of
financial measures that were deemed to be
most relevant to assessing large institutions’
ability to withstand stress. Those measures
were converted to a score between 0 and 100
and then regressed against the expert
judgment ranking. A stepwise selection
method was used to select risk measures for
each year that were statistically significant at
a 15 percent confidence level or better.
Table1.1 shows the risk measures that were
considered and descriptive statistics of scores
for those measures for large institutions
based on data from 2005–2009. Most of these
measures, other than concentration and
credit quality measures, are based on report
AG =
of condition and income data and defined in
Appendix 1. The concentration measure is
described in detail in Appendix 2. A
distance-to-default measure is calculated as a
sum of Tier 1 capital and 12-quarter average
core earnings—both divided by total assets—
divided by the 12-quarter standard deviation
in core earnings. The three-year mergeradjusted asset growth rate (AG) is calculated
as:
Assett
Assett −12
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liquidity coverage ratio, the brokered deposit ratio
and the growth-adjusted concentration ratio—and
alternative dependent variables—CAMELS and the
FDIC’s internal risk ratings. These robustness tests
show that the same set of variables are generally
statistically significant in most models; that
converting to a score from a raw ratio generally
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resolves any potential concern related to a
nonlinear relationship between the dependent
variable and several explanatory variables; and,
finally, that alternative ratios for capital and
earnings are not better in predicting expert
judgment ranking or failure.
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1 For the purpose of regression analysis, large
institutions that received significant government
support or merged with another entity with
government support.
2 The FDIC has conducted a number of robustness
tests with alternative ratios for capital and earnings,
a log transformation of several variables—the
EP03MY10.019
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Where t is the quarter for which the
assessment is being determined.
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Federal Register / Vol. 75, No. 84 / Monday, May 3, 2010 / Proposed Rules
TABLE 1.1—DESCRIPTIVE STATISTICS OF RISK MEASURE SCORES
Risk measure
Average score
Median score
41.4
65.4
62.2
52.2
27.0
56.6
43.2
41.5
75.1
49.1
32.8
43.3
31.3
22.3
39.9
74.7
73.7
46.0
15.7
55.4
33.7
33.2
89.9
51.4
24.8
43.5
21.2
5.7
Weighted average CAMELS rating .............................................................................................
Tier 1 common leverage ratio .....................................................................................................
Distance-to-default .......................................................................................................................
Concentration measure ...............................................................................................................
Three-year merger-adjusted asset growth rate ...........................................................................
Core earnings/average assets .....................................................................................................
Credit quality measure .................................................................................................................
Core deposits/total liabilities ........................................................................................................
Liquidity coverage ratio ................................................................................................................
Unfunded commitments/total assets ...........................................................................................
Short-term funding/total assets ....................................................................................................
Loss severity ratio ........................................................................................................................
Secured liabilities/total domestic deposits ...................................................................................
Brokered deposits/total domestic deposits ..................................................................................
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Table 1.2 shows the results of the OLS
models after a stepwise selection process and
the statistical significance of each measure
for years 2005 through 2009. The dependent
variable for the model is an expert judgment
ranking as of year-end 2009. The measures
numbered (1) through (9) are statistically
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significant and have a positive sign in
regression models for multiple years. Those
measures include a weighted average
CAMELS rating, a concentration measure, a
core earnings to average total assets ratio, a
credit quality measure, a core deposits to
total liabilities ratio, an unfunded
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Standard
deviation of
scores
14.3
30.5
34.8
36.3
30.5
30.0
35.2
32.9
31.5
32.1
31.8
30.0
31.7
33.8
commitments to total assets ratio, a liquid
assets to short-term liabilities ratio, a loss
severity measure, and a secured liabilities to
total domestic deposits ratio. The measures
without coefficients are those that are not
statistically significant at a 15 percent
confidence level.
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2009 or not. The risk measures numbered (1)
through (5) are statistically significant and
have a positive sign in regression models for
multiple years. Two additional measures—
credit quality measure and unfunded
commitments/total assets— are significant in
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a regression model for a single year. One
measure—a Tier 1 common capital ratio—
that is not significant in the OLS model are
significant in the logistic regression model.
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Table 1.3 shows the results of the logistic
regression models with a stepwise selection
process, and the statistical significance of
each measure for years 2005 through 2008.
The dependent variable for the model is
whether an institution failed before year-end
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Determining Risk Measures Weights
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Table 1.4 shows the results of the OLS
model with all ten risk measures that were
significant in predicting either the expert
judgment ranking or failure. The weights
assigned to each of ten risk measures in the
scorecard are generally, but not entirely,
based on the coefficients for OLS models for
2006 and 2007. For example, the coefficient
for the core earnings to average total asset
ratio is 0.16 in 2007, and the proposal assigns
a weight of 15 percent to core earnings to
calculate an institution’s ability to withstand
asset-related stress score. The coefficients for
the concentration measure and credit quality
measure are 0.34, and a 35-percent weight is
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assigned to each of these measures. The
coefficient for the liquid assets to short-term
funding (liquidity coverage) ratio is 0.14 in
2007 and the proposal assigns a weight of 20
percent to the liquidity coverage ratio to
calculate an institution’s ability to withstand
funding-related stress score. The coefficients
for the core deposits to total liabilities ratio
and the unfunded commitments to total
assets ratio are 0.20 and 0.12, respectively, in
2006 (and 0.10 and 0.16, respectively, in
2007), and a 40-percent weight is assigned to
both these measures to calculate an
institution’s ability to withstand fundingrelated stress score.
The weights assigned to the Tier 1 common
capital ratio, the 10-day 99-percent VaR to
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Tier 1 capital ratio, and the short-term
funding to total assets ratio are not based on
the OLS regression. For the Tier 1 common
capital ratio, the 15-percent weight assigned
in the large institution scorecard (and the 10percent weight assigned in the highly
complex institution scorecard) reflects its
importance in predicting bank failure. A 10day 99-percent VaR to Tier 1 capital ratio is
a consistent measure of market risk that is
important for highly complex institutions.
Finally, while the OLS regression does not
show a statistical significance, reliance on
short-term funding had an effect on how
highly complex institutions fared over the
past four years.
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it only explains a small percentage of the
variation in the year-end 2009 expert
judgment ranking—particularly in models for
2005 (10 percent) through 2007 (19 percent).
Table 1.6 shows the results of the OLS
regression model with a weighted average
CAMELS rating and the current small bank
financial ratios. These results show that
adding financial ratios improves the ability to
predict the year-end 2009 expert judgment
ranking; however, the improvement is not as
significant as in the model with proposed
measures. For example, in 2006, the model
with current small bank financial ratios
would have predicted slightly over 20
percent of the variation in the current expert
judgment ranking. This compares to nearly
50 percent for the model with proposed
measures.
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CAMELS rating only. These results show that
while the weighted average CAMELS rating
is statistically significant in predicting an
expert judgment ranking as of year-end 2009,
EP03MY10.024
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OLS regression results: CAMELS and the
Current Small Bank Financial Ratios
Table 1.5 shows the results of the OLS
regression model with the weighted average
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Conversion of Total Score Into Initial Base
Assessment Rate
The formula for converting an institution’s
total score into an initial assessment rate is
based on a single-variable logistic regression
model, which uses an institution’s total score
as of year-end 2006 to predict whether the
institution has failed on or before year-end
2009. The logistic model is specified as:
Fail(0,1)i = ¥7.7660 + (0.0875 × Score i,2006)
Where:
Fail is whether an institution i failed on or
before year-end 2009 or not; and 3
3 For the purpose of regression analysis, large
institutions that received significant government
support or merged with another entity with
government support are deemed to have failed.
emcdonald on DSK2BSOYB1PROD with PROPOSALS2
Appendix 2
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Score is an institution i’s total score as of
year-end 2006.
