Agency Information Collection Activities: Information Collection Renewal; Comment Request; OCC Guidelines Establishing Heightened Standards for Certain Large Insured National Banks, Insured Federal Savings Associations, and Insured Federal Branches, 31151-31153 [2017-14000]
Download as PDF
Federal Register / Vol. 82, No. 127 / Wednesday, July 5, 2017 / Notices
Issued in Washington, DC, on June 28,
2017.
Elaine L. Chao,
Secretary of Transportation.
[FR Doc. 2017–14042 Filed 7–3–17; 8:45 am]
BILLING CODE 4910–9X–P
DEPARTMENT OF THE TREASURY
Office of the Comptroller of the
Currency
Agency Information Collection
Activities: Information Collection
Renewal; Comment Request; OCC
Guidelines Establishing Heightened
Standards for Certain Large Insured
National Banks, Insured Federal
Savings Associations, and Insured
Federal Branches
Office of the Comptroller of the
Currency (OCC), Treasury.
ACTION: Notice and request for comment.
AGENCY:
The OCC, 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 continuing information
collection, as required by the Paperwork
Reduction Act of 1995 (PRA).
In accordance with the requirements
of the PRA, the OCC 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 OCC is soliciting comment
concerning its information collection
titled, ‘‘OCC Guidelines Establishing
Heightened Standards for Certain Large
Insured National Banks, Insured Federal
Savings Associations, and Insured
Federal Branches.’’
DATES: Comments must be submitted on
or before September 5, 2017.
ADDRESSES: Because paper mail in the
Washington, DC area and at the OCC is
subject to delay, commenters are
encouraged to submit comments by
email, if possible. Comments may be
sent to: Legislative and Regulatory
Activities Division, Office of the
Comptroller of the Currency, Attention:
1557–0321, 400 7th Street SW., Suite
3E–218, Washington, DC 20219. In
addition, comments may be sent by fax
to (571) 465–4326 or by electronic mail
to prainfo@occ.treas.gov. You may
personally inspect and photocopy
comments at the OCC, 400 7th Street
SW., Washington, DC 20219. For
security reasons, the OCC requires that
visitors make an appointment to inspect
comments. You may do so by calling
sradovich on DSK3GMQ082PROD with NOTICES
SUMMARY:
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17:57 Jul 03, 2017
Jkt 241001
(202) 649–6700 or, for persons who are
deaf or hard of hearing, TTY, (202) 649–
5597. Upon arrival, visitors will be
required to present valid governmentissued photo identification and submit
to security screening in order to inspect
and photocopy comments.
All comments received, including
attachments and other supporting
materials, are part of the public record
and subject to public disclosure. Do not
include any information in your
comment or supporting materials that
you consider confidential or
inappropriate for public disclosure.
FOR FURTHER INFORMATION CONTACT:
Shaquita Merritt, OCC Clearance
Officer, (202) 649–5490 or, for persons
who are deaf or hard of hearing, TTY,
(202) 649–5597, Legislative and
Regulatory Activities Division, Office of
the Comptroller of the Currency, 400 7th
Street SW., Suite 3E–218, Washington,
DC 20219.
SUPPLEMENTARY INFORMATION: Under the
PRA (44 U.S.C. 3501–3520), federal
agencies must obtain approval from
OMB for each collection of information
that they conduct or sponsor.
‘‘Collection of information’’ is defined
in 44 U.S.C. 3502(3) and 5 CFR
1320.3(c) to include agency requests or
requirements that members of the public
submit reports, keep records, or provide
information to a third party. Section
3506(c)(2)(A) of title 44 requires federal
agencies to provide a 60-day notice in
the Federal Register concerning each
proposed collection of information,
including each proposed extension of an
existing collection of information,
before submitting the collection to OMB
for approval. To comply with this
requirement, the OCC is publishing
notice of the proposed collection of
information set forth in this document.
Title: OCC Guidelines Establishing
Heightened Standards for Certain Large
Insured National Banks, Insured Federal
Savings Associations, and Insured
Federal Branches.
