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Federal Reserve Bank of Dallas
2200 N. PEARL ST.
DALLAS, TX 75201-2272

June 26, 2006

Notice 06-31
TO: The Chief Executive Officer of each
financial institution and others concerned
in the Eleventh Federal Reserve District
SUBJECT
Consultation Paper on Intraday Liquidity Management
and Payments System Risk Policy
DETAILS
The Board of Governors of the Federal Reserve System has published a consultation paper
to seek information from financial institutions and other interested parties on their experience in
managing intraday liquidity, credit, and operational risks relating to Fedwire funds transfers and
associated transactions.
The Board also seeks views on potential changes in market practices, operations, and its
Payments System Risk (PSR) Policy that could reduce one or more of these risks, while
maintaining or improving the efficiency of the payments system. This consultation is consistent
with the Federal Reserve’s long-standing practice of working with the financial industry to
address payments system risk issues and provides a framework for discussions about the longterm evolution of the PSR Policy.
The Board must receive comments by December 15, 2006. Please address comments to
Jennifer J. Johnson, Secretary, Board of Governors of the Federal Reserve System, 20th Street
and Constitution Avenue, N.W., Washington, DC 20551. Also, you may e-mail comments to
regs.comments@federalreserve.gov. All comments should refer to Docket No. OP-1257.
The public can also view and submit comments on proposals by the Board and other federal
agencies from the www.regulations.gov web site.

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.

-2ATTACHMENT
A copy of the Board’s notice as it appears on pages 35679–87, Vol. 71, No. 119 of the
Federal Register dated June 21, 2006, is attached.
MORE INFORMATION
For more information, please contact this Bank’s Reserve and Risk Management Division
at (214) 922-5585. Previous Federal Reserve Bank notices are available on our web site at
www.dallasfed.org/banking/notices/index.html or by contacting the Public Affairs Department
at (214) 922-5254.

Federal Register / Vol. 71, No. 119 / Wednesday, June 21, 2006 / Notices

FEDERAL RESERVE SYSTEM
[Docket No. OP–1257]

Consultation Paper on Intraday
Liquidity Management and Payment
System Risk Policy
Board of Governors of the
Federal Reserve System.
ACTION: Notice; Request for comments.

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AGENCY:

SUMMARY: The Board of Governors of the
Federal Reserve System (‘‘Board’’) is
publishing this consultation paper to
seek information from financial
institutions and other interested parties
on their experience in managing
intraday liquidity, credit, and
operational risks relating to Fedwire
funds transfers and associated
transactions. The Board also seeks views
on potential changes in market
practices, operations, and its Payments
System Risk (PSR) Policy that could
reduce one or more of these risks, while
maintaining or improving the efficiency
of the payments system. This
consultation is consistent with the
Federal Reserve’s long-standing practice
of working with the financial industry
to address payments system risk issues
and provides a framework for
discussions about the long-term
evolution of the PSR Policy.
DATES: Comments must be received on
or before December 15, 2006.
ADDRESSES: You may submit comments,
identified by Docket No. OP–1257, by
any of the following methods:
• Agency Web Site: http://
www.federalreserve.gov. Follow the
instructions for submitting comments at
http://www.federalreserve.gov/
generalinfo/foia/ProposedRegs.cfm.

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35679

• Federal eRulemaking Portal:
http://www.regulations.gov. Follow the
instructions for submitting comments.
• E-mail:
regs.comments@federalreserve.gov.
Include the docket number in the
subject line of the message.
• FAX: 202/452–3819 or 202/452–
3102.
• Mail: Jennifer J. Johnson, Secretary,
Board of Governors of the Federal
Reserve System, 20th Street and
Constitution Avenue, NW., Washington,
DC 20551.
All public comments are available
from the Board’s Web site at http://
www.federalreserve.gov/generalinfo/
foia/ProposedRegs.cfm as submitted,
unless modified for technical reasons.
Accordingly, your comments will not be
edited to remove any identifying or
contact information. Public comments
may also be viewed electronically or in
paper in Room MP–500 of the Board’s
Martin Building (20th and C Streets,
NW.) between 9 a.m. and 5 p.m. on
weekdays.
FOR FURTHER INFORMATION CONTACT:
Jeffrey Marquardt, Deputy Director
(202–452–2360), Lisa Hoskins, Assistant
Director (202–452–3437), or Susan
Foley, Manager (202–452–3596),
Division of Reserve Bank Operations
and Payment Systems, Board of
Governors of the Federal Reserve
System; for users of
Telecommunications Device for the Deaf
(‘‘TDD’’) only, contact (202) 263–4869.
SUPPLEMENTARY INFORMATION:
I. Executive Summary
The Federal Reserve’s PSR Policy sets
out the general public policy objectives
of safety and efficiency for payments
and settlement systems.1 The Federal
Reserve is currently reviewing the longterm effects of market, operational, and
policy changes by the financial industry
and the Federal Reserve on intraday
liquidity and risks in financial markets
and the payments system, including
account overdrafts (daylight overdrafts)
at the Federal Reserve Banks (Reserve
Banks). In connection with this review,
the Board is seeking information from
financial institutions and other
interested parties on their experience in
managing intraday liquidity, credit, and
operational risks relating to Fedwire
funds transfers and associated
transactions. The Board is also seeking
commenters’ views on potential changes
in market practices, operations, and its
PSR Policy that could reduce one or
1 See the Board of Governors of the Federal
Reserve System, ‘‘Payments System Risk Policy’’ at
http://www.federalreserve.gov/paymentsystems/psr/
policy.pdf.

