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F ederal R eserve Bank
of

Dallas

ROB ERT D. McTEER, JR.
D A LLA S , TEXAS

PR ES ID ENT

75 265-5906

A N D C H IE F E X E C U T I V E O F F I C E R

September 25, 1998
Notice 98-89

TO: The Chief Executive Officer of each
financial institution and others concerned
in the Eleventh Federal Reserve District

SUBJECT
Answers to Commonly Asked
Year 2000 Questions
DETAILS
The Federal Financial Institutions Examination Council (FFIEC) has issued guidance
to answer commonly asked questions concerning its Year 2000 policy. The guidance also
clarifies previous FFIEC Year 2000 policy statements. The questions and answers focus prima­
rily on testing, the most difficult and time-consuming phase of a financial institution’s Year 2000
preparation process, but also cover topics such as documentation and the FFIEC report distribu­
tion process.
ATTACHMENTS
Copies of the FFIEC’s press release and guidance are attached.
MORE INFORMATION
For more information, please contact Ann Worthy at (214) 922-6156. For additional
copies of this Bank’s notice, contact the Public Affairs Department at (214) 922-5254.
Sincerely yours,

For additional copies, bankers and others are encouraged to use one of the following toll-free numbers in contacting the Federal
Reserve Bank of Dallas: Dallas Office (800) 333-4460; El Paso Branch Intrastate (800) 592-1631, Interstate (800) 351-1012;
Houston Branch Intrastate (800) 392-4162, Interstate (800) 221-0363; San Antonio Branch Intrastate (800) 292-5810.

This publication was digitized and made available by the Federal Reserve Bank of Dallas' Historical Library (FedHistory@dal.frb.org)

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Federal Financial Institutions Examination Council

For Immediate Release

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August 31, 1998

FFIEC ISSUES ANSWERS TO COMMONLY ASKED Y2K QUESTIONS
The Federal Financial Institutions Examination Council (FFIEC) today issued guidance on the Year 2000 that addresses
commonly asked questions of concern to financial institutions and their service providers and software vendors. The questions
and answers focus primarily on testing, the most difficult and time-consuming phase of a financial institution's Year 2000
preparation process, but also cover topics such as documentation and the FFIEC report distribution process.
Today's guidance reiterates previous FFIEC guidance that, to the extent possible, financial institutions should test their
systems for Year 2000 readiness in their own unique operating environments. However, the FFIEC recognizes that it is not
always feasible for a financial institution that relies on service providers or software vendors to perform Year 2000 testing in its
own environment. As a result, a financial institution can rely on proxy testing, under several specific conditions.
Today's guidance provides additional detail on the conditions that apply when financial institutions use Year 2000 proxy
testing for service providers. Also, for the first time, the FFIEC indicates that proxy tests can be acceptable for products provided
by software vendors under several specific conditions. The conditions are outlined in the guidance.
The guidance encourages financial institutions to participate in testing efforts coordinated by industry trade associations
and other organizations. This approach could be more cost-effective by enabling a financial institution to share the cost of
testing with other financial institutions and material third parties.
Other questions and answers in the guidance address the following topics: clarification of FFIEC policy concerning the
types of testing documentation that financial institutions should retain; expectations regarding software and operating system
upgrades in 1999; conversions to new mission-critical systems in 1999; and procedures for regulators to examine service
providers and software vendors.
Financial institutions, service providers and software vendors are reminded in the guidance that they may not disclose Year
2000 examination report information, including Year 2000 ratings. The FFIEC agencies are solely responsible for disclosing
this information to client financial institutions.

Federal Financial Institutions Examination Council

it

_________________________________________________________________

2100 Pennsylvania Avenue, NW, Suite 200 - Washington, DC 20037 - (202)634-6526 - FAX (202)634-6556

August 31,1998

Q uestions and Answers Concerning FFIEC Year 2000 Policy
To:

The Board o f Directors and Chief Executive Officers of all federally supervised financial institutions,
service providers, software vendors, federal branches and agencies, senior management of each FFIEC
agency, and all examining personnel.