OMB Control No.: 1557–0321.
Description: The OCC’s guidelines
codified in 12 CFR part 30, appendix D
establish minimum standards for the
design and implementation of a risk
governance framework for insured
national banks, insured federal savings
associations, and insured federal
branches of a foreign bank (bank). The
guidelines apply to a bank with average
total consolidated assets:
(i) Equal to or greater than $50 billion;
(ii) less than $50 billion if that bank’s
parent company controls at least one
insured national bank or insured federal
savings association that has average
total consolidated assets of $50 billion
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Sfmt 4703
31151
or greater; or (iii) less than $50 billion,
if the OCC determines such bank’s
operations are highly complex or
otherwise present a heightened risk as
to warrant the application of the
guidelines (covered banks). The
guidelines also establish minimum
standards for a board of directors in
overseeing the framework’s design and
implementation. These guidelines were
finalized on September 11, 2014.1 The
OCC is now seeking to renew the
information collection associated with
these guidelines.
The standards contained in the
guidelines are enforceable under section
39 of the Federal Deposit Insurance Act
(FDIA),2 which authorizes the OCC to
prescribe operational and managerial
standards for insured national banks,
insured federal savings associations,
and insured federal branches of a
foreign bank.
The guidelines formalize the OCC’s
heightened expectations program. The
guidelines also further the goal of the
Dodd-Frank Wall Street Reform and
Consumer Protection Act of 2010 to
strengthen the financial system by
focusing management and boards of
directors on improving and
strengthening risk management
practices and governance, thereby
minimizing the probability and impact
of future financial crises.
The standards for the design and
implementation of the risk governance
framework, which contain collections of
information, are as follows:
Standards for Risk Governance
Framework
Covered banks should establish and
adhere to a formal, written risk
governance framework designed by
independent risk management. The
framework should include delegations
of authority from the board of directors
to management committees and
executive officers as well as risk limits
established for material activities. The
framework should be approved by the
board of directors or the board’s risk
committee, and it should be reviewed
and updated, at least annually, by
independent risk management.
Front Line Units
Front line units should take
responsibility and be held accountable
by the chief executive officer (CEO) and
the board of directors for appropriately
assessing and effectively managing all of
1 79
FR 51518.
U.S.C. 1831p–1. Section 39 was enacted as
part of the Federal Deposit Insurance Corporation
Improvement Act of 1991, Public Law 102–242,
section 132(a), 105 Stat. 2236, 2267–70 (Dec. 19,
1991).
2 12
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05JYN1
31152
Federal Register / Vol. 82, No. 127 / Wednesday, July 5, 2017 / Notices
sradovich on DSK3GMQ082PROD with NOTICES
the risks associated with their activities.
In fulfilling this responsibility, each
front line unit should, either alone or in
conjunction with another organizational
unit that has the purpose of assisting a
front line unit: (i) Assess, on an ongoing
basis, the material risks associated with
its activities and use such risk
assessments as the basis for fulfilling its
responsibilities and for determining if
actions need to be taken to strengthen
risk management or reduce risk given
changes in the unit’s risk profile or
other conditions; (ii) establish and
adhere to a set of written policies that
include front line unit risk limits. Such
policies should ensure risks associated
with the front line unit’s activities are
effectively identified, measured,
monitored, and controlled, consistent
with the covered bank’s risk appetite
statement, concentration risk limits, and
all policies established within the risk
governance framework; (iii) establish
and adhere to procedures and processes,
as necessary to maintain compliance
with the policies described in (ii); (iv)
adhere to all applicable policies,
procedures, and processes established
by independent risk management; (v)
develop, attract, and retain talent and
maintain staffing levels required to carry
out the unit’s role and responsibilities
effectively; (vi) establish and adhere to
talent management processes; and (vii)
establish and adhere to compensation
and performance management
programs.
