Agency Information Collection Activities: Proposed Information Collection; Submission for OMB Review, 70435-70438 [2012-28596]
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Federal Register / Vol. 77, No. 227 / Monday, November 26, 2012 / Notices
the Office of Engineering and
Technology at 202–418–2470 (voice),
(202) 418–1944 (fax). Such requests
should include a detailed description of
the accommodation needed. In addition,
please include your contact information.
Please allow at least five days advance
notice; last minute requests will be
accepted, but may be impossible to fill.
Federal Communications Commission.
Bulah P. Wheeler,
Associate Secretary.
[FR Doc. 2012–28491 Filed 11–23–12; 8:45 am]
BILLING CODE 6712–01–P
FEDERAL DEPOSIT INSURANCE
CORPORATION
Agency Information Collection
Activities: Submission for OMB
Review; Comment Request
Federal Deposit Insurance
Corporation (FDIC).
ACTION: Notice of information collection
to be submitted to OMB for review and
approval under the Paperwork
Reduction Act.
AGENCY:
In accordance with
requirements of the Paperwork
Reduction Act of 1995 (‘‘PRA’’), 44
U.S.C. 3501 et seq., the FDIC may not
conduct or sponsor, and the respondent
is not required to respond to, an
information collection unless it displays
a currently valid Office of Management
and Budget (OMB) control number. The
FDIC, as part of its continuing effort to
reduce paperwork and respondent
burden, invites the general public and
other Federal agencies to take this
opportunity to comment on the renewal
of an existing information collection, as
required by the PRA. On September 20,
2012 (77 FR 58378), the FDIC solicited
public comment for a 60-day period on
the renewal of the following information
collection: Mutual-to-Stock Conversion
of State Savings Banks. No comments
were received. Therefore, the FDIC
hereby gives notice of submission of its
request for renewal to OMB for review.
DATES: Comments must be submitted on
or before December 26, 2012.
ADDRESSES: Interested parties are
invited to submit written comments to
the FDIC by any of the following
methods:
• https://www.FDIC.gov/regulations/
laws/federal/notices.html.
• Email: comments@fdic.gov. Include
the name of the collection in the subject
line of the message.
• Mail: Gary A. Kuiper
(202.898.3877), Counsel, Room NYA–
5046, Federal Deposit Insurance
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SUMMARY:
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Corporation, 550 17th Street NW.,
Washington, DC 20429.
• Hand Delivery: Comments may be
hand-delivered to the guard station at
the rear of the 17th Street Building
(located on F Street), on business days
between 7:00 a.m. and 5:00 p.m.
All comments should refer to the
relevant OMB control number. A copy
of the comments may also be submitted
to the OMB desk officer for the FDIC:
Office of Information and Regulatory
Affairs, Office of Management and
Budget, New Executive Office Building,
Washington, DC 20503.
FOR FURTHER INFORMATION CONTACT: Gary
A. Kuiper, at the FDIC address above.
SUPPLEMENTARY INFORMATION:
Proposal To Renew the Following
Currently-Approved Collection of
Information
Title: Mutual-to-Stock Conversion of
State Savings Banks.
OMB Number: 3064–0117.
Affected Public: State nonmember
banks.
Estimated Number of Respondents:
15.
Estimated burden per respondent:
250.
Estimated Total Annual Burden
Hours: 3750 hours.
General Description of Collection:
State nonmember savings banks musts
file with the FDIC a notice of intent to
convert to stock form, and provide the
FDIC with copies of documents filed
with state and federal banking and/or
securities regulators in connection with
the proposed conversion.
Request for Comment
Comments are invited on: (a) Whether
the collection of information is
necessary for the proper performance of
the FDIC’s functions, including whether
the information has practical utility; (b)
the accuracy of the estimates of the
burden of the information collection,
including the validity of the
methodology and assumptions used; (c)
ways to enhance the quality, utility, and
clarity of the information to be
collected; and (d) ways to minimize the
burden of the information collection on
respondents, including through the use
of automated collection techniques or
other forms of information technology.
All comments will become a matter of
public record.
Dated at Washington, DC, this 20th day of
November 2012.
Federal Deposit Insurance Corporation.
Valerie J. Best,
Assistant Executive Secretary.
[FR Doc. 2012–28587 Filed 11–23–12; 8:45 am]
BILLING CODE 6714–01–P
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70435
FEDERAL DEPOSIT INSURANCE
CORPORATION
Agency Information Collection
Activities: Proposed Information
Collection; Submission for OMB
Review
Federal Deposit Insurance
Corporation.
ACTION: Notice of information collection
to be submitted to OMB for review and
approval under the Paperwork
Reduction Act, and request for
comment.
AGENCY:
The Federal Deposit
Insurance Corporation, as part of its
continuing effort to reduce paperwork
and respondent burden, invites the
general public and other Federal
agencies to take this opportunity to
comment on a new information
collection, as required by the Paperwork
Reduction Act of 1995.
An agency may not conduct or
sponsor, and a respondent is not
required to respond to, an information
collection unless it displays a currently
valid OMB control number. The FDIC is
soliciting comment concerning its
information collection titled, ‘‘Annual
Stress Test Reporting Template and
Documentation for Covered Banks with
Total Consolidated Assets of $50 Billion
or More under the Dodd-Frank Wall
Street Reform and Consumer Protection
Act.’’