The plotted points in Chart 5.1 show the
estimated failure probabilities for the actual
total scores using the logistic model and the
results are nonlinear.
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The proposed calculation of the initial
assessment rates approximates this nonlinear
relationship for scores between 30 and 90. A
score of 30 or lower results in the minimum
initial base assessment rate and a score of 90
or higher results in the maximum initial base
assessment rate. Assuming an assessment
rate range of 40 basis points, the initial base
23555
assessment rate for an institution with a score
greater than 30 and less than 90 would be:
Analysis of the Projected Effects of the
Payment of Assessments on the Capital and
Earnings of Insured Depository Institutions
This analysis estimates the effect in 2010
of deposit insurance assessments on the
equity capital and profitability of all insured
institutions, based on the total base
assessment rates adopted in the final rule.
For purposes of determining pre-tax, preassessment income in 2010, the analysis
assumes that income in 2010 will equal
annualized income for the second half of
2009, adjusted for mergers.
While deposit insurance assessments
(whatever the rate) generally will result in
reduced institution profitability and
capitalization compared to the absence of
assessments, the reduction will not
necessarily equal the full amount of the
assessment. Two factors can mitigate the
effect of assessments on institutions’ profits
and capital. First, a portion of the assessment
may be transferred to customers in the form
of higher borrowing rates, increased service
fees and lower deposit interest rates. Since
information is not readily available on the
extent to which institutions are able to share
assessment costs with their customers,
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however, this analysis assumes that
institutions bear the full after-tax cost of the
assessment. Second, deposit insurance
assessments are a tax-deductible operating
expense; therefore, the assessment expense
can lower taxable income. This analysis
considers the effective after-tax cost of
assessments in calculating the effect on
capital.
An institution’s earnings retention and
dividend policies also influence the extent to
which assessments affect equity levels. If an
institution maintains the same dollar amount
of dividends when it pays a deposit
insurance assessment as when it does not,
equity (retained earnings) will be less by the
full amount of the after-tax cost of the
assessment. This analysis instead assumes
that an institution will maintain its dividend
rate (that is, dividends as a fraction of net
income) unchanged from the weighted
average rate reported over the four quarters
ending December 31, 2009. In the event that
the ratio of equity to assets falls below 4
percent, however, this assumption is
modified such that an institution retains the
amount necessary to achieve a 4 percent
minimum and distributes any remaining
funds according to the dividend payout rate.
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The proposed changes involve increases in
premiums for some institutions and
reductions in premiums for other
institutions. Because overall revenue remains
almost constant, the effect on aggregate
earnings and capital is small. Projections
show that imposition of the new premiums
will increase aggregate capital by 2 onehundredths of one percent (0.02 percent)
over one year. For institutions whose initial
earnings are positive, the change in
premiums will increase earnings by an
average of 0.87 percent (on an asset weighted
basis). For institutions whose initial earnings
are negative, the change in premiums will
increase losses by an average of 0.85 percent
(on an asset weighted basis).
There are two institutions for which the
imposition of the new premiums would make
a critical difference that would cause their
tier 1 capital ratio to fall below 2 percent over
a one-year horizon. A check was also made
whether the imposition of the new premiums
would make a difference in whether an
institution’s equity-to-capital ratio would fall
below 4 percent in a one-year horizon, but
there are no institutions critically affected in
this way.
Among current Risk Category I institutions,
6,030 institutions’ assessment rates would
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Appendix 3
EP03MY10.028
5
⎛
⎛ Score ⎞ ⎞
Rate = MinimumRate − 0.165289 + ⎜ 68.02027 × ⎜
⎟ ⎟
⎜
⎝ 100 ⎠ ⎟
⎝
⎠
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emcdonald on DSK2BSOYB1PROD with PROPOSALS2
decrease, 28 institutions’ assessment rates
would increase and 2 institutions’
assessment rates would remain unchanged.
All of the institutions whose rates would
increase are large institutions as currently
defined. For institutions whose assessment
rates would decrease and whose earnings
would otherwise be positive, earnings would
increase by an average of 1.2 percent (on an
asset weighted basis). For institutions whose
assessment rates would decrease and whose
earnings would otherwise be negative, losses
would decline by an average of 1.0 percent
(on an asset weighted basis). For institutions
whose assessment rates would increase and
whose earnings would otherwise be positive,
earnings would decrease by an average of 1.6
percent. For institutions whose assessment
rates would increase and whose earnings
would otherwise be negative, losses would
increase by an average of 4.8 percent.
Among current Risk Category II
institutions, 11 institutions’ assessment rates
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would decrease, 16 institutions’ assessment
rates would increase and 1,182 institutions’
assessment rates (including the rates for all
small Risk Category II institutions) would
remain unchanged. For institutions whose
assessment rates would decrease and whose
earnings would otherwise be positive,
earnings would increase by an average of
25.5 percent (on an asset weighted basis). For
institutions whose assessment rates would
decrease and whose earnings would
otherwise be negative, losses would decline
by an average of 2.1 percent (on an asset
weighted basis). For institutions whose
assessment rates would increase and whose
earnings would otherwise be positive,
earnings would decrease by an average of 2.5
percent (on an asset weighted basis). For
institutions whose assessment rates would
increase and whose earnings would
otherwise be negative, losses would increase
by an average of 4.1 percent (on an asset
weighted basis).
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Among current Risk Category III and IV
institutions, 728 out of 729 institutions’
assessment rates would increase. For
institutions whose assessment rates would
increase and whose earnings would
otherwise be positive, earnings would be
reduced by an average of 0.9 percent (on an
asset weighted basis). For institutions whose
assessment rates would increase and whose
earnings would otherwise be negative, losses
would increase by an average of 1.0 percent
(on an asset weighted basis).
By order of the Board of Directors.
Dated at Washington, DC, this 13th day of
April 2010.
Federal Deposit Insurance Corporation.
Robert E. Feldman,
Executive Secretary.
[FR Doc. 2010–10161 Filed 4–30–10; 8:45 am]
BILLING CODE 6714–01–P
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Agencies
[Federal Register Volume 75, Number 84 (Monday, May 3, 2010)]
[Proposed Rules]
[Pages 23516-23556]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2010-10161]
[[Page 23515]]
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Part III
Federal Deposit Insurance Corporation
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12 CFR Part 327
Assessments; Proposed Rule
Federal Register / Vol. 75 , No. 84 / Monday, May 3, 2010 / Proposed
Rules
[[Page 23516]]
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FEDERAL DEPOSIT INSURANCE CORPORATION
12 CFR Part 327
RIN 3064-AD57
Assessments
AGENCY: Federal Deposit Insurance Corporation.
ACTION: Notice of proposed rulemaking and request for comment.
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SUMMARY: The FDIC proposes to amend our regulations to revise the
assessment system applicable to large institutions to better
differentiate institutions by taking a more forward-looking view of
risk; to better take into account the losses that the FDIC will incur
if an institution fails; to revise the initial base assessment rates
for all insured depository institutions; and to make technical and
other changes to the rules governing the risk-based assessment system.