Independent Risk Management
Independent risk management should
oversee the covered bank’s risk-taking
activities and assess risks and issues
independent of the front line units by:
(i) Designing a comprehensive written
risk governance framework
commensurate with the size,
complexity, and risk profile of the
covered bank; (ii) identifying and
assessing, on an ongoing basis, the
covered bank’s material aggregate risks
and using such risk assessments as the
basis for fulfilling its responsibilities
and for determining if actions need to be
taken to strengthen risk management or
reduce risk given changes in the covered
bank’s risk profile or other conditions;
(iii) establishing and adhering to
enterprise policies that include
concentration risk limits; (iv)
establishing and adhering to procedures
and processes to ensure compliance
with policies in (iii); (v) identifying and
communicating to the CEO and board of
directors or board’s risk committee
material risks and significant instances
where independent risk management’s
assessment of risk differs from that of a
front line unit, and significant instances
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17:57 Jul 03, 2017
Jkt 241001
where a front line unit is not adhering
to the risk governance framework; (vi)
identifying and communicating to the
board of directors or the board’s risk
committee material risks and significant
instances where independent risk
management’s assessment of risk differs
from the CEO, and significant instances
where the CEO is not adhering to, or
holding front line units accountable for
adhering to, the risk governance
framework; and (vii) developing,
attracting, and retaining talent and
maintaining staffing levels required to
carry out the unit’s role and
responsibilities effectively while
establishing and adhering to talent
management processes and
compensation and performance
management programs.
Internal Audit
Internal audit should ensure that the
covered bank’s risk governance
framework complies with the guidelines
and is appropriate for the size,
complexity, and risk profile of the
covered bank. It should maintain a
complete and current inventory of all of
the covered bank’s material processes,
product lines, services, and functions,
and assess the risks, including emerging
risks, associated with each, which
collectively provide a basis for the audit
plan. It should establish and adhere to
an audit plan, which is periodically
reviewed and updated, that takes into
account the covered bank’s risk profile,
emerging risks, issues, and establishes
the frequency with which activities
should be audited. The audit plan
should require internal audit to evaluate
the adequacy of and compliance with
policies, procedures, and processes
established by front line units and
independent risk management under the
risk governance framework. Significant
changes to the audit plan should be
communicated to the board’s audit
committee. Internal audit should report
in writing, conclusions and material
issues and recommendations from audit
work carried out under the audit plan to
the board’s audit committee. Reports
should identify the root cause of any
material issues and include: (i) A
determination of whether the root cause
creates an issue that has an impact on
one organizational unit or multiple
organizational units within the covered
bank; and (ii) a determination of the
effectiveness of front line units and
independent risk management in
identifying and resolving issues in a
timely manner. Internal audit should
establish and adhere to processes for
independently assessing the design and
ongoing effectiveness of the risk
governance framework on at least an
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Fmt 4703
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annual basis. The independent
assessment should include a conclusion
on the covered bank’s compliance with
the standards set forth in the guidelines.
Internal audit should identify and
communicate to the board’s audit
committee significant instances where
front line units or independent risk
management are not adhering to the risk
governance framework. Internal audit
should establish a quality assurance
program that ensures internal audit’s
policies, procedures, and processes
comply with applicable regulatory and
industry guidance, are appropriate for
the size, complexity, and risk profile of
the covered bank, are updated to reflect
changes to internal and external risk
factors, emerging risks, and
improvements in industry internal audit
practices, and are consistently followed.
Internal audit should develop, attract,
and retain talent and maintain staffing
levels required to effectively carry out
its role and responsibilities. Internal
audit should establish and adhere to
talent management processes and
compensation and performance
management programs that comply with
the guidelines.
Strategic Plan
The CEO, with input from front line
units, independent risk management,
and internal audit, should be
responsible for the development of a
written strategic plan that should cover,
at a minimum, a three-year period. The
board of directors should evaluate and
approve the plan and monitor
management’s efforts to implement the
strategic plan at least annually. The plan
should include a comprehensive
assessment of risks that impact the
covered bank, an overall mission
statement and strategic objectives, an
explanation of how the covered bank
will update the risk governance
framework to account for changes to its
risk profile projected under the strategic
plan, and be reviewed, updated, and
approved due to changes in the covered
bank’s risk profile or operating
environment that were not
contemplated when the plan was
developed.