DATES: Comments must be received by
December 26, 2012.
ADDRESSES: You may submit written
comments by any of the following
methods:
• Agency Web Site: https://www.fdic.
gov/regulations/laws/federal/propose.
html. Follow the instructions for
submitting comments on the FDIC Web
site.
• Federal eRulemaking Portal: https://
www.regulations.gov. Follow the
instructions for submitting comments.
• Email: Comments@FDIC.gov.
Include ‘‘Annual Stress Test Reporting
Template and Documentation’’ on the
subject line of the message.
• Mail: Robert E. Feldman, Executive
Secretary, Attention: Comments, FDIC,
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.
Public Inspection: All comments
received will be posted without change
to https://www.fdic.gov/regulations/laws/
federal/propose.html including any
personal information provided.
Comments may be inspected at the FDIC
SUMMARY:
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Public Information Center, 3501 North
Fairfax Drive, Room E–1002, Arlington,
VA 22226 between 9 a.m. and 4:30 p.m.
on business days.
Additionally, please send a copy of
your comments to: By mail to the U.S.
Office of Management and Budget, 725
17th Street NW., #10235, Washington,
DC 20503 or by facsimile to
202.395.6974, Attention: Federal
Banking Agency Desk Officer.
FOR FURTHER INFORMATION CONTACT: You
can request additional information from
Gary Kuiper, 202.898.3877, Legal
Division, Federal Deposit Insurance
Corporation, 550 17th Street NW.,
NYA–5046, Washington, DC 20429. In
addition, copies of the templates
referenced in this notice can be found
on the FDIC’s Web site (https://www.fdic.
gov/regulations/laws/federal/propose.
html).
SUPPLEMENTARY INFORMATION: The FDIC
is requesting comment on the following
new proposed information collection:
Annual Stress Test Reporting Template
and Documentation for Covered Banks
With Total Consolidated Assets of $50
Billion or More Under the Dodd-Frank
Wall Street Reform and Consumer
Protection Act
Section 165(i)(2) of the Dodd-Frank
Wall Street Reform and Consumer
Protection Act 1 (Dodd-Frank Act)
requires certain financial companies,
including state nonmember banks and
state savings associations, to conduct
annual stress tests 2 and requires the
primary financial regulatory agency 3 of
those financial companies to issue
regulations implementing the stress test
requirements.4 A state nonmember bank
or state savings association is a ‘‘covered
bank’’ and therefore subject to the stress
test requirements if its total
consolidated assets are more than $10
billion. Under section 165(i)(2), a
covered bank is required to submit to
the Board of Governors of the Federal
Reserve System (Board) and to its
primary financial regulatory agency a
report at such time, in such form, and
containing such information as the
primary financial regulatory agency may
require.5 On October 9, 2012, the FDIC
published in the Federal Register a final
rule implementing the section 165(i)(2)
annual stress test requirement.6 This
notice describes the reports and
information required to meet the
1 Public Law 111–203, 124 Stat. 1376, July 21,
2010.
2 12 U.S.C. 5365(i)(2)(A).
3 12 U.S.C. 5301(12).
4 12 U.S.C. 5365(i)(2)(C).
5 12 U.S.C. 5365(i)(2)(B).
6 77 FR 62417, October 15, 2012.
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reporting requirements under section
165(i)(2). These information collections
will be given confidential treatment (5
U.S.C. 552(b)(4)).
The FDIC intends to use the data
collected through these proposed
templates to assess the reasonableness
of the stress test results of covered banks
and to provide forward-looking
information to the FDIC regarding a
covered bank’s capital adequacy. The
FDIC also may use the results of the
stress tests to determine whether
additional analytical techniques and
exercises could be appropriate to
identify, measure, and monitor risks at
the covered bank. The stress test results
are expected to support ongoing
improvement in a covered bank’s stress
testing practices with respect to its
internal assessments of capital adequacy
and overall capital planning.
The Dodd-Frank Act stress testing
requirements apply to all covered banks,
but the FDIC recognizes that many
covered banks with consolidated total
assets of $50 billion or more have been
subject to stress testing requirements
under the Board’s Comprehensive
Capital Analysis and Review (CCAR).
The FDIC also recognizes that these
banks’ stress tests will be applied to
more complex portfolios and therefore
warrant a broader set of reports to
adequately capture the results of the
stress tests. These reports will
necessarily require more detail than
would be appropriate for smaller, less
complex institutions. Therefore, the
FDIC has decided to specify separate
reporting templates for covered banks
with total consolidated assets between
$10 billion and $50 billion and for
covered banks with total consolidated
assets of $50 billion or more. In cases
where a covered bank with assets less
than $50 billion is affiliated with a
banking organization with assets of $50
billion or more, the FDIC reserves the
authority to require that covered bank to
use the reporting template for larger
banks with total consolidated assets of
$50 billion or more. The FDIC may also,
on a case-by-case basis, require a
covered bank with assets of $50 billion
or more to report stress test results using
a simpler format to be specified by the
FDIC. The reporting templates for
institutions with assets of $50 billion or
more are described below.
