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Houston Baptist University, Houston, Texas
October 30, 1997

Trends and Challenges in Federal Reserve Bank Supervision
I am pleased to be here today to talk with you about some of the important, fundamental
changes taking place within the U.S. banking system and the effects those changes are
having on the Federal Reserve's supervisory process.
As you know, the U.S. economy and banking system have enjoyed more than half a decade
of improving strength and prosperity in which U.S. banks have become better capitalized and
more profitable than they have been in generations. Moreover, in the past 13 months not a
single insured bank has failed, and the Bank Insurance Fund is now capitalized at a level
requiring most banks to pay only nominal fees for their insurance.
While this situation is a vast improvement over conditions in earlier years, experience has
demonstrated that at times like these--if we are not vigilant--risks can occur that set the
stage for future problems. That's what makes supervising banks so interesting and such a
challenge.
When the economy and the banking industry are in difficulty, supervisors must identify and
address immediate problems in an effort to protect the U.S. taxpayer and the federal safety
net. When conditions are good, as they are today, supervisors have the opportunity to review
their oversight process and promote sound practices for managing banking risks in an effort
to avert or mitigate future problems. This and keeping up with the pace of financial
innovation and industry change that has occurred in the past 5 to 10 years has been a
challenge, indeed.
As I begin my remarks, I would like to point out that no system of supervision or regulation
can provide total assurance that banking problems will not occur or that banks will not fail.
Nor should it. Any process that prevents all banking problems would be extremely invasive
to banking organizations and would likely inhibit economic growth. As financial
intermediaries, banks must take risks if they and their communities are to grow. As
risk-takers, some banks will necessarily incur losses, and some will eventually fail. The
objective is to contain the costs of risk-taking, both to individual institutions and to the
safety net, more generally.
Therefore, our goal as regulators is to help identify weak banking practices so that small or
emerging problems can be addressed before they become large and costly. To do that in
today's markets, and in an environment in which technology and financial innovation can
lead to rapid change, the Federal Reserve is pursuing a more risk-focused supervisory
approach.
We are well underway toward implementing this new supervisory framework, and initial
indications about it--from both examiners and bankers--have been favorable. This

risk-focused approach to supervision is seen as a necessary response to a variety of factors:
the growing complexity and pace of change within the industry, the increasingly global
nature of U.S. and world financial markets, and the methods available today for managing
and controlling risk. As banking practices and markets continue to evolve, I believe this
emphasis on risk-focused supervision will be even more necessary in the years to come.
What is "Risk-Focused" Supervision?
With that introduction, let me clarify what I mean by risk-focused supervision. How does it
differ from the way supervisors have traditionally done their job? What does it mean to the
banking system? What is it? In short, risk-focused supervision simply means that in
conducting bank examinations and other supervisory activities, we will seek to direct our
attention and resources to the areas that we perceive pose the greatest risk to banks. In many
respects, that would seem rather obvious and hardly earth shaking, and in many ways it is,
indeed, nothing new. The Federal Reserve and the other banking agencies have long sought
to identify exceptions and to prioritize examination activities.
In the past, though, the business of bank supervision has focussed on validating bank
balance sheets, particularly the value of loan portfolios, which have been historically the
principal source of problems for banks. Much of the prior emphasis was on determining the
condition of a bank at a point in time. In the process, we would go through the balance
sheet, assuring ourselves that a bank's assets and liabilities were essentially as stated and that
its reserves and net worth were real. As part of the process, there was a review of sound
management practices, internal controls, and strong internal audit activities, but that review
was not the initial or primary focus.
In earlier times that approach was adequate, since bank balance sheets were generally slow
to change. Banks held their loans to maturity; they acquired deposits locally and at a pace
similar to local economic growth; their product lines were stable; and management turnover,
itself, was typically low. By tracking the quality of loans and other assets, examiners could
generally detect deterioration and other business problems through their periodic on-site
examinations. If done often enough, those examinations typically gave authorities sufficient
time to take action and to either close or sell a bank before the losses became significant to
the deposit insurance fund.
Developments Driving Change
During the past decade, though, the U.S. banking system experienced a great deal of turmoil,
stress, and change. Ten years ago, many of the country's largest banks announced huge loan
loss provisions, beginning the process of reducing the industry's overhang of doubtful
developing country loans. At the same time, many of these institutions and smaller regional
banks were struggling with energy and agricultural sector difficulties or accumulating
commercial real estate problems. I am sure that many of you here today can easily recall
those times, and that these and other difficulties took a heavy toll-if not in your own banks,
in those of your competitors. By the end of the 1980s, more than 200 banks were failing
annually, and there were more than 1,000 banks on the FDIC problem list.
This experience provided important lessons and forced supervisors and bankers, alike, to
reconsider the way they approached their jobs. For their part, bankers recognized the need
to rebuild their capital and reserves, strengthen their internal controls, diversify their risks,
and improve their practices for identifying, underwriting, and managing risk. Supervisors
were also reminded of the need to remain vigilant and of the high costs that bank failures
can bring, not only to the insurance fund but to local communities as well. The FDIC

