Request for Comment Regarding Overhead Transfer Rate Methodology, 88131-88135 [2023-28000]
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Federal Register / Vol. 88, No. 243 / Wednesday, December 20, 2023 / Notices
5.6 Security Management Records
Revision (DAA–GRS–2023–0007).
Laurence Brewer,
Chief Records Officer for the U.S.
Government.
[FR Doc. 2023–27958 Filed 12–19–23; 8:45 am]
BILLING CODE 7515–01–P
NATIONAL CREDIT UNION
ADMINISTRATION
[NCUA–2023–0142]
Request for Comment Regarding
Overhead Transfer Rate Methodology
National Credit Union
Administration (NCUA).
ACTION: Request for comment.
AGENCY:
The NCUA Board (Board) is
inviting comment on the methodology
used to determine the Overhead
Transfer Rate (OTR). The Board applies
the OTR to the NCUA’s operating
budget to determine the portion of the
budget that will be funded from the
National Credit Union Share Insurance
Fund (Share Insurance Fund). In
response to industry recommendations,
the Board has provided more detail,
clarity, and transparency so the public
can better understand the OTR
methodology.
SUMMARY:
Comments must be received on
or before February 20, 2024.
ADDRESSES: You may submit written
comments, identified by Docket ID
NCUA–2023–0142, by any of the
following methods (Please send
comments by one method only):
Federal eRulemaking Portal: https://
www.regulations.gov. Follow the
instructions for submitting comments
for Docket ID NCUA–2023–0142.
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
submitted public comments on the
Federal eRulemaking Portal at https://
www.regulations.gov 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. If you
cannot access public comments on the
internet, you may contact the NCUA for
alternative access by calling (703) 518–
6360 or emailing EIMail@ncua.gov.
FOR FURTHER INFORMATION CONTACT:
Amy Ward or Sarah Savoie, Risk
Officers, Office of Examination and
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Insurance at (703) 819–1770 or (571)
451–7204; or by mail at National Credit
Union Administration, 1775 Duke
Street, Alexandria, VA 22314–3428.
SUPPLEMENTARY INFORMATION: The Board
is inviting comment on the NCUA’s
methodology to determine the OTR. The
Board applies the OTR to the NCUA’s
operating budget to determine the
portion of the NCUA’s budget that will
be funded from the Share Insurance
Fund. In response to industry
recommendations, this request for
comment provides added detail, clarity,
and transparency to help the public
better understand the NCUA’s
methodology to calculate the OTR. No
changes to the existing OTR
methodology are being proposed as part
of this request for comment. The added
transparency and clarity do not
constitute a change in methodology.
I. Background
The NCUA charters, regulates, and
insures deposits in federal credit unions
(FCUs) and insures deposits in federally
insured state-chartered credit unions
(FISCUs) that have their shares insured
through the Share Insurance Fund. To
cover the NCUA’s task-related expenses,
the Board approves a two-year budget
and revisits the budget each year. The
FCU Act provides two primary sources
to fund the budget: (1) requisitions from
the Share Insurance Fund, referred to as
the OTR; 1 and (2) operating fees
charged against FCUs.2
The first budget funding source listed
above, the OTR, represents the formula
the NCUA uses to allocate insurancerelated expenses to the Share Insurance
Fund under Title II of the FCU Act.
There are two statutory provisions that
outline the Board’s discretion regarding
the OTR. First, expenses funded from
the Share Insurance Fund must carry
out Title II’s purposes, which relate to
share insurance.3 Second, the NCUA
may not fund its entire budget through
1 See, e.g., 12 U.S.C. 1783(a) (making the Share
Insurance Fund available ‘‘for such administrative
and other expenses incurred in carrying out the
purpose of [Subchapter II of the FCU Act] as [the
Board] may determine to be proper.’’).
2 12 U.S.C. 1755(a) (‘‘In accordance with rules
prescribed by the Board, each Federal credit union
shall pay to the Administration an annual operating
fee which may be composed of one or more charges
identified as to the function or functions for which
assessed.’’).
3 12 U.S.C. 1783(a) (‘‘Money in the fund shall be
available upon requisition by the Board, without
fiscal year limitation, for making payments of
insurance under section 1787 of this title, for
providing assistance and making expenditures
under section 1788 of this title in connection with
the liquidation or threatened liquidation of insured
credit unions, and for such administrative and
other expenses incurred in carrying out the
purposes of this subchapter as it may determine to
be proper.’’).
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charges to the Share Insurance Fund.4
The NCUA has not imposed regulatory
limitations in its discretion for
determining the OTR.
The second budget funding source is
operating fees assessed to FCUs.
Operating fees are required for FCUs
under 12 U.S.C. 1755 ‘‘and may be
expended by the Board to defray the
expenses incurred in carrying out the
provisions of the FCU Act, including the
examination and supervision of
FCUs.’’ 5 The Board uses the following
OTR methodology to determine an
appropriate division of expenses
between the operating fee and the OTR.
II. Historical Practice in Determining
the Overhead Transfer Rate
The Share Insurance Fund was
established under Title II of the FCU Act
on October 19, 1970.6 Section 1783(a) of
the FCU Act authorizes the Board to use
the Share Insurance Fund to pay for
such administrative and other expenses
incurred in carrying out this title’s
purposes as it deems proper.
In 1973, a Government Accountability
Office audit recommended the NCUA
adopt a method of allocating costs
between the operating fund and the
newly formed Share Insurance Fund.7
Between 1973 and 1980, various cost
allocation methods were employed,
including direct charges to the Share
Insurance Fund for insurance expenses
such as costs to liquidate or merge
credit unions and examiner time spent
conducting safety and soundness
examinations. Starting in 1981, the OTR
ranged between 30 and 34 percent and
stayed in that range through 1984.
From 1985 through 1994, the NCUA
conducted annual examiner time
surveys (ETS) to determine an
appropriate factor for apportioning the
agency’s total operating expenses. The
survey results supported a transfer rate
between 50.1 percent and 60.4 percent
for insurance-related activities;
however, the Board maintained the OTR
at 50 percent.
After the 1994 survey, the Board
approved surveys that were conducted
every three years. Three-year surveys
covered fiscal years 1995 through 1997
and fiscal years 1998 through 2000.
During that time, the OTR was kept at
50 percent. The Board voted to resume
the annual ETS in 2000 and expanded
the survey to include more examiners.
The 2000 survey results supported an
4 12
U.S.C. 1755.
U.S.C. 1755(d).
6 Public Law 91–468; 12 U.S.C. 1783.
7 General Accounting Office, Examination of
Financial Statements of the Nat’l Credit Union
Admin. (Sept. 18, 1973), https://www.gao.gov/
assets/b-164031%284%29-096067.pdf.
5 12
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OTR of 66.72 percent, and after 15 years
of holding the OTR at 50 percent, the
Board increased the OTR to 66.72
percent for fiscal year 2001.
In 2001, the Board hired an
independent audit and accounting firm
to assess the OTR process. The
independent audit and accounting firm
issued its review of the OTR process on
September 5, 2001, and included several
recommendations to improve the OTR
process.8 These recommendations were
implemented in 2002.