The Federal Financial Institutions Examination Council (FFIEC) has issued eight interagency statements
concerning the Year 2000 project management process and other significant Year 2000 issues. The guidance
covers examination procedures and project management, institution due diligence in connection with Year 2000
readiness o f service providers and software vendors, the Year 2000 impact on customers, testing for Year 2000
readiness, contingency planning, and customer awareness. The purpose of this guidance is to answer commonly
asked questions and clarify previous FFIEC Year 2000 policy statements, rather than introduce additional
expectations.

Q .l. What is the FFIEC’s general policy regarding testing for financial institutions that rely on service
providers or software vendors for mission-critical products and services?
A. 1. The FFIEC recognizes that each financial institution is unique. Management should determine the best
testing strategies and plans for its organization taking into account the size of the institution, the complexity of
its operation, and the level o f its business risk exposure to the Year 2000. The FFIEC also recognizes that there
is no single approach to testing for the Year 2000. Options range from testing within a financial institution’s own
environment to proxy testing. How testing is conducted will depend on a variety of factors, including whether the
testing is being conducted on software or services received from third parties, and the type of system or application
to be tested.
Financial institutions should develop a written plan outlining their testing strategy and set testing priorities based
on the risks that the failure of a system or function may have on its operations. The objective o f a financial
institution’s Year 2000 testing strategy is to minimize business risk due to operational failures. Financial
institutions should assign the highest priority to testing mission-critical systems, as the failure of mission-critical
services and products almost certainly will have a significant adverse impact on the institution’s operations and
financial condition.

Board of Governors of the Federal Reserve System, Federal Deposit Insurance Corporation, National Credit Union Administration,
Office of the Comptroller of the Currency, Office of Thrift Supervision

2
The FFIEC expects financial institutions to manage effectively the Year 2000 testing process, regardless of how
individual systems are developed and operated. In practice, the controls necessary to manage the testing process
effectively will differ depending on the design of the financial institution’s system, interfaces with third parties,
and the type of testing used.

The FFIEC expects service providers and software vendors to conduct extensive testing of their products and
services prior to delivery to client financial institutions. In these cases, financial institutions that use these
products and services may not need to duplicate the entire range of these tests. However, financial institutions
should conduct tests (including future date tests) to ensure that these products and services will operate effectively
in the institution’s unique operating environment. (Refer to the answer to question two for a more detailed
overview of the FFIEC’s policy regarding proxy testing.)
Testing results must be assessed, documented, and approved by management, regardless o f whether the testing
was conducted by the institution in its own environment or through proxy testing. Ultimately, each financial
institution is responsible for ensuring its readiness for the Year 2000.

Q.2. What is the FFIEC’s policy regarding proxy testing for financial institutions that rely on service
providers or software vendors for mission-critical products and services?
A.2. To the extent possible, financial institutions should test their systems in their own environment, because each
financial institution is unique. However, the FFIEC recognizes it is not always feasible for financial institutions
that rely on service providers (serviced institutions) or software purchased from vendors (turnkey institutions) to
test in their own environment. For this reason, the FFIEC has expanded conditions under which proxy testing may
be permissible to include both serviced and turnkey institutions. Financial institutions may rely on proxy tests
conducted by service providers or user groups, as long as the tests are appropriate. These conditions apply to
institutions that provide or receive services, regardless of any affiliations among those institutions (e.g., bank
holding company affiliates). Institutions should consider the following conditions when evaluating the
applicability of proxy testing of mission-critical systems.
Serviced Institutions. In proxy testing, the service provider tests with a representative sample of financial
institutions that use a particular service on the same platform. Test results then are shared with all similarly
situated clients of the service provider. Financial institutions that provide or receive data processing to or from
affiliated institutions have the same responsibilities as any non-affiliated service provider or recipient institution.
Institutions are encouraged to participate, to the extent possible, in the service provider’s efforts to develop the
scope of the test, test scripts, and the data used in the proxy testing.
To accept proxy testing conducted by service providers, an institution should consider the following conditions:
•

Proxy tests are conducted with institutions that are representative of their institution (i.e., similar type and
complexity);

•

Proxy tests are conducted using the same version of Year 2000 ready software that will be used to service
the institution.