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Federal Register / Vol. 71, No. 119 / Wednesday, June 21, 2006 / Notices

more of these risks, while maintaining
or improving the efficiency of the
payments system. The body of this
paper also includes a list of more
detailed objectives relating to safety
(e.g., low systemic risk, low direct credit
risk to the Federal Reserve and the
private sector, and rapid final payments)
and efficiency (e.g., low cost of making
payments, equitable treatment of all
payments system participants, effective
tools for implementing monetary policy,
and low transaction costs in the
Treasury securities market) that the
Board has previously used to conduct
payments system risk analysis. The
paper also provides broad examples of
tradeoffs, particularly risk tradeoffs,
among these detailed objectives (e.g.,
efforts to reduce systemic risk may be
associated with increased levels of
daylight overdrafts in Reserve Bank
accounts, and efforts to reduce daylight
overdrafts may be associated with
delays in making final payments.) An
important goal of this consultation is to
identify opportunities to shift these
trade-offs in a favorable manner that
lowers the overall risks and costs in the
payments system over the long run.
Over the past twenty-five years,
significant changes to U.S. payments
and settlement systems have
substantially reduced systemic risk. In
accord with U.S. and international risk
policies and standards, a number of
these changes have relied increasingly
on the use of central bank money—in
this context, balances that financial
institutions hold in accounts at Reserve
Banks—to strengthen the management
of credit and liquidity risk in privatesector clearing and settlement
arrangements. Such changes have had
the effect of increasing significantly the
intraday demand for central bank
money and hence the demand for
daylight overdrafts at the Reserve Banks,
which are a major source of these funds.
The long-term growth of payment
transactions such as Fedwire funds
transfers, along with continuing
financial market developments, have
also contributed to greater demand for
intraday liquidity and central bank
money, and to greater daylight
overdrafts at the Reserve Banks.
Following a sharp initial decline in
daylight overdrafts in the mid-1990s
when the Board implemented fees for
these overdrafts, and particularly since
about 1997, both average and peak
daylight overdrafts have been growing
slowly but steadily. This growth has
generated gradually increasing credit
exposures of the Reserve Banks. Data
and additional details are provided in
the appendix.

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The Federal Reserve has taken very
significant steps over time to control the
credit exposures of Reserve Banks to
daylight overdrafts. These steps include
establishing an extensive program of
both risk limits (net debit caps) and
daylight overdraft fees, and some
limited use of collateral. However, given
the growing demand for intraday central
bank money and accompanying daylight
overdrafts, significant further
opportunities may be available to
mitigate the growing credit exposures of
the Reserve Banks, for example through
the greater use of collateral, while also
improving intraday liquidity
management for the banking system.
Partly in response to the introduction
of daylight overdraft fees, a number of
depository institutions introduced
explicit strategies and techniques to
manage their intraday liquidity and
daylight overdrafts. More recently, a
combined effect of depository
institutions’ intraday liquidity
management strategies, coupled with
other factors, has been to shift the
sending of larger Fedwire payments to
later in the day. From an operational
risk perspective, delaying the sending of
large payments until late in the day
increases the potential magnitude of
liquidity dislocation and risk in the
financial industry if late-in-the-day
operational disruptions should occur.
An increase in such risk is particularly
troublesome in an era of heightened
concern about operational disruptions
from a range of sources. There may be
significant opportunities to both
improve intraday liquidity management
and reduce late-in-the-day operational
risk.
In July 2006, the Federal Reserve will
implement change—announced in
2004—to its daylight overdraft rules for
government sponsored enterprises and
certain international organizations. The
changes will require these organizations
to eliminate their daylight overdrafts at
the Reserve Banks relating to their
interest and redemption payments and
to pay a penalty fee if daylight
overdrafts occur in their accounts as a
result of their general corporate
payment activity.2 The changes,
however, may indirectly increase
further the demand for intraday
liquidity by depository institutions, and
possibly raise their daylight overdrafts.
The preparations for this policy change
2 The PSR Policy change for government
sponsored enterprises and certain international
organizations is available at http://
www.federalreserve.gov/boarddocs/press/other/
2004/20040205/default.htm. (See also 69 FR 57917,
September 28, 2004.)

