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CONGRESSIONAL OVERSIGHT PANEL

SPECIAL REPORT

FARM LOAN RESTRUCTURING *

JULY 21, 2009.—Ordered to be printed

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* Submitted under Section 501 of Title 5 of the Helping Families Save
Their Homes Act of 2009, Pub. L. No. 111–22

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CONGRESSIONAL OVERSIGHT PANEL SPECIAL REPORT
ON FARM LOAN RESTRUCTURING

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CONGRESSIONAL OVERSIGHT PANEL

SPECIAL REPORT

FARM LOAN RESTRUCTURING *

JULY 21, 2009.—Ordered to be printed

U.S. GOVERNMENT PRINTING OFFICE
WASHINGTON

51–704

:

2009

For sale by the Superintendent of Documents, U.S. Government Printing Office
Internet: bookstore.gpo.gov Phone: toll free (866) 512–1800; DC area (202) 512–1800
Fax: (202) 512–2104 Mail: Stop IDCC, Washington, DC 20402–0001

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* Submitted under Section 501 of Title 5 of the Helping Families Save
Their Homes Act of 2009, Pub. L. No. 111–22

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CONTENTS
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Executive Summary .................................................................................................
Section One: Special Report on Farm Loan Restructuring ..................................
A. Introduction ..................................................................................................
B. Agriculture Markets Generally ...................................................................
C. Farm Credit Markets ..................................................................................
D. Farm Loan Restructuring ...........................................................................
E. Conclusion ....................................................................................................
Section Two: Additional Views ...............................................................................
A. Damon Silvers ..............................................................................................
B. Congressman Jeb Hensarling and Senator John E. Sununu ...................
Section Three: About the Congressional Oversight Panel ....................................

(III)

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SPECIAL REPORT ON FARM LOAN RESTRUCTURING

JULY 21, 2009.—Ordered to be printed

EXECUTIVE SUMMARY *

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From the earliest days of the Republic, the Jeffersonian ideal of
the yeoman farmer has held a special place in American culture.
But the harsh reality of severe droughts, devastating floods, and
dramatic fluctuations in commodity prices has intruded upon the
ideal time and time again for those who work the land to provide
for their families and to feed their communities.
Recognizing the importance of agriculture not only to the American identity but to our economy, and acknowledging the cyclical
nature of the farm sector, Congress has established a variety of
programs designed to support farmers during the painful yet inevitable low ebbs in their business cycles. Consequently, as last fall’s
acute crisis in the financial sector gave way to a deep and enduring
global recession, Congress expressed concern about the ramifications that a sustained economic downturn could have for agriculture.
In response to fears that trends in farm loan delinquencies and
farm foreclosures could escalate to rival the foreclosure crisis in the
residential mortgage sector, Congress directed the Congressional
Oversight Panel to issue a special report that analyzes the state of
the commercial farm credit markets and the use of loan restructuring as an alternative to foreclosure by financial institutions receiving government assistance through the Troubled Asset Relief
Program (TARP). Congress further directed the Panel to examine
the farm loan restructuring programs in place at the U.S. Department of Agriculture’s (USDA) Farm Service Agency (FSA) and the
government-chartered Farm Credit System (FCS)—as well as
* The Panel adopted this report with a 3–2 vote on July 20, 2009. Senator John E. Sununu
and Rep. Jeb Hensarling voted against the report. Additional views are available in Section
Two.

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Treasury’s TARP-funded Making Home Affordable Program for residential mortgages—in an effort to determine the suitability of each
as a model for a possible farm loan restructuring program to be
carried out by TARP-recipient banks.
In considering these issues, two key questions arose:
• Considering the state of agriculture markets generally and
farm credit conditions in particular, does a need presently exist for
a program designed to restructure delinquent farm loans?
• If a need exists, is a TARP-based restructuring model or some
other model likely to be the most effective in easing any stresses
in the farm credit markets?
Thus far, the farm sector has fared somewhat better than the
broader economy throughout the financial crisis. Buoyed by continued strength in farmland values, generally high commodity prices,
record levels of farm income and farm operator household income,
and historically low debt-to-asset ratios, the agriculture sector—on
the whole—has entered the crisis on the heels of several notably
robust years. Trends in farm loan delinquencies mirrored the positive conditions in the sector, and data on farm loans made by FSA,
FCS, and commercial banks all reveal historically low levels of
troubled farm loans in the months and years leading up to the crisis. Further, the relative lack of exotic financial products in the
farm credit market has insulated the sector from some of the major
challenges seen in residential mortgages.
Nonetheless, opposing trends within the agriculture sector ensured that the benefits over the past few years were not shared
evenly. Last year’s record high commodity crop prices led crop
farmers to reap substantial rewards, but they also led to soaring
input costs for livestock farmers and the dairy industry. These high
costs caused the livestock and dairy sectors to operate in the red
months before the cataclysmic financial shocks of last fall. Similarly, as the economic downturn has begun to take its toll on rural
America, pain has been concentrated in some sectors more than
others. In particular, significant stress persists in the livestock and
dairy sectors.
The overall impact of the financial crisis on agriculture cannot be
assessed with certainty. To date, while measures of the strength of
the farm sector have fallen from the positive levels of the preceding
years, they remain within historic averages. USDA projects that
net farm income will decline by 20 percent in 2009, while remaining above a running ten-year average. The average U.S. farm operator household income is also projected to decline, although by considerably less than net farm income—a result of the rising importance of non-farm sources of income for American farmers. While
USDA projections show net farm income recovering in 2010 and returning to record levels by the end of the projection period, the current crisis has defied the projections of all but the most pessimistic
of forecasters. With such a weak forecasting capacity, the effect
that continued economic troubles could have on agriculture simply
cannot be known.
It is also significant that the economic crisis is truly global in
scale. Agricultural exports have been a significant source of income
for farmers over the past decade, and the long-term success of
American agriculture depends in no small part on the sector’s ability to market its products to a growing middle class overseas. As

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economic conditions deteriorate around the globe, the market for
American farm products will shrink.
The ability to determine whether downward trends in agriculture
markets generally may result in a need for a farm loan restructuring program is constrained by a lack of definitive data on trends
in farm loan restructurings and farm foreclosures. While a review
of available data on farm loan delinquencies, credit availability,
and demand for loans from FSA—the lender of last resort—reveals
some troubling trends, without definitive data, it is difficult to
draw definitive conclusions or to make definitive recommendations
at this time.
As the Panel noted in its March report on residential mortgage
foreclosure mitigation, in order for Congress and regulators to respond properly and promptly to issues in the market, better information is essential. Congress should create a farm loan performance reporting requirement to provide a source of comprehensive
intelligence about loan performance, loss mitigation efforts, and
foreclosure. Banking regulators, USDA, and FCS could be required
to analyze these data and to make the data and their analysis public. To the extent that lenders already report delinquency and foreclosure data to credit reporting bureaus, the additional cost of federal reporting would be quite modest, but the better information
could be very valuable both in identifying problems and in working
out policy responses.
Should the current negative economic trends in agriculture level
out or even reverse, as USDA projects, Congress could determine
that no action to mitigate farm loan foreclosures is necessary. Conversely, should conditions continue to deteriorate, falling below historical averages and causing significant stress for farmers trying to
repay their debt, Congress has a range of possible responses:
One possibility, and the topic of this report, is a farm loan restructuring mandate for TARP recipient banks. Congress could impose a restructuring mandate on TARP banks, following the pattern of the obligations imposed on lenders by FSA, FCS, or Treasury’s Making Home Affordable program. Each model offers one possible means to require restructuring, but all would require some
amount of adaptation to fit the TARP-recipient banks’ loan model,
and none can be considered ideal. Specifically, transferring the restructuring programs of either FSA or FCS—both specialized institutions designed to extend credit to farmers and rural America—
would require revision to be implemented at commercial banks
with diverse loan portfolios. For its part, the formulaic structure of
the Making Home Affordable Program would impede its easy transfer to the idiosyncratic farm credit market.
While it is an option, mandatory modifications through the TARP
might not be the most effective policy choice because of the limited
number of farm loans held by TARP-recipient banks. Commercial
banks hold only about 45 percent of overall farm debt—with the
FCS, FSA, and other farm lenders collectively extending the majority of farm credit. When considering real estate debt, commercial
banks hold an even smaller piece, only 38 percent. Further, TARPrecipient banks hold only 27 percent of the portion of farm real estate loans made by commercial banks, or only about ten percent of
total farm real estate debt. Thus, a restructuring mandate for
TARP-recipient banks would have very limited reach. Moreover,

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the role of TARP banks in the farm credit arena can be expected
to diminish over time as such banks return their TARP funding.
Congress and Treasury have other options within the TARP to
protect farm homes. In the same way that Congress has embraced
the principle of using the TARP to protect non-farm homes, it could
apply this principle in different ways. One possibility would be to
devote some portion of the remaining TARP funding to a farm
mortgage foreclosure mitigation program, patterned on the incentive-based program developed to protect homes, but focusing on
bank participation that extends beyond current TARP recipients.
Unlike
residential
mortgage
restructurings,
farm
loan
restructurings must also consider business plans, cash flows, and
market factors. Therefore, the model would need to be adapted to
provide the necessary flexibility. Another option for utilizing TARP
money is to create a loan guarantee program for restructured farm
loans.
Finally, if the farm sector continues to decline, Congress has options outside the TARP program. As noted above, the U.S. government has a longstanding commitment to farmers. This is embodied
through the numerous existing programs designed to assist the
farm industry, many of which are targeted toward different needs
or sectors. If Congress determines that the farm sector in part or
in whole needs assistance, then such assistance could be delivered
through existing programs. While having a potentially wider impact than a TARP bank mandate, this alternative could also allow
assistance to be narrowly targeted, such as to the struggling dairy
and livestock sectors.