The FDIC has worked closely with the
Board and the Office of the Comptroller
of the Currency (OCC) to make the
agencies’ respective rules implementing
annual stress testing under the DoddFrank Act consistent and comparable by
requiring similar standards for scope of
application, scenarios, data collection
and reporting forms. The FDIC has
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worked to minimize any potential
duplication of effort related to the
annual stress test requirements. The
FDIC also recognizes that many covered
banks with total consolidated assets of
$50 billion or more are required to
submit reports using CCAR reporting
form FR Y–14A.7 Therefore, the FDIC
based its reporting requirements closely
on the Board’s form FR Y–14A for
covered banks with total consolidated
assets of $50 billion or more. The FDIC
recognizes the Board modified the FR
Y–14A and, to the extent practical, the
FDIC anticipates keeping its reporting
requirements consistent with the
Board’s FR Y–14A in order to minimize
burden on covered banks.8 In order to
fully evaluate the stress test results
submissions, the FDIC may conduct
follow-up discussions with or request
responses to follow-up questions from
respondents, as needed.
Description of Reporting Templates for
Banks With $50 Billion or More in
Assets
The FDIC DFAST–14A Summary
Schedule includes data collection
worksheets necessary for the FDIC to
assess the company-run stress test
results for baseline, adverse and
severely adverse scenarios as well as
any other scenario specified in
accordance with regulations specified
by the FDIC. The DFAST–14A Summary
Schedule includes worksheets that
collect information on the following
areas:
1. Income Statement;
2. Balance Sheet;
3. Capital Statement;
4. Retail Risk;
5. Securities: Available-for-Sale/Held
to Maturity (AFS/HTM);
6. Trading;
7. Counterparty Credit Risk (CCR);
8. Operational Risk; and
9. Pre-Provision Net Revenue (PPNR).
Each covered bank reporting to the
FDIC using this form will be required to
submit to the FDIC a separate DFAST–
14A Summary Schedule for each
scenario provided to covered banks in
accordance with regulations
implementing Section 165(i)(2) as
specified by the FDIC.
Worksheets: Income Statement
This income statement worksheet
collects data for the quarter preceding
the planning horizon and for each
quarter of the planning horizon for the
stress test on projected losses and
revenues in the following categories.
1. Loan losses;
7 https://www.federalreserve.gov/reportforms.
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2. Losses due to contingent
commitments and liabilities;
3. Other Than Temporary
Impairments (OTTI) on assets held to
maturity and available for sale;
4. Trading account losses;
5. Allowance for loan and lease
losses;
6. Pre-provision net revenue; and
7. Repurchase reserve/liability for
representations and warranties.
This schedule provides information
used to assess losses that covered banks
can sustain in adverse and severely
adverse stress scenarios.
Worksheets: Balance Sheet
The balance sheet worksheet collects
data for the quarter preceding the
planning horizon and for each quarter of
the planning horizon for the stress test
on projected equity capital, as well as
on assets and liabilities in the following
categories.
1. HTM Securities;
2. AFS Securities;
3. Loans;
4. Trading Assets;
5. Intangibles;
6. Deposits; and
7. Trading Liabilities.
The FDIC intends to use this
worksheet to assess the projected
changes in assets and liabilities that a
covered bank can sustain in an adverse
and severely adverse stress scenario.
This worksheet will also be used to
assess the revenue and loss projections
identified in the income statement
worksheet.
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Worksheets: Capital
The capital worksheet collects data
for the quarter preceding the planning
horizon and for each quarter of the
planning horizon for the stress test on
the following areas.
1. Changes to Equity Capital;
2. Changes to Regulatory Capital; and
3. Capital Actions.
The FDIC intends to use this
worksheet to assess the impact on
capital of the projected losses and
projected changes in assets that the
covered bank can sustain in a stressed
scenario. In addition to reviewing the
worksheet in the context of the balance
sheet and income statement projections,
the FDIC also intends to use this
worksheet to assess the adequacy of the
capital plans and capital planning
processes for each covered bank.
credit card, automobile, student loans,
small business loans, and other
consumer. For residential real estate, the
worksheets collect data for first lien
mortgages, home equity lines of credit,
and home equity loans. For all major
retail portfolios, the worksheets contain
separate segments for domestic and
international loans for various product
types. Within each broad product-type
segment, the reporting for the portfolio
is divided into a number of subsegments that embody unique risk
characteristics. This modular producttype design of the retail worksheet
allows for a targeted data collection that
encompasses only the material
portfolios in a given product area for a
particular covered bank. A covered bank
would be required to complete only the
segments and sub-segments material for
that bank. This design is intended to
limit burden while maximizing the
supervisory information produced from
the collection.
Worksheets: Securities
Several securities worksheets collect
data related to AFS and HTM securities.
The worksheets collect data and
information such as: Projected OTTI by
asset class for each quarter of the
forecast time horizon; methodologies
and assumptions used to generate the
OTTI projections for each asset class;
projected stressed fair market value
(FMV) for each asset class as well as
qualitative information on the
methodologies and assumptions used to
generate the stressed market value; and
actual FMV including the source
(vendor or proprietary) and key
assumptions used in determining
market values (if using a proprietary
model).
Worksheets: Retail Projections
Worksheets: Trading and Counterparty
Risk
The trading and counterparty risk
worksheets collect projected losses
associated with a specified global
market risk scenario for covered banks
with large trading operations. The FDIC
provides a set of risk factors relevant to
the trading and counterparty positions
so that respondent covered banks
project trading and counterparty
components in the adverse and severely
adverse scenarios.
