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l l★K

Federal Reserve Bank
of Dallas

DALLAS, TEXAS
75265-5906

February 6, 2001
Notice 01-13

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

SUBJECT
Request for Comments on
Proposal to Modify Method for Calculating
Private Sector Adjustment Factor
DETAILS
The Board of Governors of the Federal Reserve System has requested public comment on a proposal to modify the method for calculating the private sector adjustment factor
(PSAF). The PSAF imputes the costs that would have been incurred and profits that would have
been earned had the Federal Reserve Banks’ priced services been provided by a private firm.
Specifically, the Board requests comment on a proposal to modify the current method
for imputing debt and equity, to enhance the method for determining the target rate of return on
equity, and to continue using the fifty largest bank holding companies’ financial data as a proxy
for Federal Reserve priced-services activities. If adopted, the changes would be effective for the
2002 PSAF and fees for Federal Reserve priced services.
The Board must receive comments by April 6, 2001. Please address comments to
Jennifer J. Johnson, Secretary, Board of Governors of the Federal Reserve System, 20th and C
Streets, N.W., Washington, DC 20551. Also, you may mail comments electronically to
regs.comments@federalreserve.gov. All comments should refer to Docket No. R-1095.
ATTACHMENT
A copy of the Board’s notice as it appears on pages 82360–66, Vol. 65, No. 250 of the
Federal Register dated December 28, 2000, is attached.

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.

-2MORE INFORMATION
For more information, please contact Bill Green, Payments Services Department,
(214) 922-5490. For additional copies of this Bank’s notice, contact the Public Affairs
Department at (214) 922-5254 or access District Notices on our web site at
http://www.dallasfed.org/banking/notices/index.html.
Sincerely,

Federal Register

Thursday
December 28, 2000

Board of Governors of the
Federal Reserve System
Federal Reserve Bank Services;
Private Sector Adjustment Factor

Docket No. R-1095
Notice with request for comments.

82360

Federal Register / Vol. 65, No. 250 / Thursday, December 28, 2000 / Notices

available for inspection at the offices of
the Board of Governors. Interested
persons may express their views in
writing on the standards enumerated in
the BHC Act (12 U.S.C. 1842(c)). If the
proposal also involves the acquisition of
a nonbanking company, the review also
includes whether the acquisition of the
nonbanking company complies with the
standards in section 4 of the BHC Act
(12 U.S.C. 1843). Unless otherwise
noted, nonbanking activities will be
conducted throughout the United States.
Additional information on all bank
holding companies may be obtained
from the National Information Center
website at www.ffiec.gov/nic/.
Unless otherwise noted, comments
regarding each of these applications
must be received at the Reserve Bank
indicated or the offices of the Board of
Governors not later than January 22,
2000.
A. Federal Reserve Bank of
Richmond (A. Linwood Gill, III, Vice
President) 701 East Byrd Street,
Richmond, Virginia 23261–4528:
1. Century Bancshares, Inc.,
Washington, D.C.; to merge with
GrandBanc, Inc., Rockville, Maryland,
and thereby indirectly acquire
GrandBank, Rockville, Maryland.
B. Federal Reserve Bank of Chicago
(Phillip Jackson, Applications Officer)
230 South LaSalle Street, Chicago,
Illinois 60690–1414:
1. First BancTrust Corporation, Paris,
Illinois; to become a bank holding
company by acquiring 100 percent of
the voting shares of First Bank & Trust,
S.B., Paris, Illinois (upon the bank’s
conversion to stock form).
Board of Governors of the Federal Reserve
System, December 22, 2000.
Jennifer J. Johnson
Secretary of the Board.
[FR Doc. 00–33207 Filed 12–27–00; 8:45 am]
BILLING CODE 6210–01–S

FEDERAL RESERVE SYSTEM
[Docket No. R–1095]

Federal Reserve Bank Services;
Private Sector Adjustment Factor
AGENCY: Board of Governors of the
Federal Reserve System.
ACTION: Notice with request for
comments.
SUMMARY: The Board requests comment
on a proposal to modify the method for
calculating the private sector adjustment
factor (PSAF). The PSAF imputes the
costs that would have been incurred and
profits that would have been earned had
the Federal Reserve Banks’ priced