DATES: Comments must be received on or before 60 days after
publication.
ADDRESSES: You may submit comments, identified by RIN number, by any of
the following methods:
Agency Web Site: https://www.fdic.gov/regulations/laws/federal/propose.html. Follow instructions for submitting comments on
the Agency Web Site.
E-mail: Comments@FDIC.gov. Include the RIN number in the
subject line of the message.
Mail: Robert E. Feldman, Executive Secretary, Attention:
Comments, Federal Deposit Insurance Corporation, 550 17th Street, NW.,
Washington, DC 20429
Hand Delivery/Courier: Guard station at the rear of the
550 17th Street Building (located on F Street) on business days between
7 a.m. and 5 p.m.
Instructions: All submissions received must include the agency name
and RIN for this rulemaking. Comments will be posted only to the extent
practicable and, in some instances, the FDIC may post summaries of
categories of comments, with the comments themselves available in the
FDIC's reading room. Comments will be posted at: https://www.fdic.gov/regulations/laws/federal/propose.html, including any personal
information provided with the comment.
FOR FURTHER INFORMATION CONTACT: Lisa Ryu, Chief, Large Bank Pricing
Section, Division of Insurance and Research, (202) 898-3538; Heather L.
Etner, Financial Analyst, Banking and Regulatory Policy Section,
Division of Insurance and Research, (202) 898-6796; Robert L. Burns,
Chief, Exam Support and Analysis, Division of Supervision and Consumer
Protection (704) 333-3132 x4215; Christopher Bellotto, Counsel, Legal
Division, (202) 898-3801; Sheikha Kapoor, Senior Attorney, Legal
Division, (202) 898-3960.
SUPPLEMENTARY INFORMATION:
I. Background
The Reform Act
On February 8, 2006, the President signed the Federal Deposit
Insurance Reform Act of 2005 into law; on February 15, 2006, he signed
the Federal Deposit Insurance Reform Conforming Amendments of 2005
(collectively, the Reform Act).\1\ The Reform Act, among other things,
gives the FDIC, through its rulemaking authority, the opportunity to
better price deposit insurance for risk.\2\
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\1\ Federal Deposit Insurance Reform Act of 2005, Public Law
109-171, 120 Stat. 9; Federal Deposit Insurance Conforming
Amendments of 2005, Public Law 109-173, 119 Stat. 3601.
\2\ Section 2109(a)(5) of the Reform Act. Section 7(b) of the
Federal Deposit Insurance Act (12 U.S.C. 1817(b)).
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The Federal Deposit Insurance Act, as amended by the Reform Act,
requires that the assessment system be risk-based and allows the FDIC
to define risk broadly. It defines a risk-based system as one based on
an institution's probability of causing a loss to the Deposit Insurance
Fund (the Fund or the DIF) due to the composition and concentration of
the institution's assets and liabilities, the likely amount of any such
loss, and the revenue needs of the DIF. The Reform Act leaves in place
the statutory provision allowing the FDIC to ``establish separate risk-
based assessment systems for large and small members of the Deposit
Insurance Fund.'' \3\ But the Reform Act provides that ``[n]o insured
depository institution shall be barred from the lowest-risk category
solely because of size.'' \4\
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\3\ Section 7(b)(1)(D) of the Federal Deposit Insurance Act (12
U.S.C. 1817(b)(1)(D)).
\4\ Section 2104(a)(2) of the Reform Act amending Section
7(b)(2)(D) of the Federal Deposit Insurance Act (12 U.S.C.
1817(b)(2)(D)).
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2006 Assessments Rule
On November 30, 2006, pursuant to the requirements of the Reform
Act, the FDIC adopted by regulation (the 2006 assessments rule) an
assessment system that placed insured depository institutions into risk
categories (Risk Category I, II, III or IV), depending upon supervisory
ratings and capital levels.\5\ Within Risk Category I, the 2006
assessments rule created different assessment systems for large and
small institutions that combined supervisory ratings with other risk
measures to further differentiate risk and determine assessment
rates.\6\
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\5\ 71 FR 69282. (Nov. 30, 2006). The FDIC also adopted several
other final rules implementing the Reform Act, including a final
rule on operational changes to part 327. 71 FR 69270 (Nov. 30,
2006).
\6\ The 2006 final rule defined a large institution as an
institution (other than an insured branch of a foreign bank) with
$10 billion or more in assets as of December 31, 2006 (although an
institution with at least $5 billion in assets could request
treatment as a large institution). If, after December 31, 2006, an
institution classified as small reports assets of $10 billion or
more in its report of condition for four consecutive quarters, the
FDIC will reclassify the institution as large beginning in the
following quarter. If, after December 31, 2006, an institution
classified as large reports assets of less than $10 billion in its
report of condition for four consecutive quarters, the FDIC will
reclassify the institution as small beginning the following quarter.
12 CFR 327.8(g) and (h) (2009) and 327.9(d)(6) (2009).
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To determine assessment rates for large Risk Category I
institutions that had a long-term debt issuer rating, the 2006
assessments rule combined the institution's weighted average CAMELS
component rating and any current long-term debt issuer rating or
ratings assigned by the major U.S. rating agencies (the debt ratings
method). For large institutions that did not have a long-term debt
issuer rating, the rule set initial assessment rates using a financial
ratios method, which combined the weighted average CAMELS component
rating and certain financial ratios. (This method was also applied to
all small institutions.) The 2006 assessments rule allowed the FDIC to
adjust initial assessment rates for large Risk Category I institutions
to ensure that the relative levels of risk posed by these institutions
were consistently reflected in assessment rates; the adjustment is
known as the large bank adjustment.\7\ The FDIC provided additional
detail on the calculation of the large bank adjustment in its
Guidelines for Large Institutions and Insured Foreign Branches in Risk
Category I (the large bank guidelines).\8\
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\7\ 71 FR 69282, 69292-69294 (Nov. 30, 2006).
\8\ 72 FR 27122 (May 14, 2007).
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2009 Assessments Rule
Effective April 1, 2009, the FDIC amended its assessments rule (the
2009 assessments rule) to create the current assessment system. Under
this assessment system, the initial base assessment rate for a Risk
Category I institution is determined by either the financial ratios
method applicable to all small institutions or, for institutions with
at least one long-term debt rating, by a new large bank method.\9\ The
new
[[Page 23517]]
large bank method incorporates a financial ratios score. For a large
institution in Risk Category I with a long-term debt issuer rating, the
initial base assessment rate combines the institution's weighted
average CAMELS component rating, its average long-term debt issuer
ratings, and its financial ratios score, each equally weighted (the
large bank method). The 2009 assessments rule also increased the
maximum large bank adjustment of the initial base assessment rate from
0.50 basis points to 1 basis point.\10\
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\9\ The financial ratios method also applies to large
institutions without at least one long-term debt rating. The 2009
assessments rule added a new measure--the adjusted brokered deposit
ratio--to the financial ratios that were considered under the 2006
assessments rule. The adjusted brokered deposit ratio measures the
extent to which certain brokered deposits are used to fund rapid
asset growth. The adjusted brokered deposit ratio excludes deposits
that a Risk Category I institution receives through a deposit
placement network on a reciprocal basis, such that: (1) For any
deposit received, the institution (as agent for depositors) places
the same amount with other insured depository institutions through
the network; and (2) each member of the network sets the interest
rate to be paid on the entire amount of funds it places with other
network members (reciprocal deposits).
