Policy for Setting the Normal Operating Level, 28155-28156 [2021-11056]
Download as PDF
Federal Register / Vol. 86, No. 99 / Tuesday, May 25, 2021 / Notices
The revised adopted
Submission Guidelines are available
online at: https://www.ncpc.gov/docs/
Submission_Guidelines_May2021.pdf.
FOR FURTHER INFORMATION CONTACT: Matt
Flis at (202) 482–7236 or info@ncpc.gov.
ADDRESSES:
SUPPLEMENTARY INFORMATION
Authority: 40 U.S.C. 8721(e)(2).
I. Background
On September 28, 2017, the Board
approved the following actions: 1
• Closing the Temporary Corporate
Credit Union Stabilization Fund
(Stabilization Fund) and distributing its
funds, property, and other assets and
liabilities to the Insurance Fund,
effective October 1, 2017.
• Setting the Normal Operating Level
of the Insurance Fund to 1.39 percent,
effective September 28, 2017.
• Adopting the policy for setting the
Normal Operating Level, as outlined
below.
Dated: May 19, 2021.
Anne R. Schuyler,
General Counsel.
[FR Doc. 2021–10954 Filed 5–24–21; 8:45 am]
BILLING CODE P
NATIONAL CREDIT UNION
ADMINISTRATION
[NCUA–2021–0038]
Policy for Setting the Normal
Operating Level
National Credit Union
Administration (NCUA).
ACTION: Notice; request for comment.
AGENCY:
The NCUA Board (Board) is
requesting public comments on the
policy to set the National Credit Union
Share Insurance Fund (Insurance Fund)
Normal Operating Level.
DATES: Comments must be received on
or before July 26, 2021.
ADDRESSES: You may submit comments
by any one of the following methods
(Please send comments by one method
only):
• Federal eRulemaking Portal: Follow
the instructions for submitting
comments for NCUA–2021–0038.
• Fax: (703) 518–6319. Include
‘‘[Your name]—Comments on Policy for
Setting the Normal Operating Level’’ in
the subject line.
• Mail: Address to Melane ConyersAusbrooks, Secretary of the Board,
National Credit Union Administration,
1775 Duke Street, Alexandria, Virginia
22314–3428.
• Hand Delivery/Courier: Same as
mailing address.
Public Inspection: You may view all
public comments as submitted on the
Federal eRulemaking Portal, except for
those we cannot post for technical
reasons. The NCUA will not edit or
remove any identifying or contact
information from the public comments
submitted. Due to social distancing
guidelines, the usual opportunity to
inspect paper copies of comments in the
NCUA’s law library is not currently
available. After social distancing
measures are relaxed, visitors may make
an appointment to review paper copies
by calling (703) 518–6540 or emailing
OGCMail@ncua.gov.
FOR FURTHER INFORMATION CONTACT:
Russell Moore or Amy Ward, Risk
jbell on DSKJLSW7X2PROD with NOTICES
SUMMARY:
VerDate Sep<11>2014
18:09 May 24, 2021
Jkt 253001
Analysis Officers, Office of Examination
and Insurance, National Credit Union
Administration, 1775 Duke Street,
Alexandria, Virginia 22314 or
telephone: (703) 518–6383 or (703) 819–
1770.
Policy for Setting the Normal Operating
Level
The policy for setting the Normal
Operating Level adopted in 2017
established a periodic review of the
equity needs of the Insurance Fund, the
results of which are to be communicated
to stakeholders.2 At least annually,
NCUA staff will review the level at
which the NOL is set and report this
information to the Board. Board action
is only necessary when a change in the
NOL is determined to be warranted. The
policy establishes that any change to the
Normal Operating Level of more than
one basis point 3 shall be made only
after a public announcement of the
proposed adjustment and opportunity
for comment. Further, in soliciting
comment, the NCUA will issue a public
report, including data supporting the
proposal. The policy establishes the
following objectives that the Board will
seek to satisfy when setting the Normal
Operating Level:
• Retain public confidence in federal
share insurance;
• Prevent impairment of the one
percent contributed capital deposit; 4
and
• Ensure the Insurance Fund can
withstand a moderate recession without
1 82
FR 42298 (Oct. 4, 2017).
noted, the Board adopted this policy for
setting the Normal Operating Level in 2017. The
Board emphasizes that, as a general statement of the
NCUA’s policy regarding setting the Normal
Operating Level, the Board is not required to follow
the notice-and-comment rulemaking process when
revising this policy. See 5 U.S.C. 553(b)(3)(a).