Risk Appetite Statement
A covered bank should have a
comprehensive written statement that
articulates its risk appetite that serves as
the basis for the risk governance
framework. It should contain qualitative
components that describe a safe and
sound risk culture and how the covered
bank will assess and accept risks and
quantitative limits that include sound
stress testing processes and address
earnings, capital, and liquidity.
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Federal Register / Vol. 82, No. 127 / Wednesday, July 5, 2017 / Notices
Risk Limit Breaches
A covered bank should establish and
adhere to processes that require front
line units and independent risk
management to: (i) Identify breaches of
the risk appetite statement,
concentration risk limits, and front line
unit risk limits; (ii) distinguish breaches
based on the severity of their impact;
(iii) establish protocols for
disseminating information regarding a
breach; (iv) provide a written
description of the breach resolution; and
(v) establish accountability for reporting
and resolving breaches.
Concentration Risk Management
The risk governance framework
should include policies and supporting
processes appropriate for the covered
bank’s size, complexity, and risk profile
for effectively identifying, measuring,
monitoring, and controlling the covered
bank’s concentrations of risk.
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Risk Data Aggregation and Reporting
The risk governance framework
should include a set of policies,
supported by appropriate procedures
and processes, designed to provide risk
data aggregation and reporting
capabilities appropriate for the covered
bank’s size, complexity, and risk profile
and to support supervisory reporting
requirements. Collectively, these
policies, procedures, and processes
should provide for: (i) The design,
implementation, and maintenance of a
data architecture and information
technology infrastructure that support
the covered bank’s risk aggregation and
reporting needs during normal times
and during times of stress; (ii) the
capturing and aggregating of risk data
and reporting of material risks,
concentrations, and emerging risks in a
timely manner to the board of directors
and the OCC; and (iii) the distribution
of risk reports to all relevant parties at
a frequency that meets their needs for
decision-making purposes.
Talent and Compensation Management
A covered bank should establish and
adhere to processes for talent
development, recruitment, and
succession planning. The board of
directors or appropriate committee
should review and approve a written
talent management program. A covered
bank should also establish and adhere to
compensation and performance
management programs that comply with
any applicable statute or regulation.
Board of Directors Training and
Evaluation
The board of directors of a covered
bank should establish and adhere to a
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17:57 Jul 03, 2017
Jkt 241001
formal, ongoing training program for all
directors. The board of directors should
also conduct an annual self-assessment.
Type of Review: Regular review.
Affected Public: Businesses or other
for-profit.
Estimated Number of Respondents:
41.
Estimated Burden per Respondent:
3,776 hours.
Estimated Total Annual Burden:
154,816 hours.
Comments: Comments submitted in
response to this notice will be
summarized and included in the request
for OMB approval. All comments will
become a matter of public record.
Comments are invited on:
(a) Whether the collection of
information is necessary for the proper
performance of the functions of the
OCC, including whether the information
has practical utility;
(b) The accuracy of the OCC’s
estimate of the burden of the
information collection;
(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: June 23, 2017.
Karen Solomon,
Deputy Chief Counsel, Office of the
Comptroller of the Currency.
[FR Doc. 2017–14000 Filed 7–3–17; 8:45 am]
BILLING CODE 4810–33–P
DEPARTMENT OF THE TREASURY
Office of the Comptroller of the
Currency
Agency Information Collection
Activities: Information Collection
Renewal; Submission for OMB Review;
Assessment of Fees
Office of the Comptroller of the
Currency (OCC), Treasury.
ACTION: Notice and request for comment.
AGENCY:
The OCC, 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 continuing information
collection as required by the Paperwork
Reduction Act of 1995 (PRA).
In accordance with the requirements
of the PRA, the OCC may not conduct
SUMMARY:
PO 00000
Frm 00115
Fmt 4703
Sfmt 4703
31153
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 OCC is soliciting comment
concerning the renewal of its
information collection titled
‘‘Assessment of Fees.’’ The OCC also is
giving notice that it has sent the
collection to OMB for review.