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are being closely monitored by the
Federal Reserve.
The subsequent sections of this
consultation paper summarize long-term
developments involving intraday
liquidity and risks in the context of the
Federal Reserve’s PSR Policy, and
provide a brief list of possible market,
operational, and policy changes that
might further assist depository
institutions, financial markets, and the
Reserve Banks in managing intraday
risks. These ideas should be regarded as
preliminary and intended for further
study. If the Board has specific
proposals for changes to Federal Reserve
operations or policies as a result of this
consultation process, they would be
issued for public comment.
II. Background
The Federal Reserve’s Payments
System Risk Policy emerged from
growing concerns in the late 1970s and
early 1980s about systemic risk in the
clearance and settlement functions for
key financial markets as well as
increasing intraday account overdrafts
(daylight overdrafts) by depository
institutions at the Reserve Banks. Over
the years, the Federal Reserve has
engaged in extensive discussions with
the financial industry on these matters.
The outgrowth has been a series of
market, operational, and policy changes
by the industry and the Federal Reserve
that together have substantially reduced
systemic risk, while creating a
significant, structural intraday demand
for central bank money.
For example, the industry has made
important institutional and risk
management changes that rely on the
intraday use of central bank money to
reduce private-sector risks.3 These
changes include The Depository Trust
Company (DTC) making commercial
paper eligible for its book-entry
securities program in 1990 and
expanding its Same-Day Funds
Settlement program to all securities
settling through its system in 1996.4 In
2001, the Clearing House Interbank
Payment System (CHIPS) introduced a
system that requires CHIPS participants
to use central bank money to pre-fund
3 These changes are consistent with current
standards in the Federal Reserve’s PSR Policy that
are derived from international standards established
by the G–10 central banks’ Committee on Payment
and Settlement Systems and the Technical
Committee of the International Organization of
Securities Commissions.
4 The Depository Trust Company (DTC) is a
limited-purpose trust company that provides
custody and settlement services for corporate,
municipal, and other securities. DTC is a member
of the Federal Reserve System and a clearing agency
registered with the Securities and Exchange
Commission.

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CHIPS payments and settlements. This
system also uses payment queuing
techniques and algorithms that allow a
participant’s incoming funds transfers to
fund outgoing transfers in order to
conserve and manage the use of the prefunded intraday liquidity within the
system.5 In 2002, CLS Bank
International (CLS) began settling
foreign exchange transactions using
payment-versus-payment techniques,
along with the (intraday) funding of
daily settlements in central bank money
for seven (now fifteen) currencies,
including the U.S. dollar.6 In
connection with their respective
settlement processes, these systems
accumulate significant intraday
balances in their Reserve Bank accounts.
These and other changes have
substantially reduced systemic risk, but
have also created a structural intraday
demand for central bank money—
balances at Reserve Banks—currently
averaging about $50 billion per day to
support the settlement and risk
management activities of key private
sector payment and settlement systems.
On peak days, this demand can exceed
$150 billion. The demand, which can
‘‘lock up’’ significant amounts of
liquidity in the aggregate during the
day, is met largely using Fedwire funds
transfers and associated daylight
overdrafts in the accounts of depository
institutions. Other needs for intraday
funds, including funding for other
Fedwire payments used to settle
transactions in financial and
commercial markets, create additional
intraday demand for central bank
money.
There are two main sources of supply
to meet this intraday demand. One is
overnight balances held at the Reserve
Banks and the other is daylight
overdrafts.7 Since the mid-1990s,
overnight balances held at the Reserve
Banks have declined by over one third
to $18 billion at the end of 2005.8 Over
5 The Clearing House Interbank Payment System
(CHIPS) is a real-time final payments system
operated by The Clearing House Payments
Company. In January 2001, The Clearing House
implemented operational and rule changes to allow
all transactions settled in CHIPS to be final upon
release from CHIPS’ central queuing system.
6 CLS Bank International (CLS), an Edge
Corporation supervised by the Federal Reserve,
offers payment-versus-payment settlement of
foreign exchange trades. Prior to the creation of
CLS, many foreign exchange trades were subject to
foreign exchange settlement risk (also known as
Herstatt risk), which included significant credit
risk.
7 A Fedwire funds transfer funded by a daylight
overdraft provides an increase in the intraday
balance of central bank money to the recipient.
8 Balances held at the Reserve Banks are the sum
of required reserve balances, required clearing
balances, and excess balances. These balances

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the corresponding time period, average
total daylight overdrafts at the Reserve
Banks grew from $23 billion to $42
billion. (Peak overdrafts averaged about
$120 billion at the end of 2005.) 9 Thus,
to meet the continued growth in
intraday demand for central bank
money the industry has become
increasingly reliant on daylight
overdrafts at the Reserve Banks.
Considering the growth in payments
and financial market activity, the
Reserve Banks’ experience with daylight
overdrafts since the early 1980s is not
surprising. Overdrafts grew
substantially from 1988 to 1993 as the
value and volume of Fedwire
transactions expanded. In 1994, the
Federal Reserve began charging fees for
daylight overdrafts. Initially, total
daylight overdrafts declined
significantly, owing primarily to
changes in the settlement practices in
the government securities and repo
markets. By 1997, total daylight
overdrafts began growing again and
have grown at approximately 8 percent
per year since that time. At first, these
increases were driven primarily by the
continuing growth of daylight overdrafts
attributable to Fedwire funds transfers.
Since 2001, overdrafts attributable to
Fedwire securities transfers have begun
growing again, reinforcing the increase
in total overdrafts (See Appendix, Chart
1). Recently, overdrafts attributable to
both Fedwire funds and securities
transactions have grown roughly in line
with the value of the underlying
transfers, with an upward trend in
overdrafts attributable to Fedwire funds
transfers in 2005 (See Appendix, Chart
2).
The Federal Reserve has undertaken a
number of efforts over a long period to
address the credit risk associated with
providing intraday central bank money
through daylight overdrafts at the
Reserve Banks without unduly
disrupting financial markets. The
Federal Reserve has established key
policies and programs to measure,
monitor, and control intraday credit risk
to the Reserve Banks; these policies and
programs include introducing limits on
account-holders’ overdrafts (net debit
caps), pricing (intraday overdraft fees),
and in certain cases, permitting
collateralization of large overdrafts (max
caps). Taken together, these initiatives
have encouraged the industry to
economize on the use of daylight