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SECTION ONE: SPECIAL REPORT ON FARM LOAN
RESTRUCTURING
A. INTRODUCTION
1. PAST FARM FORECLOSURE PROBLEMS AND FRAMING THE ISSUE
TODAY

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The global financial crisis has led more than a few observers to
draw parallels between today’s economic woes and those of the
Great Depression. While most of those comparisons have focused
on weaknesses in the housing sector and a number of regulatory
challenges, they have generally ignored discussions of the impact
on agriculture. The American economic landscape has changed dramatically since the 1930s, but much of its identity remains rooted
in the farming communities that sweep across the Great Plains
from one coast to the other. In many of these communities, memories of devastating farm foreclosures from the Great Depression,
and later, the farm crisis of the 1980s, remain fresh in the minds
of those who rely on the land to make their living. Vulnerability
to both severe weather and severe price swings in commodities
keep farmers perpetually on guard against the next great crisis.
Thus far, the agriculture sector has fared somewhat better than
the economy in general throughout the financial crisis. The balance
sheets of farmers and agricultural lenders have remained relatively
strong and credit is still available at reasonable prices. Rural areas
were generally less exposed to the housing bubble, providing some
protection for rural community banks from the shock of the financial crisis. Agricultural lenders also tend to cultivate close relationships with farmers, holding their loans to maturity rather than
selling them in the secondary markets. Direct loans and guarantees
from FSA and the farmer-friendly policies of the government-chartered FCS also help to bring stability to agricultural credit markets. Interest rates for farm credit remain at historically low rates.
Nonetheless, the agriculture sector has not remained immune to
the crisis. Agricultural banks 1 have generally outperformed other
commercial banks as the crisis has deepened, but profits have declined. The average rate of return on assets for agricultural banks
dropped from 1.1 percent in 2007 to 1.0 percent in 2008, while the
average rate of return on assets for other small banks dropped
from 0.9 percent to 0.2 percent over the same period.2 This trend
continued into the first quarter of 2009. Farm commodity prices
1 The Federal Reserve defines agricultural banks as commercial banks that have a proportion
of farm loans (real-estate and non-real-estate) to total loans that is greater than the unweighted
average of this proportion at all banks. The first quarter 2009 unweighted average was 14.01
percent. Board of Governors of the Federal Reserve System, Federal Reserve Bank E–15 Release:
About the Release (accessed July 6, 2009) (online at www.federalreserve.gov/releases/e15/
about.htm). The American Bankers Association uses a slightly different definition. It defines
‘‘farm banks’’ as banks with assets less than $1 billion whose proportion of domestic farm loans
to total domestic loans is greater than or equal to the unweighted average of this proportion
at all banks. The 2008 average was 14.20 percent. American Bankers Association, 2008 Farm
Bank Performance, at 1 (May 2009) (online at www.aba.com/NR/rdonlyres/05858407-284E-46CD9443-38EB9601A25A/60074/AGBankPerformance2009.pdf) (hereinafter ‘‘ABA 2008 Farm Bank
Performance’’).
2 Board of Governors of the Federal Reserve System, Federal Reserve Statistical Release E.15:
Agricultural Finance Databook: Second Quarter 2009, at 27 (July 2, 2009) (B.7 Selected Measures of Financial Performance of Agriculture and Other Small Banks) (online at
www.federalreserve.gov/releases/e15/current/pdf/databook.pdf) (hereinafter ‘‘Second Quarter Fed
Databook’’).

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have fallen since last summer with the rest of the market, reducing
expectations for farm income in 2009. USDA expects net farm income to decline 20 percent in 2009, reducing some farmers’ ability
to repay loans later in the year, though the impact of this reduction
in net farm income is expected to be dampened by the significant
role that off-farm income plays in farm operator household finances. Default rates have been historically low in recent years for
all farm lenders, but they appear to have bottomed out and have
begun to rise since the middle of 2008. The FCS nonperforming
loan rate is at a level not seen since the mid-1990s, when the system had finally recovered from the farm crisis of the 1980s.3 Demand for direct operating loans from FSA, the lender of last resort,
has increased 81 percent over the last year, and demand for direct
ownership loans has increased by 132 percent. There are also signs
that agricultural lenders have tightened credit standards in 2009
by virtue of more documentation requirements and oversight of
loans, and possibly making or having less credit available to producers.
2. CONGRESSIONAL OVERSIGHT PANEL MANDATE

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Amid increasing concerns that the financial crisis and the global
recession may soon lead to increasing loan defaults in the agriculture sector, Congress included a provision in the Helping Families Save Their Homes Act of 2009 (P.L. 111–22), signed into law
on May 20, 2009, requiring the Panel to issue a special report on
farm loan restructuring that: 4
a. analyzes the state of the commercial farm credit markets and
the use of loan restructuring as an alternative to foreclosure by recipients of financial assistance under the Troubled Asset Relief Program; and
b. includes an examination of and recommendation on the different methods for farm loan restructuring that could be used as
part of a foreclosure mitigation program for farm loans made by recipients of financial assistance under the Troubled Asset Relief Program, including any programs for direct loan restructuring or modification carried out by the Farm Service Agency of the Department
of Agriculture, the farm credit system, and the Making Home Affordable Program of the Department of the Treasury.
As one of the central pillars of the Treasury’s Financial Stability
Plan, a residential mortgage foreclosure mitigation program, the
Home Affordable Modification Program, was announced in March
of this year. The goal of this program is to stem the rising tide of
mortgage defaults, creating more beneficial outcomes for lenders,
borrowers, and the economy in general. The program provides incentives for all mortgage lenders to offer a standardized modification process to troubled borrowers. Banks that receive new capital
infusions through the TARP after the date of enactment of the program are required to offer the modification program as part of the
terms of their capital assistance agreement. The Panel’s reporting
requirement asks it to contemplate whether a similar modification
3 Federal Farm Credit Banks Funding Corporation, The Farm Credit System, at 6 (June 2009)
(online
at
www.farmcredit-ffcb.com/farmcredit/serve/public/invest/present/
report.pdf?assetId=134793).
4 Helping Families Save Their Homes Act of 2009, Pub. L. No. 111–22.

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program would be advisable in the case of troubled agricultural
loans held by recipients of financial assistance from TARP. This requires the Panel to explore the state of the nation’s agriculture
economy, general credit availability for agriculture, and the alternatives available when farmers hit hard times.
B. AGRICULTURE MARKETS GENERALLY
Despite the crisis conditions in financial markets and the U.S.
economy in the closing months of 2008, USDA concluded in December that the American farm sector was in a ‘‘relatively strong financial position’’ entering 2009.5 While repercussions emanating
from the global financial crisis have certainly not left farmers and
the agriculture sector entirely unscathed, the farm sector entered
the crisis in an historically strong financial position, providing
farmers—on the whole—with a significant capital buffer to weather
a downturn in commodity prices and a modest tightening of farm
credit. In March, USDA projected that ‘‘declines [in exports, prices,
and farm income], though substantial, will bring agriculture back
to trend outcomes,’’ and that the effects of the crisis would be ‘‘less
severe’’ for agriculture than for many other sectors of the economy.6
Nonetheless, the agriculture sector is characterized by its volatility and cyclical nature, and, not infrequently throughout history,
farmers have watched good times give way to times of great hardship. Further, inherently opposing trends within the agriculture
sector ensure that, even during strong times, there are those who
see their financial position weakened. For example, soaring commodity prices may lead to large profits for commodity farmers, but
they also lead to high input costs for the livestock sector. Last,
while USDA projections paint a reasonably positive picture for the
agriculture sector compared with the economy on the whole, the
current global economic crisis has been deeper, more widespread,
and more enduring than all but the most pessimistic of forecasters
could have projected. Consequently, it remains to be seen whether
the added strain in the agriculture sector in recent months is indeed bringing agriculture back to trend outcomes, as USDA
projects, or whether these negative trends are harbingers of more
serious troubles to come as global economic challenges persist.
In order to provide context for this report’s analysis of farm credit markets and farm loan restructuring, this section discusses agriculture markets generally, examining current markets, historical
trends, and notable differences between certain sectors of agriculture.
1. PROFITS