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22:51 Dec 27, 2000

services been provided by a private
firm. The Monetary Control Act of 1980
(MCA) requires that the Federal Reserve
set fees for its services to recover, over
the long term, its actual costs of
providing the services, as well as these
imputed costs and profits. The Board
reviews its method for calculating the
PSAF periodically to assess whether it
is still appropriate in light of the
changing environment.
Specifically, the Board requests
comment on a proposal to modify the
current method for imputing debt and
equity, to enhance the method for
determining the target rate of return on
equity, and to continue using the fifty
largest bank holding companies’
financial data as a proxy for Federal
Reserve priced-services activities. If
adopted, the changes would be effective
for the 2002 PSAF and fees for Federal
Reserve priced services.
DATES: Comments must be submitted on
or before April 6, 2001.
ADDRESSES: Comments, which should
refer to Docket No. R–1095, may be
mailed to Ms. Jennifer J. Johnson,
Secretary, Board of Governors of the
Federal Reserve System, 20th and C
Streets, NW, Washington, DC 20551 or
mailed electronically to
regs.comments@federalreserve.gov.
Comments addressed to Ms. Johnson
also may be delivered to the Board’s
mail room between 8:45 a.m. and 5:15
p.m. and to the security control room
outside of those hours. Both the mail
room and the security control room are
accessible from the courtyard entrance
on 20th Street between Constitution
Avenue and C Street, NW. Comments
may be inspected in Room MP–500
between 9 a.m. and 5 p.m. weekdays,
pursuant to § 261.12, except as provided
in § 261.14 of the Board’s Rules
Regarding Availability of Information,
12 CFR 261.12 and 261.14.
FOR FURTHER INFORMATION CONTACT:
Gregory L. Evans, Manager (202/452–
3945); Brenda Richards, Sr. Financial
Analyst (202/452–2753); or Rebecca
Kenyon, Financial Analyst (202/452–
2974), Division of Reserve Bank
Operations and Payment Systems. For
users of Telecommunication Device for
the Deaf (TDD) only, please contact
Janice Simms, (202/872–4984). Copies
of a research paper describing the
theoretical basis and detailed
application of each of the proposed
models (‘‘The Federal Reserve Banks’
Imputed Cost of Equity Capital’’) may be
obtained from the Board through the
Freedom of Information Office (202/
452–3684) or at the Board’s web site at
www.federalreserve.gov by accessing the
press release for this proposal.

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SUPPLEMENTARY INFORMATION:

I. Background
The MCA requires Federal Reserve
Banks to establish fees for ‘‘priced
services’’ provided to depository
institutions at a level necessary to
recover all direct and indirect costs
actually incurred and imputed costs.
Imputed costs include financing costs,
return on capital (also referred to as
profit), taxes, and certain other expenses
that would be incurred if a private
business firm provided the services. In
establishing fees, the Board considers
the objectives of fostering competition,
improving the efficiency of the
payments mechanism, and providing an
adequate level of services nationwide.
The imputed costs and imputed profit
are collectively referred to as the private
sector adjustment factor (PSAF).
The methodology underlying the
PSAF is reviewed periodically to ensure
that it is still appropriate in light of
changes that may have occurred in
Reserve Bank priced-service activities,
accounting standards, finance theory
and regulatory practices, and banking
activity.
A. Private Sector Adjustment Factor
The current method for calculating
the PSAF involves determining the
value of Federal Reserve assets to be
used in providing priced services during
the coming year, the financing mix used
to fund them, and the rates used to
impute financing costs. Assets are
determined using Reserve Bank
information on actual assets and
projected disposals and acquisitions.
The priced-services portion of mixeduse assets is determined based on the
allocation of related depreciation
expense. Historically, short-term assets
are assumed to be financed with shortterm liabilities and long-term assets are
assumed to be financed with a
combination of long-term debt and
equity. The financing rates and the
combination of financing types are
based on data developed from the ‘‘bank
holding company (BHC) model,’’ a
model that contains consolidated
financial data for the nation’s fifty
largest (asset size) BHCs.
Imputed taxes are captured using a
pre-tax return on equity (ROE). The use
of the pre-tax ROE assumes that a 100
percent recovery of expenses, including
the targeted ROE, will be achieved.
Should the pre-tax earnings be more or
less than the targeted ROE, the PSAF is
adjusted (‘‘variable PSAF’’) for the tax
expense or savings associated with the
adjusted recovery. The variable PSAF
tax rate is the median of the rates paid
by the BHCs over the past five years