3
•

Proxy tests are conducted using the same hardware and operating systems that will be used by the
institution. Where there are differences, the institution should verify and document how the differences
would not affect processing;

•

Scope and objectives are defined by the users and arenot structured or limited by the service provider;

•

Test results are documented and validated; and,

•

Test results are assessed to determine their reliability.
features, functions, options, and calculations.

This review should include relevant date related

For any customized software or services used, an institution should test relevant date dependent functions. A
financial institution also should test systems and interfaces under its direct control and those functions not covered
in the proxy testing. These include items unique to the institution, as well as those for which there are an
insufficient number o f common users to develop acceptable proxy tests.
Turnkey Institutions. The FFIEC “Guidance Concerning Testing for Year 2000 Readiness” outlined conditions
for proxy testing with service providers only. Since the testing guidance was issued in April 1998, financial
institutions and software vendors have sought FFIEC approval to expand proxy testing to include products
provided by software vendors (turnkey software packages) to lessen the financial institution’s burden and allow
for increased efficiencies. The FFIEC now believes proxy testing can be acceptable for turnkey software packages
under certain conditions. Financial institutions may work with other financial institutions through user groups,
who can conduct proxy tests without the software vendor’s participation.
To accept proxy testing of products provided by software vendors, an institution should consider the following
conditions:
•

Proxy tests are conducted with institutions that are representative of their institution (i.e., similar type and
complexity);

•

Proxy testing is conducted using the same software version that the institution will use in its production
environment;

•

Proxy tests are conducted using the same hardware and operating systems that the institution will use.
Where there are differences, the institution should verify and document how the difference will not affect
processing;

•

The scope of the proxy testing is appropriate. This will require the institution to analyze which features
of its mission-critical applications will be tested by the user group. Any date-dependent features used by
a financial institution and not tested by the user group should be tested by the institution;

•

Scope and objectives are defined by the users and are not structured or limited by the software vendor.
A degree of independence from the vendors is necessary to ensure the validity o f the tests. Vendors may,
however, help the user group configure the equipment and software correctly and provide technical
support;
Test results are documented and validated; and,

4

•

Test results are assessed to determine their reliability. This review should include the type of transactions
performed by the financial institution, relevant date related features, functions, options, and calculations.

If the financial institution has modified the code provided by a software vendor, proxy tests cannot be used. The
financial institution should test date-dependent functions of that customized software.
Financial institutions should test functions not covered by the proxy tests to ensure that they operate effectively
in the institution’s unique operating environment. Financial institutions are responsible for reviewing the testing
documentation and comparing transactions it conducts to those tested. Any differences, with emphasis placed on
those involving dates or date-related calculations, will require separate testing by the institution (e.g., the user
group did not test the function that calculates interest on home equity lines of credit and the institution has home
equity lines of credit).
Financial institutions should test interfaces between systems they operate, as well as interfaces with external
entities with which they exchange information.

Q.3. Do financial institutions that rely on proxy tests have to conduct any additional testing?
A. 3. Financial institutions that rely on proxy testing should test internal and external interfaces not covered in the
proxy tests and other items under their control. Such items may include customized software applications and
hardware configurations unique to the institution, and any hardware or software, including proof machines,
reader/sorters, local area networks (LANs), personal computers (PC’s), and automated teller machines (ATMs).
Financial institutions are reminded that testing of environmental systems, including vaults, security systems,
HVAC, etc., also should be included in their overall Year 2000 project plan.

Q.4. Should financial institutions participate in transaction testing efforts coordinated by industry trade
associations and other organizations?
A.4. The FFIEC encourages financial institutions to participate in testing efforts coordinated by industry trade
associations and other organizations. These testing efforts may provide an opportunity to conduct end-to-end
testing o f mission-critical transactions with other financial institutions and material third parties in a more cost
effective manner than could be achieved on an individual basis.