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Profits in the agriculture sector reached record high levels in recent years, whether measured in terms of net farm income or net
cash income, as large increases in the value of crop production
5 U.S. Department of Agriculture, Economic Research Service, Agricultural Income and Finance Outlook, at 1 (Dec. 2008) (AIS–86) (online at usda.mannlib.cornell.edu/usda/current/AIS/
AIS-12-10-2008.pdf) (hereinafter ‘‘USDA Finance Outlook’’).
6 U.S. Department of Agriculture, Economic Research Service, The 2008/2009 World Economic
Crisis: What It Means for U.S. Agriculture, at 2 (Mar. 2009) (WRS–09–02) (online at
www.ers.usda.gov/Publications/WRS0902/WRS0902.pdf) (hereinafter ‘‘USDA Crisis Impact Report’’).

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(crop receipts increased by 20 percent or more in each of the past
two years) were only partially offset by rising costs of production.7
Net farm income, which is defined as ‘‘the portion of the net value
added by agriculture to the national economy earned by farm operators,’’ is preliminarily estimated to have hit $89.3 billion in 2008,
the highest level on record and 47.6 percent above net farm income
five years earlier, in 2003.8 Net cash income, ‘‘the cash earnings realized within a calendar year from the sales of farm production and
the conversion of assets, both inventories and capital consumption,
into cash,’’ is estimated at $93.4 billion in 2008, also the highest
level on record and 30.6 percent above net cash income realized in
2003.9 While both measures are worth noting, net cash income is
generally considered a better measure of solvency, because it tracks
the amount of cash available to farmers for living expenses and to
pay down debt.10
According to USDA, both net farm income and net cash income
are forecasted to decline in 2009 from these record levels, as livestock and commodity prices drop off more precipitously than costs
of production, while remaining above the ten-year averages for the
indicators. Specifically, net farm income is projected to fall by 20
percent, to $71.2 billion, and net cash income is projected to drop
by 17 percent, to $77.3 billion.11 These projected values for 2009
are still 9 percent and 7.6 percent above the rolling ten-year averages for net farm income ($65.3 billion) and net cash income ($71.8
billion), respectively. However, USDA also cautions that high dollar
exchange rates coupled with a deeper than expected global economic downturn could lead net farm income to drop further, perhaps by as much as 33 percent from its 2008 level.12 Nonetheless,
the deleterious effect that this decline in net farm income could
have on family farmers across America is expected to be mitigated
somewhat by off-farm sources of income; indeed, as discussed later
in this section, the decline in average farm operator household income—factoring in all sources of income for farm families—is expected to be distinctly less severe (USDA projected in February
that average farm operator household income would decline by
roughly 2 percent in 2009, though it should be noted that the sustained economic downturn could lead to a steeper than expected
drop off).13
7 U.S. Department of Agriculture, Economic Research Service, Farm Income and Costs: 2009
Farm Sector Income Forecast (Feb. 12, 2009) (online at www.ers.usda.gov/Briefing/FarmIncome/
nationalestimates.htm).
8 U.S. Department of Agriculture, Economic Research Service, Farm Income: Data Files: Historical Data (online at www.ers.usda.gov/Briefing/FarmIncome/Data/Constant-dollar-table.XLS)
(accessed July 7, 2009) (hereinafter ‘‘USDA Historical Farm Income Data’’); U.S. Department of
Agriculture, Economic Research Service, Farm Income and Costs: Glossary (online at
www.ers.usda.gov/BRIEFING/FARMINCOME/Glossary/deflnfi.htm) (accessed July 7, 2009)
(hereinafter ‘‘USDA Farm Income Glossary’’).
9 USDA Historical Farm Income Data, supra note 8.
10 USDA Farm Income Glossary, supra note 8.
11 USDA Historical Farm Income Data, supra note 8.
12 USDA Crisis Impact Report, supra note 6, at 2.
13 U.S. Department of Agriculture, Economic Research Service, Farm Household Economics
and Well-Being: Historic Data on Farm Operator Household Income (online at www.ers.usda.gov/
Briefing/WellBeing/Gallery/historic.htm) (accessed July 8, 2009) (hereinafter ‘‘Farm Household
Income Data’’).

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Figure 1: Net Farm Income: 1998–2009 (projected) 14

15

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1AUSDA Historical Farm Income, supra note 8.
1AUSDA Historical Farm Income, supra note 8.

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14

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Figure 2: Net Cash Income: 1998–2009 (projected) 15

10
Nonetheless, USDA’s long-term projections for net farm income
and net cash income show both indicators ticking back upward in
2010 and steadily increasing over the course of the next decade as
a result of food demand growth in developing countries (due to rising populations, urbanization, and diet diversification), as well as
of a growing global demand for biofuels.16 However, USDA also
notes that ‘‘the main uncertainty for the long run concerns the
value of the U.S. dollar compared with the currencies of other trading countries’’ (particularly the Chinese yuan), and it cautions that
its projections for net farm income several years in the future depend heavily on the relative strength of the dollar.17 Under a
‘‘strong dollar’’ scenario, USDA estimates that net farm income
could decline by roughly 7 percent from 2008 to 2013 (though this
estimate still projects that income would rise from 2009 lows
through 2013), but, under a ‘‘weak dollar’’ scenario, USDA projects
that net farm income could soar to $106 billion by 2013—a 19 percent increase over the record 2008 level.18
2. LAND VALUES

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The value of farmland likewise reached a record high level in
2008 of $2,170 per acre, as the average value per acre of farmland
in the United States increased by 7.96 percent over 2007.19 This
marked the twenty-first consecutive year in which the price of
farmland rose higher, with the last decrease occurring from 1986
to 1987, at the height of the 1980s farm crisis.20 The USDA attributes this steady increase in farmland values to consistent
growth in farm income, heightened non-farm demand for farmland,
favorable interest rates, and generally rising (though volatile) commodity prices.21

16 U.S. Department of Agriculture, USDA Agricultural Projections to 2018, at 60 (Feb. 2009)
(Table 27: Farm Receipts, Expenses, and Income) (online at http://www.ers.usda.gov/Publications/OCE091/OCE091.pdf) (hereinafter ‘‘USDA Long-term Projections’’).
17 USDA Crisis Impact Report, supra note 6, at 3.
18 USDA Crisis Impact Report, supra note 6, at 3.
19 U.S. Department of Agriculture, Economic Research Service, Farm Income: Data Files:
Number of Farms, Land in Farms, and Value of Farm Real Estate, 1850–2008 (online at
www.ers.usda.gov/Data/FarmIncome/FinfidmuXls.htm) (accessed July 7, 2009) (hereinafter
‘‘USDA Farm Real Estate Data’’).
20 Id.
21 U.S. Department of Agriculture, Economic Research Service, Farm Income and Costs: Assets, Debt, and Wealth (online at www.ers.usda.gov/Briefing/FarmIncome/Wealth.htm) (accessed
July 7, 2009) (hereinafter ‘‘USDA Farm Income and Costs’’).

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Figure 3: Average Value per Acre of Farmland: 1987–2008 22

Generally, the percent increases in farmland value did not match
the percent increases in housing prices during the real estate bubble in recent years (the percent increase from year-to-year in housing prices surpassed the percent increase in farmland value each
year from 1998 to 2004). However, farmland values did increase by
double digits year-over-year twice in the earlier part of this decade,
jumping 20.1 percent from 2004 to 2005 and 13.7 percent from
2005 to 2006, with the percent increase in farmland values exceeding the percent increase in housing prices from year-to-year on
both occasions.23 Farmland values continued to increase in 2007
and 2008, while housing prices dropped precipitously. Nonetheless,
USDA projects that farm real estate values will fall by 2 percent
in 2009, and, although USDA notes that ‘‘farm real estate values
are not very sensitive to short-term changes in the returns to agriculture,’’ it will be critical to track this indicator in the months and
years ahead as a gauge of the health of the farm sector.24

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23 USDA
24 USDA

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Farm Real Estate Data, supra note 19.
Farm Real Estate Data, supra note 19.
Crisis Impact Report, supra note 6, at 24.