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adjusted to the extent that the BHCs are
invested in municipal bonds.
In addition, the PSAF includes the
estimated priced-services expenses of
the Board of Governors, imputed sales
taxes, and an assessment for FDIC
insurance, imputed based on current
FDIC rates and projected clearing
balances (deposits) held with the
Reserve Banks.
B. Net Income on Clearing Balances
(NICB)
Depository institutions may hold both
reserve and clearing balances with the
Federal Reserve Banks.1 Reserve
balances are held pursuant to a
regulatory requirement and are separate
from the Reserve Banks’ priced-services
activities. Clearing balances, based on
contractual agreements with Reserve
Banks, are held to settle transactions
arising from use of Federal Reserve
priced services. In some cases,
depository institutions hold clearing
balances in excess of the contractual
agreements.
The NICB calculation assumes that
the Reserve Banks invest the clearing
balances net of imputed reserves, and
imputes an equal investment in threemonth Treasury bills. The calculation
also determines the actual pricedservices cost of earnings credits
(amounts available to offset future
service fees) on contracted clearing
balances held, net of expired earnings
credits, based on the federal funds rate.
Because they are held for clearing
priced-services transactions, clearing
balances are directly related to priced
services. Therefore, the net earnings or
expense attributable to the imputed
Treasury-bill investments and clearing
balances are considered income or
expense for priced-services activities.
II. Proposed Methodology Changes
Since the adoption of the PSAF and
NICB framework, certain finance
theories have gained industry
acceptance and the levels of clearing
balances held by depository institutions
with the Reserve Banks have increased
significantly. In addition, mergers,
acquisitions, and the expansion of
allowable BHC activities may alter the
comparability of the top fifty BHCs to
the Reserve Bank priced-services
activities. The criteria used for
evaluating alternatives proposed for
various components of the calculation
were based on the conceptual
framework of the PSAF and its
relationship to private-sector practice.
1 Clearing balances, unless otherwise indicated,
refers to contracted and excess clearing balances
held by depository institutions with the Federal
Reserve Banks.

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As a result, the Board requests comment
on a proposal that seeks to create a
priced-services balance sheet that
resembles that of a private business
firm, using real assets and liabilities,
imputing liabilities and equity only to
the extent necessary, and more
appropriately reflecting the risk
inherent in priced-service activity.
A. Imputed Debt and Equity
The current method for computing the
PSAF and NICB unnecessarily imputes
larger amounts of certain assets and
liabilities and the related income and
expenses to priced services. Considering
the growth in the size of clearing
balances since the inception of the NICB
and the stable nature of the majority of
the balances, it is likely that rather than
incur additional debt costs, a private
business firm would use a portion of
these balances to finance its capital
needs. Assuming a sensible business use
of clearing balances is necessary to
provide an appropriate cost comparison
between Reserve Bank and privatesector service providers. For the Federal
Reserve, such an assumption requires
the integration of the PSAF and NICB
computations to effectively eliminate
imputed debt and reduce imputed
investments in Treasury securities.
Essentially, the Reserve Bank pricedservices activity will forgo earnings at
the Treasury-bill rate to reduce longterm and short-term debt expenses.
Under the proposal, a portion of the
contracted clearing balances would be
considered ‘‘core deposits,’’ that is,
deposits that will remain stable without
regard to the magnitude of actual
clearing balances. This use is consistent
with a banking organization’s use of
deposits. Banking and regulatory
practice recognizes that core deposits,
while technically short-term, are largely
stable over time. This stability provides
confidence that a substantial portion of
the balances can appropriately be used
to fund longer-term assets.
1. Imputed Debt
When the PSAF methodology was
established, clearing balances were new,
quite small, and did not offer a
significant source of funding. Since
1992 the balances have not fallen below
$4 billion. This proposal recommends
that $4 billion of clearing balances (out
of more than $7 billion clearing
balances currently maintained) could
initially be considered available to
finance long-term assets. The Board
considers this a conservative level of
core balances. Based on the current
level of priced-services assets, an
insubstantial part of these balances
would actually be used for financing.