Nevertheless, the Board is voluntarily soliciting
public input on this policy.
3 One basis point is one hundredth of one percent.
4 Federally insured credit unions are required to
maintain a deposit equal to one percent of their
insured shares with the Insurance Fund. 12 U.S.C.
1782(c)(1)(A)(i).
2 As
PO 00000
Frm 00103
Fmt 4703
Sfmt 4703
28155
the equity ratio declining below 1.20
percent over a five-year period.
The current economic landscape and
pending resolution of the obligations
associated with the corporate credit
union asset management estates and
NCUA Guaranteed Notes (NGN)
Program discussed later in this
document warrant that the NCUA reevaluate the current Normal Operating
Level policy.
II. Legal Authority
Per the Federal Credit Union Act
(Act), the Normal Operating Level is an
equity ratio set by the Board and may
not be less than 1.20 percent and not
more than 1.50 percent.5 The Board has
historically set the Normal Operating
Level as the target equity ratio for the
Insurance Fund.
The Insurance Fund’s calendar yearend equity ratio is part of the statutory
basis to determine whether the NCUA
must make a distribution to insured
credit unions.6 The Act states
the Board shall effect a pro rata
distribution to insured credit unions
after each calendar year if, as of the end
of that calendar year—
• Any loans to the Fund from the
Federal Government, and any interest
on those loans, have been repaid;
• The Fund’s equity ratio exceeds the
Normal Operating Level; and
• The Fund’s available assets ratio
exceeds 1.0 percent.7
The provisions of the Act are
implemented at 12 CFR part 741 of the
NCUA’s regulations.
III. Current Normal Operating Level
Methodology and Process
To implement the current approved
policy, the NCUA developed a
calculation based on projections related
to the following factors:
• The modeled performance of the
Insurance Fund over a five-year period,
assuming a moderate recession. The
stress scenario entails estimating three
primary drivers of outcomes: insurance
losses, insured share growth, and yield
on investments. The NCUA’s analysis is
based on the Federal Reserve’s adverse
economic scenario; however, the
Federal Reserve did not publish an
adverse scenario in 2020 or 2021. This
necessitates the NCUA develop an
adverse scenario based on the Federal
Reserve’s published baseline and
severely adverse scenarios.
5 12
U.S.C. 1782(h)(4).
6 The
equity ratio is also part of the statutory basis
for determining whether a premium or Insurance
Fund restoration plan is necessary.
7 12 U.S.C. 1782(c)(3). This section is also subject
to 12 U.S.C. 1790e(e).
E:\FR\FM\25MYN1.SGM
25MYN1
28156
Federal Register / Vol. 86, No. 99 / Tuesday, May 25, 2021 / Notices
jbell on DSKJLSW7X2PROD with NOTICES
• The modeled potential decline in
value of the Insurance Fund’s claims on
the corporate asset management estates
in a moderate recession; and
• The projected equity ratio decline
through the end of the following year
without an economic downturn.
As noted, the current economic
landscape and pending events related to
the corporate asset management estates
and NGN Program warrant a reevaluation of the current Normal
Operating Level policy. The current
policy objectives include ensuring the
Insurance Fund can withstand a
moderate recession without the equity
ratio declining below 1.2 percent over a
five-year period. The economic
conditions posed by the pandemic,
including industry-wide, unprecedented
share growth resulted in an equity ratio
of 1.26 percent as of December 31, 2020.
These issues have forced the NCUA to
consider the ongoing feasibility of using
a moderate recession and a five-year
performance period as the basis for
stressing the equity needs of the
Insurance Fund.