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22 USDA

12
Figure 4: Changes in Farmland Value vs. Changes in
Housing Prices: 1998–2008 25

25 USDA Farm Real Estate Data, supra note 19; Standard & Poor’s, S&P/Case-Shiller Home
Price Indices (Instrument: Seasonally Adjusted U.S. National Values) (online at
www2.standardandpoors.com/spf/pdf/index/SAlcsnationallvaluesl022445.xls) (accessed July
15, 2009). Yearly value is taken as the average of the index value for the four quarters of each
year.
26 Five Federal Reserve District Banks conduct quarterly surveys of commercial banks to gather information on agricultural land values and credit conditions in their Districts: Chicago, Kansas City, Minneapolis, San Francisco, and Richmond. The survey methodology and exact questions differ from District to District; however, answers to generally similar questions across Districts are compiled as part of the Board of Governors of the Federal Reserve System’s Statistical
Release E.15, the Agricultural Finance Databook. This Databook, released quarterly, includes
this survey information, along with other information on agricultural credit conditions compiled
from Federal Reserve and FDIC sources. The databook is the most comprehensive source of data
on farm credit. See Second Quarter Fed Databook, supra note 2.
27 Jason Henderson and Maria Akers, Federal Reserve Bank of Kansas City, Recession
Catches Rural America, Federal Reserve Bank of Kansas City Economic Review, at 71 (First
Quarter 2009), (online at www.kc.frb.org/PUBLICAT/ECONREV/PDF/09q1Henderson.pdf) (hereinafter ‘‘Henderson Article’’); Federal Reserve Bank of Kansas City, Survey of Agricultural Credit Conditions (First Quarter 2009) (online at www.kansascityfed.org/Agcrsurv/AGCR1Q09.pdf)
(hereinafter ‘‘KC Fed First Quarter Survey’’).
28 Federal Reserve Bank of Kansas City, Survey of Agricultural Credit Conditions: Historical
Data
(online
at
www.kansascityfed.org/home/

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Data from quarterly, district-based Federal Reserve surveys of
banks on farm credit conditions and farmland values confirm the
continued strength of farmland values in 2008, while showing some
modest weakening in values in the fourth quarter, as the crisis in
the financial sector reverberated throughout the broader economy.26 For example, the Kansas City District survey realized the
highest ever year-over-year increase in the market value of good
farmland, from the third quarter of 2007 to the third quarter of
2008 (21.2 percent for dry land and 23.4 percent for irrigated
land).27 However, by the fourth quarter of last year, the survey
found that the year-over-year increase in value had dropped to 7.1
percent for dry land and 10.9 percent for irrigated land, with the
value of both dry and irrigated land dropping by approximately one
percent from the third to the fourth quarter of 2008.28

13
Surveys in other Federal Reserve Districts, including Chicago,
Minneapolis, San Francisco, and Richmond, noted similar trends,
with the reported value of farmland increasing progressively more
modestly over the previous year as 2008 wore on in most regions
and with the value of good farmland decreasing from 2007 to 2008
in the Richmond region.29 Further, in the fourth quarter 2008 surveys, banks surveyed in the Chicago and Richmond regions expressed pessimism about trends in farmland values in 2009, with
35 percent of those surveyed in the Chicago region predicting that
farmland values would decline in the first quarter of 2009 and 25
percent of those surveyed in the Richmond region predicting such
a decline (only 4 percent and 6 percent of respondents in the Chicago and Richmond regions, respectively, anticipated increases in
the first three months of 2009).30
Thus far, fears that farmland prices could decline precipitously—
perhaps paralleling the ‘‘bust’’ in the residential housing market—
have been unfounded.31 On the contrary, first quarter 2009 Federal
Reserve surveys have found continued modest appreciation in
farmland values on a year-over-year basis—2.9 percent and 3.8 percent over first quarter 2008 for dry and irrigated farmland in the
Kansas City region and two percent over first quarter 2008 for
good farmland in the Chicago region.32 However, slowed year-overyear appreciation and some quarterly decreases in farmland values
(the value of good farmland in the Chicago region decreased by six
percent from the fourth quarter of 2008 to the first quarter of 2009)
confirm USDA’s projection that a modest decline in farmland values—or at least an end to steady appreciation—is likely to occur
in the coming months.33 Should these downward trends be more
severe or more prolonged than anticipated, farmers could watch
much of the equity they have built up in their land evaporate,
straining their capacity to repay or restructure loans collateralized
by their farm real estate. As noted above, this indicator should be
monitored closely.
3. DEBT-TO-ASSET RATIO

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USDA estimates that both total farm debt and total farm assets
will reach record high levels in 2009, with total farm debt hitting
$217 billion and total farm assets reaching $2.39 trillion.34 The resulting debt-to-asset ratio—a key measure of farmers’ financial lesubwebnav.cfm?level=3&theID=9754&SubWeb=10658) (accessed July 7, 2009) (hereinafter ‘‘KC
Fed Survey Historical Data’’).
29 Second Quarter Fed Databook, supra note 2, at 39 (C.6 Trends in Farm Real Estate Value
and Loan Volumes).
30 Second Quarter Fed Databook, supra note 2, at 39 (C.6 Trends in Farm Real Estate Value
and Loan Volumes).
31 For a discussion of a possible farmland bubble, see U.S. Senate Committee on Banking,
Housing, and Urban Affairs, Testimony of Iowa Superintendent of Banking Thomas B. Gronstal,
The Condition of the Banking Industry, 110th Cong., at 6 (Mar. 4, 2008) (online at banking.senate.gov/public/index.cfm?FuseAction=Files.View&FileStorelid=f90776b5-ab3a-45d9-b9a2231d9697dbcc) (‘‘The dramatic increase of farmland value in the last few years makes the agriculture sector look strong . . . If there has been too much leveraged or loaned against the inflated value of farm land, the bubble will burst and we will once again experience an economic
crisis similar to that of the 1980s’’).
32 Second Quarter Fed Databook, supra note 2, at 39 (C.6 Trends in Farm Real Estate Value
and Loan Volumes).
33 Second Quarter Fed Databook, supra note 2, at 39 (C.6 Trends in Farm Real Estate Value
and Loan Volumes).
34 USDA Historical Farm Income Data, supra note 8.

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14
verage—is expected to drop to 9.1 percent, down from 9.2 percent
in 2008, and considerably down from its peak of 22.2 percent,
reached in 1985.35 The increase in farm assets has outpaced the increase in farm debt for ten consecutive years.36 Indeed, USDA reports that American farmers have adopted an increasingly conservative approach to financing their operations in the years since the
1980s farm crisis, often paying cash for land, equipment, and inputs, with 70 percent of farmers carrying no outstanding debt from
year to year.37 According to USDA’s 2007 Agricultural Resource
Management Survey, the most recent such survey available, 63 percent of farmers reported no use of debt even to finance production
within calendar year 2007.38
While the agriculture sector is now generally characterized by
low debt-to-asset ratios when compared to other sectors of the economy, with farmers often building up considerable equity in their
farms and acquiring many physical assets that can serve as collateral for loans, there are signs that farmers have been taking on
more debt and carrying over more debt in recent months than in
the preceding period.39 FSA 40 reports that, as of May 30, 2009, demand for its direct ownership loans was up 132 percent and demand for its direct operating loans was up 81 percent, with 45 percent of direct operating loans approved in FY 2009 going to customers who did not have existing FSA operating loans.41 Further,
Federal Reserve Bank surveys of agriculture lenders note an increase in those carrying over operating debt from year-to-year, with
between 18 and 25 percent of bankers surveyed reporting higher
rates of renewals and extensions of farm operating loans in the
first quarter of 2009 when compared with the first quarter of
2008.42 As discussed later in this section, fluctuations in input
prices paid and market prices received by farmers in recent
months, and the shrinking farm profit margins that have resulted,
may contribute to an increased demand for credit to sustain farmers through the current downturn.