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The Board expects that the definition of
core deposits may be adjusted over time
to consider clearing balance trends.
The Board requests comment on the
benefits and drawbacks of using core
clearing balances as a source of
financing long-term assets. The Board is
also interested in commenters’ opinions
on whether establishing an initial level
of core balances of $4 billion is
reasonable. If commenters have an
opinion on how the core balance should
be determined, the Board would be
interested in learning the details of that
method.
2. Imputed Equity
Another important aspect of the PSAF
calculation is determining an
appropriate level of equity from which
to impute a target ROE. The proposal’s
use of clearing balances to determine
the appropriate amount of imputed
debt, rather than using a debt-to-equity
ratio from the BHC model, requires a
new method of imputing equity.2 A
private business firm would generally
maintain equity, an expensive financing
source, at the minimum level necessary
to finance assets, to manage risk, and to
meet regulatory requirements. The
current PSAF method for imputing
equity is not based on these
considerations and imputed equity has
historically been either more or less
than regulatory requirements,
depending on the BHC model debt-toequity ratio. The Board proposes
targeting an equity level sufficient to
satisfy the FDIC requirement for a wellcapitalized institution, which is
currently 5 percent of total assets and 10
percent of risk-weighted assets.3 This
proposal is consistent with how the
Board believes rational bank
management would target its equity
level. The Board requests comment on
whether basing priced-services equity
on regulatory requirements is a
reasonable method.
B. Imputed Return on Equity
The Board proposes that the target
ROE used for the PSAF be calculated
using a combination of the current
comparable accounting earnings model
2 The BHC model debt-to-equity ratio is currently
used to determine imputed debt and equity
necessary to finance long-term priced-services
assets.
3 The FDIC requirements for a well-capitalized
financial institution are (1) a ratio of total capital
to risk-weighted assets of 10 percent or greater; and
(2) a ratio of Tier 1 capital to risk-weighted assets
of 6 percent or greater; and (3) a leverage ratio of
Tier 1 capital to total assets of 5 percent or greater.
The Federal Reserve priced-services balance sheet
total capital has no components of tier 1 or total
capital other than equity; therefore, requirements 1
and 2 are essentially the same measurement.

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and two additional economic models, a
capital asset pricing model and a
discounted cash flow model.4
1. Current Method
The target return on equity for
Reserve Bank priced services is
calculated using BHC data taken from
publicly available audited financial
statements. The PSAF BHC equity cost
of capital, or ROE, is calculated as an
average of the ratios of the BHCs’ net
income and average book value of
equity. As an example of a comparable
accounting earnings (CAE) model, the
BHC model can be duplicated and is
readily accepted in industry practice. Its
shortcomings are that it uses historical
data from the two to seven years before
the target year to predict future earnings
and is based on book rather than market
values.5
2. Capital Asset Pricing Model (CAPM)
The CAPM approach estimates the
imputed BHC ROE from the return on a
stock portfolio of the fifty largest (asset
size) BHCs over a one-year period. The
ROE estimated using this approach is
the sum of a measure of the one-year
risk-free rate and an equity risk
premium for the BHC sample. This risk
premium is the product of the
sensitivity of the specified portfolio of
BHC sample stocks to the overall stock
market (the portfolio’s beta) plus a
historical measure of the one-year stock
market return relative to the risk-free
rate. As proposed, the portfolio weights
are based on BHC equity market
capitalization. This model provides a
strong theoretical framework for
addressing risk and its effect on the
required rate of return.
The CAPM requires judgment in
determining the risk-free rate, the
average risk premium for the market,
and the data used for measuring beta.
The Board proposes using the threemonth Treasury-bill rate as the risk-free
rate and a standard data series on
returns for the stock market from 1927
(earliest available data) forward using a
rolling ten-year period to determine the
average risk premium for the market.
The proposed beta compares the returns
based on BHC data with the stock
market as a whole.
The Board requests comment on
whether the three-month Treasury-bill
4 A research paper (‘‘The Federal Reserve Banks’
Imputed Cost of Equity Capital’’) describing the
theoretical basis and detailed application of each of
the models is available at the Board’s web site at
www.federalrserve.gov by accessing the press
release for this proposal.
5 The target ROE for 2001, for example, is
calculated using data from BHC financial
statements for the years 1995 to 1999.