Additionally, the asset management
estates of the five failed corporate credit
unions support the NGN program
created as part of the Corporate System
Resolution. The last of the NGNs is
scheduled to mature on June 12, 2021.
The amount of time needed after the last
NGN matures to fully liquidate all the
assets and satisfy all the liabilities of the
corporate asset management estates will
depend on market factors and ongoing
litigation. The risk associated with the
Insurance Fund’s claims on, and
obligations related to the corporate asset
management estates will decline and
end as the estates are wound down and
closed. More information regarding the
NGN program and the Corporate System
Resolution may be found on the NCUA’s
public website.8
Finally, the projected equity ratio
decline through the end of the following
year, assuming economic stability and
normal growth, was originally devised
as a backstop to ensure the Insurance
Fund could stay above 1.20 percent
under a moderate recession during the
remaining life of the NGNs. With the
upcoming maturity of the NGNs and
pending conclusion of the corporate
asset management estates, this factor
may not be necessary going forward.
IV. Request for Comment
The Board seeks comments on the
policy and approach for setting the
Normal Operating Level of the
Insurance Fund. Commenters are also
encouraged to discuss any other
relevant issues they believe the Board
should consider. In particular, the Board
is interested in comments addressing
the following questions:
• Should a moderate recession be the
basis for evaluating the Insurance Fund
performance during an economic
downturn, or should the NCUA change
the policy to consider a severe
recession?
• What data source(s) should the
NCUA use for determining the
characteristics of a potential moderate
or severe recession—the Federal Reserve
scenario, an independent source, or the
NCUA’s judgment?
• Should the NCUA continue
modeling the performance of the
Insurance Fund over a five-year period
or a longer or shorter period?
• How should the NCUA utilize the
modeled potential decline in value of
the Insurance Fund’s claims on the
corporate asset management estates
going forward until the estates are fully
resolved?
• Should the NCUA continue to
incorporate in the Normal Operating
Level analysis the projected equity ratio
decline through the end of the following
year without an economic downturn?
Should this period be longer or shorter,
or not factored into the analysis at all.
• Given forecasting uncertainties and
timing challenges, would it be
reasonable for the NCUA to change the
requirement to request public comment
only if the Normal Operating Level were
to change by a larger amount than just
one basis point?
• Should the Normal Operating Level
be re-evaluated in the midst of an
economic downturn or should it be left
unchanged until the onset of an
economic recovery?
• Should the Normal Operative Level
be re-evaluated on qualitative factors
based on the COVID–19 pandemic?
• Is there any other information that
the NCUA Board should consider when
setting the NOL?
Commenters are encouraged to
provide the specific basis for their
comments and, to the extent feasible,
documentation to support any
recommendations. The Board will
consider the comments, and if
appropriate, issue a revised policy and
publish it in the Federal Register.
Should the NCUA implement any
changes, the earliest they would take
effect is the end of 2021.
By the National Credit Union
Administration Board.
Melane Conyers-Ausbrooks,
Secretary of the Board.
[FR Doc. 2021–11056 Filed 5–24–21; 8:45 am]
8 https://www.ncua.gov/support-services.
VerDate Sep<11>2014
18:09 May 24, 2021
Jkt 253001
BILLING CODE 7535–01–P
PO 00000
Frm 00104
Fmt 4703
Sfmt 4703
NATIONAL CREDIT UNION
ADMINISTRATION
Submission for OMB Review;
Comment Request
National Credit Union
Administration (NCUA).
ACTION: Notice.
AGENCY:
The National Credit Union
Administration (NCUA) will submit the
following information collection request
to the Office of Management and Budget
(OMB) for review and clearance in
accordance with the Paperwork
Reduction Act of 1995, on or after the
date of publication of this notice.
DATES: Comments should be received on
or before June 24, 2021 to be assured of
consideration.