\10\ 74 FR 9525, 9535-9536 (Mar. 4, 2009).
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Initial base assessment rates as of April 1, 2009, are set forth in
Table 1 below.
Table 1--Initial Base Assessment Rates as of April 1, 2009
----------------------------------------------------------------------------------------------------------------
Risk category
-----------------------------------------------------------------------------------------------------------------
I *
-------------------------- II III IV
Minimum Maximum
----------------------------------------------------------------------------------------------------------------
Annual Rates (in basis points)................. 12 16 22 32 45
----------------------------------------------------------------------------------------------------------------
* Rates for institutions that do not pay the minimum or maximum rate will vary between these rates.
The 2009 assessments rule provided for adjustments to the initial
base assessment rate for institutions in all risk categories. An
institution's total base assessment rate can vary from its initial base
assessment rate as the result of an unsecured debt adjustment and a
secured liability adjustment. The unsecured debt adjustment lowers an
institution's initial base assessment rate using its ratio of long-term
unsecured debt (and, for small institutions, certain amounts of Tier 1
capital) to domestic deposits.\11\ The secured liability adjustment
increases an institution's initial base assessment rate if the
institution's ratio of secured liabilities to domestic deposits is
greater than 25 percent (the secured liability adjustment).\12\ In
addition, institutions in Risk Categories II, III and IV are subject to
an adjustment for large levels of brokered deposits (the brokered
deposit adjustment).\13\
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\11\ Unsecured debt excludes debt guaranteed by the FDIC under
its Temporary Liquidity Guarantee Program.
\12\ The initial base assessment rate cannot increase more than
50 percent as a result of the secured liability adjustment.
\13\ 74 FR 9522, 9541 (Mar. 4, 2009).
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After applying all possible adjustments, the minimum and maximum
total base assessment rates for each risk category under the 2009
assessments rule are set out in Table 2 below.
Table 2--Initial and Total Base Assessment Rates
----------------------------------------------------------------------------------------------------------------
Risk category Risk category Risk category Risk category
I II III IV
----------------------------------------------------------------------------------------------------------------
Initial base assessment rate.................... 12-16 22 32 45
Unsecured debt adjustment....................... -5-0 -5-0 -5-0 -5-0
Secured liability adjustment.................... 0-8 0-11 0-16 0-22.5
Brokered deposit adjustment..................... .............. 0-10 0-10 0-10
---------------------------------------------------------------
Total Base Assessment Rate.................. 7-24bp 17-43bp 27-58bp 40-77.5bp
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All amounts for all risk categories are in basis points annually. Total base rates that are not the minimum or
maximum rate will vary between these rates.
II. Overview of the Proposal
The FDIC proposes to revise the assessment system applicable to
large institutions to better capture risk at the time an institution
assumes the risk, to better differentiate institutions during periods
of good economic and banking conditions based on how they would fare
during periods of stress or economic downturns, and to better take into
account the losses that the FDIC may incur if an institution fails.
The FDIC has carefully considered the measurements that should be
used to assess large banks' risk. The proposal includes quantitative
measures that are readily available and statistically significant in
predicting an institution's long-term performance. The FDIC believes
that other considerations--such as stress testing, underwriting
characteristics, and risk management practices--are also important in
the risk assessment of large institutions, and they should be factored
into the risk-based assessment system. While the FDIC has already
identified some key metrics for these additional considerations, the
FDIC is seeking further input in a request for comments included in
this proposed rulemaking. The FDIC also anticipates that any final rule
issued pursuant to this notice of proposed rulemaking would be followed
by discussions with the industry on ways to improve the system adopted,
as well as coordination with other regulators. Ultimately, the FDIC
anticipates a further round of rulemaking may be needed to improve the
large bank assessment system adopted pursuant to this rulemaking.
The FDIC proposes to eliminate risk categories for large
institutions to allow the FDIC to draw finer distinctions among large
institutions based upon the risk that they pose. For all large
institutions, the FDIC proposes to eliminate use of long-term debt
issuer ratings. The FDIC has found that debt issuer ratings,
particularly for the largest institutions, do not respond quickly to an
institution's changing risk profile. The FDIC proposes to continue to
rely
[[Page 23518]]
upon CAMELS ratings and financial measures to determine assessment
rates.\14\
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\14\ The proposed rule clarifies that if the FDIC disagrees with
the ratings changes to an institution's risk assignment by its
primary federal regulator or, for state-chartered institutions, by
the state banking supervisor, the FDIC will notify the institution
of its decision and any resulting change to an institution's risk
assignment is effective as of the date of FDIC's transmittal notice.
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The FDIC proposes to combine CAMELS ratings and certain financial
measures into two scorecards--one for most large institutions and
another for large institutions that are structurally and operationally
complex or that pose unique challenges and risks in case of failure
(Highly Complex Institutions). Each scorecard would consist of a
performance component, which would measure an institution's financial
performance and its ability to withstand stress, and a loss severity
component, which would correspond to the level of potential losses in
case of failure. The data underlying these measures are readily
available. Most of the data are publicly available, but some are
gathered during the examination process. Under the proposal, the FDIC
would have the ability to adjust each component where necessary to
produce accurate relative risk rankings.
Because some of the financial measures that the FDIC is proposing
focus on long-term risk, they should mitigate the pro-cyclicality of
the current system. Over the long term, institutions that pose higher
long-term risk will pay higher assessments when they assume these
risks--usually during economic expansions--rather than facing large
assessment increases when conditions deteriorate. In so doing, they
should provide incentives for institutions to avoid excessive risk
during economic expansions.
As shown in Chart 1, the proposed measures were useful in
predicting long-term performance of large institutions over the 2005 to
2009 period. The chart contrasts the predictive values of the proposed
measures with weighted-average CAMELS component ratings and with the
existing financial ratios method. (The financial ratios method is based
on a statistical model that predicts downgrades of small banks within
12 months, but the method also applies to large Risk Category I banks.)
The proposed measures predict the FDIC's view, based on its experience
and judgment, of the proper rank ordering of risk for large
institutions do significantly better than the other two methods and,
thus, better than the current system used for most large Risk Category
I institutions, which combines weighted-average CAMELS composite
scores, the financial ratios method and long-term debt issuer ratings.
(As noted above, debt issuer ratings, particularly for the largest
institutions, do not respond quickly to an institution's changing risk
profile.) For example, in 2006, the proposed measures would have
predicted the FDIC's expert judgment-based risk ranking of large
institutions as of year-end 2009 nearly two and one-half times better
than the risk measures in the existing financial ratios method, which
applies to large banks without debt ratings.
[GRAPHIC] [TIFF OMITTED] TP03MY10.005
The FDIC also proposes to alter assessment rates applicable to all
insured depository institutions to ensure that the revenue collected
under the new assessment system would approximately equal that under
the existing assessment system and also to ensure that the lowest rate
applicable to both small and large institutions would be the same. The
FDIC would retain its flexibility to raise assessment rates up to 3
basis points above or below base assessment rates without the necessity
of further rulemaking.
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\15\ The expert judgment ranking is a risk ranking of large
institutions based on FDIC's current analyses. The ranking is
largely based on the information available through the FDIC's Large
Insured Depository Institution (LIDI) program. Large institutions
that failed or received significant government support over the
period are assigned the worst risk ranking and are included in the
statistical analysis. Appendix 1 describes the statistical analysis
in detail.