overdrafts in their accounts at Reserve
Banks and have helped limit the
Reserve Banks’ credit risk exposures.
In July 2006, the Federal Reserve will
implement changes—announced in
2004—to its daylight overdraft rules for
government sponsored enterprises and
certain international organizations. The
changes will require these organizations
to eliminate their daylight overdrafts at
the Reserve Banks relating to their
interest and redemption payments and
to pay a penalty fee if daylight
overdrafts occur in their accounts as a
result of their general corporate
payment activity. The changes,
however, are likely to increase further
the demand for intraday liquidity by
some depository institutions, and
possibly raise their daylight overdrafts.
To date, the rise in daylight overdrafts
has not necessarily resulted in the
Reserve Banks assuming significantly
greater credit risk. The overall growth of
commercial bank capital and the
continued financial strength of
depository institutions have supported
increasing volumes of payments and
rising levels of daylight overdrafts. Over
the long term, however, either the
continued growth of uncollateralized
daylight overdrafts or a reduction in the
financial strength of depository
institutions could increase the direct
credit risk to the Reserve Banks from
daylight overdrafts.
In recent years, intraday liquidity
management strategies of depository
institutions, coupled with other factors,
have increased the amount of large
Fedwire payments made late in the day.
The aggregate value of Fedwire funds
transfers sent after 5 p.m. Eastern Time
(ET) has increased from 20 percent of
the daily value of Fedwire funds
transfers in 1998 to over 30 percent in
2005.10, 11 (See Appendix, Chart 3) On
peak payment volume days, the
percentage of payments delayed may be
even larger. The upcoming changes in
policy affecting government sponsored
enterprises could further affect this
shift. As noted earlier, the larger the
number and value of Fedwire or other
payments that are made late in the day,
the greater the risk to financial markets
that payments will not be settled in a
timely manner if significant operational
disruptions were to occur late in the
day.
A related long-standing concern of the
Federal Reserve has been that

ranged from $29 to $34 billion in 1994, declined
gradually to a low of $12 billion in 2000, and
ranged from $18 to $23 billion in 2005.
9 Historical peak and average daylight overdraft
data and aggregate fees are available on the Board’s
Web site at http://www.federalreserve.gov/
paymentsystems/psr/data.htm.

10 All times noted are Eastern Time (ET). Data
discussed here exclude the value of payments to
and from CLS, CHIPS, and DTC.
11 The Fedwire Funds Transfer Service business
day begins at 9 p.m. on the preceding calendar day
and closes at 6:30 p.m. The cut-off time for thirdparty transfers is 6 p.m.

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depository institutions’ intraday
liquidity management strategies may
lead them to delay sending Fedwire
payments until they receive payments
in order to manage their use of daylight
overdrafts at the Reserve Banks. If this
practice became widespread, it could
lead to a form of ‘‘gridlock’’ in the
payments system with multiple
depository institutions waiting for each
other to send payments in order to
obtain intraday funds and limit their
daylight overdrafts.
Over time, Board and Reserve Bank
staff has engaged members of the
financial industry in various
discussions about the causes of and
concerns about late-in-the-day payments
and increasing overdraft levels, as well
as potential actions to address these and
other concerns. From preliminary
information and analysis, the Board
understands that the growing volume of
late-in-the-day Fedwire payments may
be caused by (1) the late-in-the-day
settlement by some private systems and
the associated late release of intraday
funds into the market, (2) mismatches of
payments sent over CHIPS and Fedwire
whereby some participants are
consistently long (or short) for the
CHIPS settlement, resulting in large
sums of liquidity being consistently
distributed late in the day to some
institutions, (3) the increasingly late-inthe-day reconciliation of positions by
money market participants and
corresponding late-in-the-day
determination of final funding
requirements, which results in
depository institution customers
initiating late-in-the-day payments, and
(4) the use of general liquidity
management strategies by depository
institutions that rely on internal
queuing of Fedwire payments,
especially large payments, to reduce
their daylight overdrafts and daylight
overdraft fees.
III. Examples of Potential Market,
Operational, or Policy Changes
Looking forward, there may be
important trade-offs among PSR Policy
objectives that need to be analyzed in
light of experience and could be
improved. As noted in the executive
summary, the Board’s general public
policy objectives are to foster the safety
and efficiency of payments and
settlement systems.12 Additional
subsidiary objectives derive from these
broad objectives. The following detailed
objectives were published in the Board’s
12 See Board of Governors, ‘‘Payment System Risk
Policy,’’ op.cit. See also Committee on Payment and
Settlement Systems, ‘‘Core Principles for
Systemically Important Payment Systems,’’ http://
www.bis.org/publ/cpss34ep1.pdf.