Completion of the trading and
counterparty risk worksheets would be
required only for those banks subject to
the market shock provided by the FDIC.
The retail projections worksheets
collect data for each quarter of the
planning horizon for the stress test on
projected balances and losses for major
retail portfolios: residential real estate,
Worksheets: Operational Risk
The operational risk worksheets
collect data on covered banks’
projections of operational losses for
each quarter of the planning horizon for
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70437
the stress test. Operational losses are
defined as losses arising from
inadequate or failed internal processes,
people, and systems or from external
events including legal losses. Some
examples of operational loss events are
losses related to improper business
practices (including class action
lawsuits), execution errors, and fraud.
Additional detail may be requested in
order for the FDIC to evaluate the
transformation of the covered banks’
historical loss experience into
operational loss projections. Additional
detail also may be requested on any
budgeting processes used to project
operational losses.
Completion of the operational risk
worksheets would be required only for
those banks subject to advanced
approaches risk-based capital rules.
Worksheets: PPNR
For the PPNR worksheets, covered
banks must provide projections for the
three major components of PPNR (net
interest income, non-interest income,
and non-interest expense) for each
quarter of the planning horizon.
Collection of these data in this format is
based on the assumption that the
revenues generated by different business
lines are affected differently by different
stress scenarios, and such a view
facilitates a more robust analysis of the
resulting projections.
Description of FDIC DFAST–14A
Counterparty Credit Risk Template
The CCR template collects, on various
worksheets, data to identify credit
valuation adjustment (CVA), exposures,
and CVA sensitivities for the covered
bank’s top counterparties along a
number of dimensions, including
current CVA, stressed CVA, net current
exposure, and gross current exposure.
Covered banks also must submit
aggregate CVA, exposures, and CVA
sensitivities by ratings categories. The
Notes to the CCR Schedule worksheet
allow covered banks to voluntarily
submit additional information to
provide clarity to the portfolio. Covered
banks are required to report results for
one scenario and two specifications to
capture Expected Exposure profiles.
Completion of the CCR template
would be required only for those
institutions subject to the market shock
provided by the FDIC.
Description of FDIC DFAST–14A Basel
III and Dodd-Frank Template
The Basel III and Dodd-Frank
template collects projections of Tier 1
Common Equity, Tier 1 Capital, RiskWeighted Assets (RWA), and Leverage
Exposures (along with granular
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components of those elements) under
the baseline scenario for each year
through 2017. Banks are required to
complete the schedule based on the
methodologies outlined in the U.S.
banking agencies NPRs: Basel III NPR,
Advanced Approaches NPR, and final
market risk capital rule (see FDIC Joint
Release dated June 12, 2012 9). Covered
banks also are required to include data
on the projected impact of any
significant actions planned in response
to Basel III and the Dodd-Frank Act (for
example, asset sales, asset wind-downs,
and data collection and modeling
enhancements). The FDIC expects to
align this template and its instructions
with the rules implementing the Basel
III framework in the U.S. when those
rules are final.
Description of FDIC DFAST–14A
Regulatory Capital Instruments
Template
The regulatory capital instruments
schedule collects historical data and
projections of covered banks’ balances
of the funded instruments that are
included in regulatory capital. The
schedule collects data by instrument
type, in addition to projections for
issuances and redemptions that
contribute to changes in balances under
the covered bank baseline scenario.
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Description of FDIC DFAST–14A
Operational Risk Template
The operational risk schedule collects
data on covered banks’ historical and
current operational losses. This
schedule is only required from covered
banks subject to the advanced
approaches risk-based capital rules. The
first worksheet gathers data on covered
banks’ operational risk capital by unitof-measure (undiversified basis) from
Q4 of the previous year to Q3 of the
reporting year. The second worksheet
gather data on the total dollar value of
a covered banks’ legal reserve balance as
of September 30.
Description of FDIC DFAST–14A
Scenario Template
To conduct the stress test required
under this rule, a covered bank may
need to project additional economic and
financial variables to estimate losses or
revenues for some or all of its portfolios.
In such a case, the covered bank is
required to complete a worksheet for
each scenario where such additional
variables are used to conduct the stress
test. Each scenario worksheet collects
the variable name (matching that
reported on the Scenario Variable
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Definitions worksheet), the actual value
of the variable during the Q3 of the
reporting year, and the projected value
of the variable for nine future quarters.
Description of FDIC DFAST–14A
Contact Information Template
The contact information template
includes a directory worksheet for
reporting points of contact for each of
the templates described above:
summary, counterparty credit risk, Basel
III and Dodd-Frank, operational risk,
regulatory capital instruments, and
scenario.
Description of Supporting
Documentation
Covered banks must submit clear
documentation of the projections
included in the worksheets to support
efficient and timely review of annual
stress test results by the FDIC. The
supporting documentation should be
submitted electronically and is not
expected to be reported in the
workbooks used for required data
reporting. This supporting
documentation must clearly describe
the methodology used to produce the
stress test projections, and must include
how the macroeconomic factors were
translated into a covered bank’s
projections, as well as technical details
of any underlying statistical methods
used. Where company-specific
assumptions are made that differ from
the broad macroeconomic assumptions
incorporated in stress scenarios
provided by the FDIC, the
documentation must also describe such
assumptions and how those
assumptions relate to reported
projections. Where historical
relationships are relied upon, the
covered banks must describe the
historical data and provide the basis for
the expectation that these relationships
would be maintained in each scenario,
particularly under adverse and severely
adverse conditions.