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[[Page 23519]]
III. Risk-Based Assessment System for Large Insured Depository
Institutions
A ``large institution'' would continue to be defined under the
proposal as an insured depository institution with $10 billion or
greater in total assets for at least four consecutive quarters. The
proposal would apply to all large institutions regardless of whether
they are defined as new.\16\ Insured branches of foreign banks would
not be defined as large institutions.
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\16\ In almost all cases, an institution that has had $10
billion or greater in total assets for four consecutive quarters
will have CAMELS ratings. However, in the rare event that a large
institution has not yet received CAMELS ratings, it would be given a
weighted average CAMELS rating of 2 for assessment purposes until
actual CAMELS ratings are assigned.
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A. Scorecard for Large Institutions (Other Than Highly Complex
Institutions)
The scorecard method would use risk measures to derive an
assessment rate reflective of the risk that an institution poses to the
insurance fund. Each scorecard would produce two scores: A performance
score and a loss severity score. To arrive at a performance score, the
scorecard would combine CAMELS ratings and financial measures into a
single performance score between 0 and 100. The FDIC would have limited
ability to adjust an institution's performance score based upon
quantitative or qualitative measures not adequately captured in the
scorecard.
The scorecard would also combine loss severity measures into a
single loss severity score between 0 and 100. The loss severity score
would then be converted into a loss severity measure. The FDIC would
also have limited ability to alter an institution's loss severity score
based upon quantitative or qualitative measures not adequately captured
in the scorecard. Multiplying the performance score by the loss
severity measure would produce a combined score, which would then be
converted to an initial assessment rate.
In general, a risk measure value reflecting lower risk than the
cutoff value that results in a score of 0 would also receive a score of
0, where 0 equals the lowest risk for that measure. A risk measure
value reflecting higher risk than the cutoff value that results in a
score of 100 would also receive a score of 100, where 100 equals the
highest risk for that measure. A risk measure value between the cutoff
values would be converted to a score between 0 and 100, which would be
rounded to 3 decimal points.
Table 3 shows scorecard measures and the possible range of scores.
Table 3--Scorecard for Large Institutions
------------------------------------------------------------------------
Components Scorecard measures Score
------------------------------------------------------------------------
CAMELS........................... Weighted Average CAMELS. 25-100
------------------------------------------------------------------------
Ability to Withstand Asset- Tier 1 Common Capital 0-100
Related Stress. Ratio (Tier 1 Common
Capital/Total Average
Assets less Disallowed
Intangibles).
--------------------------------------
Concentration Measure... 0-100
Higher Risk
Concentrations; or.
Growth-Adjusted
Portfolio
Concentrations..
--------------------------------------
Core Earnings/Average 0-100
Total Assets.
--------------------------------------
Credit Quality Measure.. 0-100
Criticized and
Classified Items/Tier 1
Capital and Reserves;
or.
Underperforming Assets/
Tier 1 Capital and
Reserves..
--------------------------------------
Subtotal................ 0-100
--------------------------------------
Outlier Add-ons
--------------------------------------
Criticized and 30
Classified Items/Tier 1
Capital and Reserves;
or
Underperforming Assets/
Tier 1 Capital and
Reserves.
--------------------------------------
Higher Risk 30
Concentrations.
--------------------------------------
Total ability to 0-160
withstand asset-related
stress score
------------------------------------------------------------------------
Ability to Withstand Funding- Core Deposits/Total 0-100
Related Stress. Liabilities.
--------------------------------------
Unfunded Commitments/ 0-100
Total Assets.
--------------------------------------
Liquid Assets/Short-term 0-100
Liabilities (liquidity
coverage ratio).
------------------------------------------------------------------------
Total ability to 0-100
withstand funding-
related stress score
------------------------------------------------------------------------
Total Performance Score. 0-100
------------------------------------------------------------------------
Potential Loss Severity.......... Potential Losses/Total 0-100
Domestic Deposits (loss
severity measure).
--------------------------------------
Secured Liabilities/ 0-100
Total Domestic Deposits.
------------------------------------------------------------------------
Total loss severity 0-100
score.
------------------------------------------------------------------------
[[Page 23520]]
1. Performance Score
The first component of the scorecard for large institutions would
be the performance score. The performance score for large institutions
would be the weighted average of three inputs: (1) Weighted average
CAMELS rating; (2) ability to withstand asset-related stress measures;
and (3) ability to withstand funding-related stress measures. Table 4
shows the weight given to each of these three inputs.
Table 4--Performance Score Inputs and Weights
------------------------------------------------------------------------
Weight
Performance score inputs (percent)
------------------------------------------------------------------------
CAMELS Rating............................................... 30
Ability to Withstand Asset-Related Stress................... 50
Ability to Withstand Funding-Related Stress................. 20
------------------------------------------------------------------------
a. Weighted Average CAMELS Score
To derive the weighted average CAMELS score, a weighted average of
an institution's CAMELS component ratings would first be calculated
using the weights that are applied in the current rule as shown in
Table 5 below.
Table 5--Weights for CAMELS Component Ratings
------------------------------------------------------------------------
Weight
CAMELS component (percent)
------------------------------------------------------------------------
C........................................................... 20
A........................................................... 20
M........................................................... 25
E........................................................... 10
L........................................................... 10
S........................................................... 10
------------------------------------------------------------------------
A weighted average CAMELS rating would be converted to a score that
ranges from 25 to 100. A weighted average rating of 1 would equal a
score of 25 and a weighted average of 3.5 or greater would equal a
score of 100. Weighted average CAMELS ratings between 1 and 3.5 would
be assigned a score between 25 and 100. The score would increase at an
increasing rate as the weighted average CAMELS rating increases.
Weighted average CAMELS ratings between 1 and 3.5 would be assigned
a score between 25 and 100 according to the following equation:
S = 25 + [(20/3) * (C\2\ - 1)],
Where:
S = the weighted average CAMELS score and
C = the weighted average CAMELS rating.
This equation normalizes the weighted average CAMELS score to
the same range as the other components described below so that it
can be added to these components, resulting in a performance score.
This conversion from a weighted average CAMELS rating to a score is
a non-linear conversion. Other conversions used in this proposal
would be linear. The non-linear conversion recognizes that the
difference between higher CAMELS ratings (e.g., a CAMELS 3 versus a
CAMELS 4) represents a greater difference in risk than the
difference between lower CAMELS ratings (e.g., a CAMELS 1 versus a
CAMELS 2).
b. Ability To Withstand Asset-Related Stress Component
The ability to withstand asset-related stress component would
contain measures that are most relevant to assessing a large
institution's ability to withstand such stress. These measures would be
the following:
Tier 1 common capital ratio;
Concentration measure (the higher of the higher-risk
concentrations measure or growth-adjusted portfolio concentrations
measures);
Core earnings/average total assets; and
Credit quality measure (the higher of the criticized and
classified items/Tier 1 capital and reserves or underperforming assets/
Tier 1 capital and reserves).
In general, these measures proved to be the most statistically
significant measures of an institution's ability to withstand asset-
related stress, as described in Appendix 1. Appendix B describes these
measures in detail and gives the source of the data used to determine
them.