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study that led to the pricing of daylight
overdrafts in the 1990s: 13
Safety
• Low direct credit risk to the Federal
Reserve.
• Low direct credit risk to the private
sector.
• Low systemic risk.
• Rapid final payments.
Efficiency
• Low operating expense of making
payments.
• Equitable treatment of all service
providers and users in the payments
system.14
• Effective tools for implementing
monetary policy.
• Low transaction costs in the
Treasury securities market.
Among these detailed objectives,
some trade-offs are readily apparent. For
example, lower systemic risk has been
achieved by strengthening risk controls
in private systems, including using
central bank money as a settlement asset
and risk management tool. These
changes, however, have created the
large structural intraday demand for
central bank money that is satisfied
primarily through daylight overdrafts at
the Reserve Banks, contributing to the
growing direct credit exposure of the
Reserve Banks.
As noted earlier, charging for
overdrafts initially lowered the direct
risk exposure of the Reserve Banks and
encouraged depository institutions to
economize on their use of daylight
credit. The resulting increased operating
expense of making payments, however,
provided an incentive to delay sending
Fedwire payments leading, other things
equal, to greater operational risk
exposure from the greater value of funds
transfers processed later in the day. The
potential trade-off between direct credit
risk to the Reserve Banks and
operational risk exposure to the
financial markets from delays in
sending payments was recognized when
the pricing of overdrafts was initiated.
Early on there was little evidence that
payments were being shifted to later in
the day. In the past five years, however,
payments have shifted, implying that
operational risk exposure has also been
rising.
The strategic question for the industry
and policy makers is whether there are
13 See ‘‘Controlling Risk in the Payment System,’’
Report of the Task Force on Controlling Payments
System Risk to the Payments System Policy
Committee of the Federal Reserve System, Board of
Governors of the Federal Reserve System, August
1988.
14 This objective can be viewed as supporting
efficient financial markets.

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market, operational, or policy changes,
that could, if taken individually or in
combination, significantly reduce one or
more of these risks, while maintaining
or improving the efficiency of the
payments system. Depository
institutions and others have highlighted
a number of items that could be
analyzed further by the Federal Reserve
and the industry. These ideas should be
regarded as preliminary and are
reported here for further comment and
study. These include the following:
Possible Market Changes
• Foster an intraday market to
exchange liquidity between institutions
that hold positive balances at the
Reserve Banks and those that run
negative balances.
• Foster a market for the early return
of federal funds or other money market
investments.
Possible Operational Changes
• Enhance private settlement systems
to economize further on the use of
central bank money, for example, by
developing multiple settlement periods
to release liquidity earlier in the day.
• Add liquidity saving mechanisms to
the Fedwire funds transfer system.
• Establish throughput requirements
for the Fedwire funds transfer system.
Possible PSR Policy Changes
• Make greater use of voluntary or
required collateral to cover daylight
overdrafts in Reserve Bank accounts.
• Introduce a lower price for
collateralized than for uncollateralized
daylight overdrafts.
• Introduce time-of-day pricing of
daylight overdrafts.
Possible Market Changes
As part of the discussions around the
introduction of daylight overdraft fees
in 1994, some industry participants
questioned whether these fees would
create sufficient incentives to establish
an intraday funds market. It is not clear
whether the cost of setting up an
intraday funds market, practical
problems, or both discouraged industry
action. Since that time, depository
institutions have experienced additional
liquidity pressures from time-critical
payments that may provide an incentive
to establish more formal market
arrangements for exchanging intraday
liquidity. The policy, operational, and
technical implications of establishing
such a market are not clearly
understood.
In addition, intraday liquidity
pressures may encourage growth in the
market for the early return of Federal
funds or other money market

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investments. The return of Federal
funds late in the day provides borrowers
rather than lenders with the use of that
liquidity throughout the day. Lenders
may find an early return option
beneficial during periods in which they
anticipate making large or time-critical
payments. Terms acceptable to both
parties could be negotiated to
compensate for the early return.
Currently, transactions supporting the
early return of funds appear to be
relatively rare. A more active market
could effectively amount to an implicit
market for intraday funds. It is not clear
whether there is sufficient demand to
support a larger early-return market. It
is also possible that operational changes
to Fedwire would be needed in order to
support such market arrangements.
Possible Operational Changes
As noted earlier, operational changes
in private settlement systems over the
past several years have created a
significant, structural intraday demand
for central bank money. These systems
established procedures that require
participants to transfer funds to them
early in the day to begin clearing
transactions and to transfer additional
funds during the day if needed for risk
management purposes or final
settlements. While these processes
clearly reduce systemic risk, they can
also ‘‘lock up’’ significant amounts of
liquidity in the aggregate during the
day. It may be possible for private
settlement systems to modify their
procedures to release liquidity earlier in
the day by developing multiple cutoff or
settlement periods. There may be other
operational changes that could enhance
private settlement systems in order to
economize further on the use of intraday
liquidity, particularly in the form of
central bank money.
The Reserve Banks could also explore
establishing a liquidity saving
mechanism for the Fedwire funds
transfer system. For example, a liquidity
saving mechanism could involve adding
new features to Fedwire that depository
institutions could use to economize on
the use of intraday central bank money,
while retaining the existing (real-time
gross settlement) functionality of
Fedwire. While a depository institution
could still designate that a Fedwire
funds transfer settle immediately as it
does today, such new features could
allow depository institutions to
designate certain payments to be placed
into a central queuing system and
settled using algorithms that allow the
liquidity provided by incoming
payments to a depository institution to
be used to settle that institution’s
outgoing payments. Versions of these