ADDRESSES: Written comments and
recommendations for the proposed
information collection should be sent
within 30 days of publication of this
notice to www.reginfo.gov/public/do/
PRAMain. Find this particular
information collection by selecting
‘‘Currently under 30-day Review—Open
for Public Comments’’ or by using the
search function.
FOR FURTHER INFORMATION CONTACT:
Copies of the submission may be
obtained by contacting Mackie Malaka
at (703) 548–2704, emailing
PRAComments@ncua.gov, or viewing
the entire information collection request
at www.reginfo.gov.
SUPPLEMENTARY INFORMATION:
OMB Number: 3133–0195.
Type of Review: Extension of a
currently approved collection.
Title: Minority Depository Institution
Preservation Program.
Abstract: The Dodd-Frank Wall Street
Reform and Consumer Protection Act
(Dodd-Frank Act) (Pub. L. 111–203, 124
Stat. 1376) amended Financial
Institution Reform, Recovery, and
Enforcement Act (FIRREA) § 308 to
require the NCUA, Office of the
Comptroller of Currency, and the
Federal Reserve Board to establish a
program to comply with its goals to
preserve and encourage Minority
Depository Institutions (MDIs). The
NCUA Board issued Interpretive Ruling
and Policy Statement (IRPS) 13–1
establishing a MDI preservation program
to comply with FIRREA § 308 goals. The
IRPS identifies the procedure for a
federally insured credit union to
determine and document its ability to
designate itself as a MDI, resulting in
the ability to participate in the Program.
Affected Public: Private Sector: Notfor-profit institutions.
Estimated Total Annual Burden
Hours: 38.
SUMMARY:
E:\FR\FM\25MYN1.SGM
25MYN1
Agencies
[Federal Register Volume 86, Number 99 (Tuesday, May 25, 2021)]
[Notices]
[Pages 28155-28156]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2021-11056]
=======================================================================
-----------------------------------------------------------------------
NATIONAL CREDIT UNION ADMINISTRATION
[NCUA-2021-0038]
Policy for Setting the Normal Operating Level
AGENCY: National Credit Union Administration (NCUA).
ACTION: Notice; request for comment.
-----------------------------------------------------------------------
SUMMARY: The NCUA Board (Board) is requesting public comments on the
policy to set the National Credit Union Share Insurance Fund (Insurance
Fund) Normal Operating Level.
DATES: Comments must be received on or before July 26, 2021.
ADDRESSES: You may submit comments by any one of the following methods
(Please send comments by one method only):
Federal eRulemaking Portal: Follow the instructions for
submitting comments for NCUA-2021-0038.
Fax: (703) 518-6319. Include ``[Your name]--Comments on
Policy for Setting the Normal Operating Level'' in the subject line.
Mail: Address to Melane Conyers-Ausbrooks, Secretary of
the Board, National Credit Union Administration, 1775 Duke Street,
Alexandria, Virginia 22314-3428.
Hand Delivery/Courier: Same as mailing address.
Public Inspection: You may view all public comments as submitted on
the Federal eRulemaking Portal, except for those we cannot post for
technical reasons. The NCUA will not edit or remove any identifying or
contact information from the public comments submitted. Due to social
distancing guidelines, the usual opportunity to inspect paper copies of
comments in the NCUA's law library is not currently available. After
social distancing measures are relaxed, visitors may make an
appointment to review paper copies by calling (703) 518-6540 or
emailing [email protected].
FOR FURTHER INFORMATION CONTACT: Russell Moore or Amy Ward, Risk
Analysis Officers, Office of Examination and Insurance, National Credit
Union Administration, 1775 Duke Street, Alexandria, Virginia 22314 or
telephone: (703) 518-6383 or (703) 819-1770.
SUPPLEMENTARY INFORMATION
I. Background
On September 28, 2017, the Board approved the following actions:
\1\
---------------------------------------------------------------------------
\1\ 82 FR 42298 (Oct. 4, 2017).
---------------------------------------------------------------------------
Closing the Temporary Corporate Credit Union Stabilization
Fund (Stabilization Fund) and distributing its funds, property, and
other assets and liabilities to the Insurance Fund, effective October
1, 2017.