Comment Summary
In the Federal Register of August 30,
2012 (77 FR 52718), the FDIC published
a 60-day notice requesting public
comment on the templates and the
collection of information. The FDIC did
not receive any comments.
Burden Estimates
The FDIC estimates the burden of this
collection of information as follows:
Estimated Number of Respondents: 4.
Estimated Annual Burden per
Respondent: 1,040 hours.
Estimated Total Annual Burden:
4,160 hours.
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The FDIC recognizes the Board has
estimated 79,200 hours for bank holding
companies to prepare their systems for
submitting data for the FR Y–14.10 The
FDIC believes that these systems will
also be used to submit data for the
reporting templates described in this
notice.
Comments continue to be invited on:
(a) Whether the collection of
information is necessary for the proper
performance of the functions of the
FDIC, including whether the
information has practical utility; (b) The
accuracy of the FDIC’s estimate of the
burden of the collection of information;
(c) Ways to enhance the quality, utility,
and clarity of the information to be
collected; (d) Ways to minimize the
burden of the collection on respondents,
including through the use of automated
collection techniques or other forms of
information technology; and (e)
Estimates of capital or start-up costs and
costs of operation, maintenance, and
purchase of services to provide
information.
Dated at Washington, DC, this 20th day of
November 2012.
Federal Deposit Insurance Corporation.
Valerie J. Best,
Assistant Executive Secretary.
[FR Doc. 2012–28596 Filed 11–23–12; 8:45 am]
BILLING CODE 6714–01–P
FEDERAL DEPOSIT INSURANCE
CORPORATION
Update to Notice of Financial
Institutions for Which the Federal
Deposit Insurance Corporation Has
Been Appointed Either Receiver,
Liquidator, or Manager
Federal Deposit Insurance
Corporation.
ACTION: Update Listing of Financial
Institutions in Liquidation.
AGENCY:
Notice is hereby given that
the Federal Deposit Insurance
Corporation (Corporation) has been
appointed the sole receiver for the
following financial institutions effective
as of the Date Closed as indicated in the
listing. This list (as updated from time
to time in the Federal Register) may be
relied upon as ‘‘of record’’ notice that
the Corporation has been appointed
receiver for purposes of the statement of
policy published in the July 2, 1992
issue of the Federal Register (57 FR
29491). For further information
concerning the identification of any
institutions which have been placed in
liquidation, please visit the Corporation
SUMMARY:
10 77
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Agencies
[Federal Register Volume 77, Number 227 (Monday, November 26, 2012)]
[Notices]
[Pages 70435-70438]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2012-28596]
-----------------------------------------------------------------------
FEDERAL DEPOSIT INSURANCE CORPORATION
Agency Information Collection Activities: Proposed Information
Collection; Submission for OMB Review
AGENCY: Federal Deposit Insurance Corporation.
ACTION: Notice of information collection to be submitted to OMB for
review and approval under the Paperwork Reduction Act, and request for
comment.
-----------------------------------------------------------------------
SUMMARY: The Federal Deposit Insurance Corporation, as part of its
continuing effort to reduce paperwork and respondent burden, invites
the general public and other Federal agencies to take this opportunity
to comment on a new information collection, as required by the
Paperwork Reduction Act of 1995.
An agency may not conduct or sponsor, and a respondent is not
required to respond to, an information collection unless it displays a
currently valid OMB control number. The FDIC is soliciting comment
concerning its information collection titled, ``Annual Stress Test
Reporting Template and Documentation for Covered Banks with Total
Consolidated Assets of $50 Billion or More under the Dodd-Frank Wall
Street Reform and Consumer Protection Act.''
DATES: Comments must be received by December 26, 2012.
ADDRESSES: You may submit written comments by any of the following
methods:
Agency Web Site: https://www.fdic.gov/regulations/laws/federal/propose.html. Follow the instructions for submitting comments
on the FDIC Web site.
Federal eRulemaking Portal: https://www.regulations.gov.
Follow the instructions for submitting comments.
Email: Comments@FDIC.gov. Include ``Annual Stress Test
Reporting Template and Documentation'' on the subject line of the
message.
Mail: Robert E. Feldman, Executive Secretary, Attention:
Comments, FDIC, 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.
Public Inspection: All comments received will be posted without
change to https://www.fdic.gov/regulations/laws/federal/propose.html
including any personal information provided. Comments may be inspected
at the FDIC
[[Page 70436]]
Public Information Center, 3501 North Fairfax Drive, Room E-1002,
Arlington, VA 22226 between 9 a.m. and 4:30 p.m. on business days.
Additionally, please send a copy of your comments to: By mail to
the U.S. Office of Management and Budget, 725 17th Street NW.,
10235, Washington, DC 20503 or by facsimile to 202.395.6974,
Attention: Federal Banking Agency Desk Officer.
FOR FURTHER INFORMATION CONTACT: You can request additional information
from Gary Kuiper, 202.898.3877, Legal Division, Federal Deposit
Insurance Corporation, 550 17th Street NW., NYA-5046, Washington, DC
20429. In addition, copies of the templates referenced in this notice
can be found on the FDIC's Web site (https://www.fdic.gov/regulations/laws/federal/propose.html).