Each risk measure within the ability to withstand asset-related
stress portion of the scorecard would be converted linearly to a score
between 0 and 100 where 100 equals the highest risk and 0 equals the
lowest risk for that measure.\17\ For each risk measure, a value
reflecting lower risk than the cutoff value that results in a score of
0 will also receive a score of 0, where 0 equals the lowest risk for
that measure. A value reflecting higher risk than the cutoff value that
results in a score of 100 will also receive a score of 100, where 100
equals the highest risk for that measure. A risk measure value between
the minimum and maximum cutoff values is converted linearly to a score
between 0 and 100. For the Concentration Measure and Credit Quality
Measures, a lower ratio implies lower risk and a higher ratio implies
higher risk. For these measures, a value between the minimum and
maximum cutoff values will be converted linearly to a score between 0
and 100, according to the following formula:
---------------------------------------------------------------------------
\17\ This process, in effect, normalizes all the ratios to the
same range of values and allows the numbers to be added together.
---------------------------------------------------------------------------
S = (V - Min)*100/(Max - Min),
where S is score (rounded to three decimal points), V is the value
of the measure, Min is the minimum cutoff value and Max is the
maximum cutoff value.
For the Tier 1 Common Capital Ratio and Core Earnings to Average
Total Assets Ratio, a lower value represents higher risk and a higher
value represents lower risk. For these measures, a value between the
minimum and maximum cutoff values is converted linearly to a score
between 0 and 100, according to the following formula:
S = (Max - V)*100/(Max - Min),
where S is score (rounded to three decimal points), V is the value
of the measure, Min is the minimum cutoff value and Max is the
maximum cutoff value.
The concentration measure score would equal the higher of the two
scores that make up the concentration measure score, as would the
credit quality score.\18\ The credit quality score would be based upon
the higher of the criticized and classified items ratio score or the
underperforming assets ratio score.\19\ Table 6 shows each of the
measures, gives the cutoff values for each measure and shows the weight
assigned to the measure to derive a score for an institution's ability
to withstand asset-related stress. Most of the minimum and maximum
cutoff values for each risk measure equal the 10th and 90th percentile
values of the particular measure among large institutions based upon
data from the period between the first quarter of 2000 and the fourth
quarter of 2009.20 21
---------------------------------------------------------------------------
\18\ The higher-risk concentration measure gauges concentrations
that are currently deemed to be high risk. The growth-adjusted
portfolio concentration measure does not solely consider high-risk
portfolios, but considers all portfolio concentrations.
\19\ The criticized and classified items ratio measures
commercial credit quality while the underperforming assets ratio is
often a better indicator for consumer portfolios.
\20\ Cutoff values are rounded to one decimal point.
\21\ The measures in which the 10th and 90th percentiles would
not be used would be the higher-risk concentration measure and the
criticized and classified asset ratio due to data availability. Data
on the higher-risk concentration measure are available consistently
since second quarter 2008, and criticized and classified assets are
only available consistently since first quarter 2007. For the
higher-risk concentration measure, the 85th percentile value is used
as a maximum cutoff value. The maximum cutoff value for the
criticized and classified asset ratio is close to but does not equal
the 90th percentile value. These alternative cutoff values are
partly based on recent experience.
[[Page 23521]]
Table 6--Cutoff Values and Weights for Ability To Withstand Asset-Related Stress Measures
----------------------------------------------------------------------------------------------------------------
Cutoff values
Scorecard measures -------------------------------- Weight
Minimum Maximum (percent)
----------------------------------------------------------------------------------------------------------------
Tier 1 Common Capital Ratio..................................... 5.8 12.9 15
Concentration Measure........................................... .............. .............. 35
Higher Risk Concentrations; or.............................. 0.0 3.2 ..............
Growth-Adjusted Portfolio Concentrations.................... 7.6 154.7 ..............
Core Earnings/Average Total Assets.............................. 0.0 2.3 15
Credit Quality Measure.......................................... .............. .............. 35
Criticized and Classified Items/Tier 1 Capital and Reserves; 6.5 100.0 ..............
or.........................................................
Underperforming Assets/Tier 1 Capital and Reserves.......... 2.3 35.1 ..............
----------------------------------------------------------------------------------------------------------------
Each score would be multiplied by a respective weight and the
resulting weighted score for each measure would be summed to arrive at
an ability to withstand asset-related stress score, which could range
from 0 to 100. The FDIC recognizes that extreme values for some
measures should have an additional effect on the final scorecard total.
For extreme values of certain measures reflecting particularly high
risk, this score could increase through an outlier add-on.
Specifically, if an institution's ratio of criticized and classified
items to Tier 1 capital and reserves exceeded 100 percent or its ratio
of underperforming assets to Tier 1 capital and reserves exceeded 50.2
percent, the ability to withstand asset-related stress component score
would be increased by 30 points. Additionally, if the higher risk
concentration measure exceeded 4.8, the ability to withstand asset-
related stress component score would be increased by 30 points. These
increases (outlier add-ons) would be determined separately and could
increase the ability to withstand asset-related stress score by up to
60 points; thus, the ability to withstand asset-related stress
component score could be as high as 160 points.\22\
---------------------------------------------------------------------------
\22\ That is, the statistical analysis shows that a significant
amount of criticized and classified items or underperforming assets,
or concentrations in high risk portfolios are the most significant
(having coefficients with the largest absolute value) measures that
help differentiate the risk profiles of large institutions and
predict an institution's long-term performance. In addition, recent
experience suggests that a small number of institutions with very
high levels of criticized and classified items or underperforming
assets, or high risk portfolio concentrations are particularly
vulnerable to unexpected asset-related stress. The value that
triggers the outlier add-on for the criticized and classified items
to Tier 1 capital and reserves was determined using FDIC's judgment.
The value that triggers the outlier add-on for the underperforming
assets to Tier 1 capital and reserves is the 95th percentile value
for the distribution of values of that measure for large
institutions from 2000 to 2009. The value that triggers the outlier
add-on for the higher risk concentration measure is the 90th
percentile value for the distribution of values of that measure for
large institutions from second quarter 2008 to fourth quarter 2009.
A lower value was chosen for this measure due to a short history of
available data.
---------------------------------------------------------------------------
Table 7 illustrates how the ability to withstand asset-related
stress score would be calculated for a hypothetical bank, Bank A.
Table 7--Ability to Withstand Asset-Related Stress Component for Bank A
----------------------------------------------------------------------------------------------------------------
Weight
Scorecard measures Value Score (percent) Weighted score
----------------------------------------------------------------------------------------------------------------
Tier 1 Common Capital Ratio..................... 7.62 74.37 15 11.15
Concentration Measure........................... .............. 78.13 35 27.35
Higher Risk Concentrations; or.............. 2.50 78.13 .............. ..............
Growth-Adjusted Portfolio Concentrations.... 45.00 25.42 .............. ..............
Core Earnings/Average Total Assets.............. 0.50 78.26 15 11.74
Credit Quality Measure.......................... .............. 100.00 35 35.00
Criticized and Classified Items/Tier 1 104.32 100.00 .............. ..............
Capital and Reserves; or...................
Underperforming Assets/Tier 1 Capital and 33.76 95.91 .............. ..............
Reserves...................................
---------------------------------------------------------------
Subtotal................................ .............. .............. .............. 85.24
----------------------------------------------------------------------------------------------------------------
Outlier Add-ons:
----------------------------------------------------------------------------------------------------------------
Criticized and Classified Items/Tier 1 104.32 .............. .............. 30.00
Capital and Reserves; or...................
----------------------------------------------------------------------------------------------------------------
Underperforming Assets/Tier 1 Capital and 33.76 30.00 .............. ..............
Reserves...................................
Higher Risk Concentrations...................... 2.50 0.00 .............. ..............