Improvement Act of 1991 emphasized that point, requiring frequent examinations and
prompt regulatory actions when serious problems emerge.
Beyond these mostly domestic events, banks and businesses throughout the world were
dealing in the 1980s and 1990s with new technologies that were leading to a multitude of
new and increasingly complex financial products that changed the nature of banking and
financial markets. These technologies have brought about an endless variety of derivative
instruments, increased securitization, ATMs, and a broader range of banking products. By
lowering information costs, they have also led to dramatic improvements in risk management
and have expanded the marketing and service capabilities of banks and their competitors.
In large part, these changes and innovations are unequivocally good for society and have
produced more efficient markets and, in turn, greater international trade and economic
growth. They have also, however, greatly increased the complexity of banking and bank
supervision. In both cases, these developments have spurred the demand for highly trained
and qualified personnel.
Within the United States, our banking system has also experienced a dramatic consolidation
in the number of banking institutions, due not only to technology and financial innovation,
but also to legislative changes allowing interstate banking. The number of independent
commercial banking organizations has declined 40 percent since 1980 to 7,400 in June of
this year. While possibly stressful to many bankers and bank customers, this dramatic
structural change has also contributed to industry earnings by providing banks with greater
opportunities to reduce costs.
A challenge now for many institutions may be to manage their growth and the continuing
process of industry consolidation. This challenge may be greatest as banking organizations
expand into more diverse or nontraditional banking activities, particularly through
acquisitions. Growth into a wider array of activities is especially important if banks are to
meet the wide-ranging needs of their business and household customers, while competing
effectively with other regulated and unregulated firms.
As you know, the Congress has been wrestling with the issue of banking powers for years
and--with the exception of interstate branching--has yet to make much progress. The Federal
Reserve has long believed that legislation is needed and that the industry can best move
forward if this issue is resolved by lawmakers, rather than by regulators in a piecemeal
fashion. Nevertheless, with or without legislation, we must all deal with changing markets
and with the opportunities and pressures they present.
Utilizing existing legislative authority, regulators have been able to approve new banking
products that were not available a decade ago, as financial markets and products have
evolved. However, whether future expansion comes through new laws or merely through
new interpretations of current laws and regulations, it is important that the banking industry
use its powers wisely and that its performance remain sound.
Supervisory Challenges Ahead
In supervising this "industry-in-transition," the Federal Reserve has no shortage of tasks,
despite the virtually unprecedented strong condition of the U.S. banking system today. We,
too, must deal with the evolving financial markets and advances in technology. At the same
time, we must ensure that our own supervisory practices, tools, and standards take
advantage of improving technology and financial techniques so that our oversight is not only
effective, but also as unobtrusive and as appropriate as possible. These tasks are wide