At the November 20, 2003, Board
meeting, the Board adopted a revised,
comprehensive methodology for
calculating the OTR that remained in
place until 2017.9 The methodology
used the results of an automated annual
ETS process. The following were also
factored into the methodology:
• The value to the Share Insurance
Fund of the insurance-related work
performed by state supervisory
authorities or prudential regulator.
• The cost of the NCUA resources and
programs with different allocation
factors from the examination and
supervision program.
• The distribution of insured shares
between FCUs and FISCUs.
• The operational costs charged
directly to the Share Insurance Fund.
In 2016, the NCUA published in the
Federal Register the OTR methodology
used to calculate the OTR and requested
comments from the public.10 Along with
the 2016 Federal Register notice, the
Board committed to periodically review
the methodologies for calculating both
the OTR and the operating fee and to
propose changes to the methodologies
that would result in more equitable
alignment of fees to the resource levels
required to supervise and regulate both
FCUs and FISCUs.
In June 2017, the NCUA published a
request for comment 11 in the Federal
Register regarding a revised OTR
methodology based on the Board’s
internal assessment and comments
received from the 2016 notice. At that
time, the primary goal of the proposed
changes to the OTR methodology was to
simplify and streamline the OTR
methodology and reduce the resources
needed to administer the OTR. The
simplified OTR methodology focused on
assigning a percentage share of work to
8 Deloitte & Touche, Independent Accountant’s
Report on Applying Agreed Upon Procedures (Sept
5, 2001), https://www.ncua.gov/files/publications/
budget/2001DeloitteReportonOTRProcess.pdf.
9 The Board approved refinements to the
methodology in 2013. See NCUA, ‘‘Board Action
Memorandum’’ (Nov. 20, 2013), https://ncua.gov/
files/agenda-items/AG20131121Item5a.pdf.
10 81 FR 4804 (Jan. 27, 2016).
11 82 FR 29935 (June 30, 2017).
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insurance costs in four categories of
activities.
• 50 percent insurance-related—Time
spent examining and supervising FCUs.
• 100 percent insurance-related—All
time and costs the NCUA spends
supervising or evaluating the risks
posed by FISCUs or other entities the
NCUA does not charter or regulate (e.g.,
third-party vendors and credit union
service organizations).
• Zero percent insurance-related—
Time and costs related to the NCUA’s
role granting federal charters and as
enforcer of consumer protection and
other non-insurance-based laws
governing the operation of credit
unions; for example, field of
membership requirements.
• 100 percent insurance-related—
Time and costs related to the NCUA’s
role in administering federal share
insurance and the Share Insurance
Fund.
The Board adopted the current OTR
methodology in November 2017.12 At
that time, the Board committed to
subjecting the four general principles
outlined in the paragraphs below to
public comment every three years and
when it proposes a change to the
methodology.13
Clarification of the Four Principles 14
In response to industry
recommendations, the NCUA Board is
providing more information in this
notice to ensure clear understanding of
the four principles used in the OTR
calculation and to provide added
transparency.
1. 50 percent insurance-related—The
NCUA is the prudential regulator of
FCUs and provides federal share
insurance to both FCUs and FISCUs.
Because the NCUA acts as both
prudential regulator and insurer of
FCUs, its oversight of these FCUs is
equally focused on the statutory
requirements applicable to FCUs under
Title I of the FCU Act and minimizing
losses to the Share Insurance Fund
under Title II of the FCU Act.
Historically, the NCUA has referred to
its regulator and insurer responsibilities
by comparing this dual role to the
Federal Deposit Insurance Corporation’s
(FDIC) practice of alternating
examinations with the state regulatory
agencies overseeing banks.15 The
12 82
FR 55644 (Nov. 22, 2017).
FR 55652.
14 For additional information on the OTR and
further discussion of the principles, please refer to
https://ncua.gov/news/budget-supplementarymaterials.
15 See, e.g., 82 FR 55651 (‘‘The 50 percent
allocation mathematically emulates an examination
and supervision program design where the NCUA
13 82
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NCUA’s reference to this 50 percent
allocation as ‘‘mathematically’’
emulating the alternating FDIC and state
regulatory examinations has caused
both concern and misunderstanding
among industry stakeholders. This
statement’s intent was to reflect the
NCUA’s dual role on each examination
(that of regulator and that of insurer),
not to imply that the NCUA alternates
examinations with the state regulatory
agencies like the FDIC. For example, the
NCUA evaluates the safety and
soundness impact of FCU-operational
decisions along with the FCUs’
operating condition, assessing the
impact of these decisions to the FCU
individually as well as to the Share
Insurance Fund. The NCUA’s resource
budget reflects the total hours needed to
provide the oversight responsibility of
both its regulator and insurer roles.16
2. 100 percent insurance-related—The
NCUA oversight authority for FISCUs is
principally related to insurance
activities and the focus on these entities
is as an insurer of federally insured
credit unions (FICUs). The NCUA also
lacks direct oversight authority for
credit union service organizations
(CUSOs) and third-party vendors.
Because the NCUA does not have
regulatory oversight of the FISCUs,
CUSOs, and third-party vendors, the
NCUA’s resource budget reflects the
hours necessary to provide this
responsibility as insurer of FICUs and
the risks these entities present to the
Share Insurance Fund. The OTR
methodology assigns a 100 percent
insurance-related allocation factor to
this budgeted time.
• CUSOs and third-party vendors
provide various services to FICUs (thirdparty arrangements). Like any
would alternate examinations, or conduct joint
examinations, between its insurance function and
its prudential regulator function if they were
separate units within the NCUA. It reflects an equal
sharing of supervisory responsibilities between
NCUA’s dual roles as charterer/prudential regulator
and insurer given both roles have a vested interest
in the safety and soundness of federal credit unions.
It is consistent with the alternating examinations
FDIC and state regulators conduct for insured statechartered banks as mandated by Congress.’’).
16 The NCUA’s annual resource budget is a
comprehensive workload analysis that captures the
amount of time budgeted to conduct examinations
and supervision of FICUs and other programs
necessary to execute the NCUA’s dual mission as
insurer and regulator. The annual resource budget
estimates hours in three major categories. 1. Core
Programs include the NCUA’s FCU and FISCU
examinations and on- and off-site supervision. 2.
Special Programs includes the NCUA’s specialized
examination programs in the areas of capital
markets, information systems, and lending; credit
union service organization reviews; chartering and
field of membership; and small credit union
development. 3. Administrative includes NCUA
field staff time related to training and staff
development, leave, and travel.
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examination process in their review of
the CUSOs’ functional impact on FICUs.
These reports also alleviate redundant
effort, resources, and time among exam
staff to perform these reviews at safety
and soundness exams.
• Because the NCUA does not charter
FISCUs, the NCUA’s role with these
institutions in the budget process is as
their insurer. The NCUA budgets
resource time to fulfill its insurance
responsibilities for these FISCUs under
Title II of the FCU Act, captured under
Principle 2 of the OTR methodology.
The NCUA’s top priority is to ensure
a safe and sound credit union system.