----------------------------------------------------------------------------------------------------------------
Total ability to withstand asset-related stress score................................... 115.24
----------------------------------------------------------------------------------------------------------------
Bank A's higher risk concentrations score (78.13) is higher than
its growth-adjusted portfolio concentration score (25.42). Thus, the
higher risk concentration score is multiplied by the 35 percent weight
to get a weighted score of 27.35 and the growth-adjusted portfolio
concentration score would be ignored. Similarly, Bank A's criticized
and classified items to Tier 1 capital and reserves ratio score (100)
is higher than its underperforming assets to Tier 1 capital and
reserves ratio score (95.91). Therefore, the criticized and classified
items to Tier 1 capital and reserves ratio score would be multiplied by
the 35 percent weight to get a weighted score of 35.00 and the
underperforming assets to Tier 1 capital and reserves ratio score would
be ignored. These weighted scores, along with the weighted scores for
the Tier 1 common capital ratio (11.15) and core earnings to average
total assets ratio (11.74), would be
[[Page 23522]]
added together, resulting in the subtotal of 85.24. Because Bank A's
criticized and classified items to Tier 1 capital and reserves ratio
score is greater than 100, the criticized and classified items to Tier
1 capital and reserves ratio outlier add-on would be triggered, and an
additional 30 points would be added to Bank A's score. Bank A's higher
risk concentrations measure score does not exceed 4.8; therefore, the
second outlier add-on would not be triggered. Thus, only the outlier
add-on for the criticized and classified items to Tier 1 capital and
reserves ratio would be added to the subtotal to arrive at the asset
vulnerability component score of 115.24 for Bank A.
c. Ability To Withstand Funding-Related Stress
The ability to withstand funding-related stress component would
contain three measures that are most relevant to assessing a large
institution's ability to withstand such stress--a core deposits to
total liabilities ratio, an unfunded commitments to total assets ratio,
and a liquid assets to short-term liabilities (liquidity coverage)
ratio. These ratios are significant in predicting a large institution's
long-term performance in the statistical test described in Appendix 1.
Appendix B describes these ratios in detail and gives the source of the
data used to determine them.
Each risk measure would be converted to a score between 0 and 100
where 100 equals the highest risk and 0 equals the lowest risk for that
measure. A risk measure value reflecting lower risk than the cutoff
value that results in a score of 0, will also receive a score of 0,
where 0 equals the lowest risk for that measure. A risk measure value
reflecting higher risk than the cutoff value that results in a score of
100, will also receive a score of 100, where 100 equals the highest
risk for that measure. For the Core Deposits/Liabilities measure and
the Liquidity Coverage Ratio, a lower ratio implies higher risk and a
higher ratio implies lower risk. For these measures, a value between
the minimum and maximum cutoff values will be converted linearly to a
score between 0 and 100, according to the following formula:
S = (Max - V)*100/(Max - Min)
Where S is score (rounded to three decimal points), V is the value
of the measure, Min is the minimum cutoff value and Max is the
maximum cutoff value.
For the Unfunded Commitments/Assets measure, a lower value
represents lower risk and a higher value represents higher risk. For
these measures, a value between the minimum and maximum cutoff values
is converted linearly to a score between 0 and 100, according to the
following formula:
S = (V - Min)*100/(Max - Min)
Where S is score (rounded to three decimal points), V is the value
of the measure, Min is the minimum cutoff value and Max is the
maximum cutoff value.
The ability to withstand funding-related stress component score
would be the weighted average of the three measure scores. Table 8
shows the cutoff values and weights for these measures.
Table 8--Cutoff Values and Weights for Ability To Withstand Funding-Related Stress Measures
----------------------------------------------------------------------------------------------------------------
Cutoff values
Scorecard measures -------------------------------- Weight
Minimum Maximum (percent)
----------------------------------------------------------------------------------------------------------------
Core Deposits/Total Liabilities................................. 3.2 79.1 40
Unfunded Commitments/Total Assets............................... 0.3 42.2 40
Liquid Assets/Short-term Liabilities (liquidity coverage ratio). 5.6 170.9 20
----------------------------------------------------------------------------------------------------------------
d. Calculation of Performance Score
The weighted average CAMELS score, the ability to withstand asset-
related stress score, and the ability to withstand funding-related
stress score would then be multiplied by their weights and the results
would be summed to arrive at the performance score. This score would
not be less than 0 or more than 100 under the proposal. In the example
in Table 9, Bank A's performance score would be 81.70.
Table 9--Performance Score for Bank A
------------------------------------------------------------------------
Weight Weighted
Performance score components (percent) Score score
------------------------------------------------------------------------
Weighted Average CAMELS Score....... 30 65.15 19.54
Ability to Withstand Asset-Related 50 115.24 57.62
Stress Score.......................
Ability to Withstand Funding-Related 20 22.69 4.54
Stress Score.......................
-----------------------------------
Total Performance Score......... .......... .......... 81.70
------------------------------------------------------------------------
The performance score could be adjusted, up or down, by a maximum
of 15 points, based upon significant risk factors that are not
adequately captured in the scorecard. The resulting score, however,
could not be less than 0 or more than 100. The FDIC would use a process
similar to the current large bank adjustment to determine the amount of
the adjustment to the performance score.\23\ This discretionary
adjustment is discussed in more detail below.
---------------------------------------------------------------------------
\23\ 12 CFR 327.9(d)(4) (2009).
---------------------------------------------------------------------------
2. Loss Severity Score
The loss severity score would measure the relative magnitude of
potential losses to the FDIC in the event of an institution's failure.
The loss severity score would be based on two measures that are most
relevant to assessing an institution's potential loss severity. The
loss severity measure is the ratio of possible losses to the FDIC in
the event of an institution's failure to total domestic deposits,
averaged over three quarters. A standardized set of assumptions--based
on recent failures--regarding liability runoffs and the recovery value
of asset categories are applied to calculate possible losses to the
FDIC. (Appendix D to the NPR describes the calculation of the measure
[[Page 23523]]
in detail.) A loss severity measure is used as part of the current
large bank adjustment. The second measure is the ratio of secured
liabilities to total domestic deposits. (The greater an institution's
secured liabilities relative to domestic deposits, the greater the
FDIC's potential rate of loss in the event of failure, since secured
liabilities have priority in payment over deposits at failure.) These
measures are quantitative measures that are derived from readily
available data. Appendix B defines these measures and gives the source
of the data used to calculate them.
Each risk measure would be converted to a score between 0 and 100
where 100 equals the highest risk and 0 equals the lowest risk for that
measure. A risk measure value reflecting lower risk than the minimum
cutoff value results in a score of 0, where 0 equals the lowest risk
for that measure. A risk measure value reflecting higher risk than the
maximum cutoff value results in a score of 100, where 100 equals the
highest risk for that measure. A risk measure value between the minimum
and maximum cutoff values is converted linearly to a score between 0
and 100, according to the following formula:
S = (V - Min)*100/(Max - Min),
Where S is score (rounded to three decimal points), V is the value
of the measure, Min is the minimum cutoff value and Max is the
maximum cutoff value.
The loss severity score would be the weighted average of these
scores. Table 10 shows cutoff values and weights for these measures.
The loss severity score would not be less than 0 or more than 100 under
the proposal.