DATES: You should submit written
comments by August 4, 2017.
ADDRESSES: Because paper mail in the
Washington, DC area and at the OCC is
subject to delay, commenters are
encouraged to submit comments by
email, if possible. Comments may be
sent to: Legislative and Regulatory
Activities Division, Office of the
Comptroller of the Currency, Attention:
1557–0223, 400 7th Street SW., Suite
3E–218, Washington, DC 20219. In
addition, comments may be sent by fax
to (571) 465–4326 or by electronic mail
to prainfo@occ.treas.gov. You may
personally inspect and photocopy
comments at the OCC, 400 7th Street
SW., Washington, DC 20219. For
security reasons, the OCC requires that
visitors make an appointment to inspect
comments. You may do so by calling
(202) 649–6700 or, for persons who are
deaf or hard of hearing, TTY, (202) 649–
5597. Upon arrival, visitors will be
required to present valid governmentissued photo identification and submit
to security screening in order to inspect
and photocopy comments.
All comments received, including
attachments and other supporting
materials, are part of the public record
and subject to public disclosure. Do not
include any information in your
comment or supporting materials that
you consider confidential or
inappropriate for public disclosure.
Additionally, please send a copy of
your comments by mail to: OCC Desk
Officer, 1557–0223, U.S. Office of
Management and Budget, 725 17th
Street NW., #10235, Washington, DC
20503 or by email to oira submission@
omb.eop.gov.
FOR FURTHER INFORMATION CONTACT:
Shaquita Merritt, OCC Clearance
Officer, (202) 649–5490 or, for persons
who are deaf or hard of hearing, TTY,
(202) 649–5597, Legislative and
Regulatory Activities Division, Office of
the Comptroller of the Currency, 400 7th
Street SW., Washington, DC 20219.
SUPPLEMENTARY INFORMATION: Under the
PRA (44 U.S.C. 3501–3520), Federal
agencies must obtain approval from the
OMB for each collection of information
that they conduct or sponsor.
‘‘Collection of information’’ is defined
E:\FR\FM\05JYN1.SGM
05JYN1
Agencies
[Federal Register Volume 82, Number 127 (Wednesday, July 5, 2017)]
[Notices]
[Pages 31151-31153]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2017-14000]
=======================================================================
-----------------------------------------------------------------------
DEPARTMENT OF THE TREASURY
Office of the Comptroller of the Currency
Agency Information Collection Activities: Information Collection
Renewal; Comment Request; OCC Guidelines Establishing Heightened
Standards for Certain Large Insured National Banks, Insured Federal
Savings Associations, and Insured Federal Branches
AGENCY: Office of the Comptroller of the Currency (OCC), Treasury.
ACTION: Notice and request for comment.
-----------------------------------------------------------------------
SUMMARY: The OCC, 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 continuing
information collection, as required by the Paperwork Reduction Act of
1995 (PRA).
In accordance with the requirements of the PRA, the OCC 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 OCC is soliciting comment concerning its information collection
titled, ``OCC Guidelines Establishing Heightened Standards for Certain
Large Insured National Banks, Insured Federal Savings Associations, and
Insured Federal Branches.''
DATES: Comments must be submitted on or before September 5, 2017.
ADDRESSES: Because paper mail in the Washington, DC area and at the OCC
is subject to delay, commenters are encouraged to submit comments by
email, if possible. Comments may be sent to: Legislative and Regulatory
Activities Division, Office of the Comptroller of the Currency,
Attention: 1557-0321, 400 7th Street SW., Suite 3E-218, Washington, DC
20219. In addition, comments may be sent by fax to (571) 465-4326 or by
electronic mail to prainfo@occ.treas.gov. You may personally inspect
and photocopy comments at the OCC, 400 7th Street SW., Washington, DC
20219. For security reasons, the OCC requires that visitors make an
appointment to inspect comments. You may do so by calling (202) 649-
6700 or, for persons who are deaf or hard of hearing, TTY, (202) 649-
5597. Upon arrival, visitors will be required to present valid
government-issued photo identification and submit to security screening
in order to inspect and photocopy comments.