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rate is an appropriate Treasury maturity
for use as the risk-free rate in the CAPM,
if stock market activity since 1927 is an
appropriate source for data in
determining the average risk premium
for the market, and whether using a
rolling ten-year average of BHC data
provides a reasonable beta.
3. Discounted Cash Flow Model (DCF)
The DCF model assumes that a firm’s
stock price is equal to the present
discounted value of all expected future
dividends. If the stock price and
expected future dividends are known,
the implied discount rate for the firm
can be calculated and is considered to
be the firm’s equity cost of capital. The
DCF approach requires as inputs the
BHC stock prices as well as forecasts of
their future dividends and long-term
dividend growth rates. As proposed,
consensus forecasts of future dividends
and long-term growth rates would be
transformed into earnings forecasts by
multiplying them by the BHC’s
dividend pay-out ratios. The equity
costs of capital for the individual BHCs
are then combined into a single measure
using a weighted average, in which the
weights are proposed to be based on the
BHC equity market capitalization.
The Board proposes using
commercially available consensus
forecasts, such as those published by
Institutional Brokers Estimate System
(I/B/E/S). Academic studies have found
consensus forecasts to be more accurate
than individual forecasts.
The Board requests comment on
whether commercially available
consensus forecasts are an appropriate
measure of future dividends and longterm growth rates.
4. Combining the Models
Unlike the CAE, the CAPM and DCF
use data that predict future earnings and
reflect current academic practice. All
three models are widely used in
industry and in regulatory consideration
of an appropriate rate of return. For
example, for several years the New York
State Public Service Commission has
used a weighted average of different
ROE measures in determining its
allowed cost of equity capital for the
utilities it regulates.
Academic studies have demonstrated
that use of multiple models can improve
estimation techniques when each model
provides new information. The CAE,
CAPM, and DCF models each use
different data and examine different
factors. The Board proposes to calculate
the target ROE for Reserve Bank priced
services as a simple average of the
results from the three models. This
combination will incorporate additional

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data and conceptual frameworks into
the current practice and will minimize
the impact of outlying observations to
provide a more predictable series over
time.
The Board requests comment on the
economic models and whether the three
economic models are theoretically
sound and should be used to calculate
the PSAF. The Board also requests
comment on the appropriateness of
using a simple average of the three
models.
5. Weighting the Data
Currently, the PSAF ROE is calculated
by taking an equally-weighted average
of the BHC ROEs from the CAE. The
weighting used in the CAE model has
the practical benefit of avoiding illogical
results such as a negative target ROE in
a year when a large bank holding
company encounters financial
difficulties. How observations are
weighted in the models is relevant
because the bank holding companies in
the peer group are imperfect proxies,
that is, they engage in a wider spectrum
of activities than the range of Reserve
Bank payment services for which the
PSAF methodology is used to estimate
an appropriate cost of equity capital.
Alternative weighting schemes can be
constructed. One alternative would be
to take a value-weighted average of the
ROEs by multiplying each BHC’s ROE
by that company’s market valuation and
then dividing the sum of these weighted
returns by the total market valuation of
the fifty BHCs. Such market weighting
places more emphasis on large BHCs
and reflects current academic and
industry practice when applying it to
the CAPM and DCF models. The Board
proposes to use a market capitalization
weight to determine the CAPM and DCF
ROEs while retaining the commonly
used equal weighting of BHC ROEs
under the CAE. The Board requests
comment on the appropriateness of this
proposal.
Other methods for weighting BHC
data in the three models were
considered, such as weighting based on
balances due to depository institutions.
Such weighting attempts to measure the
significance of a BHC’s correspondent
banking activities to the total bank
holding company activities and as a
result, gives BHCs with the largest
corespondent-banking business lines
greater weight. Deposits due to
depository institutions are not typically
reported separately in BHC annual
reports but are reported at the
commercial bank level in publicly
available Call Report data. The Board
requests comment on BHC weighting

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based on due-to balances to determine
the ROEs.
C. Peer Group
The Board considered whether
organizations other than the top fifty
BHCs would provide a better basis for
imputing the costs that would have been
incurred and the profits that would have
been earned had the Reserve Banks’
priced-services activities been provided
by a private-sector firm. Specifically, the
consideration included whether
segment data from BHC financial reports
could be used to match more closely the
BHC capital structure to the System’s
priced-services activity, or whether
service bureaus should be used as proxy
for private-sector firms engaged in
priced-services activity.
Bank holding company activities are
far more diverse than Reserve Bank
priced-services activities and payment
services are generally a small segment of
BHC activities. For this reason, BHCs
are not a precise counterpart, but they
do provide the most reasonable
alternative available as a peer group
given the similarity of services
provided, the competition between
BHCs and the Reserve Banks, and the
availability of useful financial data.
Service bureaus are also diverse; they do
not provide settlement or other services