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features are used by CHIPS and the
RTGS Plus system in Germany. Such
features will also be included in the
new wire transfer systems in the
European Union (Target 2), Japan, and
other countries. In the typical designs
for such systems, payments retain their
individual identity and are settled on a
gross basis. Like netting arrangements,
however, the systems use the liquidity
from pairs or groups of payments to
fund and settle offsetting or nearly
offsetting payments, potentially
reducing the demand for central bank
money and daylight overdrafts needed
to conduct payment activity.15
In theory, the use of liquidity saving
mechanisms in the Fedwire Funds
Service could also help promote the
earlier sending of Fedwire payments
that are held in depository institutions’
internal queues. For example, suppose a
depository institution (Bank X) could
enter payments into a central queue in
the Fedwire system subject to rules that
these payments would not be sent until
sufficient liquidity is available to fund
these payments, and the liquidity takes
the form of payments held in the queue
on behalf of other depository
institutions that are destined for Bank X.
In this case, payments could be entered
into the central queue early in the day
without incurring daylight overdrafts
fees since no intraday credit would be
used. If a number of depository
institutions enter payments early, then
these payments could also be settled
earlier in the day, using significantly
less daylight credit from the Reserve
Banks. In essence, technical changes to
Fedwire could allow depository
institutions to better coordinate their
payment flows and shift some of these
flows to earlier in the day.
In addition to, or in place of,
technological changes, the Federal
Reserve could consider adopting
procedural changes that can affect the
timing of payments, such as establishing
Fedwire funds transfer throughput
requirements. Throughput requirements
are used by some other systems around
the world. For example, participants
could be expected to submit a certain
percentage of their Fedwire payments
volume by 10 a.m., another percentage
by noon, and so on. Meeting throughput
requirements, however, may be difficult
15 In recent years, both central banks and privatesector systems have explored new features for
payments systems that help coordinate the timing
of payments among depository institutions and help
conserve the amounts of liquidity needed to make
payments. For a discussion of developments in
liquidity saving features and their history, see
Committee on Payment and Settlement Systems,
‘‘New developments in large-value payment
systems,’’ Bank for International Settlements, May
2005. (http://www.bis.org/publ/cpss67.pdf)

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35683

for individual participants to achieve
and also difficult to enforce.
Possible PSR Policy Changes
In 2001, the Board stated that it might
consider several changes to its PSR
Policy, including the introduction of
two-tiered pricing for daylight
overdrafts, with one rate for
uncollateralized overdrafts and a
second, lower rate, for collateralized
overdrafts.16 Greater use of collateral to
cover daylight overdrafts coupled with
two-tier pricing could lower the cost of
daylight overdrafts, reduce direct credit
risk to the Reserve Banks, and increase
the flexibility of the supply of intraday
central bank money through the
daylight overdraft mechanism. Concerns
about possible adverse effects on
depository institutions or the payments
system as a whole figured importantly
in decisions not to require the full
collateralization of daylight overdrafts
when the PSR Policy was initially
developed. Since 2002, however, the
level of collateral pledged to Reserve
Banks for discount window and PSR
purposes has increased steadily. In
2005, 64 percent of the approximately
270 depository institutions that paid
daylight overdraft fees had assets
pledged to the Reserve Banks for
discount window purposes. These data
imply that the role of collateral in
supporting daylight overdrafts could be
augmented with little to no adverse
effect on many institutions.
Potential collateral policies can have
different characteristics that influence
the degree to which they would reduce
risk to Reserve Banks, affect the intraday
supply of central bank money, and
influence the timing of payments. The
terms for providing collateralized
intraday credit, the availability of
eligible collateral and its opportunity
cost, and the associated charges for
daylight overdrafts would be major
factors in a collateral policy. For
example, the collateralization of
daylight overdrafts might be either
required (for all daylight overdrafts or
some portion thereof) or voluntary (i.e.,
pledged at the depository institution’s
discretion); the definition of eligible
collateral might be either narrow or
16 See 66 FR 30208, June 5, 2001. The Board
issued a subsequent notice in 2002 discussing
comments received regarding its potential longer
term policy direction, including two-tiered pricing.
(67 FR 54424, August 22, 2002) In this notice, the
Board stated that it would continue to evaluate the
benefits and drawbacks of implementing two-tiered
pricing. The Board also stated that it intended to
allow depository institutions with collateral
pledged to be charged the collateralized price for
daylight credit up to the level of that collateral
before being charged the higher price for
uncollateralized daylight credit.