All comments received, including attachments and other supporting
materials, are part of the public record and subject to public
disclosure. Do not include any information in your comment or
supporting materials that you consider confidential or inappropriate
for public disclosure.
FOR FURTHER INFORMATION CONTACT: Shaquita Merritt, OCC Clearance
Officer, (202) 649-5490 or, for persons who are deaf or hard of
hearing, TTY, (202) 649-5597, Legislative and Regulatory Activities
Division, Office of the Comptroller of the Currency, 400 7th Street
SW., Suite 3E-218, Washington, DC 20219.
SUPPLEMENTARY INFORMATION: Under the PRA (44 U.S.C. 3501-3520), federal
agencies must obtain approval from OMB for each collection of
information that they conduct or sponsor. ``Collection of information''
is defined in 44 U.S.C. 3502(3) and 5 CFR 1320.3(c) to include agency
requests or requirements that members of the public submit reports,
keep records, or provide information to a third party. Section
3506(c)(2)(A) of title 44 requires federal agencies to provide a 60-day
notice in the Federal Register concerning each proposed collection of
information, including each proposed extension of an existing
collection of information, before submitting the collection to OMB for
approval. To comply with this requirement, the OCC is publishing notice
of the proposed collection of information set forth in this document.
Title: OCC Guidelines Establishing Heightened Standards for Certain
Large Insured National Banks, Insured Federal Savings Associations, and
Insured Federal Branches.
OMB Control No.: 1557-0321.
Description: The OCC's guidelines codified in 12 CFR part 30,
appendix D establish minimum standards for the design and
implementation of a risk governance framework for insured national
banks, insured federal savings associations, and insured federal
branches of a foreign bank (bank). The guidelines apply to a bank with
average total consolidated assets:
(i) Equal to or greater than $50 billion; (ii) less than $50
billion if that bank's parent company controls at least one insured
national bank or insured federal savings association that has average
total consolidated assets of $50 billion or greater; or (iii) less than
$50 billion, if the OCC determines such bank's operations are highly
complex or otherwise present a heightened risk as to warrant the
application of the guidelines (covered banks). The guidelines also
establish minimum standards for a board of directors in overseeing the
framework's design and implementation. These guidelines were finalized
on September 11, 2014.\1\ The OCC is now seeking to renew the
information collection associated with these guidelines.
---------------------------------------------------------------------------
\1\ 79 FR 51518.
---------------------------------------------------------------------------
The standards contained in the guidelines are enforceable under
section 39 of the Federal Deposit Insurance Act (FDIA),\2\ which
authorizes the OCC to prescribe operational and managerial standards
for insured national banks, insured federal savings associations, and
insured federal branches of a foreign bank.
---------------------------------------------------------------------------
\2\ 12 U.S.C. 1831p-1. Section 39 was enacted as part of the
Federal Deposit Insurance Corporation Improvement Act of 1991,
Public Law 102-242, section 132(a), 105 Stat. 2236, 2267-70 (Dec.
19, 1991).
---------------------------------------------------------------------------
The guidelines formalize the OCC's heightened expectations program.
The guidelines also further the goal of the Dodd-Frank Wall Street
Reform and Consumer Protection Act of 2010 to strengthen the financial
system by focusing management and boards of directors on improving and
strengthening risk management practices and governance, thereby
minimizing the probability and impact of future financial crises.
The standards for the design and implementation of the risk
governance framework, which contain collections of information, are as
follows:
Standards for Risk Governance Framework
Covered banks should establish and adhere to a formal, written risk
governance framework designed by independent risk management. The
framework should include delegations of authority from the board of
directors to management committees and executive officers as well as
risk limits established for material activities. The framework should
be approved by the board of directors or the board's risk committee,
and it should be reviewed and updated, at least annually, by
independent risk management.