SUPPLEMENTARY INFORMATION: The FDIC is requesting comment on the
following new proposed information collection:
Annual Stress Test Reporting Template and Documentation for Covered
Banks With Total Consolidated Assets of $50 Billion or More Under the
Dodd-Frank Wall Street Reform and Consumer Protection Act
Section 165(i)(2) of the Dodd-Frank Wall Street Reform and Consumer
Protection Act \1\ (Dodd-Frank Act) requires certain financial
companies, including state nonmember banks and state savings
associations, to conduct annual stress tests \2\ and requires the
primary financial regulatory agency \3\ of those financial companies to
issue regulations implementing the stress test requirements.\4\ A state
nonmember bank or state savings association is a ``covered bank'' and
therefore subject to the stress test requirements if its total
consolidated assets are more than $10 billion. Under section 165(i)(2),
a covered bank is required to submit to the Board of Governors of the
Federal Reserve System (Board) and to its primary financial regulatory
agency a report at such time, in such form, and containing such
information as the primary financial regulatory agency may require.\5\
On October 9, 2012, the FDIC published in the Federal Register a final
rule implementing the section 165(i)(2) annual stress test
requirement.\6\ This notice describes the reports and information
required to meet the reporting requirements under section 165(i)(2).
These information collections will be given confidential treatment (5
U.S.C. 552(b)(4)).
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\1\ Public Law 111-203, 124 Stat. 1376, July 21, 2010.
\2\ 12 U.S.C. 5365(i)(2)(A).
\3\ 12 U.S.C. 5301(12).
\4\ 12 U.S.C. 5365(i)(2)(C).
\5\ 12 U.S.C. 5365(i)(2)(B).
\6\ 77 FR 62417, October 15, 2012.
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The FDIC intends to use the data collected through these proposed
templates to assess the reasonableness of the stress test results of
covered banks and to provide forward-looking information to the FDIC
regarding a covered bank's capital adequacy. The FDIC also may use the
results of the stress tests to determine whether additional analytical
techniques and exercises could be appropriate to identify, measure, and
monitor risks at the covered bank. The stress test results are expected
to support ongoing improvement in a covered bank's stress testing
practices with respect to its internal assessments of capital adequacy
and overall capital planning.
The Dodd-Frank Act stress testing requirements apply to all covered
banks, but the FDIC recognizes that many covered banks with
consolidated total assets of $50 billion or more have been subject to
stress testing requirements under the Board's Comprehensive Capital
Analysis and Review (CCAR). The FDIC also recognizes that these banks'
stress tests will be applied to more complex portfolios and therefore
warrant a broader set of reports to adequately capture the results of
the stress tests. These reports will necessarily require more detail
than would be appropriate for smaller, less complex institutions.
Therefore, the FDIC has decided to specify separate reporting templates
for covered banks with total consolidated assets between $10 billion
and $50 billion and for covered banks with total consolidated assets of
$50 billion or more. In cases where a covered bank with assets less
than $50 billion is affiliated with a banking organization with assets
of $50 billion or more, the FDIC reserves the authority to require that
covered bank to use the reporting template for larger banks with total
consolidated assets of $50 billion or more. The FDIC may also, on a
case-by-case basis, require a covered bank with assets of $50 billion
or more to report stress test results using a simpler format to be
specified by the FDIC. The reporting templates for institutions with
assets of $50 billion or more are described below.
The FDIC has worked closely with the Board and the Office of the
Comptroller of the Currency (OCC) to make the agencies' respective
rules implementing annual stress testing under the Dodd-Frank Act
consistent and comparable by requiring similar standards for scope of
application, scenarios, data collection and reporting forms. The FDIC
has worked to minimize any potential duplication of effort related to
the annual stress test requirements. The FDIC also recognizes that many
covered banks with total consolidated assets of $50 billion or more are
required to submit reports using CCAR reporting form FR Y-14A.\7\
Therefore, the FDIC based its reporting requirements closely on the
Board's form FR Y-14A for covered banks with total consolidated assets
of $50 billion or more. The FDIC recognizes the Board modified the FR
Y-14A and, to the extent practical, the FDIC anticipates keeping its
reporting requirements consistent with the Board's FR Y-14A in order to
minimize burden on covered banks.\8\ In order to fully evaluate the
stress test results submissions, the FDIC may conduct follow-up
discussions with or request responses to follow-up questions from
respondents, as needed.
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\7\ https://www.federalreserve.gov/reportforms.
\8\ 77 FR 60695, October 4, 2012.
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Description of Reporting Templates for Banks With $50 Billion or More
in Assets
The FDIC DFAST-14A Summary Schedule includes data collection
worksheets necessary for the FDIC to assess the company-run stress test
results for baseline, adverse and severely adverse scenarios as well as
any other scenario specified in accordance with regulations specified
by the FDIC. The DFAST-14A Summary Schedule includes worksheets that
collect information on the following areas:
1. Income Statement;
2. Balance Sheet;
3. Capital Statement;
4. Retail Risk;
5. Securities: Available-for-Sale/Held to Maturity (AFS/HTM);
6. Trading;
7. Counterparty Credit Risk (CCR);
8. Operational Risk; and
9. Pre-Provision Net Revenue (PPNR).
Each covered bank reporting to the FDIC using this form will be
required to submit to the FDIC a separate DFAST-14A Summary Schedule
for each scenario provided to covered banks in accordance with
regulations implementing Section 165(i)(2) as specified by the FDIC.