Table 10--Cutoff Values and Weights for Loss Severity Score Measures
----------------------------------------------------------------------------------------------------------------
Cutoff values
Scorecard measures -------------------------------- Weight
Minimum Maximum (percent)
----------------------------------------------------------------------------------------------------------------
Potential Losses/Total Domestic Deposits (Loss Severity Measure) 0.0 30.1 50
Secured Liabilities/Total Domestic Deposits..................... 0.0 75.7 50
----------------------------------------------------------------------------------------------------------------
In the example in Table 11, Bank A's loss severity score would be
36.04.
Table 11--Loss Severity Score for Bank A
----------------------------------------------------------------------------------------------------------------
Weight
Scorecard measures Ratio Score (percent) Weighted score
----------------------------------------------------------------------------------------------------------------
Potential Losses/Total Domestic Deposits (Loss 15.20 50.50 50 25.25
severity measure)..............................
Secured Liabilities/Total Domestic Deposits..... 16.34 21.59 50 10.79
---------------------------------------------------------------
Total Loss Severity Score................... .............. .............. .............. 36.04
----------------------------------------------------------------------------------------------------------------
Similar to the performance score, the loss severity score could be
adjusted, up or down, by a maximum of 15 points, based on significant
risk factors specific to the institution that are not adequately
captured in the scorecard. The resulting score, however, could not be
less than 0 or more than 100. The FDIC would use a process similar to
the current large bank adjustment to determine the amount of the
adjustment to the loss severity score.\24\ This discretionary
adjustment is discussed in more detail below.
---------------------------------------------------------------------------
\24\ 12 CFR 327.9(d)(4) (2009).
---------------------------------------------------------------------------
3. Initial Base Assessment Rate
Under the proposal, once the performance and loss severity scores
are calculated, and potentially adjusted, these scores would be
converted to an initial base assessment rate using the following
method:
First, the loss severity score would be converted into a loss
severity measure that ranges from 0.8 (score of 5 or lower) to 1.2
(score of 85 or higher). Scores that fall at or below the minimum
cutoff of 5 would receive a loss severity measure of 0.8 and scores
that fall at or above the maximum cutoff of 85 would receive a loss
severity score of 1.2. Again, a linear interpolation would be used to
convert loss severity scores between the cutoffs into a loss severity
measure. The conversion would be made using the following formula:
Loss Severity Measure = 0.8 + [(Loss Severity Score - 5) x 0.005]
For example, if Bank A's loss severity score is 36.04, its loss
severity measure would be 0.96, calculated as follows:
0.8 + [(36.04 - 5) * 0.005] = 0.96.
Next, the performance score would be multiplied by the loss
severity measure to produce a total score (total score = performance
score * loss severity measure). Since the loss severity measure ranges
from 0.8 to 1.2, the total score could be up to 20 percent higher or
lower than the performance score. The total score would be capped at
100 under the proposal and would be rounded to two decimal places. For
example, if Bank A's performance score is 81.70 and its loss severity
measure is 0.96, its total score would be 78.43, calculated as follows:
81.70 * 0.96 = 78.43
A large institution with a total score of 30 or lower would pay the
minimum initial base assessment rate and an institution with a total
score of 90 or greater would pay the maximum initial base assessment
rate.\25\ For total scores between 30 and 90, initial base assessment
rates would rise at an increasing rate as the total score increased.
The initial base assessment rate (in basis points) would be calculated
according to the following formula (assuming that the maximum initial
base assessment rate was 40 basis points higher than the minimum rate):
\26\
---------------------------------------------------------------------------
\25\ The score of 30 and 90 equals about the 20th and about the
97th percentile values, respectively, based on scorecard results as
of first quarter 2005 through fourth quarter 2006.
\26\ The rate of increase in the initial base assessment rate is
based on a statistical analysis of failure probabilities as
described in Appendix 2.
---------------------------------------------------------------------------
[[Page 23524]]
[GRAPHIC] [TIFF OMITTED] TP03MY10.006
For example, if Bank A's total score were 78.43, and the minimum
and maximum initial base assessment rates were 10 basis points and 50
basis points, respectively, its initial base assessment rate would be
30.02 basis points, calculated as follows:
---------------------------------------------------------------------------
\27\ The initial base assessment rate would be rounded to two
decimal points.
[GRAPHIC] [TIFF OMITTED] TP03MY10.007
This calculation of an initial assessment rate is based on an
approximated statistical relationship between an institution's total
score and its estimated three-year cumulative failure probability.
Chart 2 illustrates the initial base assessment rate based on a
range of total scores and Bank A's assessment rate is indicated on the
curve.
[GRAPHIC] [TIFF OMITTED] TP03MY10.008
The initial base assessment rate could be adjusted as a result of
the unsecured debt adjustment, secured liability adjustment and
brokered deposit adjustment (discussed below).
B. Scorecard for Highly Complex Institutions
As mentioned above, those institutions that are structurally and
operationally complex or that pose unique challenges and risks in case
of failure (highly complex institutions) would have a different
scorecard under the proposal. A ``highly complex institution'' would be
defined as: (1) An insured depository institution (excluding a credit
card bank) with greater than $50 billion in total assets that is wholly
owned by a parent company with more than $500 billion in total assets,
or wholly owned by one or more intermediate parent companies that are
wholly owned by a holding company with more than $500 billion in
assets, or (2) a processing bank and trust company with greater than
$10 billion in total assets, provided that the information required to
calculate assessment rates as a highly complex institution is readily
available to the FDIC.\28\ Under the proposal, highly complex
institutions would have a
[[Page 23525]]
scorecard with measures tailored to the risks posed by these
institutions, but the methodology involved would be the same for both
scorecards.
---------------------------------------------------------------------------
\28\ A parent company would be defined as a bank holding company
under the Bank Holding Company Act of 1956 or a savings and loan
holding company under the Home Owners' Loan Act. A credit card bank
would be defined as a bank for which credit card plus securitized
receivables exceed 50 percent of assets plus securitized
receivables. A processing bank and trust company would be defined as
an institution whose last 3 years' non-lending interest income plus
fiduciary revenues plus investment banking fees exceed 50 percent of
total revenues (and last 3 years' fiduciary revenues are non-zero).
---------------------------------------------------------------------------
The scorecard for highly complex institutions has four additional
measures that do not appear in the scorecard for other large
institutions (the senior bond spread, the institution's parent
company's tangible common equity (TCE) ratio, the 10-day 99 percent
Value at Risk (VaR), and the short-term funding to total assets ratio).
These measures were designed to measure vulnerability to changes in the
market and would be incorporated into the calculation of a highly
complex institution's initial base assessment rate because of the
institution's greater involvement in market activities. Appendix B
describes these measures in detail and gives the source of the data
used to calculate the measures.
The scorecard for highly complex institutions, like the scorecard
for other large institutions, would contain a performance component and
a loss severity component. However, the performance score for highly
complex institutions would contain an additional component--the market
indicators component. Table 12 shows the scorecard measures and the
possible range of scores that would be used for these institutions.
Table 13 gives the weights associated with the four components of the
performance scorecard for highly complex institutions.
Table 12--Scorecard for Highly Complex Institutions
------------------------------------------------------------------------
Components Scorecard measures Score
------------------------------------------------------------------------
CAMELS........................... Weighted Average CAMELS. 25-100
------------------------------------------------------------------------
Market Indicator................. Senior Bond Spread...... 0-100
--------------------------------------
Outlier Add-ons
--------------------------------------
Parent Company Tangible 30
Common Equity (TCE)
Ratio.
--------------------------------------
Total Market Indicator 0-130