ranging, extending from our own re-engineering of the supervisory process to the way
supervisors approach such issues as measuring capital adequacy and international
convergence of supervisory standards.
Constructing a sound supervisory process while minimizing regulatory burden has been a
long-standing and on-going effort at the Federal Reserve and an objective we have sought to
advance with our emphasis on risk-focused examinations. Particularly in the past decade,
the development of new financial products and the greater depth and liquidity of financial
markets have enabled banking organizations to change their risk profiles more rapidly than
ever before. That possibility requires that we strike an appropriate balance between
evaluating the condition of an institution at a point in time and evaluating the soundness of
the bank's on-going process for managing risk.
The risk-focused approach, by definition, entails a more formal planning phase that identifies
those areas and activities at risk that warrant the most extensive review. This pre-planning
process is supported by technology, for example, to download certain information about a
bank's loan portfolio to our own computer systems and then, through off-site analysis, target
areas of the portfolio for review. This revised process should be less disruptive to the daily
activities of banks than earlier examination procedures and has the further advantage of
reducing our own travel costs and improving examiner morale.
Once on-site, examiners analyze the bank's loans and other assets to ascertain the
organization's current condition, and also to evaluate its internal control process and its own
ability to identify and resolve problems. As a result, the Federal Reserve is placing greater
reliance than before on a bank's internal auditors and on the accuracy and adequacy of bank
information systems. The review of a bank's information flow extends from top to bottom,
and with the expectation that bank senior management and boards of directors are actively
involved in monitoring the bank's activities and providing sufficient guidance regarding their
appetite for risk.
As in the past, performance of substantive checks on the reliability of a bank's controls
remains an important element of the examination process, albeit in a more automated and
advanced form. For example, we are pursuing ways to make greater use of loan sampling in
order to generate statistically valid conclusions about the accuracy of a bank's internal loan
review process. To the extent we can validate the integrity of a bank's internal controls more
efficiently, we can place more confidence in them at an earlier stage and can also take
greater comfort that management is providing itself an accurate indication of the bank's
condition. Moreover, as examiners are able to complete loan reviews more quickly, they will
have more time to review other high priority aspects of the institution's operations.
A significant benefit of the risk-focused approach is its emphasis on ensuring that the bank's
internal oversight processes are sound and that communication between the bank and
Federal Reserve examiners occurs between examinations. That approach is generally
supported by institutions we supervise and provides a more comprehensive oversight process
that complements our annual or 18-month examination cycle. It also strengthens our ability
to respond promptly if conditions deteriorate.
Importantly, the Federal Reserve's examination staff indicates that this risk-focused process
may be reducing on-site examination time by 15-30 percent in many cases and overall
examination time of Reserve Bank personnel by perhaps 10 percent. While those results are
tentative, partial, and unscientific, they are certainly encouraging in terms of resource