As the financial services industry and
credit union risk landscape have
evolved, the NCUA has improved the
efficiency of its processes while
maintaining a robust supervision
program. One of the objectives of the
NCUA’s 2016 Exam Flexibility Initiative
was to improve coordination with state
supervisors in the examination of
FISCUs.19 This initiative provided a
higher degree of reliance on the
respective state prudential regulator to
perform the regulatory oversight
function for FISCUs, similar to the
outsourced activity, these third-party
arrangements present additional risk to
the FICUs and the Share Insurance
Fund.17
Æ As per its regulator and insurer
responsibilities under Title I and Title II
of the FCU Act, the NCUA performs a
limited review of the activities FICUs
undertake with CUSOs and third-party
vendors during its safety and soundness
exams. These limited reviews are
captured under Principle 1 for FCUs
and Principle 2 for FISCUs,
respectively, in the OTR calculation.
The NCUA evaluates the FICU controls
over the third-party arrangement and
the functional and operational risks
associated with these third-party
arrangements based on the specific
services provided to the FICUs (such as
accounting, lending, or governance).
Æ The NCUA also budgets resource
time to review the books, records, and
internal controls of a sample of
CUSOs.18 These reviews are captured
under Principle 2 of the OTR
calculation. The CUSO examination
reports generated from these reviews
serve as a resource to assist exam staff
in conjunction with the normal
88133
functions under Title I that the NCUA
performs for FCUs. The Exam Flexibility
Initiative extended the frequency of the
NCUA’s onsite exam time to a 5-year
interval for FISCUs that met the
eligibility criteria. This initiative
resulted in the NCUA budgeting
reduced resource time for FISCUs as
reflected in the following chart, with a
progressive increase in time as FISCUs
reached their 5-year interval.
The following chart also shows the
resource-budgeted hours for FCUs,
FISCUs, and CUSOs for the past nine
years. The chart shows that the NCUA
has budgeted at least twice as much
time for FCU exams as it does for FISCU
exams by virtue of its dual role as
regulator and insurer of FCUs versus its
singular responsibility as insurer of
FISCUs.20 Principle 1 (50 percent
allocation) and Principle 2 (100 percent
allocation) of the OTR calculation are
then applied to this total resource time
to determine how much total time in the
chart is insurance related and, thus,
fundable by a transfer from the Share
Insurance Fund.
Total Resource Budget Workload Hours
500,000
400,000
300,000
200,000
100,000
2023
2022
2021
2020
2019
2018
2017
2016
2015
Ill Federal Credit Union Examination and Supervision
II State Credit Union Exam and Supervision
CUSO and Third-party Vendor Reviews
3. Zero percent insurance-related—
The NCUA’s Office of Credit Union
Resources and Expansion (CURE) and
Office of Consumer Financial Protection
(OCFP) receive a zero percent
insurance-related allocation as a starting
point in the OTR methodology because
the primary function of these offices is
not insurance-related.
• CURE supports credit union growth
and development; provides support to
low-income, minority, and any FICU
seeking assistance with chartering; and
processes charter conversion
applications, bylaw amendments, and
field of membership expansions.
• OCFP’s primary function includes
establishing consumer compliance
17 NCUA, Third Party Vendor Authority (March
2022), https://ncua.gov/files/publications/
regulation-supervision/third-party-vendorauthority.pdf.
18 12 CFR part 712.
19 NCUA, ‘‘NCUA Exam Flexibility Initiative,’’
https://ncua.gov/regulation-supervision/
examination-modernization-initiatives/examflexibility-initiative.
20 The industry has commented that there are
twice as many FCUs as there are FISCUs. The time
budgeted under the examination and supervision
categories of the OTR methodology accounts for the
varying aspects of the financial institutions (number
of institutions; asset size; risk profile; staff
resources, to include specialists and subject matter
examiners; and frequency of onsite examinations
and offsite supervision).
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policies, programs, and rulemaking;
serving as interagency liaison on
consumer protection and compliance
issues; conducting fair lending
examinations; staffing the agency’s
consumer call center; and providing
financial literacy and outreach
programs.
Because the primary mission of both
offices is not insurance-related, the OTR
methodology assigns a zero percent
insurance-related allocation for these
offices as a starting point. However, a
segment of each office’s responsibilities
is related to insurance. For instance,
applications for charter expansions
involve risk to both FICUs and the Share
Insurance Fund and drive a slightly
higher allocation than the initial zero
percent. OCFP responds to insurancerelated inquiries from credit union
members and the public and this, in
turn, drives a slightly higher allocation
than the initial zero percent. Thus, each
office tracks its insurance-related time
and adjusts the zero percent allocation
factor accordingly.
It is important to distinguish between
setting policy and programs for
consumer compliance rules and
regulations (performed by OCFP) and
assessing a FICU’s compliance with
consumer protection laws and
regulations. The NCUA performs the
latter along with the normal
examination process, and the time for
these reviews is factored into the 50
percent allocation for FCUs and 100
percent allocation for FISCUs as per
Principles 1 and 2. The former, as
discussed, is accounted for as per
Principle 3.
4. 100 percent insurance-related—The
sole function of the NCUA’s Asset
Management Assistance Center (AMAC)
is insurance related. AMAC manages
liquidation payouts and assets acquired
from liquidations on behalf of the Share
Insurance Fund, so its OTR allocation
factor is 100 percent insurance related.
The Board welcomes all comments
regarding all aspects of the OTR
methodology, but specifically invites
comments on the four principles used to
calculate the OTR discussed in the
preceding paragraphs.
Overhead Transfer Rate Methodology
To calculate the OTR, the four
principles outlined previously are
applied to the activities and costs of the
agency to arrive at the portion of the
agency’s budget to be charged to the
Share Insurance Fund.
Step 1—Workload Program
Annually, the NCUA develops a
workload budget based on the NCUA’s
examination and supervision program to
execute the agency’s core mission. The
workload budget reflects the needed
time to examine and supervise FICUs,
along with other related activities and,
thus, the level of field staff needed to
implement the exam program. Applying
Principles 1, 2, and 3 (those relevant to
the workload budget) to the applicable
elements of the workload budget results
in a composite rate that reflects the
portion of the agency’s overall
insurance-related mission program
activities.
Step 2—Annual Budget
The annual budget represents the
costs of the activities associated with
achieving the strategic goals and
objectives set forth in the NCUA’s
Strategic Plan. The annual budget is
based on agency priorities and
initiatives that drive resulting resource
needs and allocations. Information
related to the NCUA’s budget process,
including details on the Board-approved
budgets, is available on the agency’s
website.21
The agency achieves its primary
mission through the examination and
supervision program. The percentage of
insurance-related workload hours
derived from Step 1 represents the main
allocation factor used in Step 2 and is
applied to the budgets for the
examination and supervision programs
to calculate the insurance-related costs
of the offices conducting field work
(currently the NCUA’s three regional
offices and the Office of National
Examinations and Supervision, or
ONES). As discussed in the Clarification
of the Four Principles section earlier, a
few agency offices (OCFP and CURE)
have roles distinct enough to warrant
their own allocation factors, which are
developed by applying the four
principles described previously to their
respective activities. Each of these
offices tracks its activities annually to
determine their respective factors. These
factors are then applied to the respective
offices’ budgets to determine their
insurance-related costs.