Q.5. Should financial institutions hire outside auditors or consultants to verify their testing processes?
A.5. Financial institution management may use qualified independent internal parties or external parties to verify
the testing process. If the financial institution lacks internal expertise, management should use other qualified
professionals, such as management consultants or CPA firms, to provide an independent review. Verification of
the testing process should involve the project manager, the owner or user of the system tested, and an objective
independent party such as an auditor, consultant, or a qualified individual independent of the process under review.
This objective verification should ensure that the testing process is effective, that key dates are checked, and that

5
the changes made resulted in reliable information processing. If a financial institution is relying on proxy testing,
management should ensure that an independent verification o f the testing process, similar to the type described
above, has occurred.

Q.6. May financial institutions use operating systems that are not Year 2000 ready?
A. 6. The FFIEC strongly encourages financial institutions to use Year 2000-ready operating systems, because
operating systems are central to computerized systems. Although there have been claims by particular software
vendors that a non-compliant operating system can be used to run that vendor’s software, a non-compliant
operating system could cause a variety of problems. For example, the institution may have several programs
purchased from different vendors interfacing with the non-compliant portions of the operating system. This
interaction could cause or contribute to operational failures. Institutions also may find that non-compliant versions
of operating systems may not be supported or maintained by the manufacturer or third party maintenance
organization.

Q.7. Should a financial institution test its computer’s system clock by rolling the dates forward without
consulting with the manufacturer or vendor?
A.7. Financial institutions should work with the manufacturer or software vendor to determine the best and safest
way to assure the equipment is Year 2000 ready. Rolling forward the dates on a computer without proper
instructions could cause serious problems and should be done only after a careful analysis is made of the
implications of such action. It is important to note that some of the problems caused by this type of testing may
not be immediately apparent.

Q.8. May an institution test its remediated mission-critical applications at a hot-site location (disaster
recovery site equipped with an appropriate computer and associated equipment)?
A. 8. If an institution determines that the hardware and operating system used at the hot-site are the same as the
hardware and operating system (type and version) used in-house, then the institution may test at its hot-site. If
the hardware and operating systems are not the same as those used in-house, they may be used if the institution
can demonstrate that the differences will not cause future processing problems. The hardware and software
(including interfaces) running at the hot-site should be Year 2000 ready.

Q.9. Must institutions test all critical dates outlined in the April 10,1998, FFIEC “Guidance Concerning
Testing for Year 2000 Readiness”?
A.9. The FFIEC identified the critical dates in the “Guidance Concerning Testing for Year 2000 Readiness”,
because they are generally considered to be dates critical to banking applications. Testing of various dates may
be waived, if they are not critical to particular applications. An institution may need to test critical dates that are
not included in the FFIEC guidance given the characteristics of particular applications. In either case, a financial

6
institution should document the critical dates tested and explain why they were chosen.

Q.10. Can testing be eliminated if the software uses an eight digit date field?
A. 10. An eight digit date field does not relieve financial institutions, service providers, or software vendors from
the need to test systems and applications or otherwise ensure that the financial institution’s technical environment,
including communications systems, software and hardware are Year 2000 ready. For a variety of reasons, the
number of digits in a date field is not determinative of whether a system or application is Year 2000 ready. For
example, data received from internal or external sources may not have an eight digit date field, and therefore,
might not be compatible. The differences from incompatible date routines may not become apparent until testing
is performed. Also an eight digit date field does not ensure accurate leap year processing. Another purpose of
testing is to ensure that all date fields and date routines have been made Year 2000 ready. In addition, sometimes
what appears to be an eight digit date field is not. Users may be required to enter eight digits, but the software may
be dropping the century indicators and processing using only the remaining six digits.