Front Line Units
Front line units should take responsibility and be held accountable
by the chief executive officer (CEO) and the board of directors for
appropriately assessing and effectively managing all of
[[Page 31152]]
the risks associated with their activities. In fulfilling this
responsibility, each front line unit should, either alone or in
conjunction with another organizational unit that has the purpose of
assisting a front line unit: (i) Assess, on an ongoing basis, the
material risks associated with its activities and use such risk
assessments as the basis for fulfilling its responsibilities and for
determining if actions need to be taken to strengthen risk management
or reduce risk given changes in the unit's risk profile or other
conditions; (ii) establish and adhere to a set of written policies that
include front line unit risk limits. Such policies should ensure risks
associated with the front line unit's activities are effectively
identified, measured, monitored, and controlled, consistent with the
covered bank's risk appetite statement, concentration risk limits, and
all policies established within the risk governance framework; (iii)
establish and adhere to procedures and processes, as necessary to
maintain compliance with the policies described in (ii); (iv) adhere to
all applicable policies, procedures, and processes established by
independent risk management; (v) develop, attract, and retain talent
and maintain staffing levels required to carry out the unit's role and
responsibilities effectively; (vi) establish and adhere to talent
management processes; and (vii) establish and adhere to compensation
and performance management programs.
Independent Risk Management
Independent risk management should oversee the covered bank's risk-
taking activities and assess risks and issues independent of the front
line units by: (i) Designing a comprehensive written risk governance
framework commensurate with the size, complexity, and risk profile of
the covered bank; (ii) identifying and assessing, on an ongoing basis,
the covered bank's material aggregate risks and using such risk
assessments as the basis for fulfilling its responsibilities and for
determining if actions need to be taken to strengthen risk management
or reduce risk given changes in the covered bank's risk profile or
other conditions; (iii) establishing and adhering to enterprise
policies that include concentration risk limits; (iv) establishing and
adhering to procedures and processes to ensure compliance with policies
in (iii); (v) identifying and communicating to the CEO and board of
directors or board's risk committee material risks and significant
instances where independent risk management's assessment of risk
differs from that of a front line unit, and significant instances where
a front line unit is not adhering to the risk governance framework;
(vi) identifying and communicating to the board of directors or the
board's risk committee material risks and significant instances where
independent risk management's assessment of risk differs from the CEO,
and significant instances where the CEO is not adhering to, or holding
front line units accountable for adhering to, the risk governance
framework; and (vii) developing, attracting, and retaining talent and
maintaining staffing levels required to carry out the unit's role and
responsibilities effectively while establishing and adhering to talent
management processes and compensation and performance management
programs.
Internal Audit
Internal audit should ensure that the covered bank's risk
governance framework complies with the guidelines and is appropriate
for the size, complexity, and risk profile of the covered bank. It
should maintain a complete and current inventory of all of the covered
bank's material processes, product lines, services, and functions, and
assess the risks, including emerging risks, associated with each, which
collectively provide a basis for the audit plan. It should establish
and adhere to an audit plan, which is periodically reviewed and
updated, that takes into account the covered bank's risk profile,
emerging risks, issues, and establishes the frequency with which
activities should be audited. The audit plan should require internal
audit to evaluate the adequacy of and compliance with policies,
procedures, and processes established by front line units and
independent risk management under the risk governance framework.
Significant changes to the audit plan should be communicated to the
board's audit committee. Internal audit should report in writing,
conclusions and material issues and recommendations from audit work
carried out under the audit plan to the board's audit committee.
Reports should identify the root cause of any material issues and
include: (i) A determination of whether the root cause creates an issue
that has an impact on one organizational unit or multiple
organizational units within the covered bank; and (ii) a determination
of the effectiveness of front line units and independent risk
management in identifying and resolving issues in a timely manner.
Internal audit should establish and adhere to processes for
independently assessing the design and ongoing effectiveness of the
risk governance framework on at least an annual basis. The independent
assessment should include a conclusion on the covered bank's compliance
with the standards set forth in the guidelines. Internal audit should
identify and communicate to the board's audit committee significant
instances where front line units or independent risk management are not
adhering to the risk governance framework. Internal audit should
establish a quality assurance program that ensures internal audit's
policies, procedures, and processes comply with applicable regulatory
and industry guidance, are appropriate for the size, complexity, and
risk profile of the covered bank, are updated to reflect changes to
internal and external risk factors, emerging risks, and improvements in
industry internal audit practices, and are consistently followed.