A weighted average allocation factor,
calculated by dividing the aggregate
insurance-related costs for the regional
offices and ONES conducting the
examination and supervision program
and the other agency offices with their
own unique allocation factors by their
aggregate total budgets, is applied to the
remaining offices that design and
oversee the examination and
supervision program or support the
agency’s overall operations. This factor
is then applied to the aggregate budgets
for the remaining offices (all other
NCUA offices). As such, the proportion
of insurance-related activities for the
offices is based on a weighted factor of
the other offices. The NCUA’s total
insurance-related costs are calculated by
summing the insurance cost calculated
for the field offices, the offices with
unique allocation factors, and the
insurance cost for all other NCUA
offices.
Step 3—Calculate the OTR
The OTR represents the percentage of
the NCUA budget funded by a transfer
from the Share Insurance Fund.22 The
OTR is calculated by dividing the total
insurance-related costs determined in
Step 2 by the NCUA’s total annual
budget.
The chart below reflects the most
recent NCUA Board-approved OTR used
to fund a portion of the 2023 budget.
Table 1
OTR CALCULATION
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Operating Costs to be Borne by the Share Insurance Fund ..............................................................................................................
÷ Total Operating Budget ....................................................................................................................................................................
= OTR ..................................................................................................................................................................................................
21 NCUA, ‘‘NCUA Budget and Supplementary
Materials,’’ https://www.ncua.gov/About/Pages/
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$221.9
$355.4
62.4%
22 This means the percentage of actual expenses
funded by the Share Insurance Fund as they are
incurred each month.
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Table 2
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Portion of Operating Budget Covered by:
FCUs
FISCUs
FCU Operating Fee .................................................................................................................
OTR × Percent of Insured Shares ...........................................................................................
37.6%
31.1% (62.4% × 49.9%)
0.0%
31.3% (62.4% × 50.1%)
Total ..................................................................................................................................
68.7%
31.3%
Table 1 reflects the NCUA’s annual
budget of $355.4 million for the 2023
budget year. The FCU Act authorizes a
portion of the NCUA’s budget to be
funded through a requisition from the
Share Insurance Fund (OTR 62.4
percent), while the remaining 37.6
percent will be charged to FCUs as an
operating fee in 2023.
The industry has voiced concern
about the NCUA’s presentation of the
OTR in the annual budget posted to the
agency’s website because it believes the
current footnoted reference to the
regulatory fees that FISCUs pay their
respective prudential regulator is
insufficient.23 The NCUA’s intention in
presenting the distribution of the
operating budget costs in this request for
comment is to clarify how the NCUA
funds its annual operations between (1)
requisition from the Share Insurance
Fund and (2) operating fees paid by
FCUs.
The NCUA does not intend to
discount the fact that FISCUs also pay
a regulatory fee to their respective
regulators. In presenting this
information, the agency welcomes the
industry’s feedback on the current
method.
Commenters also noted that the
current cost distribution table (Table 2)
uses insured shares to reflect the
distribution of the OTR among FCUs
versus FISCUs, and while total insured
shares are relatively equal among
charter type, there are fewer FISCUs
than there are FCUs.
First, the NCUA would like to clarify
the requisition from the Share Insurance
Fund is not allocated based on charter
type. The current cost distribution table
is for informational purposes only and
is used to show how the portion of the
NCUA’s budget funded by the Share
Insurance Fund would be broken down
among charter types. The NCUA shows
this breakdown using insured shares to
reflect that FICUs’ economic interest in
the insurance fund is pro-rata based on
insured shares.
The NCUA Board welcomes comment
on alternative ways to present this
information publicly.
23 NCUA, Staff Draft 2023–2024 Budget
Justification 50 (Sept. 29, 2022), https://ncua.gov/
files/publications/budget/budget-justificationproposed-2023-2024.pdf.
VerDate Sep<11>2014
18:02 Dec 19, 2023
Jkt 262001
Request for Comment on the OTR
Methodology
The principles-based OTR
methodology has streamlined the OTR
calculation process and has reduced the
needed resources to gather the costcenter time allocation used in the
calculation.24 It has also made the OTR
easier for stakeholders to understand.
The methodology additionally has led to
reduced variability in the calculated
OTR each year.
The added detail, transparency, and
clarifying statements in this request for
comment aim to address the industry
interest regarding transparency and
improved understanding of the
allocation of insurance-related expenses
among charter types. The Board
welcomes comment on all aspects of the
OTR methodology—including on the
four principles, added detail, and
clarifying statements discussed in this
request for comment—as well as any
suggested alternatives.
The Board is also particularly
interested in comments on whether it
should continue to publish a dedicated
notice requesting comment on the OTR
methodology every 3 years.
Alternatively, in circumstances when
the Board does not intend to make
changes to the OTR methodology, the
NCUA could ask for comments on the
OTR methodology triennially along with
its long-standing one-third regulatory
review process; rely on the public’s
opportunity to request action under 12
CFR 790.3 or petition the Board for
changes under § 791.8(c); or a
combination of these opportunities. The
Board also now annually publishes,
requests comments on, and holds a
public hearing on its budget. These
comments and hearing, in turn, provide
further opportunity for individuals to
comment on the OTR methodology as
part of the budgeting process. While the
specific triennial process dedicated to
24 The NCUA included reference to this estimated
cost savings in the Notice and Request for Comment
dated June 30, 2017. ‘‘Based on the most recent
Examination Time Survey results, field staff time
would be reduced by approximately 200 hours
annually. Central office and regional office staff
time devoted to operating, maintaining, and
administering the Examination Time Survey and
related processes would be reduced by
approximately 150 hours annually.’’ 82 FR 29943
(June 30, 2017).
PO 00000
Frm 00095
Fmt 4703
Sfmt 4703
the OTR has served well over the last
number of years, the Board requests
input on whether another process may
prove more efficient and save resources
for both credit unions and the NCUA
while still maintaining transparency on
the OTR methodology. Whenever the
Board considers any changes to the OTR
methodology, it would continue to seek
comment through a Federal Register
notice specific to the OTR.
By the National Credit Union
Administration Board on December 14, 2023.
Melane Conyers-Ausbrooks,
Secretary of the Board.
[FR Doc. 2023–28000 Filed 12–19–23; 8:45 am]
BILLING CODE 7535–01–P
NATIONAL FOUNDATION ON THE
ARTS AND THE HUMANITIES
Institute of Museum and Library
Services
Notice of Proposed Information
Collection Requests: Museums for All
Program Evaluation
Institute of Museum and
Library Services, National Foundation
on the Arts and the Humanities.
ACTION: Notice, request for comments,
collection of information.