Setting the Normal Operating Level of the Insurance Fund
to 1.39 percent, effective September 28, 2017.
Adopting the policy for setting the Normal Operating
Level, as outlined below.
Policy for Setting the Normal Operating Level
The policy for setting the Normal Operating Level adopted in 2017
established a periodic review of the equity needs of the Insurance
Fund, the results of which are to be communicated to stakeholders.\2\
At least annually, NCUA staff will review the level at which the NOL is
set and report this information to the Board. Board action is only
necessary when a change in the NOL is determined to be warranted. The
policy establishes that any change to the Normal Operating Level of
more than one basis point \3\ shall be made only after a public
announcement of the proposed adjustment and opportunity for comment.
Further, in soliciting comment, the NCUA will issue a public report,
including data supporting the proposal. The policy establishes the
following objectives that the Board will seek to satisfy when setting
the Normal Operating Level:
---------------------------------------------------------------------------
\2\ As noted, the Board adopted this policy for setting the
Normal Operating Level in 2017. The Board emphasizes that, as a
general statement of the NCUA's policy regarding setting the Normal
Operating Level, the Board is not required to follow the notice-and-
comment rulemaking process when revising this policy. See 5 U.S.C.
553(b)(3)(a). Nevertheless, the Board is voluntarily soliciting
public input on this policy.
\3\ One basis point is one hundredth of one percent.
---------------------------------------------------------------------------
Retain public confidence in federal share insurance;
Prevent impairment of the one percent contributed capital
deposit; \4\ and
---------------------------------------------------------------------------
\4\ Federally insured credit unions are required to maintain a
deposit equal to one percent of their insured shares with the
Insurance Fund. 12 U.S.C. 1782(c)(1)(A)(i).
---------------------------------------------------------------------------
Ensure the Insurance Fund can withstand a moderate
recession without the equity ratio declining below 1.20 percent over a
five-year period.
The current economic landscape and pending resolution of the
obligations associated with the corporate credit union asset management
estates and NCUA Guaranteed Notes (NGN) Program discussed later in this
document warrant that the NCUA re-evaluate the current Normal Operating
Level policy.
II. Legal Authority
Per the Federal Credit Union Act (Act), the Normal Operating Level
is an equity ratio set by the Board and may not be less than 1.20
percent and not more than 1.50 percent.\5\ The Board has historically
set the Normal Operating Level as the target equity ratio for the
Insurance Fund.
---------------------------------------------------------------------------
\5\ 12 U.S.C. 1782(h)(4).
---------------------------------------------------------------------------
The Insurance Fund's calendar year-end equity ratio is part of the
statutory basis to determine whether the NCUA must make a distribution
to insured credit unions.\6\ The Act states
\6\ The equity ratio is also part of the statutory basis for
determining whether a premium or Insurance Fund restoration plan is
necessary.
---------------------------------------------------------------------------
the Board shall effect a pro rata distribution to insured credit unions
after each calendar year if, as of the end of that calendar year--
Any loans to the Fund from the Federal Government, and any
interest on those loans, have been repaid;
The Fund's equity ratio exceeds the Normal Operating
Level; and
The Fund's available assets ratio exceeds 1.0 percent.\7\
\7\ 12 U.S.C. 1782(c)(3). This section is also subject to 12
U.S.C. 1790e(e).
---------------------------------------------------------------------------
The provisions of the Act are implemented at 12 CFR part 741 of the
NCUA's regulations.
III. Current Normal Operating Level Methodology and Process
To implement the current approved policy, the NCUA developed a
calculation based on projections related to the following factors:
The modeled performance of the Insurance Fund over a five-
year period, assuming a moderate recession. The stress scenario entails
estimating three primary drivers of outcomes: insurance losses, insured
share growth, and yield on investments. The NCUA's analysis is based on
the Federal Reserve's adverse economic scenario; however, the Federal
Reserve did not publish an adverse scenario in 2020 or 2021. This
necessitates the NCUA develop an adverse scenario based on the Federal
Reserve's published baseline and severely adverse scenarios.