Q .ll. If a financial institution tests a particular software product in 1998 and receives an update to the
product in 1999, does it need to test the updated version?
A.11. The following factors should be considered when determining whether an update, new release, or patch to
a mission-critical software application or operating system should be re-tested thoroughly, partially, or not at all:
•

The financial institution should consult with its service provider or software vendor to identify the types
of changes made, and the extent to which the service provider or software vendor has conducted internal
testing before releasing the updated product or service;

•

If the changes do not affect date fields or date-related calculations, the financial institution may not have
to test, other than to perform acceptance testing that would accompany the introduction of any software
update, release, or patch; or new or updated operating system; and,

•

If the changes affect date fields or date-related calculations, the financial institution should ensure the new
release, update, or patch is appropriately tested, and that the service provider or software vendor has
adequately documented and warranted the specific testing performed to ensure continued Year 2000
readiness.

As the Year 2000 approaches, financial institutions should carefully evaluate the benefits and risks of installing
new software, software upgrades, or operating system upgrades given the potential Year 2000 complications.

Q.12. What testing documentation should financial institutions retain?
A. 12. Management, in consultation with legal counsel, should retain appropriate documentation associated with
Year 2000 efforts to demonstrate that they have fulfilled, or attempted to fulfill, their fiduciary, contractual, and
regulatory responsibilities in the event of third party litigation. Financial institutions, in discussing document

7
retention with their legal counsel, also should be aware that they must be able to present sufficient documentation
to examiners to enable them to perform comprehensive Year 2000 examinations. The documentation retained
should enable a reasonably knowledgeable person to understand what tests were performed, on what applications,
systems, or hardware, what the results were, and how the results were validated. Testing documentation also could
assist the institution in resolving issues that may occur after the century date change. The following list includes
some o f the testing documentation items that institutions should consider retaining:
•

The organization’s overall Year 2000 plan and its Year 2000 testing plan;

•

The types of tests performed (e.g., baseline, unit, regression) and a summary of the results;

•

The reason the institution chose the tests and how extensive those tests were;

•

The criteria used to determine whether an application or system is Year 2000 ready;

•

Plans for remediating and re-testing any computers, systems or applications that failed Year 2000 tests;

•

The names of persons responsible for authorizing the testing plan and accepting testing results;

•

Communications with service providers and software vendors, including assurances regarding their service
or product; and,

•

Any other documentation the institution believes supports their decisions and conclusions, as well as their
due diligence effort.

Institutions with in-house data centers also should determine the appropriate extent to which they need to retain
copies of the programs that produced the test results. These may be archived on storage media, such as disk, CD
ROM, or tape.

Q.13. What should a financial institution do if its service providers or software vendors are not providing
adequate information on their testing efforts?
A. 13. The FFIEC expects service providers and software vendors to work with financial institutions and share
adequate information on their testing efforts. In the event a financial institution encounters resistance, it should
convey its concerns to its service provider or software vendor. It also may join forces with other institutions, as
part of a user group, to exert collective pressure to improve the flow of information. If, after such efforts, an
institution’s service provider or software vendor continues to refuse or is unable to participate in Year 2000
readiness efforts, or if commitments to migrate software or replace or repair equipment cannot be made by certain
“trigger dates” established by the institution, then the financial institution should implement its remediation
contingency plans. Institutions should keep their primary federal regulator informed if any of the preceding
situations occur.

8
Q.14. Does certification by a nationally recognized organization qualify as testing if the institution’s
program is reviewed by this organization?
A. 14. Such certification is not a substitute for testing, because it generally involves only a review of the process
and does not involve actual testing of applications and systems.

Q.15. What will the regulators stance be on institutions converting to a new mission-critical system in 1999?
A. 15. Whether an institution converts to a new system in 1999 is a decision for the board of directors o f that
institution and may be appropriate in some circumstances. The risk resulting from a conversion will be assessed
on a case-by-case basis.