AGENCY:
The Institute of Museum and
Library Services (IMLS), as part of its
continuing effort to reduce paperwork
and respondent burden, conducts a
preclearance consultation program to
provide the general public and Federal
agencies with an opportunity to
comment on proposed and/or
continuing collections of information in
accordance with the Paperwork
Reduction Act. This pre-clearance
consultation program helps to ensure
that requested data can be provided in
the desired format, reporting burden
(time and financial resources) is
minimized, collection instruments are
clearly understood, and the impact of
collection requirements on respondents
can be properly assessed. The purpose
of this Notice is to solicit comments
concerning the proposed IMLS study of
the impacts of the IMLS Museums for
All Initiative. A copy of the proposed
information collection request can be
SUMMARY:
E:\FR\FM\20DEN1.SGM
20DEN1
Agencies
[Federal Register Volume 88, Number 243 (Wednesday, December 20, 2023)]
[Notices]
[Pages 88131-88135]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2023-28000]
=======================================================================
-----------------------------------------------------------------------
NATIONAL CREDIT UNION ADMINISTRATION
[NCUA-2023-0142]
Request for Comment Regarding Overhead Transfer Rate Methodology
AGENCY: National Credit Union Administration (NCUA).
ACTION: Request for comment.
-----------------------------------------------------------------------
SUMMARY: The NCUA Board (Board) is inviting comment on the methodology
used to determine the Overhead Transfer Rate (OTR). The Board applies
the OTR to the NCUA's operating budget to determine the portion of the
budget that will be funded from the National Credit Union Share
Insurance Fund (Share Insurance Fund). In response to industry
recommendations, the Board has provided more detail, clarity, and
transparency so the public can better understand the OTR methodology.
DATES: Comments must be received on or before February 20, 2024.
ADDRESSES: You may submit written comments, identified by Docket ID
NCUA-2023-0142, by any of the following methods (Please send comments
by one method only):
Federal eRulemaking Portal: https://www.regulations.gov. Follow the
instructions for submitting comments for Docket ID NCUA-2023-0142.
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 submitted public comments on
the Federal eRulemaking Portal at https://www.regulations.gov 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. If you cannot access public comments on the
internet, you may contact the NCUA for alternative access by calling
(703) 518-6360 or emailing [email protected].
FOR FURTHER INFORMATION CONTACT: Amy Ward or Sarah Savoie, Risk
Officers, Office of Examination and Insurance at (703) 819-1770 or
(571) 451-7204; or by mail at National Credit Union Administration,
1775 Duke Street, Alexandria, VA 22314-3428.
SUPPLEMENTARY INFORMATION: The Board is inviting comment on the NCUA's
methodology to determine the OTR. The Board applies the OTR to the
NCUA's operating budget to determine the portion of the NCUA's budget
that will be funded from the Share Insurance Fund. In response to
industry recommendations, this request for comment provides added
detail, clarity, and transparency to help the public better understand
the NCUA's methodology to calculate the OTR. No changes to the existing
OTR methodology are being proposed as part of this request for comment.
The added transparency and clarity do not constitute a change in
methodology.
I. Background
The NCUA charters, regulates, and insures deposits in federal
credit unions (FCUs) and insures deposits in federally insured state-
chartered credit unions (FISCUs) that have their shares insured through
the Share Insurance Fund. To cover the NCUA's task-related expenses,
the Board approves a two-year budget and revisits the budget each year.
The FCU Act provides two primary sources to fund the budget: (1)
requisitions from the Share Insurance Fund, referred to as the OTR; \1\
and (2) operating fees charged against FCUs.\2\
---------------------------------------------------------------------------
\1\ See, e.g., 12 U.S.C. 1783(a) (making the Share Insurance
Fund available ``for such administrative and other expenses incurred
in carrying out the purpose of [Subchapter II of the FCU Act] as
[the Board] may determine to be proper.'').
\2\ 12 U.S.C. 1755(a) (``In accordance with rules prescribed by
the Board, each Federal credit union shall pay to the Administration
an annual operating fee which may be composed of one or more charges
identified as to the function or functions for which assessed.'').
---------------------------------------------------------------------------
The first budget funding source listed above, the OTR, represents
the formula the NCUA uses to allocate insurance-related expenses to the
Share Insurance Fund under Title II of the FCU Act. There are two
statutory provisions that outline the Board's discretion regarding the
OTR. First, expenses funded from the Share Insurance Fund must carry
out Title II's purposes, which relate to share insurance.\3\ Second,
the NCUA may not fund its entire budget through charges to the Share
Insurance Fund.\4\ The NCUA has not imposed regulatory limitations in
its discretion for determining the OTR.
---------------------------------------------------------------------------
\3\ 12 U.S.C. 1783(a) (``Money in the fund shall be available
upon requisition by the Board, without fiscal year limitation, for
making payments of insurance under section 1787 of this title, for
providing assistance and making expenditures under section 1788 of
this title in connection with the liquidation or threatened
liquidation of insured credit unions, and for such administrative
and other expenses incurred in carrying out the purposes of this
subchapter as it may determine to be proper.'').
\4\ 12 U.S.C. 1755.
---------------------------------------------------------------------------
The second budget funding source is operating fees assessed to
FCUs. Operating fees are required for FCUs under 12 U.S.C. 1755 ``and
may be expended by the Board to defray the expenses incurred in
carrying out the provisions of the FCU Act, including the examination
and supervision of FCUs.'' \5\ The Board uses the following OTR
methodology to determine an appropriate division of expenses between
the operating fee and the OTR.
---------------------------------------------------------------------------
\5\ 12 U.S.C. 1755(d).
---------------------------------------------------------------------------
II. Historical Practice in Determining the Overhead Transfer Rate
The Share Insurance Fund was established under Title II of the FCU
Act on October 19, 1970.\6\ Section 1783(a) of the FCU Act authorizes
the Board to use the Share Insurance Fund to pay for such
administrative and other expenses incurred in carrying out this title's
purposes as it deems proper.
---------------------------------------------------------------------------
\6\ Public Law 91-468; 12 U.S.C. 1783.
---------------------------------------------------------------------------
In 1973, a Government Accountability Office audit recommended the
NCUA adopt a method of allocating costs between the operating fund and
the newly formed Share Insurance Fund.\7\ Between 1973 and 1980,
various cost allocation methods were employed, including direct charges
to the Share Insurance Fund for insurance expenses such as costs to
liquidate or merge credit unions and examiner time spent conducting
safety and soundness examinations. Starting in 1981, the OTR ranged
between 30 and 34 percent and stayed in that range through 1984.
---------------------------------------------------------------------------
\7\ General Accounting Office, Examination of Financial
Statements of the Nat'l Credit Union Admin. (Sept. 18, 1973),
https://www.gao.gov/assets/b-164031%284%29-096067.pdf.
---------------------------------------------------------------------------
From 1985 through 1994, the NCUA conducted annual examiner time
surveys (ETS) to determine an appropriate factor for apportioning the
agency's total operating expenses. The survey results supported a
transfer rate between 50.1 percent and 60.4 percent for insurance-
related activities; however, the Board maintained the OTR at 50
percent.
After the 1994 survey, the Board approved surveys that were
conducted every three years. Three-year surveys covered fiscal years
1995 through 1997 and fiscal years 1998 through 2000. During that time,
the OTR was kept at 50 percent. The Board voted to resume the annual
ETS in 2000 and expanded the survey to include more examiners. The 2000
survey results supported an
[[Page 88132]]
OTR of 66.72 percent, and after 15 years of holding the OTR at 50
percent, the Board increased the OTR to 66.72 percent for fiscal year
2001.