comparable to those of Reserve Banks,
and they do not generally view the
Reserve Banks as primary competitors.
Therefore, the Board does not believe
service bureaus to be a preferred
substitute for the BHCs in the PSAF
model. Maintaining the BHC sample
size at fifty encompasses the majority of
banking assets nationwide and
minimizes the effects of any one BHC’s
financial performance on the data.
The Board considered using BHC
segment data in order to exclude the
effect of BHC non-comparable activities
on the PSAF. Although these data
increasingly are included in financial
reports, the Board identified several
obstacles to using segment data. There
is no standard definition of ‘‘segment’’
for use in financial reporting. Segments
may be reported based on any
combination of customer type, product,
or service provided and compilation of
specific segment data may reflect a total
return on equity that is greater or less
than the return on equity for the entity
as a whole. It is often impossible, with
the data available, to determine in
which BHC segments activities
comparable to priced-services activities
are included to ensure inclusion of
those that are related to Reserve Bank
priced services and exclusion of those

that are not. As a result, information is
not reliable, complete, or consistent
across BHCs or even within one BHC
over time.
The Board requests comment on
whether the fifty largest (in asset size)
bank holding companies continue to be
a reasonable data peer group for Reserve
Bank priced-services activities. Further,
the Board would like commenters’
views on whether there are ways to
adjust BHC data to resemble more
closely the Federal Reserve Banks.
priced-services activities.
D. Pension Financing Costs
The Board considered the current
treatment for pension accounting,
financing the pension assets net of the
retirement liabilities, and concluded
that it is consistent with that at BHCs
and other firms, follows current rules
for recognizing increases in pension
assets, and is theoretically sound.
E. Priced-Services Balance Sheet
Table 1 represents the elements of the
priced-services balance sheet and how
they will be derived under the proposal.
All actual assets and liabilities
presented on the priced-services balance
sheet are based on projected average
daily balances.

TABLE 1.—PRICED-SERVICES BALANCE SHEET
Assets

Type

Description

Method for computing

Required reserves

Imputed ......

Intended to simulate commercial bank reserve requirements .................

U.S. Treasury securities.
Short-term assets

Imputed ......

Cash items in
process of collection.
Pension assets ....

Actual .........

Long-term assets

Actual .........

Core clearing balances.

Actual .........

Represents the portion of clearing balances not required for reserves
or to finance other actual or imputed priced-service assets.
Receivables, prepaid expenses, materials and supplies reported on the
Federal Reserve Banks’ balance sheets that are attributed to priced
services.
Transactions credited to the accounts of depository institutions but not
yet collected by the Federal Reserve Banks that are attributed to
priced services.
The amount of prepaid pension costs reported on the Federal Reserve
Banks’ balance sheets that are attributed to priced services.
The amount of premises, furniture and equipment, leases, and leasehold improvements that are reported on the Federal Reserve Banks’
and Board of Governors balance sheets that are attributed to priced
services.
The portion of clearing balances considered stable and available to finance long-term priced-service assets.

10 percent of total clearing balances.
Total liabilities plus equity less
other assets.

Non-core clearing
balances.

Actual .........

Short-term
payables.

Actual .........

Deferred credits ..

Actual .........

Postemployment/
postretirement
liability.

Actual .........

Actual .........

Actual .........

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Deposits of financial institutions maintained at Federal Reserve Banks
for clearing transactions. Available to finance short-term priced service assets.
The portion of sundry items payable, earnings credits due depository
institutions and accrued expenses unpaid reported on the Federal
Reserve Banks’ balance sheets that is attributed to priced services.
The value of checks deposited with the Federal Reserve Banks but not
yet credited to the accounts of the Reserve Banks’ depositors.
The portion of post-retirement benefits due reported on the Federal Reserve Banks’ balance sheets that is attributed to priced services.

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Estimated amount of actual contracted clearing balances that
have historically been stable. Initially set at $4 billion.
Equal to total clearing balances
less core clearing balances.

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Federal Register / Vol. 65, No. 250 / Thursday, December 28, 2000 / Notices
TABLE 1.—PRICED-SERVICES BALANCE SHEET—Continued

Assets

Type

Description

Method for computing

Long-term debt ....

Imputed ......

An amount imputed when equity and core clearing balances are not
sufficient to finance long-term priced-services assets.

Equity ..................

Imputed ......

The minimum amount of equity necessary to meet FDIC requirements
for a well-capitalized institution.