35 USDA

Historical Farm Income Data, supra note 8.
Historical Farm Income Data, supra note 8.
Finance Outlook, supra note 5, at 45.
38 USDA Finance Outlook, supra note 5, at 55.
39 USDA Finance Outlook, supra note 5, at 49–50; Paul Ellinger and Bruce Sherrick, Financial Markets in Agriculture, Illinois Farm Economics Update, Department of Agricultural and
Consumer Economics, University of Illinois at Urbana-Champaign, at 2 (Oct. 15, 2008) (online
at www.farmdoc.uiuc.edu/IFEU/IFEUl08l02/IFEUl08l02.pdf) (hereinafter ‘‘Ellinger and
Sherrick October Article’’).
40 The Farm Service Agency and its loan programs are discussed in detail infra, Section One
Part (C)(2)(b).
41 U.S. House Committee on Agriculture Subcommittee on Conservation, Credit, Energy, and
Research, Testimony of Administrator of the Farm Service Agency Doug Caruso, To Review
Credit Conditions in Rural America, 111th Cong. (June 11, 2009) (online at agriculture.house.gov/testimony/111/h061109sc/Caruso.doc) (hereinafter ‘‘FSA June Testimony’’).
42 Id.
36 USDA

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37 USDA

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15
Figure 5: Farm Debt-to-Asset Ratio: 1970–2009 (projected) 43

4. FOOD DEMAND

Global demand for U.S. agricultural products increased dramatically in the years preceding the onset of the economic crisis last
fall, contributing to the positive trends in farm income, farmland
value, and the farm debt-to-asset ratio highlighted above. In particular, USDA cites strong global economic growth beginning in the
mid-to-late 1990s, population growth, an increased demand for
meat and dairy products (particularly in developing countries), and
a rapid rise in demand for biofuels as key factors underlying the
long-term upward trajectory of food demand, and, consequently,
food prices.44 Indeed, the annual value of U.S. agricultural exports
increased by 117 percent from 2002 to 2008, reaching an all-time
high of $115.4 billion last year.45 The declining value of the U.S.
dollar beginning in the early years of this decade is also considered
a major contributor to the increase in global demand for U.S. agricultural products.46

44 U.S. Department of Agriculture, Economic Research Service, Global Agricultural Supply
and Demand: Factors Contributing to the Recent Increase in Commodity Prices, at 6 (Revised
July 2008) (WRS–0801) (online at www.ers.usda.gov/Publications/WRS0801/WRS0801.pdf) (hereinafter ‘‘USDA Supply and Demand Article’’).
45 U.S. Department of Agriculture, Economic Research Service, Foreign Agricultural Trade of
the United States: Data Sets: Total Value of U.S. Agricultural Trade a Trade Balance, Monthly
(online at www.ers.usda.gov/Data/FATUS/DATA/moUStrade.xls) (accessed July 8, 2009) (hereinafter ‘‘USDA Agricultural Exports Data’’).
46 USDA Supply and Demand Article, supra note 44, at 6.

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43 Id.

16
Figure 6: Value of U.S. Agricultural Exports by Month: 1995–
April 2009 47

While food demand and food exports experienced significant increases in recent years, reduced consumer spending domestically
and around the world as a result of the economic crisis is expected
to lead to reduced demand for food products in 2009. In particular,
USDA has found that American consumers have reduced consumption of food at home and away from home over the course of the
past year (with more rapid decreases in food consumption away
from home), as well as that consumption of meat and more expensive food products has declined faster than food consumption on the
whole.48 However, USDA also notes that ‘‘most U.S. consumers
have a sufficiently high standard of living that demand for food is
not very sensitive to changes in income.’’ 49 The recession and the
reduced price of crude oil have also cut into the demand for ethanol, hurting that industry.50 Similarly, since the fall of last year,
as the economic downturn spread across the world and as the value
of the U.S. dollar strengthened in comparison to foreign currencies,
U.S. agricultural exports have dropped, falling from a record high
of $10.6 billion in October 2008 to $7.6 billion in April of 2009—
a decline of over 28 percent.51

47 USDA

Agricultural Exports Data, supra note 45.
Article, supra note 27, at 80; USDA Crisis Impact Report, supra note 6, at 7.
Crisis Impact Report, supra note 6, at 7.
50 Henderson Article, supra note 27, at 82.
51 USDA Agricultural Exports Data, supra note 45.
48 Henderson

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49 USDA

17
Nonetheless, in the long-term, global food demand and, therefore,
demand for U.S. agricultural products, is expected to rise, driven
in large part by economic growth and population growth in developing countries.52 A report recently released by the Organization
for Economic Cooperation and Development (OECD), makes a similar prediction, noting that ‘‘once economic recovery begins, most of
the growth in agricultural production and consumption will continue to come from developing countries,’’ and adding that ‘‘this is
particularly evident for livestock products where the primary drivers are income and population growth, with a trend towards higher
animal protein diets and continuing urbanization.’’ 53 USDA’s longterm projections for the agriculture sector (released in February
2009), predict that the current decline in agricultural exports will
halt in 2010 and that exports will then increase steadily through
2018.54 However, USDA again cautions that the exchange rate of
the dollar will be a major determining factor in trends in U.S. agricultural exports and, as mentioned above, U.S. agricultural income
over the long-term, noting further that this rate is difficult to predict.55
5. INCOME

While net farm income is projected to decline by 20 percent from
its record high level in 2008, average farm operator household income (which takes into account both farm and non-farm income) is
projected to decline by much less—1.98 percent in 2009, also down
from an all-time record level of $86,864 in 2008.56 USDA defines
the farm operator household population as ‘‘everyone who shares
the dwelling unit with a principal operator of a family farm,’’ and
it defines a family farm as ‘‘a farm where the majority of the business is owned by individuals related by blood, marriage, or adoption’’ (in 2007, 97.8 percent of U.S. farms were categorized as family farms).57 USDA does not collect data on the income of farm-operator households that operate nonfamily farms.

52 Henderson

Article, supra note 27, at 84.
for Economic Cooperation and Development, OECD–FAO Agricultural Outlook, 2009–2018, at 11 (2009) (online at www.oecd.org/dataoecd/2/31/43040036.pdf) (hereinafter
‘‘OECD–FAO Outlook’’).
54 USDA Long-term Projections, supra note 16, at 61 (Table 28: Summary of U.S. Agricultural
Trade Long-term Projections).
55 USDA Crisis Impact Report, supra note 6, at 9.
56 Farm Household Income Data, supra note 13.
57 USDA Finance Outlook, supra note 5, at 32.

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53 Organization

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18
Figure 7: Average U.S. Farm Operator Household Income:
1988–2009 (projected) 58

Comparing average U.S. farm operator household income with
overall average U.S. household income, farm household income has
surpassed average income for the population on the whole for every
year since 1996.59

59 Farm

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Household Income Data, supra note 13.
Household Income Data, supra note 13; USDA Finance Outlook, supra note 5, at 33.

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58 Farm

19
Figure 8: Ratio of Farm to U.S. Household Income: 1960–
2007 60

Of particular note is the increasing reliance of farmers on nonfarm sources of income. In 2009, the non-farm portion of farm operator household income is expected to exceed 95 percent for the first
time in history (although USDA acknowledges that its definition of
‘‘earnings of the operator household from farming activities’’ does
not completely capture the returns to the household provided by
the farm).61 This trend of relying on off-farm income began in earnest during the 1980s farm crisis, and it has not abated over the
past two decades. According to USDA, approximately 70 percent of
farm operator households currently have either an operator or a
spouse working at an off-farm job, and only for the households that
operate the largest 8 percent of farms (with sales of $250,000 or
more) is average farm income greater than off-farm income on a
yearly basis.62
While the long-term trends in average farm operator household
income have been positive, this rising dependence on off-farm income also makes smaller, family farms increasingly vulnerable to
outside economic conditions, and, in particular, employment conditions in rural America. The fact that an estimated 95 percent of
farm operator household income is derived from non-farm sources
also calls into question whether any analysis of trends in the agriculture sector truly captures financial conditions for farmers in
rural America.

60 Farm

Household Income Data, supra note 13.
Household Income Data, supra note 13.
Finance Outlook, supra note 5, at 31.

62 USDA

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61 Farm

20
Figure 9: Farm Operator Income from Non-Farm Sources:
1960–2009 (projected) 63

6. SECTORS

63 Farm

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Household Income Data, supra note 13.

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While the overall trends in agriculture have been very positive
in recent years, there are some key differences across sectors of agriculture, and these differences, principally differences in the economic conditions and outlook for commodity crops versus livestock,
have been exacerbated in the months since the onset of the economic crisis. In particular, a variety of issues, ranging from overproduction of cattle to declining dairy prices, swine flu, and the
bankruptcy of significant companies in the industry, have combined
to cause heightened stress across the livestock sector. Further, as
discussed above, many trends in agriculture necessarily work at
cross-purposes. As commodity crop prices go up, input costs for
livestock farmers go up, and, when dairy farmers send their cows
to slaughter because overproduction is driving prices down, the
beef cattle sector sees increased stress in the form of oversupply.
This section describes these notable differences, in an effort to
highlight those sectors most at risk in the current economic climate.