In 2001, the Board hired an independent audit and accounting firm
to assess the OTR process. The independent audit and accounting firm
issued its review of the OTR process on September 5, 2001, and included
several recommendations to improve the OTR process.\8\ These
recommendations were implemented in 2002.
---------------------------------------------------------------------------
\8\ Deloitte & Touche, Independent Accountant's Report on
Applying Agreed Upon Procedures (Sept 5, 2001), https://www.ncua.gov/files/publications/budget/2001DeloitteReportonOTRProcess.pdf.
---------------------------------------------------------------------------
At the November 20, 2003, Board meeting, the Board adopted a
revised, comprehensive methodology for calculating the OTR that
remained in place until 2017.\9\ The methodology used the results of an
automated annual ETS process. The following were also factored into the
methodology:
---------------------------------------------------------------------------
\9\ The Board approved refinements to the methodology in 2013.
See NCUA, ``Board Action Memorandum'' (Nov. 20, 2013), https://ncua.gov/files/agenda-items/AG20131121Item5a.pdf.
---------------------------------------------------------------------------
The value to the Share Insurance Fund of the insurance-
related work performed by state supervisory authorities or prudential
regulator.
The cost of the NCUA resources and programs with different
allocation factors from the examination and supervision program.
The distribution of insured shares between FCUs and
FISCUs.
The operational costs charged directly to the Share
Insurance Fund.
In 2016, the NCUA published in the Federal Register the OTR
methodology used to calculate the OTR and requested comments from the
public.\10\ Along with the 2016 Federal Register notice, the Board
committed to periodically review the methodologies for calculating both
the OTR and the operating fee and to propose changes to the
methodologies that would result in more equitable alignment of fees to
the resource levels required to supervise and regulate both FCUs and
FISCUs.
---------------------------------------------------------------------------
\10\ 81 FR 4804 (Jan. 27, 2016).
---------------------------------------------------------------------------
In June 2017, the NCUA published a request for comment \11\ in the
Federal Register regarding a revised OTR methodology based on the
Board's internal assessment and comments received from the 2016 notice.
At that time, the primary goal of the proposed changes to the OTR
methodology was to simplify and streamline the OTR methodology and
reduce the resources needed to administer the OTR. The simplified OTR
methodology focused on assigning a percentage share of work to
insurance costs in four categories of activities.
---------------------------------------------------------------------------
\11\ 82 FR 29935 (June 30, 2017).
---------------------------------------------------------------------------
50 percent insurance-related--Time spent examining and
supervising FCUs.
100 percent insurance-related--All time and costs the NCUA
spends supervising or evaluating the risks posed by FISCUs or other
entities the NCUA does not charter or regulate (e.g., third-party
vendors and credit union service organizations).
Zero percent insurance-related--Time and costs related to
the NCUA's role granting federal charters and as enforcer of consumer
protection and other non-insurance-based laws governing the operation
of credit unions; for example, field of membership requirements.
100 percent insurance-related--Time and costs related to
the NCUA's role in administering federal share insurance and the Share
Insurance Fund.
The Board adopted the current OTR methodology in November 2017.\12\
At that time, the Board committed to subjecting the four general
principles outlined in the paragraphs below to public comment every
three years and when it proposes a change to the methodology.\13\
---------------------------------------------------------------------------
\12\ 82 FR 55644 (Nov. 22, 2017).
\13\ 82 FR 55652.
---------------------------------------------------------------------------
Clarification of the Four Principles 14
---------------------------------------------------------------------------
\14\ For additional information on the OTR and further
discussion of the principles, please refer to https://ncua.gov/news/budget-supplementary-materials.
---------------------------------------------------------------------------
In response to industry recommendations, the NCUA Board is
providing more information in this notice to ensure clear understanding
of the four principles used in the OTR calculation and to provide added
transparency.
1. 50 percent insurance-related--The NCUA is the prudential
regulator of FCUs and provides federal share insurance to both FCUs and
FISCUs. Because the NCUA acts as both prudential regulator and insurer
of FCUs, its oversight of these FCUs is equally focused on the
statutory requirements applicable to FCUs under Title I of the FCU Act
and minimizing losses to the Share Insurance Fund under Title II of the
FCU Act.
Historically, the NCUA has referred to its regulator and insurer
responsibilities by comparing this dual role to the Federal Deposit
Insurance Corporation's (FDIC) practice of alternating examinations
with the state regulatory agencies overseeing banks.\15\ The NCUA's
reference to this 50 percent allocation as ``mathematically'' emulating
the alternating FDIC and state regulatory examinations has caused both
concern and misunderstanding among industry stakeholders. This
statement's intent was to reflect the NCUA's dual role on each
examination (that of regulator and that of insurer), not to imply that
the NCUA alternates examinations with the state regulatory agencies
like the FDIC. For example, the NCUA evaluates the safety and soundness
impact of FCU-operational decisions along with the FCUs' operating
condition, assessing the impact of these decisions to the FCU
individually as well as to the Share Insurance Fund. The NCUA's
resource budget reflects the total hours needed to provide the
oversight responsibility of both its regulator and insurer roles.\16\
---------------------------------------------------------------------------
\15\ See, e.g., 82 FR 55651 (``The 50 percent allocation
mathematically emulates an examination and supervision program
design where the NCUA would alternate examinations, or conduct joint
examinations, between its insurance function and its prudential
regulator function if they were separate units within the NCUA. It
reflects an equal sharing of supervisory responsibilities between
NCUA's dual roles as charterer/prudential regulator and insurer
given both roles have a vested interest in the safety and soundness
of federal credit unions. It is consistent with the alternating
examinations FDIC and state regulators conduct for insured state-
chartered banks as mandated by Congress.'').
\16\ The NCUA's annual resource budget is a comprehensive
workload analysis that captures the amount of time budgeted to
conduct examinations and supervision of FICUs and other programs
necessary to execute the NCUA's dual mission as insurer and
regulator. The annual resource budget estimates hours in three major
categories. 1. Core Programs include the NCUA's FCU and FISCU
examinations and on- and off-site supervision. 2. Special Programs
includes the NCUA's specialized examination programs in the areas of
capital markets, information systems, and lending; credit union
service organization reviews; chartering and field of membership;
and small credit union development. 3. Administrative includes NCUA
field staff time related to training and staff development, leave,
and travel.
---------------------------------------------------------------------------
2. 100 percent insurance-related--The NCUA oversight authority for
FISCUs is principally related to insurance activities and the focus on
these entities is as an insurer of federally insured credit unions
(FICUs). The NCUA also lacks direct oversight authority for credit
union service organizations (CUSOs) and third-party vendors. Because
the NCUA does not have regulatory oversight of the FISCUs, CUSOs, and
third-party vendors, the NCUA's resource budget reflects the hours
necessary to provide this responsibility as insurer of FICUs and the
risks these entities present to the Share Insurance Fund. The OTR
methodology assigns a 100 percent insurance-related allocation factor
to this budgeted time.