Q.16. What should financial institutions do to ensure telecommunications and power companies are taking
steps to deliver Year 2000 ready products and services? What is the FFIEC doing to ensure the appropriate
government agencies address the Year 2000 problem with telecommunications and power companies?
A. 16. Financial institutions, service providers and software vendors should contact their telecommunications
companies and/or work through user groups to encourage telecommunications and power companies to provide
information on their Year 2000 efforts and to coordinate testing.
The FFIEC has discussed concerns with the Congress, the President's Year 2000 Council, and the Federal
Communications Commission and will continue its active involvement in these issues. Information on the efforts
of the telecommunications and energy sectors can be found on the President’s Year 2000 Council webpage
(www.y2k.gov).

Q.17. What is the FFIEC’s procedure for examining service providers and software vendors and
distributing the results of the examinations to client financial institutions?
A. 17. The FFIEC agencies examine certain service providers and software vendors. The first phase of
examinations o f service providers and software vendors using standardized examination procedures has been
completed. Distribution of the Year 2000 reports on these companies has begun and will continue during the third
quarter o f 1998. The Year 2000 reports supplement, but are not a substitute for, a financial institution's due
diligence efforts to monitor progress and obtain necessary information directly from its service providers and/or
software vendors. The FFIEC agencies will continue to monitor service providers and software vendors Year 2000
preparedness on a quarterly basis. The examination and distribution processes for each are discussed below.
Large Service Providers and Software Vendors. The FFIEC has established a Year 2000 examination program
for large service providers under the Multi-Regional Data Processing Servicers (MDPS) program and large
software vendors under the Shared Application Software Review (SASR) program. Companies included in the
MDPS and SASR programs process for, or provide software to, a large number of financial institutions that are
regulated by more than one agency. Each of these companies potentially poses a high degree o f systemic risk.
As of June 30, 1998, there were 16 companies in the MDPS program and 12 financial institution software

9
packages (sold by 11 different companies) in the SASR program.
The purpose of the FFIEC’s Year 2000 reviews of MDPS and SASR companies is to ensure a degree of
consistency among the FFIEC agencies relative to the Year 2000 reviews, to assign summary ratings, and to
distribute report findings to client financial institutions. FFIEC agencies follow FFIEC examination procedures
and use a specialized Year 2000 report format. The appropriate FFIEC agency will release Year 2000 examination
reports from MDPS examinations to client financial institutions that are subject to the supervisory authority of
each of the FFIEC agencies. Results of Year 2000 SASR reviews will be released by the FFIEC agency to client
financial institutions if the software vendor consents. Disclosed information will be nonproprietary in nature and
only will discuss the FFIEC’s overall assessment of the SASR’s Year 2000 remediation process.
Independent Data Centers and Smaller Software Vendors. In addition to the examination of MDPS and SASR
companies, the FFIEC agencies also examine other data centers and may examine some smaller software vendors
using similar criteria as the MDPS and SASR reviews. The report format is similar to the MDPS and SASR
reports and will be distributed by the responsible FFIEC agency in much the same manner.

Q.18. Should financial institutions hire outside parties to validate Year 2000 contingency plans?
A. 18. The FFIEC expects that contingency plans be reviewed and validated by an independent party to ensure
effectiveness and then be approved by senior management and the board of directors o f the financial institution.
The independent party may be an internal auditor, external auditor, qualified consultant, or a qualified person from
an independent area within the institution. For additional information on contingency planning expectations, see
the FFIEC “Guidance Concerning Contingency Planning in Connection with Year 2000 Readiness.”

Q.19. Why can’t service providers or software vendors distribute copies of their Year 2000 examination
reports and ratings to client financial institutions?
A. 19. Year 2000 examination reports are confidential and the property of each FFIEC agency. Service providers,
software vendors, and their respective financial institution clients are reminded that they may not disclose publicly
the contents of federal supervisory agency examination reports or reviews o f the institution or any service provider
or software vendor, including the confidential Year 2000 ratings contained therein. Financial institutions, service
providers, and software vendors are not authorized to state and or make any statements that indicate or imply their
Year 2000 plan or actual Year 2000 readiness has been approved or certified by a supervisory agency.