Equal to the larger of zero or longterm and pension assets less
postemployment/postretirement
liability, core clearing balances,
and equity.
The greater of five percent of total
assets or 10 percent of riskweighted assets.

market-weighted DCF and CAPM
models produces the following pre-tax

F. Effects of Proposal
The combination of the current
equally-weighted CAE and the proposed

ROE based on the BHC performance
data used for the 2001 PSAF:

TABLE 2.—PRE-TAX RETURN ON EQUITY

CAE

DCF

CAPM

Combined

24.0

21.6

23.7

23.1

From year to year, the proposed
combined model for calculating ROE
can yield a target ROE that is higher or
lower than the current method. On the
average during the period from 1983 to
2001, the combined model yielded a
pre-tax ROE that is 230 basis points
higher than the current method.
Using core clearing balances as a
source of financing for actual pricedservices assets reduces imputed shortand long-term debt and imputed

investments in marketable securities. As
a result, the income and expenses
associated with these imputed elements
is reduced as well. Establishing equity
at the level required by FDIC
requirements for a well-capitalized bank
results in setting equity equal to five
percent of total assets, which is a slight
reduction from the level planned in
2001 under the current methodology
(5.3 percent). Applying the proposed
changes to the 2001 priced-services

balance sheet would reduce PSAF costs
$53.3 million or 26 percent and would
reduce net income on clearing balances
$33.8 million or 90 percent. This result
is a net reduction of costs to priced
services of $19.5 million or slightly
more than 2 percent of total actual and
imputed costs, including the target ROE
of $138.2 million.6 Table 3 illustrates
the effects of the proposal on the various
elements of the PSAF and NICB
calculations.

TABLE 3.—2001 COMPARISON DATA
[Dollars in millions]
Current

Proposed

Change

Balance Sheet
Required Reserves ..........................................................................................................
U.S. Treasury Securities ..................................................................................................
Short Term Assets ...........................................................................................................
CIPC ................................................................................................................................
Pension Assets ................................................................................................................
Long Term Assets ...........................................................................................................

$742.4
6,681.9
104.3
3,606.7
718.5
676.9

$742.4
6,117.8
104.3
3,606.7
718.5
676.9

$0.0
(564.1)
0.0
0.0
0.0
0.0

Total Assets ..............................................................................................................

$12,530.7

$11,966.6

($564.1)

Clearing Balances ............................................................................................................
Short-Term Payables .......................................................................................................
Short-Term Liabilities .......................................................................................................
Deferred Credits ..............................................................................................................
Postemployment/retirement Liability ................................................................................
Long-Term Liabilities .......................................................................................................
Equity ...............................................................................................................................

$7,424.3
85.4
18.9
3,606.7
251.9
479.1
664.4

$7,424.3
85.4
0.0
3,606.7
251.9
0.0
598.3

$0.0
0.0
(18.9)
0.0
0.0
(479.1)
(66.1)

Total Liabilities & Equity ...........................................................................................

$12,530.7

$11,966.6

($564.1)

Capital to Risk-weighted Assets ......................................................................................
Capital to Total Assets ....................................................................................................

30.8%
5.3%

27.7%
5.0%

............................
............................

24.0%

23.1%

¥0.9%

PSAF
Target Pre-Tax ROE ........................................................................................................
6 Under this proposal, priced-services revenue
would be $944.7 million and expenses would be

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$951.5 million, resulting in cost recovery of 99.3

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percent as compared to 98 percent under the 2001
prices.

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Federal Register / Vol. 65, No. 250 / Thursday, December 28, 2000 / Notices
TABLE 3.—2001 COMPARISON DATA—Continued
[Dollars in millions]
Current

Proposed

Change

Cost of:
Equity ........................................................................................................................
Long-term Debt .........................................................................................................
Short-term Debt ........................................................................................................
FDIC Insurance ........................................................................................................
Sales Taxes ..............................................................................................................
BOG Oversight .........................................................................................................

$159.5
31.1
0.9
0.0
10.5
4.9

$138.2
0.0
0.0
0.0
10.5
4.9

($21.3)
(31.1)
(0.9)
0.0
0.0
0.0

Total PSAF ........................................................................................................

$206.9

$153.6

($53.3)

$399.6
(361.9)

$365.8
(361.9)

($33.8)
0.0

NICB
Return on Investment ......................................................................................................
Cost of Earning Credits ...................................................................................................
NICB .........................................................................................................................