CUSOs and third-party vendors provide various services to
FICUs (third-party arrangements). Like any
[[Page 88133]]
outsourced activity, these third-party arrangements present additional
risk to the FICUs and the Share Insurance Fund.\17\
---------------------------------------------------------------------------
\17\ NCUA, Third Party Vendor Authority (March 2022), https://ncua.gov/files/publications/regulation-supervision/third-party-vendor-authority.pdf.
---------------------------------------------------------------------------
[cir] As per its regulator and insurer responsibilities under Title
I and Title II of the FCU Act, the NCUA performs a limited review of
the activities FICUs undertake with CUSOs and third-party vendors
during its safety and soundness exams. These limited reviews are
captured under Principle 1 for FCUs and Principle 2 for FISCUs,
respectively, in the OTR calculation. The NCUA evaluates the FICU
controls over the third-party arrangement and the functional and
operational risks associated with these third-party arrangements based
on the specific services provided to the FICUs (such as accounting,
lending, or governance).
[cir] The NCUA also budgets resource time to review the books,
records, and internal controls of a sample of CUSOs.\18\ These reviews
are captured under Principle 2 of the OTR calculation. The CUSO
examination reports generated from these reviews serve as a resource to
assist exam staff in conjunction with the normal examination process in
their review of the CUSOs' functional impact on FICUs. These reports
also alleviate redundant effort, resources, and time among exam staff
to perform these reviews at safety and soundness exams.
---------------------------------------------------------------------------
\18\ 12 CFR part 712.
---------------------------------------------------------------------------
Because the NCUA does not charter FISCUs, the NCUA's role
with these institutions in the budget process is as their insurer. The
NCUA budgets resource time to fulfill its insurance responsibilities
for these FISCUs under Title II of the FCU Act, captured under
Principle 2 of the OTR methodology.
The NCUA's top priority is to ensure a safe and sound credit union
system. As the financial services industry and credit union risk
landscape have evolved, the NCUA has improved the efficiency of its
processes while maintaining a robust supervision program. One of the
objectives of the NCUA's 2016 Exam Flexibility Initiative was to
improve coordination with state supervisors in the examination of
FISCUs.\19\ This initiative provided a higher degree of reliance on the
respective state prudential regulator to perform the regulatory
oversight function for FISCUs, similar to the functions under Title I
that the NCUA performs for FCUs. The Exam Flexibility Initiative
extended the frequency of the NCUA's onsite exam time to a 5-year
interval for FISCUs that met the eligibility criteria. This initiative
resulted in the NCUA budgeting reduced resource time for FISCUs as
reflected in the following chart, with a progressive increase in time
as FISCUs reached their 5-year interval.
---------------------------------------------------------------------------
\19\ NCUA, ``NCUA Exam Flexibility Initiative,'' https://ncua.gov/regulation-supervision/examination-modernization-initiatives/exam-flexibility-initiative.
---------------------------------------------------------------------------
The following chart also shows the resource-budgeted hours for
FCUs, FISCUs, and CUSOs for the past nine years. The chart shows that
the NCUA has budgeted at least twice as much time for FCU exams as it
does for FISCU exams by virtue of its dual role as regulator and
insurer of FCUs versus its singular responsibility as insurer of
FISCUs.\20\ Principle 1 (50 percent allocation) and Principle 2 (100
percent allocation) of the OTR calculation are then applied to this
total resource time to determine how much total time in the chart is
insurance related and, thus, fundable by a transfer from the Share
Insurance Fund.
---------------------------------------------------------------------------
\20\ The industry has commented that there are twice as many
FCUs as there are FISCUs. The time budgeted under the examination
and supervision categories of the OTR methodology accounts for the
varying aspects of the financial institutions (number of
institutions; asset size; risk profile; staff resources, to include
specialists and subject matter examiners; and frequency of onsite
examinations and offsite supervision).
[GRAPHIC] [TIFF OMITTED] TN20DE23.008
3. Zero percent insurance-related--The NCUA's Office of Credit
Union Resources and Expansion (CURE) and Office of Consumer Financial
Protection (OCFP) receive a zero percent insurance-related allocation
as a starting point in the OTR methodology because the primary function
of these offices is not insurance-related.
CURE supports credit union growth and development;
provides support to low-income, minority, and any FICU seeking
assistance with chartering; and processes charter conversion
applications, bylaw amendments, and field of membership expansions.
OCFP's primary function includes establishing consumer
compliance
[[Page 88134]]
policies, programs, and rulemaking; serving as interagency liaison on
consumer protection and compliance issues; conducting fair lending
examinations; staffing the agency's consumer call center; and providing
financial literacy and outreach programs.
Because the primary mission of both offices is not insurance-
related, the OTR methodology assigns a zero percent insurance-related
allocation for these offices as a starting point. However, a segment of
each office's responsibilities is related to insurance. For instance,
applications for charter expansions involve risk to both FICUs and the
Share Insurance Fund and drive a slightly higher allocation than the
initial zero percent. OCFP responds to insurance-related inquiries from
credit union members and the public and this, in turn, drives a
slightly higher allocation than the initial zero percent. Thus, each
office tracks its insurance-related time and adjusts the zero percent
allocation factor accordingly.
It is important to distinguish between setting policy and programs
for consumer compliance rules and regulations (performed by OCFP) and
assessing a FICU's compliance with consumer protection laws and
regulations. The NCUA performs the latter along with the normal
examination process, and the time for these reviews is factored into
the 50 percent allocation for FCUs and 100 percent allocation for
FISCUs as per Principles 1 and 2. The former, as discussed, is
accounted for as per Principle 3.
4. 100 percent insurance-related--The sole function of the NCUA's
Asset Management Assistance Center (AMAC) is insurance related. AMAC
manages liquidation payouts and assets acquired from liquidations on
behalf of the Share Insurance Fund, so its OTR allocation factor is 100
percent insurance related.
The Board welcomes all comments regarding all aspects of the OTR
methodology, but specifically invites comments on the four principles
used to calculate the OTR discussed in the preceding paragraphs.
Overhead Transfer Rate Methodology
To calculate the OTR, the four principles outlined previously are
applied to the activities and costs of the agency to arrive at the
portion of the agency's budget to be charged to the Share Insurance
Fund.
Step 1--Workload Program
Annually, the NCUA develops a workload budget based on the NCUA's
examination and supervision program to execute the agency's core
mission. The workload budget reflects the needed time to examine and
supervise FICUs, along with other related activities and, thus, the
level of field staff needed to implement the exam program. Applying
Principles 1, 2, and 3 (those relevant to the workload budget) to the
applicable elements of the workload budget results in a composite rate
that reflects the portion of the agency's overall insurance-related
mission program activities.
Step 2--Annual Budget
The annual budget represents the costs of the activities associated
with achieving the strategic goals and objectives set forth in the
NCUA's Strategic Plan. The annual budget is based on agency priorities
and initiatives that drive resulting resource needs and allocations.