Internal audit should develop, attract, and retain talent and maintain
staffing levels required to effectively carry out its role and
responsibilities. Internal audit should establish and adhere to talent
management processes and compensation and performance management
programs that comply with the guidelines.
Strategic Plan
The CEO, with input from front line units, independent risk
management, and internal audit, should be responsible for the
development of a written strategic plan that should cover, at a
minimum, a three-year period. The board of directors should evaluate
and approve the plan and monitor management's efforts to implement the
strategic plan at least annually. The plan should include a
comprehensive assessment of risks that impact the covered bank, an
overall mission statement and strategic objectives, an explanation of
how the covered bank will update the risk governance framework to
account for changes to its risk profile projected under the strategic
plan, and be reviewed, updated, and approved due to changes in the
covered bank's risk profile or operating environment that were not
contemplated when the plan was developed.
Risk Appetite Statement
A covered bank should have a comprehensive written statement that
articulates its risk appetite that serves as the basis for the risk
governance framework. It should contain qualitative components that
describe a safe and sound risk culture and how the covered bank will
assess and accept risks and quantitative limits that include sound
stress testing processes and address earnings, capital, and liquidity.
[[Page 31153]]
Risk Limit Breaches
A covered bank should establish and adhere to processes that
require front line units and independent risk management to: (i)
Identify breaches of the risk appetite statement, concentration risk
limits, and front line unit risk limits; (ii) distinguish breaches
based on the severity of their impact; (iii) establish protocols for
disseminating information regarding a breach; (iv) provide a written
description of the breach resolution; and (v) establish accountability
for reporting and resolving breaches.
Concentration Risk Management
The risk governance framework should include policies and
supporting processes appropriate for the covered bank's size,
complexity, and risk profile for effectively identifying, measuring,
monitoring, and controlling the covered bank's concentrations of risk.
Risk Data Aggregation and Reporting
The risk governance framework should include a set of policies,
supported by appropriate procedures and processes, designed to provide
risk data aggregation and reporting capabilities appropriate for the
covered bank's size, complexity, and risk profile and to support
supervisory reporting requirements. Collectively, these policies,
procedures, and processes should provide for: (i) The design,
implementation, and maintenance of a data architecture and information
technology infrastructure that support the covered bank's risk
aggregation and reporting needs during normal times and during times of
stress; (ii) the capturing and aggregating of risk data and reporting
of material risks, concentrations, and emerging risks in a timely
manner to the board of directors and the OCC; and (iii) the
distribution of risk reports to all relevant parties at a frequency
that meets their needs for decision-making purposes.
Talent and Compensation Management
A covered bank should establish and adhere to processes for talent
development, recruitment, and succession planning. The board of
directors or appropriate committee should review and approve a written
talent management program. A covered bank should also establish and
adhere to compensation and performance management programs that comply
with any applicable statute or regulation.
Board of Directors Training and Evaluation
The board of directors of a covered bank should establish and
adhere to a formal, ongoing training program for all directors. The
board of directors should also conduct an annual self-assessment.
Type of Review: Regular review.
Affected Public: Businesses or other for-profit.
Estimated Number of Respondents: 41.
Estimated Burden per Respondent: 3,776 hours.
Estimated Total Annual Burden: 154,816 hours.
Comments: Comments submitted in response to this notice will be
summarized and included in the request for OMB approval. All comments
will become a matter of public record. Comments are invited on:
(a) Whether the collection of information is necessary for the
proper performance of the functions of the OCC, including whether the
information has practical utility;
(b) The accuracy of the OCC's estimate of the burden of the
information collection;
(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: June 23, 2017.
Karen Solomon,
Deputy Chief Counsel, Office of the Comptroller of the Currency.
[FR Doc. 2017-14000 Filed 7-3-17; 8:45 am]
BILLING CODE 4810-33-P