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Joint Press Release

For immediate release

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

December 13, 2006

Federal Financial Regulatory Agencies Issue Interagency Policy Statement on the
Allowance for Loan and Lease Losses and Frequently Asked Questions
The federal financial regulatory agencies announced today the issuance of a new
interagency policy statement on the Allowance for Loan and Lease Losses (ALLL) and
supplemental Frequently Asked Questions (FAQs). The policy statement revises and
replaces a 1993 policy statement on the ALLL.
The agencies believe an assessment of the appropriateness of the ALLL is critical to the
safety and soundness of a financial institution, especially in today’s uncertain economic
environment and when concentrations in untested loan products are present. The policy
statement has been updated to ensure consistency with generally accepted accounting
principles (GAAP) and post-1993 supervisory guidance. The 1993 policy statement was
issued by the Office of the Comptroller of the Currency, the Board of Governors of the
Federal Reserve System, the Federal Deposit Insurance Corporation and the Office of Thrift
Supervision. It was intended to describe: the responsibilities of the boards of directors,
management, and examiners of banks and savings associations regarding the ALLL; factors
to be considered in the estimation of the ALLL; and the objectives and elements of an
effective loan review system, including a sound credit grading system. The revised policy
statement updates this guidance and also extends it to credit unions and their examiners. The
National Credit Union Administration has joined the other agencies in issuing the revised
policy statement.
This revision reiterates key concepts and requirements included in GAAP and existing
ALLL supervisory guidance. The ALLL represents one of the most significant estimates in
an institution’s financial statements and regulatory reports. Because of its significance, each
institution has a responsibility for developing, maintaining and documenting a
comprehensive, systematic, and consistently applied process appropriate to its size and the
nature, scope, and risk of its lending activities for determining the amounts of the ALLL and
the provision for loan and lease losses. To fulfill this responsibility, each institution should
ensure controls are in place to consistently determine the ALLL in accordance with GAAP,
the institution’s stated policies and procedures, management’s best judgment and relevant
supervisory guidance.
Consistent with longstanding supervisory guidance, institutions must maintain an ALLL at a
level that is appropriate to cover estimated credit losses on individually evaluated loans

determined to be impaired as well as estimated credit losses inherent in the remainder of the
loan and lease portfolio. Estimates of credit losses should reflect consideration of all
significant factors that affect the collectibility of the portfolio as of the evaluation date.
Arriving at an appropriate allowance involves a high degree of management judgment and
results in a range of estimated losses. Accordingly, prudent, conservative, but not excessive,
loan loss allowances that represent management’s best estimate from within an acceptable
range of estimated losses are appropriate.
In addition to the revised policy statement, the agencies are issuing sixteen FAQs to assist
institutions in complying with GAAP and the ALLL supervisory guidance.
The Interagency Policy Statement on the ALLL and the FAQs are attached.
Attachment (1,539 KB PDF)
Attachment (848 KB PDF)
Media Contacts:
OCC
Kevin Mukri
Federal Reserve Susan Stawick
FDIC
David Barr
NCUA
John J. McKechnie, III
OTS
Katie Fitzgerald

(202) 874-5770
(202) 452-2955
(202) 898-6992
(703) 518-6331
(202) 906-6677

2006 Banking and consumer regulatory policy
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Last update: December 13, 2006