Information related to the NCUA's budget process, including details on
the Board-approved budgets, is available on the agency's website.\21\
---------------------------------------------------------------------------
\21\ NCUA, ``NCUA Budget and Supplementary Materials,'' https://www.ncua.gov/About/Pages/budget-strategic-planning/supplementary-materials.aspx.
---------------------------------------------------------------------------
The agency achieves its primary mission through the examination and
supervision program. The percentage of insurance-related workload hours
derived from Step 1 represents the main allocation factor used in Step
2 and is applied to the budgets for the examination and supervision
programs to calculate the insurance-related costs of the offices
conducting field work (currently the NCUA's three regional offices and
the Office of National Examinations and Supervision, or ONES). As
discussed in the Clarification of the Four Principles section earlier,
a few agency offices (OCFP and CURE) have roles distinct enough to
warrant their own allocation factors, which are developed by applying
the four principles described previously to their respective
activities. Each of these offices tracks its activities annually to
determine their respective factors. These factors are then applied to
the respective offices' budgets to determine their insurance-related
costs.
A weighted average allocation factor, calculated by dividing the
aggregate insurance-related costs for the regional offices and ONES
conducting the examination and supervision program and the other agency
offices with their own unique allocation factors by their aggregate
total budgets, is applied to the remaining offices that design and
oversee the examination and supervision program or support the agency's
overall operations. This factor is then applied to the aggregate
budgets for the remaining offices (all other NCUA offices). As such,
the proportion of insurance-related activities for the offices is based
on a weighted factor of the other offices. The NCUA's total insurance-
related costs are calculated by summing the insurance cost calculated
for the field offices, the offices with unique allocation factors, and
the insurance cost for all other NCUA offices.
Step 3--Calculate the OTR
The OTR represents the percentage of the NCUA budget funded by a
transfer from the Share Insurance Fund.\22\ The OTR is calculated by
dividing the total insurance-related costs determined in Step 2 by the
NCUA's total annual budget.
---------------------------------------------------------------------------
\22\ This means the percentage of actual expenses funded by the
Share Insurance Fund as they are incurred each month.
---------------------------------------------------------------------------
The chart below reflects the most recent NCUA Board-approved OTR
used to fund a portion of the 2023 budget.
Table 1
OTR Calculation
------------------------------------------------------------------------
------------------------------------------------------------------------
Operating Costs to be Borne by the Share Insurance Fund. $221.9
/ Total Operating Budget................................ $355.4
= OTR................................................... 62.4%
------------------------------------------------------------------------
[[Page 88135]]
Table 2
----------------------------------------------------------------------------------------------------------------
Portion of Operating Budget Covered by: FCUs FISCUs
----------------------------------------------------------------------------------------------------------------
FCU Operating Fee............................................. 37.6% 0.0%
OTR x Percent of Insured Shares............................... 31.1% (62.4% x 49.9%) 31.3% (62.4% x 50.1%)
-------------------------------------------------
Total..................................................... 68.7% 31.3%
----------------------------------------------------------------------------------------------------------------
Table 1 reflects the NCUA's annual budget of $355.4 million for the
2023 budget year. The FCU Act authorizes a portion of the NCUA's budget
to be funded through a requisition from the Share Insurance Fund (OTR
62.4 percent), while the remaining 37.6 percent will be charged to FCUs
as an operating fee in 2023.
The industry has voiced concern about the NCUA's presentation of
the OTR in the annual budget posted to the agency's website because it
believes the current footnoted reference to the regulatory fees that
FISCUs pay their respective prudential regulator is insufficient.\23\
The NCUA's intention in presenting the distribution of the operating
budget costs in this request for comment is to clarify how the NCUA
funds its annual operations between (1) requisition from the Share
Insurance Fund and (2) operating fees paid by FCUs.
---------------------------------------------------------------------------
\23\ NCUA, Staff Draft 2023-2024 Budget Justification 50 (Sept.
29, 2022), https://ncua.gov/files/publications/budget/budget-justification-proposed-2023-2024.pdf.
---------------------------------------------------------------------------
The NCUA does not intend to discount the fact that FISCUs also pay
a regulatory fee to their respective regulators. In presenting this
information, the agency welcomes the industry's feedback on the current
method.
Commenters also noted that the current cost distribution table
(Table 2) uses insured shares to reflect the distribution of the OTR
among FCUs versus FISCUs, and while total insured shares are relatively
equal among charter type, there are fewer FISCUs than there are FCUs.
First, the NCUA would like to clarify the requisition from the
Share Insurance Fund is not allocated based on charter type. The
current cost distribution table is for informational purposes only and
is used to show how the portion of the NCUA's budget funded by the
Share Insurance Fund would be broken down among charter types. The NCUA
shows this breakdown using insured shares to reflect that FICUs'
economic interest in the insurance fund is pro-rata based on insured
shares.
The NCUA Board welcomes comment on alternative ways to present this
information publicly.
Request for Comment on the OTR Methodology
The principles-based OTR methodology has streamlined the OTR
calculation process and has reduced the needed resources to gather the
cost-center time allocation used in the calculation.\24\ It has also
made the OTR easier for stakeholders to understand. The methodology
additionally has led to reduced variability in the calculated OTR each
year.
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\24\ The NCUA included reference to this estimated cost savings
in the Notice and Request for Comment dated June 30, 2017. ``Based
on the most recent Examination Time Survey results, field staff time
would be reduced by approximately 200 hours annually. Central office
and regional office staff time devoted to operating, maintaining,
and administering the Examination Time Survey and related processes
would be reduced by approximately 150 hours annually.'' 82 FR 29943
(June 30, 2017).
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The added detail, transparency, and clarifying statements in this
request for comment aim to address the industry interest regarding
transparency and improved understanding of the allocation of insurance-
related expenses among charter types. The Board welcomes comment on all
aspects of the OTR methodology--including on the four principles, added
detail, and clarifying statements discussed in this request for
comment--as well as any suggested alternatives.
The Board is also particularly interested in comments on whether it
should continue to publish a dedicated notice requesting comment on the
OTR methodology every 3 years. Alternatively, in circumstances when the
Board does not intend to make changes to the OTR methodology, the NCUA
could ask for comments on the OTR methodology triennially along with
its long-standing one-third regulatory review process; rely on the
public's opportunity to request action under 12 CFR 790.3 or petition
the Board for changes under Sec. 791.8(c); or a combination of these
opportunities. The Board also now annually publishes, requests comments
on, and holds a public hearing on its budget. These comments and
hearing, in turn, provide further opportunity for individuals to
comment on the OTR methodology as part of the budgeting process. While
the specific triennial process dedicated to the OTR has served well
over the last number of years, the Board requests input on whether
another process may prove more efficient and save resources for both
credit unions and the NCUA while still maintaining transparency on the
OTR methodology. Whenever the Board considers any changes to the OTR
methodology, it would continue to seek comment through a Federal
Register notice specific to the OTR.
By the National Credit Union Administration Board on December
14, 2023.
Melane Conyers-Ausbrooks,
Secretary of the Board.
[FR Doc. 2023-28000 Filed 12-19-23; 8:45 am]
BILLING CODE 7535-01-P