21
This analysis of the relative health of various agriculture sectors
and of the volatility of commodity and livestock prices and input
costs is an important precursor to this report’s discussion of farm
credit conditions. Particularly because an important consideration
in extending credit to farmers is cash flow (as is discussed in detail
in later report sections), volatile and rising costs of production coupled with declining prices can quickly lead farmers to become less
creditworthy—and lead banks to become more wary about extending credit to farmers in the affected sectors—at times when they
most need credit to carry them through hard times.64 Indeed, witnesses at the Panel’s Greeley, CO, field hearing noted that some
reliable sources of agriculture credit have dried up, as ‘‘the volatility of ag[riculture] prices and profits is becoming more than most
lenders care to bear.’’ 65

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a. Commodity crops
Commodity crop farmers—which include those farmers who
produce mixed grains, wheat, corn, soybeans, peanuts, cotton, and
rice—have generally seen historically strong economic times in recent years, and commodity crop prices have held comparatively
steady throughout the economic downturn. Specifically, farm businesses (defined by USDA as those farms whose operator indicates
that farming was his or her primary activity, encompassing roughly 800,000 of the nation’s 2.1 million farms) specializing in mixed
grains, wheat, corn, and soybeans and peanuts were expected to realize double-digit percent increases in net cash income from 2007
to 2008 (11, 29, 25, and 22 percent, respectively).66 However, cotton, rice, and specialty crop farmers were expected to see decreases
in net cash income from 2007 to 2008.67
USDA data on commodity crop prices in June 2009 demonstrate
that, while commodity crop prices have fallen across the board over
the course of the past year, their decline was not as dramatic as
the drop in prices in the livestock sector (discussed below), and
prices have begun to increase once again. The USDA all crops
index increased by 8.0 percent from May to June 2009, but it remained 11 percent below its June 2008 level.68 Overall, U.S. farm
sector cash receipts from the sale of commodity crops are projected
64 Congressional Oversight Panel, Testimony of U.S. Department of Agriculture Undersecretary for Farm and Foreign Agricultural Services Michael Scuse, COP Field Hearing in Greeley,
CO on Farm Credit (July 7, 2009) (online at cop.senate.gov/documents/testimony-070709scuse.pdf) (hereinafter ‘‘Scuse Testimony’’) (‘‘A combination of limited or negative returns in
much of the livestock industry, reduced profit margins in crop production, and increased sensitivity to credit risk has caused many farm lenders to raise their credit standards, reduce the
amount they are willing to lend to agriculture, or both.’’).
65 Congressional Oversight Panel, Testimony of Les Hardesty, Owner, Painted Prairie Farm,
and Chairman, Dairy Farmers of America Mountain Area, COP Field Hearing in Greeley, CO
on Farm Credit (July 7, 2009) (audio online at cop.senate.gov/hearings/library/hearing-070709farmcredit.cfm) (hereinafter ‘‘Hardesty Testimony’’).
66 USDA Finance Outlook, supra note 5, at 28.
67 USDA Finance Outlook, supra note 5, at 31.
68 Price increases for commercial vegetables, fruits and nuts, oil-bearing crops, and potatoes
and dry beans surpassed decreases in prices for feed grains and hay, food grains, and cotton,
allowing for the net increase in the index from May to June. See U.S. Department of Agriculture, National Agricultural Statistics Service, Agricultural Prices, at 2 (June 29, 2009) (online
at usda.mannlib.cornell.edu/usda/current/AgriPric/AgriPric-06-29-2009.pdf) (hereinafter ‘‘USDA
June Agricultural Prices’’).

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22
to decrease by 18.7 percent in 2009; however, this is down from a
record high level of $181.1 billion in 2008.69
Figure 10: U.S. Food and Feed Crop Prices: 1990–2009 70

69 U.S. Department of Agriculture, Economic Research Service, Farm Income and Costs: Farm
Sector Income Forecast (online at www.ers.usda.gov/briefing/farmincome/data/crXt3.htm)
(accessed July 8, 2009) (hereinafter ‘‘USDA Farm Sector Income Forecast’’).
70 Id.
71 USDA June Agricultural Prices, supra note 68, at 2.
72 USDA Farm Sector Income Forecast, supra note 69.

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b. Livestock
Conversely, the livestock sector has faced considerable challenges
in recent months, as sharply declining prices for meat and, in particular, dairy products have added increased strain on livestock
farmers, whose costs of production had begun to exceed the breakeven point even before the economic crisis hit. USDA’s livestock
and livestock products price index dropped slightly from May to
June 2009, falling by 0.9 percent; however, it is down 18 percent
from June 2008.71 Overall, U.S. farm sector cash receipts from the
livestock sector are projected to drop by 10.9 percent in 2009—a
smaller percent decrease than the percent decrease in cash receipts
for commodity crops, but from a lower level (livestock receipts only
increased by 5.3 percent from 2007 to 2008 while commodity crop
receipts increased by 34.2 percent).72 Further, last year, as commodity crops hit record high price levels, livestock farmers, consequently, saw dramatic increases in feed costs, cutting into their
profit margins and, in many cases, causing them to operate in the
red.

23
Figure 11: Cattle and Hog Prices and Breakeven Prices:
April 2003–April 2009 73

73 U.S. Department of Agriculture, Economic Research Service, Commodity Costs and Returns:
U.S. and Regional Cost and Return Data (online at www.ers.usda.gov/Data/CostsAndReturns/
testpick.htm) (accessed July 13, 2009) (hereinafter ‘‘USDA Commodity Costs and Returns
Data’’).
74 USDA Finance Outlook, supra note 5, at 28.
75 Board of Governors of the Federal Reserve System, The Beige Book: Current Economic Conditions by Federal Reserve District, at VII–4 (June 10, 2009) (online at www.federalreserve.gov/
FOMC/BeigeBook/2009/20090610/fullreport20090610.pdf).
76 U.S. Department of Agriculture, Economic Research Service, Livestock, Dairy, and Poultry
Outlook, at 3 (May 19, 2009) (LDP–M–179) (online at www.ers.usda.gov/publications/LDP/2009/
05May/ldpm179.pdf) (hereinafter ‘‘USDA May Livestock, Dairy, and Poultry Outlook’’).
77 USDA June Agricultural Prices, supra note 68, at 9.
78 USDA May Livestock, Dairy, and Poultry Outlook, supra note 76, at 3.

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i. Hogs. Net cash income for farm businesses specializing in hogs
declined by approximately eight percent from 2007 to 2008, and, as
demonstrated in the above chart, prices received by hog producers
fell short of the breakeven point for much of 2008.74 These existing
problems were worsened with the onset of the economic crisis and
the corresponding decline in meat demand. Prices in the hog industry were further damaged in the aftermath of the H1N1 virus
(swine flu) scare.75 Per USDA, which revised downward its second
quarter 2009 estimate for hog prices, ‘‘consumer and foreign government reactions to the flu likely resulted in temporarily lower
domestic and foreign demand for pork products.’’ 76 As of May 2009,
hog prices were nearly 18 percent below their price one year ago.77
Information recently released in the Federal Reserve’s Beige Book
for the Chicago and Kansas City Districts indicates that these
lower hog prices, coupled with higher feed costs, will continue to
cause stress in the hog industry in the months ahead. However,
USDA expects that hog prices will begin to tick upward as demand
normalizes following the H1N1 scare.78
ii. Poultry. In comparison with other sub-categories within the
livestock sector (hogs, cattle, and dairy), the poultry industry has