implications.
Complementing the risk-focused approach to supervision are enhancements to the tools we
use to grade a bank's condition and management. Since 1995, we have asked our examiners
to provide a specific supervisory rating for a bank's risk management process. This Fed
initiative preceded, but is quite consistent with, the more recent interagency decision to add
an "S" to the end of the CAMEL rating. That "S," as you know, addresses sensitivity to
market risk and reflects in large part a bank's ability to manage that risk. Any managers in
the audience who are with U.S. offices of foreign banks may appreciate that these rating
changes simply highlight the importance of risk management that the Federal Reserve has
for some time emphasized in its review of foreign banks.
How effective is the risk-focused process? Since economic and industry conditions have
been so favorable in recent years, there has not been a sufficiently stressful economic
downturn to provide a robust test. The market volatility beginning in 1994 offered some
insights about supervisory judgments of the risk management systems of large trading banks,
but there have been few other indications. Even the rise to record levels of delinquencies
and defaults on credit card debt may reflect factors other than the ability of supervisors to
ensure that management has all the important bases covered. The real test, of course, would
come with a major economic downturn. Even then, though, it will be hard to know what
might have occurred had our oversight procedures not changed.
Nevertheless, there are indications that both banking and supervisory practices are
materially better now than they were in the 1980s and early 1990s. Because of technology
and lower computer and communications costs, information is much more readily available
than in earlier decades, and sound management practices are more widespread. Risk
measurement and portfolio management techniques that were largely theoretical when some
of us were in college are now fully operational in many banks.
Moreover, the costly experience with bank and thrift failures in the early 1990s has not been
forgotten. As a result, most bankers and business managers today have a greater
appreciation, I believe, for the value of risk management and internal controls. To that point,
we are finding, with increased frequency, that banks are designing personnel compensation
systems to provide managers with greater incentives to control risk. Implementing a
risk-focused supervisory approach has not been an easy task. It has required significant
revisions to our broad and specialized training programs, including expansion of capital
markets, risk assessment information technology, and global trading activities as well as
courses devoted exclusively to internal controls. These education programs will, of course,
need to be continually updated as industry activities and conditions evolve.
With the greater discretion examiners now have to focus their efforts on areas of highest
risk, it has also become more important that we ensure the consistency and overall quality of
our examinations. To address that point, we have developed automated examination tools,
based on a decision-tree framework, that will help guide examiners through the procedures
most relevant to individual banks, given their specific circumstances and risk profiles.
Moreover, both domestically and abroad, the Federal Reserve is working with other bank
supervisors and with the banking industry to develop sound practices for management for a
variety of bank activities. Initiatives in recent years include guidance on disclosure and on
managing interest rate risk and derivative activities. Such efforts, and the growing worldwide
recognition of the value of market forces, should lead to clearer expectations of supervisors,

greater reliance on market discipline, and less intrusive regulation.
In that connection, the Federal Reserve in recent years has worked closely with the FDIC
and with state banking departments to coordinate our examination procedures and
supervisory practices. A prime example of these efforts is the adoption last year of the State
and Federal Protocol, through which we all seek to achieve a relatively seamless supervisory
process for banks operating across state lines. We are also working together on a variety of
automation efforts, some of which I have referred to already.
The Year 2000
Under the category of "problems we don't need," I find it difficult to talk with bankers these
days without raising the "Year 2000" problem. Fortunately, most U.S. banks appear to be
taking this matter seriously and are generally well underway toward identifying their
individual needs and developing action plans. Nevertheless, the Federal Reserve and the
other federal banking agencies are actively reviewing the efforts of banks to address this
vital issue.
Some banks, particularly large ones, have stated, themselves, that if an institution is not
already well underway toward resolving this problem, then it is already too late. I hope that
all of you are giving this matter adequate attention, and are taking the steps necessary to
ensure that changes are being made within your banks, and also by your vendors and
customers.
A critical aspect of the year 2000 problem is that we are all so inter-linked. Not only are we
exposed to our own internal computer problems, but also to those with whom we do
business. This matter has far reaching implications for banks, covering not only operating
risk, but also credit risk, liquidity risk, reputational risk, and others if material problems
emerge. This is yet another illustration of the many challenges faced by bankers today.
Conclusion
In conclusion, the history of banking and of bank supervision shows a long and rather close
relationship between the health of the banking system and the economy, a connection that
reflects the role of banks in the credit intermediation process. We can expect that
relationship to continue and for bank earnings and asset quality to fluctuate as economic
conditions change.
In many ways, however, the banking and financial system has changed dramatically in the
past decade both in terms of its structure and the diversity of its activities. Risk management
practices have also advanced, helped by technological and financial innovations. I believe
that both bank supervisors and the banking industry have learned important lessons from the
experience of the past ten years, specifically about the need to actively monitor, manage,
and control risks.
Through its supervisory process, the Federal Reserve seeks to maintain a proper balance:
permitting banks maximum freedom, while still protecting the safety net and maintaining
financial stability. Maintaining responsible banking and responsible bank supervision is the
key. We must all work to identify risks and to ensure they are adequately monitored and
controlled. That result will lead to better banking practices, to more stable earnings and asset
quality for the industry, and to less regulatory and legislative risk. These are goals we all
share.

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