$37.7

$3.9

($33.8)

PSAF ................................................................................................................................
NICB ................................................................................................................................

$206.9
37.7

$153.6
3.9

($53.3)
(33.8)

Net Cost ....................................................................................................................

$169.2

$149.7

($19.5)

Net Effect of New Methodology

Details may not add to totals due to rounding.

III. Competitive Impact Analysis
All operational and legal changes
considered by the Board that have a
substantial effect on payment system
participants are subject to the
competitive impact analysis described
in the March 1990 policy statement
‘‘The Federal Reserve in the Payments
System.’’ 7 Under this policy, the Board
assesses whether the change would have
a direct and material adverse effect on
the ability of other service providers to
compete effectively with the Federal
Reserve in providing similar services
because of differing legal powers or
constraints or because of a dominant
market position of the Federal Reserve
deriving from such legal differences. If
the fees or fee structures create such an
effect, the Board must further evaluate
the changes to assess whether their
benefits—such as contributions to
payment system efficiency, payment
system integrity, or other Board
objectives—can be retained while
reducing the hindrances to competition.
Because the PSAF includes costs that
must be recovered through fees for
priced services, changes made to the
PSAF may have an effect on fees. This
proposal is intended to refine the PSAF
to more closely mirror the costs and
profits of other service providers as
required by the MCA. By mirroring
these costs and profits, the fees adopted
by the Reserve Banks should be based
on the types of costs and expected
7 FRRS

IV. Summary of Comments Requested
The Board believes the proposed
changes to the PSAF methodology are
consistent with the requirements of the
MCA. The Board evaluated each
alternative proposed for various
components of the PSAF calculation
based on the following framework
principles: (1) To provide a
conceptually sound basis for
economically efficient pricing in the
market for payments processing and
collection services; (2) to maintain
consistency with actual Reserve Bank
financial information and practice; (3) to
maintain consistency with privatesector practice; and (4) to use data in the
public domain so others could replicate
the PSAF calculation.
To assist commenters in the
preparation of their responses to this
notice, the Board requests comment on
the following questions:
A. Overall Proposal
1. Are the proposed changes in the
PSAF methodology appropriate?
B. Imputation of Investments, Debt and
Equity
1. Is the use of core clearing balances
as a source of financing long-term assets

7–145.2.

VerDate 11<MAY>2000

profits that are more comparable to
those of other providers. Accordingly,
the Board believes this proposal will not
have a direct and material adverse effect
on the ability of other service providers
to compete effectively with the Federal
Reserve in providing similar services.

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a reasonable use of these actual
liabilities?
2. Is an initial core clearing balance of
$4 billion reasonable? If not, what
would be a reasonable amount and what
would be the best method for
determining it?
3. Is basing priced-services equity on
regulatory requirements a reasonable
method?
C. Imputed Return on Equity
1. Are the CAE, DCF, and CAPM
economic models theoretically sound
and should they be used to calculate the
PSAF?
2. Is the three-month Treasury-bill
rate an appropriate Treasury maturity
for use as the risk-free rate in the
CAPM?
3. In determining the average risk
premium for the market in the CAPM
model, is stock market activity since
1927 an appropriate source for data?
4. Does using a rolling ten-year
average of bank holding company data
provide a reasonable beta for use in the
CAPM?
5. Are commercially available
consensus forecasts an appropriate
measure of future dividends and longterm growth rates for use in the DCF
economic model?
6. Does a simple average of the results
of the three economic models provide
an appropriate ROE?

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D. Weighting the Data
1. Does an equally-weighted average
of the results of the CAE result in a
reasonable ROE?
2. Does a market-weighted average of
the results of the CAPM result in a
reasonable ROE?
3. Does a market-weighted average of
the results of the DCF result in a
reasonable ROE?
4. Would weighting the BHCs by
balances due to other banks provide a
more reasonable PSAF ROE than the
market capitalization method proposed?
E. Peer Group
1. Do the fifty largest (in asset size)
bank holding companies provide a
reasonable data peer group for Reserve
Bank priced-services activities?
2. Are there ways to adjust BHC data
to more closely resemble the Federal
Reserve System’s priced services
activities?
By order of the Board of Governors of the
Federal Reserve System.
Dated: December 21, 2000.
Jennifer J. Johnson,
Secretary of the Board.
[FR Doc. 00–33058 Filed 12–27–00; 8:45 am]
BILLING CODE 6210–01–P

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