24
held up fairly well. Farm businesses specializing in poultry saw net
cash income decrease by approximately two percent from 2007 to
2008.79 As of June 2009, the overall poultry and eggs price index
was down by 4.5 percent from June 2008, but it increased by 3.5
percent from May to June 2009.80 Specifically, prices for broilers
and turkeys increased from April to May, by 2.0 cents and 2.2
cents per pound, respectively, while prices for eggs dropped by 2.6
cents per dozen.81 Broilers are up 3.0 cents from June 2008, while
turkeys are down 7.5 cents and eggs are down 38.6 cents per
dozen.82 Eggs are expected to remain a negative outlier throughout
2009, and prices for a dozen eggs are expected to decline by double
digits from 2008 to 2009.83
Despite some comparatively positive indicators, the poultry industry has been hit by high production costs, and the December
2008 bankruptcy of Pilgrim’s Pride, the nation’s largest chicken
producer (controlling 23 percent of the U.S. market), has had significant consequences for many poultry farmers who act as assemblers on behalf of the company.84 Pilgrim’s Pride’s bankruptcy also
demonstrates that, even on the heels of good times in the agriculture sector, shrinking profit margins can quickly place farmers’
finances in danger. Further, dependence on a large company such
as Pilgrim’s Pride for a steady stream of business can place farmers—and their ability to make good on their loans—in jeopardy
through no fault of their own should the company fall on hard
times.
iii. Cattle. The beef cattle industry saw dramatic increases in
input costs in 2008 (fertilizer, fuel, and feed costs increased 64, 26,
and 23 percent, respectively), leading to a drop in net cash income
for farm businesses specializing in beef cattle of 27 percent from
the 2007 level.85 Further, meat prices have fallen over the past
year—by roughly 12 percent from June 2008 to June 2009—and
the industry has operated in the red for much of the past year,
with the exception of April 2009, when meat selling prices edged
above the breakeven price.86 U.S. beef exports are expected to decline by roughly 8 percent in 2009, though this decline is likely to
be balanced out by an expected increase in beef exports of approximately 9 percent in 2010.87 However, per capita consumption of red
meat in the United States is projected to decline over the course
of the next five years.88
iv. Dairy. Even within agriculture, a sector of the economy
known for its cyclical nature, the roughly three-year cycles of the
79 USDA

Finance Outlook, supra note 5, at 28.
June Agricultural Prices, supra note 68, at 2.
June Agricultural Prices, supra note 68, at 2.
82 USDA June Agricultural Prices, supra note 68, at 2.
83 U.S. Department of Agriculture, Economic Research Service, Livestock, Dairy, and Poultry
Outlook, at 4 (June 17, 2009) (LDP–M–180) (online at www.ers.usda.gov/publications/ldp/2009/
06Jun/ldpm180.pdf) (hereinafter ‘‘USDA June Livestock, Dairy, and Poultry Outlook’’).
84 Henderson Article, supra note 27, at 70.
85 USDA Finance Outlook, supra note 5, at 28.
86 USDA June Agricultural Prices, supra note 68, at 9; U.S. Department of Agriculture, Economic Research Service, Production Indicators (June 30, 2009) (online at www.ers.usda.gov/
Publications/ldp/xlstables/productionindicators.xls).
87 USDA June Livestock, Dairy, and Poultry Outlook, supra note 83, at 7.
88 USDA Long-term Projections, supra note 16, at 49 (Table 19: Per Capita Meat Consumption).
80 USDA

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81 USDA

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25
dairy industry stand out for their predictability, as the chart below
demonstrates.
Figure 12: Milk Prices: 1990–2009 89

89 Professor Brian W. Gould, Dairy Marketing and Risk Management Program, University of
Wisconsin
(online
at
future.aae.wisc.edu/data/annuallvalues/bylarea/10?tab=prices
&period=recent.com) (accessed July 13, 2009).
90 USDA Finance Outlook, supra note 5, at 28.
91 USDA June Agricultural Prices, supra note 68, at 2.
92 USDA Commodity Costs and Returns Data, supra note 73.

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Nonetheless, while the current drop in dairy prices is not out of
character considering previous such drops over the past two decades, the dramatic nature of the drop-off from historically high
prices and the fact that this trough is as deep as any in recent
memory—has made dairy without a doubt the hardest-hit sector of
the farm economy in recent months. Farm businesses specializing
in dairy had already seen their net cash income fall by 40 percent
from 2007 to 2008, and the problems in the dairy sector have been
compounded by sustained low milk prices.90 Specifically, milk
prices were down 41 percent in June 2009 compared to June 2008,
and the USDA June 2009 dairy price index was likewise 41 percent
below the index level in June 2008.91 Dairy has been operating in
the red since January 2008, with costs of production outpacing
prices received.92 Average feed costs (which comprise roughly onehalf of variable operating costs for the dairy industry) increased by
about 35 percent in 2008, and energy costs increased by 30 percent.93 These trends are particularly worrisome because dairy

26
cent.93 These trends are particularly worrisome because dairy
farms are among the most highly leveraged in the U.S. agriculture
sector, and the added strain of the economic crisis has made the
credit needs of the dairy industry even more acute.94
Figure 13: California Milk Costs and Prices Received:
January 2007–March 200995

93 U.S. House Committee on Agriculture, Subcommittee on Livestock, Dairy, and Poultry, Testimony of Under Secretary of Agriculture James Miller, at 3 (July 14, 2009) (online at agriculture.house.gov/testimony/111/h071409/Miller.pdf) (hereinafter ‘‘Miller Testimony’’).
94 Id., at 3.
95 Monthly milk costs of production are available only on a state-by-state basis. California is
the nation’s largest milk producer. USDA Commodity Costs and Returns Data, supra note 73.
96 USDA June Livestock, Dairy, and Poultry Outlook, supra note 83, at 1. Some project that
prices may hit bottom in July 2009 and then slowly recover, based on the futures market. See
Jim Dunn, Dairy Outlook, Penn State University, at 1 (June 2009) (online at
dairyoutlook.aers.psu.edu//reports/Pub2009/DairyOutlookjun09.pdf).
97 Miller Testimony, supra note 93.
98 USDA Crisis Impact Report, supra note 6, at 20.

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However, USDA projects that prices for milk and dairy products
will recover slightly in the latter half of 2009 and continue to increase in 2010, while remaining below levels from 2007 and 2008.96
USDA also projects that feed costs will fall by approximately 15
percent in 2009, easing some of the pressure on dairy producers.97
In the near-term, though, USDA cautions that tighter cash margins in the dairy sector could lead the percentage of dairy farms
with debt repayment issues to more than double from two years
ago, going from 5 percent in 2007 to upwards of 13 percent in
2009.98

27
C. FARM CREDIT MARKETS
1. TYPES OF CREDIT NEEDED BY FARMERS

Farming is a cyclical business, and income and expenses are unevenly distributed through the cycle. Farmers rely on several primary types of credit to help them deal with this disparity and finance their operations. Within a growing cycle, farmers face upfront costs for seed, fertilizer, and similar inputs. These operating
expenses are generally financed through an annual production
loan.
However, some production expenses don’t fit within the annual
operating mold. For example, some farmers must purchase equipment, make real estate improvements, and purchase cattle or other
livestock. These more significant and less frequent expenses are
generally financed through intermediate term production loans.
Some lenders may accept the production elements being purchased,
such as equipment, as collateral, while other lenders choose to
collateralize these loans with real estate. Intermediate production
loans are often for terms between 14 months and seven years.
Some farmers utilize a line of credit to finance annual or intermediate production costs.
Finally, farmers use real estate loans to finance the land and
buildings necessary for their business. Farm real estate loans are
usually the largest loans and generally feature the longest terms,
often between five and 40 years. Given that all farms have both
real estate and production expenses, it isn’t uncommon for farms
to have multiple lines of credit.
2. MAJOR SOURCES OF CREDIT FOR FARMERS AND TYPICAL
CHARACTERISTICS OF FARM LOANS

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Total farm debt outstanding is projected to rise to an all-time
high of $217.1 billion in 2009, with approximately 52 percent of
this debt used to finance real estate and the remaining 48 percent
used for non-real estate purposes.99 This debt is divided among
several principal sources of agricultural credit: FSA, life insurance
companies, individuals, FCS, and commercial banks. This section
describes these five major sources of credit for farmers, including
differences in market share for the various sources across real estate and non-real estate loans and over time. Also discussed is the
distribution of farm loans at commercial banks, in an effort to highlight the role of both large and small, TARP and non-TARP banks
in providing credit to American farmers. Finally, typical characteristics of farm loans made by each of the major farm lenders are discussed.

99 USDA

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a. Overview of sources of credit for real estate and non-real estate
farm loans
A look at the share of total farm debt held by the various sources
of farm credit reveals that commercial banks hold more farm debt
than any other one source of farm credit, with the FCS also holding
a significant proportion of total farm debt. Comparatively, FSA
held a mere two percent of farm debt in 2007, with individuals and
others and life insurance companies holding 10 percent and 5 percent, respectively.

100 USDA

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Figure 14: Market Shares of Total Farm Debt by Lender:
2007 100

29
A long-term view of sources of farm credit shows that the share
of farm debt held by commerical banks has increased over time,
while the share of farm debt held by individuals and others has
fallen considerably from 1960 to the present. Fluctuations in debt
held by FSA reflect the consequences of the farm crisis of the
1980s, with FSA debt peaking during that time period.

101 U.S. Department of Agriculture, Economic Research Service, Farm Balance Sheet: Data
Files: Farm Balance Sheet, 1960–2007 (online at www.ers.usda.gov/Data/FarmBalanceSheet/
FBSDMU.HTM) (accessed July 13, 2009) (hereinafter ‘‘USDA Farm Balance Sheet Historical
Data’’).