[[Page 28156]]
The modeled potential decline in value of the Insurance
Fund's claims on the corporate asset management estates in a moderate
recession; and
The projected equity ratio decline through the end of the
following year without an economic downturn.
As noted, the current economic landscape and pending events related
to the corporate asset management estates and NGN Program warrant a re-
evaluation of the current Normal Operating Level policy. The current
policy objectives include ensuring the Insurance Fund can withstand a
moderate recession without the equity ratio declining below 1.2 percent
over a five-year period. The economic conditions posed by the pandemic,
including industry-wide, unprecedented share growth resulted in an
equity ratio of 1.26 percent as of December 31, 2020. These issues have
forced the NCUA to consider the ongoing feasibility of using a moderate
recession and a five-year performance period as the basis for stressing
the equity needs of the Insurance Fund.
Additionally, the asset management estates of the five failed
corporate credit unions support the NGN program created as part of the
Corporate System Resolution. The last of the NGNs is scheduled to
mature on June 12, 2021. The amount of time needed after the last NGN
matures to fully liquidate all the assets and satisfy all the
liabilities of the corporate asset management estates will depend on
market factors and ongoing litigation. The risk associated with the
Insurance Fund's claims on, and obligations related to the corporate
asset management estates will decline and end as the estates are wound
down and closed. More information regarding the NGN program and the
Corporate System Resolution may be found on the NCUA's public
website.\8\
---------------------------------------------------------------------------
\8\ https://www.ncua.gov/support-services.
---------------------------------------------------------------------------
Finally, the projected equity ratio decline through the end of the
following year, assuming economic stability and normal growth, was
originally devised as a backstop to ensure the Insurance Fund could
stay above 1.20 percent under a moderate recession during the remaining
life of the NGNs. With the upcoming maturity of the NGNs and pending
conclusion of the corporate asset management estates, this factor may
not be necessary going forward.
IV. Request for Comment
The Board seeks comments on the policy and approach for setting the
Normal Operating Level of the Insurance Fund. Commenters are also
encouraged to discuss any other relevant issues they believe the Board
should consider. In particular, the Board is interested in comments
addressing the following questions:
Should a moderate recession be the basis for evaluating
the Insurance Fund performance during an economic downturn, or should
the NCUA change the policy to consider a severe recession?
What data source(s) should the NCUA use for determining
the characteristics of a potential moderate or severe recession--the
Federal Reserve scenario, an independent source, or the NCUA's
judgment?
Should the NCUA continue modeling the performance of the
Insurance Fund over a five-year period or a longer or shorter period?
How should the NCUA utilize the modeled potential decline
in value of the Insurance Fund's claims on the corporate asset
management estates going forward until the estates are fully resolved?
Should the NCUA continue to incorporate in the Normal
Operating Level analysis the projected equity ratio decline through the
end of the following year without an economic downturn? Should this
period be longer or shorter, or not factored into the analysis at all.
Given forecasting uncertainties and timing challenges,
would it be reasonable for the NCUA to change the requirement to
request public comment only if the Normal Operating Level were to
change by a larger amount than just one basis point?
Should the Normal Operating Level be re-evaluated in the
midst of an economic downturn or should it be left unchanged until the
onset of an economic recovery?
Should the Normal Operative Level be re-evaluated on
qualitative factors based on the COVID-19 pandemic?
Is there any other information that the NCUA Board should
consider when setting the NOL?
Commenters are encouraged to provide the specific basis for their
comments and, to the extent feasible, documentation to support any
recommendations. The Board will consider the comments, and if
appropriate, issue a revised policy and publish it in the Federal
Register. Should the NCUA implement any changes, the earliest they
would take effect is the end of 2021.
By the National Credit Union Administration Board.
Melane Conyers-Ausbrooks,
Secretary of the Board.
[FR Doc. 2021-11056 Filed 5-24-21; 8:45 am]
BILLING CODE 7535-01-P