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broad; the daylight overdraft fee might
be either risk-based or not, with the fee
for uncollateralized credit set above the
fee for collateralized credit.
Given the widespread use of collateral
in financial markets to mitigate risk and
the potential for daylight overdrafts to
become overnight lending by the
Reserve Banks, consideration should be
given to having collateral play a much
greater role in managing daylight
overdrafts. Whereas most other central
banks require participants to
collateralize all intraday overdrafts, the
PSR Policy currently requires collateral
for daylight overdrafts only in limited
circumstances.17 Over the long run, the
greater use of collateral might provide a
more flexible means for the Federal
Reserve to deal with the impact of
future stresses in the financial industry
on the availability of intraday balances
through the daylight overdraft
mechanism. Incentives to increase the
amount of collateral pledged to the
Reserve Banks could also potentially
strengthen further the industry’s
preparedness to draw on the discount
window.
Regarding collateral eligibility, the
Reserve Banks’ lending policy assumes
that if a daylight overdraft is not repaid,
it could become a discount window
loan and appropriate collateral would
be needed to support that loan. As a
result, the types of collateral eligible for
securing daylight overdrafts currently
track the types eligible for discount
window purposes.18 At year-end 2005,
collateral pledged to the Reserve Banks
for discount window and PSR purposes
amounted to almost $564 billion; 70
percent of this collateral took the form
of bank loans.
Regarding fees for collateralized
daylight overdrafts, there are several
options. Today, the Federal Reserve
charges the same fee for collateralized
and uncollateralized overdrafts. In
contrast, other central banks do not
generally charge fees for daylight
overdrafts (but do require collateral). It
would be possible to consider a risk17 For example, Reserve Banks may require
collateral from financially-troubled depository
institutions or participants that are not eligible to
borrow from the discount window. In addition, an
institution that is constrained by its net debit cap
may be permitted to obtain additional,
collateralized daylight overdraft capacity.
18 The Reserve Banks accept a wide range of
financial assets as collateral for discount window
loans. The collateral eligibility policy is set forth in
the Federal Reserve’s Regulation A, Extensions of
Credit by Federal Reserve Banks (12 CFR 201.3).
Additional terms and conditions relating to
collateral are established in the Reserve Banks’
Operating Circular No. 8, Collateral, and Operating
Circular No. 10, Lending, which can be found at
http://frbservices.org/OperatingCirculars/
index.html.

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based fee for collateralized overdrafts
that was lower than the fee for
uncollateralized overdrafts. The Board
did not specify a price for collateralized
daylight credit in either its 2002 notice
or 2001 request for comment on
potential longer-term policy direction.
The original request for comment,
however, discussed a possible
methodology for determining a risk
differential between collateralized and
uncollateralized credit. The Board
examined loans for federal funds, which
are uncollateralized, and loans through
repurchase agreements, which are
collateralized, and set forth a possible
daylight overdraft fee differential of 12
to 15 basis points (per annum) for a 24hour period.
Finally, the Federal Reserve might
have other options to influence the
timing of payments. For example, the
Federal Reserve might be able to
influence the timing of payments by
varying the fee charged for daylight
overdrafts through the day so that
overdrafts incurred earlier in the day
incur a lower fee than overdrafts
incurred late in the day.
IV. Conclusion
From a public policy perspective, the
ideas outlined in Section III can be
understood as possibilities for
improving the trade-offs among the
Federal Reserve’s PSR Policy objectives
either by affecting the demand for
intraday liquidity or by affecting the
terms on which Reserve Banks supply
intraday central bank money via
daylight overdrafts. At this stage, the
Board believes it is important to request
input from the public on potential
changes in market practices, operations,
or PSR Policy that could further reduce
intraday liquidity, credit, and
operational risks. The Board specifically
encourages comments on the suggested
means to improve trade-offs among
safety and efficiency objectives and
requests information that will help
strengthen the analysis of these tradeoffs. The Board also welcomes
additional suggestions from financial
institutions and other interested parties
in connection with the long-term
evolution of risk policy. Section V
includes a list of specific questions to
help frame commenters’ analysis and
response.
V. Questions
1. What intraday liquidity
conservation strategies and technologies
does your institution use (such as
controlling the timing of payments and
introducing queuing techniques to
conserve on liquidity)? How do these
affect your institution’s timing for

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sending payments? What, if any,
changes are you planning with regard to
intraday liquidity management?
2. How do the concentrated demands
for intraday central bank money by
private sector systems influence
intraday liquidity management by
depository institutions throughout the
day? Are there significant concentrated
sources of demand for intraday central
bank money beyond those already
mentioned in the text and how does this
demand affect intraday liquidity
management?
3. Is the concentration of payments
late in the day a concern for your
organization? If so, what is the nature of
your concern? Does it include
operational risk from late-in-the-day
payments, and has operational risk to
your organization from such payments
been increasing or decreasing? What are
the key drivers of late-in-the-day
payments? How has your organization
responded to the late-in-the-day
concentration of payments?
4. For the market, operational, and
PSR Policy changes discussed in this
document and listed as follows, how
might the timing of payments and the
demand for daylight overdrafts be
affected? What advantages or
disadvantages do you see for these
changes?
• An intraday market to exchange
liquidity between institutions that hold
positive balances at the Reserve Banks
and those that run negative balances.
• A market for the early return of
federal funds or other money market
investments.
• Enhancements by private settlement
systems that further economize on the
use of central bank money, for example
multiple settlement periods to release
liquidity earlier in the day.
• Liquidity saving mechanisms for
the Fedwire funds transfer system.
• Throughput requirements for the
Fedwire funds transfer system.
• Greater use of voluntary or required
collateral to cover partially or fully
daylight overdrafts in depository
institution accounts at the Reserve
Banks.
• Two-tiered pricing for collateralized
daylight overdrafts, with a fee charged
for collateralized daylight overdrafts set
lower than the rate for uncollateralized
overdrafts.
• Time-of-day pricing of daylight
overdrafts.
5. What are other possible approaches
to consider to reduce delays in
payments and to manage efficiently and
effectively the Federal Reserve’s
exposure to increasing daylight
overdrafts as well as depository
institutions’ exposure to intraday