Worksheets: Income Statement
This income statement worksheet collects data for the quarter
preceding the planning horizon and for each quarter of the planning
horizon for the stress test on projected losses and revenues in the
following categories.
1. Loan losses;
[[Page 70437]]
2. Losses due to contingent commitments and liabilities;
3. Other Than Temporary Impairments (OTTI) on assets held to
maturity and available for sale;
4. Trading account losses;
5. Allowance for loan and lease losses;
6. Pre-provision net revenue; and
7. Repurchase reserve/liability for representations and warranties.
This schedule provides information used to assess losses that
covered banks can sustain in adverse and severely adverse stress
scenarios.
Worksheets: Balance Sheet
The balance sheet worksheet collects data for the quarter preceding
the planning horizon and for each quarter of the planning horizon for
the stress test on projected equity capital, as well as on assets and
liabilities in the following categories.
1. HTM Securities;
2. AFS Securities;
3. Loans;
4. Trading Assets;
5. Intangibles;
6. Deposits; and
7. Trading Liabilities.
The FDIC intends to use this worksheet to assess the projected
changes in assets and liabilities that a covered bank can sustain in an
adverse and severely adverse stress scenario. This worksheet will also
be used to assess the revenue and loss projections identified in the
income statement worksheet.
Worksheets: Capital
The capital worksheet collects data for the quarter preceding the
planning horizon and for each quarter of the planning horizon for the
stress test on the following areas.
1. Changes to Equity Capital;
2. Changes to Regulatory Capital; and
3. Capital Actions.
The FDIC intends to use this worksheet to assess the impact on
capital of the projected losses and projected changes in assets that
the covered bank can sustain in a stressed scenario. In addition to
reviewing the worksheet in the context of the balance sheet and income
statement projections, the FDIC also intends to use this worksheet to
assess the adequacy of the capital plans and capital planning processes
for each covered bank.
Worksheets: Retail Projections
The retail projections worksheets collect data for each quarter of
the planning horizon for the stress test on projected balances and
losses for major retail portfolios: residential real estate, credit
card, automobile, student loans, small business loans, and other
consumer. For residential real estate, the worksheets collect data for
first lien mortgages, home equity lines of credit, and home equity
loans. For all major retail portfolios, the worksheets contain separate
segments for domestic and international loans for various product
types. Within each broad product-type segment, the reporting for the
portfolio is divided into a number of sub-segments that embody unique
risk characteristics. This modular product-type design of the retail
worksheet allows for a targeted data collection that encompasses only
the material portfolios in a given product area for a particular
covered bank. A covered bank would be required to complete only the
segments and sub-segments material for that bank. This design is
intended to limit burden while maximizing the supervisory information
produced from the collection.
Worksheets: Securities
Several securities worksheets collect data related to AFS and HTM
securities. The worksheets collect data and information such as:
Projected OTTI by asset class for each quarter of the forecast time
horizon; methodologies and assumptions used to generate the OTTI
projections for each asset class; projected stressed fair market value
(FMV) for each asset class as well as qualitative information on the
methodologies and assumptions used to generate the stressed market
value; and actual FMV including the source (vendor or proprietary) and
key assumptions used in determining market values (if using a
proprietary model).
Worksheets: Trading and Counterparty Risk
The trading and counterparty risk worksheets collect projected
losses associated with a specified global market risk scenario for
covered banks with large trading operations. The FDIC provides a set of
risk factors relevant to the trading and counterparty positions so that
respondent covered banks project trading and counterparty components in
the adverse and severely adverse scenarios.
Completion of the trading and counterparty risk worksheets would be
required only for those banks subject to the market shock provided by
the FDIC.
Worksheets: Operational Risk
The operational risk worksheets collect data on covered banks'
projections of operational losses for each quarter of the planning
horizon for the stress test. Operational losses are defined as losses
arising from inadequate or failed internal processes, people, and
systems or from external events including legal losses. Some examples
of operational loss events are losses related to improper business
practices (including class action lawsuits), execution errors, and
fraud. Additional detail may be requested in order for the FDIC to
evaluate the transformation of the covered banks' historical loss
experience into operational loss projections. Additional detail also
may be requested on any budgeting processes used to project operational
losses.
Completion of the operational risk worksheets would be required
only for those banks subject to advanced approaches risk-based capital
rules.
Worksheets: PPNR
For the PPNR worksheets, covered banks must provide projections for
the three major components of PPNR (net interest income, non-interest
income, and non-interest expense) for each quarter of the planning
horizon. Collection of these data in this format is based on the
assumption that the revenues generated by different business lines are
affected differently by different stress scenarios, and such a view
facilitates a more robust analysis of the resulting projections.
Description of FDIC DFAST-14A Counterparty Credit Risk Template
The CCR template collects, on various worksheets, data to identify
credit valuation adjustment (CVA), exposures, and CVA sensitivities for
the covered bank's top counterparties along a number of dimensions,
including current CVA, stressed CVA, net current exposure, and gross
current exposure. Covered banks also must submit aggregate CVA,
exposures, and CVA sensitivities by ratings categories. The Notes to
the CCR Schedule worksheet allow covered banks to voluntarily submit
additional information to provide clarity to the portfolio. Covered
banks are required to report results for one scenario and two
specifications to capture Expected Exposure profiles.
Completion of the CCR template would be required only for those
institutions subject to the market shock provided by the FDIC.
Description of FDIC DFAST-14A Basel III and Dodd-Frank Template
The Basel III and Dodd-Frank template collects projections of Tier
1 Common Equity, Tier 1 Capital, Risk-Weighted Assets (RWA), and
Leverage Exposures (along with granular
[[Page 70438]]
components of those elements) under the baseline scenario for each year
through 2017. Banks are required to complete the schedule based on the
methodologies outlined in the U.S. banking agencies NPRs: Basel III
NPR, Advanced Approaches NPR, and final market risk capital rule (see
FDIC Joint Release dated June 12, 2012 \9\). Covered banks also are
required to include data on the projected impact of any significant
actions planned in response to Basel III and the Dodd-Frank Act (for
example, asset sales, asset wind-downs, and data collection and
modeling enhancements). The FDIC expects to align this template and its
instructions with the rules implementing the Basel III framework in the
U.S. when those rules are final.
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\9\ https://www.fdic.gov/news/news/press/2012/pr12068.html.
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Description of FDIC DFAST-14A Regulatory Capital Instruments Template
The regulatory capital instruments schedule collects historical
data and projections of covered banks' balances of the funded
instruments that are included in regulatory capital. The schedule
collects data by instrument type, in addition to projections for
issuances and redemptions that contribute to changes in balances under
the covered bank baseline scenario.
Description of FDIC DFAST-14A Operational Risk Template
The operational risk schedule collects data on covered banks'
historical and current operational losses. This schedule is only
required from covered banks subject to the advanced approaches risk-
based capital rules. The first worksheet gathers data on covered banks'
operational risk capital by unit-of-measure (undiversified basis) from
Q4 of the previous year to Q3 of the reporting year. The second
worksheet gather data on the total dollar value of a covered banks'
legal reserve balance as of September 30.
Description of FDIC DFAST-14A Scenario Template
To conduct the stress test required under this rule, a covered bank
may need to project additional economic and financial variables to
estimate losses or revenues for some or all of its portfolios. In such
a case, the covered bank is required to complete a worksheet for each
scenario where such additional variables are used to conduct the stress
test. Each scenario worksheet collects the variable name (matching that
reported on the Scenario Variable Definitions worksheet), the actual
value of the variable during the Q3 of the reporting year, and the
projected value of the variable for nine future quarters.
Description of FDIC DFAST-14A Contact Information Template
The contact information template includes a directory worksheet for
reporting points of contact for each of the templates described above:
summary, counterparty credit risk, Basel III and Dodd-Frank,
operational risk, regulatory capital instruments, and scenario.
Description of Supporting Documentation
Covered banks must submit clear documentation of the projections
included in the worksheets to support efficient and timely review of
annual stress test results by the FDIC. The supporting documentation
should be submitted electronically and is not expected to be reported
in the workbooks used for required data reporting. This supporting
documentation must clearly describe the methodology used to produce the
stress test projections, and must include how the macroeconomic factors
were translated into a covered bank's projections, as well as technical
details of any underlying statistical methods used. Where company-
specific assumptions are made that differ from the broad macroeconomic
assumptions incorporated in stress scenarios provided by the FDIC, the
documentation must also describe such assumptions and how those
assumptions relate to reported projections. Where historical
relationships are relied upon, the covered banks must describe the
historical data and provide the basis for the expectation that these
relationships would be maintained in each scenario, particularly under
adverse and severely adverse conditions.
Comment Summary
In the Federal Register of August 30, 2012 (77 FR 52718), the FDIC
published a 60-day notice requesting public comment on the templates
and the collection of information. The FDIC did not receive any
comments.
Burden Estimates
The FDIC estimates the burden of this collection of information as
follows:
Estimated Number of Respondents: 4.
Estimated Annual Burden per Respondent: 1,040 hours.
Estimated Total Annual Burden: 4,160 hours.
The FDIC recognizes the Board has estimated 79,200 hours for bank
holding companies to prepare their systems for submitting data for the
FR Y-14.\10\ The FDIC believes that these systems will also be used to
submit data for the reporting templates described in this notice.
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\10\ 77 FR 60695 (October 4, 2012).
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Comments continue to be invited on: (a) Whether the collection of
information is necessary for the proper performance of the functions of
the FDIC, including whether the information has practical utility; (b)
The accuracy of the FDIC's estimate of the burden of the collection of
information; (c) Ways to enhance the quality, utility, and clarity of
the information to be collected; (d) Ways to minimize the burden of the
collection on respondents, including through the use of automated
collection techniques or other forms of information technology; and (e)
Estimates of capital or start-up costs and costs of operation,
maintenance, and purchase of services to provide information.
Dated at Washington, DC, this 20th day of November 2012.
Federal Deposit Insurance Corporation.
Valerie J. Best,
Assistant Executive Secretary.
[FR Doc. 2012-28596 Filed 11-23-12; 8:45 am]
BILLING CODE 6714-01-P