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funds transfers (adjusted for inflation)
have more than doubled from $44
billion to $96 billion, growing at a rate
of 4.2 percent per year. (In 2005, peak
overdrafts associated with funds
transfers averaged $108 billion in
nominal dollars.) 20 In contrast, daylight
overdrafts related to securities transfers,
which had been increasing rapidly prior
to the implementation of daylight
overdraft fees, decreased rapidly after
1994 once those fees were implemented.
Since 2000, however, daylight
overdrafts for securities transfers have
begun increasing again.

Daylight Overdrafts
The Federal Reserve introduced the
Payment System Risk Policy in 1986,

establishing cross-system net debit caps
for Fedwire and CHIPS on the use of
intraday credit. Over the next two years,
cross-system net debit caps were
reduced twice and eventually replaced
in 1991 with caps that only applied to
overdrafts incurred in Reserve Bank
accounts. Intraday overdraft fees were
formally adopted by the Board in 1992
and became effective in 1994. Almost a
decade later, the Federal Reserve
implemented a policy allowing certain
institutions to request collateralized
capacity in excess of the net debit cap.19
Chart 1 provides peak overdraft data
adjusted for inflation. Average overdraft
data show a similar pattern at lower
levels. Since 1986, average and peak
daylight overdrafts have steadily
increased for Fedwire funds transfers.
From 1986 to 2005, peak daylight
overdrafts associated with Fedwire

Further, as shown in Chart 2, intraday
credit usage associated with Fedwire
funds transfers has grown roughly in
line with the value of these funds
transfers for many years, with an

upward trend in 2005. Average
overdrafts resulting from Fedwire funds
transfers and the value of Fedwire funds
transfers have grown 11 and 9 percent
per year, respectively, since 1994.

Chart 2

19 In 2001, in conjunction with allowing certain
institutions to request collateralized capacity, the
Federal Reserve decided to include book-entry
securities overdrafts for the purposes of
determining an institution’s compliance with its

cap. The Federal Reserve eliminated the frequent
and material thresholds that required a depository
institution to collateralize overdrafts associated
with securities transfers that frequently and
materially exceeded its net debit cap.

20 Historical peak and average daylight overdraft
data and aggregate fees in nominal dollars are
available on the Board’s Web site at http://
www.federalreserve.gov/paymentsystems/psr/
data.htm.

VI. Appendix

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Chart 1
Peak Daylight Overdrafts: 1986–2005
(Annual Averages of Daily Data in 2000
Dollars)

Daylight Overdrafts at Reserve Banks as
a Percent of Average Daily Value of
Fedwire Transfers
(1994–2005: Daily Averages)

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EN21JN06.001</GPH>

liquidity and credit risks? Are there
other market or operational changes in
the private sector that could help reduce
intraday liquidity and credit risks?
6. Congress is currently considering
legislation that would allow the Federal
Reserve to pay interest on reserve
balances held by depository institutions
at the Reserve Banks. How would the
payment of interest on reserves affect
depository institutions’ intraday
liquidity management, including the
demand for daylight overdrafts at the
Reserve Banks? Could the payment of
interest on reserves be utilized to reduce
the value or timing of daylight
overdrafts?

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21 See Richards, Heidi Willmann, ‘‘Daylight
Overdraft Fees and the Federal Reserve’s Payment

System Risk Policy,’’ Federal Reserve Bulletin,
December 1995.

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Timing of Fedwire Funds Transfers

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in 1998 to over 30 percent in 2005. This
calculation excludes all payment
transactions sent or received by CHIPS,
DTC, or CLS, including transactions
related to important end-of-day funding
and settlement functions.
Chart 3
Timing of Fedwire Payments Excluding
Transactions Sent or Received by
CHIPS, DTC, or CLS
(1998–2005: Percentage of Daily Value—
21 Day Moving Average)

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In the early years of the Payments
System Risk Policy, there was no clear
evidence that a substantial value of
payments originated on Fedwire shifted

to late in the day in response to policy
changes.21 More recently, as discussed
above, structural changes in the
payments system, along with technology
and market factors, may have
contributed to market-wide delays in
making Fedwire funds transfers.
Chart 3 shows that while the
percentage of payments slightly
increased after 3:30 p.m., the percentage
dramatically increased after 5 p.m. The
percentage of payments made after 5
p.m. went from 20 percent of payments

Overall, while total peak system
overdrafts are still slightly below prepricing levels in nominal dollars ($120
billion in 2005; $129 billion in 1993),
total average overdrafts now exceed prepricing levels ($41 billion in 2005; $33
billion in 1993).

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Federal Register / Vol. 71, No. 119 / Wednesday, June 21, 2006 / Notices
By order of the Board of Governors of the
Federal Reserve System, June 14, 2006.
Jennifer J. Johnson,
Secretary of the Board.
[FR Doc. 06–5538 Filed 6–20–06; 8:45 am]

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BILLING CODE 6210–01–P

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