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Figure 15: Shares of Total Farm Debt by Lender: 1960–
2007 101

30
When isolating farm real estate debt from the entirety of farm
debt, it can be seen that the FCS holds more of this type of farm
debt than any other lender. Life insurance companies hold roughly
10 percent of farm real estate debt.

102 USDA

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Figure 16: Market Shares of Total Farm Real Estate Debt by
Lender: 2007 102

31
While commercial banks do not hold as much farm real estate
debt as the FCS institutions, the share of farm real estate debt
held by banks has increased considerably over the past two decades, in particular cutting into the share of farm real estate debt
held by individuals and others. This increase in farm real estate
debt held by commercial banks speaks to the ability of banks to
offer competitive interest rates and a diverse range of services to
attract and maintain customers (services with which many individuals, input suppliers, etc., could not compete).103 The implications
of the share of farm debt currently held by commercial banks will
be discussed in the sections of this report on credit availability and
farm loan restructuring.

103 Glenn Pederson and Tamar Khitarishvili, The Competitive Environment for Farm Real Estate Lending of Commercial Banks in the Upper Midwest, Department of Applied Economics,
College of Agricultural, Food, and Environmental Sciences, University of Minnesota, at 19 (Dec.
1997) (Staff Paper P97–13) (online at ageconsearch.umn.edu/bitstream/13440/1/p97–13.pdf).
104 USDA Farm Balance Sheet Historical Data, supra note 101.

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Figure 17: Shares of Total Farm Real Estate Debt by Lender:
1960–2007 104

32
Conversely, commercial banks hold a majority of non-real estate
farm debt—53 percent in 2007. The FCS holds a bit under a third,
with individuals and others holding 13 percent and FSA holding 3
percent. Life insurance companies generally do not make loans to
farmers for non-real estate purposes.

105 USDA

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Figure 18: Market Shares of Total Farm Non-Real Estate
Debt by Lender: 2007 105

33
An historical view of non-real estate farm lending shows that the
predominance of commercial banks in making non-real estate farm
loans has persisted from 1960 to the present. Debt held by the
other sources of credit has likewise remained somewhat constant,
save for a marked uptick in debt held by FSA during the 1980s
farm crisis.
Figure 19: Shares of Total Farm Non-Real Estate Debt by
Lender: 1960–2007 106

106 USDA

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b. Farm Service Agency
FSA, a government agency within USDA, serves as the lenderof-last-resort for the agriculture sector, making direct loans to
farmers and guaranteeing loans made by FCS and commercial
banks for real estate and non-real estate purposes. FSA has its origins in the Great Depression of the 1930s, when farm failures were
rampant, and it has evolved over the years to assist those in rural
America through a variety of lending, training, and commodity assistance programs.

34

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According to the authorizing statute for FSA’s lending programs,
borrowers must ‘‘be or become owner-operators of not larger than
family farms,’’ and borrowers are eligible for FSA loans only if they
are ‘‘unable to obtain sufficient credit elsewhere to finance their actual needs at reasonable rates and terms.’’ 107 The maximum loan
amounts of $300,000 through FSA’s direct loan program and
$1,094,000 through FSA’s guaranteed loan programs (FSA generally guarantees up to 90 percent of qualifying farm loans though
it can go as high as 95 percent for loans used to refinance FSA direct loans) further ensure that FSA’s programs tailor to family
farmers and not to large, commercial farms.108 Through July 7,
2009, FSA had made or guaranteed 14,400 direct operating loans,
5,767 guaranteed operating loans, 1,281 direct farm ownership
loans, and 2,849 guaranteed farm ownership loans in fiscal year
2009.109 Funding for FSA’s direct and guaranteed loan programs is
dependent on congressional appropriations. Oftentimes, FSA lends
at a pace that would lead it to exceed the appropriated amount
during a given fiscal year, leading to the inclusion of additional
funding for FSA’s loan programs in supplemental appropriations
bills passed by Congress outside of the yearly appropriations process.
The characteristics of loans made through FSA’s direct loan programs vary depending on the purposes for which the loan is being
made (short-term operating, intermediate-term operating, or longterm real estate), as well as the ability of the borrower to repay the
loan.110 Interest rates on loans are fixed and are determined based
on the federal government’s cost of borrowing.111 As of July 1,
2009, the interest rate on operating loans was 2.5 percent and the
interest rate on real estate loans was 4.625 percent.112 There is
also a ‘‘limited resource’’ interest rate available, and these ‘‘limited
resource’’ loans are reviewed periodically to adjust the interest rate
based on repayment ability.113
FSA requires that direct loans be secured with collateral of 150
percent of the loan amount, if such collateral is available, and a
minimum of 100 percent of the loan amount in any case.114 Collateral for operating loans consists of a first lien on crops to be produced or on livestock and equipment purchased with loan funds,
though a lien can be taken on other chattel or real estate. FSA real
estate loans must be secured by real estate. All FSA direct borrowers are required to refinance their loans with a private lender
107 Consolidated Farm and Rural Development Act, as amended by Pub. L. No. 109–171 (codified at 7 U.S.C. § 1922(a)).
108 U.S. Department of Agriculture, Farm Service Agency, Farm Loan Programs (online at
www.fsa.usda.gov/FSA/webapp?area=home&subject=fmlp&topic=landing) (accessed July 8,
2009).
109 U.S. Department of Agriculture, Farm Service Agency, Farm Loan Programs: Funding (online at www.fsa.usda.gov/FSA/webapp?area=home&subject=fmlp&topic=fun) (accessed July 8,
2009).
110 U.S. Department of Agriculture, Farm Service Agency, Direct Loan Program (online at
www.fsa.usda.gov/Internet/FSAlFile/flpldirectlfarmlloans.pdf) (accessed July 8, 2009)
(hereinafter ‘‘FSA Direct Loan Information’’).
111 Id.
112 U.S. Department of Agriculture, Farm Service Agency, Farm Loan Programs: Interest
Rates (online at www.fsa.usda.gov/FSA/webapp?area=home&subject=fmlp&topic=dfl-ir) (accessed
July 8, 2009).
113 FSA Direct Loan Information, supra note 110.
114 FSA Direct Loan Information, supra note 110.

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35
(such as a commercial bank or an FCS lender) when their finances
permit.115
The terms of FSA guaranteed loans must be negotiated between
the lender (either a commercial bank or an FCS institution) and
the borrower, though interest rates may not exceed the rate the institution charges its average farm customer.116 The type of collateral used to secure FSA guaranteed loans mirrors that needed to
secure direct loans; FSA determines whether the collateral being
proposed by the commercial lender is adequate for the loan to receive an FSA guarantee.117
FSA-guaranteed loans remain with the lender; however, through
Farmer Mac II, one of Farmer Mac’s programs 118 for the secondary
market for agriculture loans, the government-guaranteed portion of
FSA-guaranteed loans can be resold (although the original commercial lender retains the responsibility for servicing the loan).119
In 2007, FSA held 2.33 percent of the total debt in the farm sector, totaling $4.93 billion, including 1.91 percent of farm real estate
debt and 2.77 percent of non-real estate farm debt.120 FSA’s overall
share of farm debt peaked at 17 percent during the 1980s farm crisis, but it has declined precipitously over the past two decades, indicative of the strength of the agriculture sector and the reduced
need for farmers to turn to the lender-of-last resort for credit.121
While, as mentioned earlier, demand for FSA’s programs has
spiked in recent quarters, it remains unclear how or if this increased demand will impact the overall share of farm debt held by
FSA, because the volume of FSA loans made is limited by congressional appropriations regardless of demand.
c. Life insurance companies
Life insurance companies often hold mortgages among the assets
backing their life, annuity, and health liabilities, and these companies are an additional source of credit to farmers, specializing in
providing larger, farm real estate loans.122 In 2007, life insurance
companies held $11.2 billion of farm real estate debt, or 10.35 percent of farm real estate debt outstanding.123 The share of farm real
estate debt held by insurance companies has held steady in recent
decades, comprising between ten and 13 percent of farm real estate
debt every year since 1980.124
d. Individuals and others (including equipment and input suppliers)
Not unlike the population of small businesses on the whole,
many small, family farms rely on financing from family, friends,
and neighbors to finance their operations and real estate pur115 FSA

Direct Loan Information, supra note 110.
Department of Agriculture, Farm Service Agency, Guaranteed Loan Program (online
at www.fsa.usda.gov/Internet/FSAlFile/guaranteedlfarmlloans.pdf) (accessed July 8, 2009).
117 Id.
118 Farmer Mac and its programs are discussed infra, Section 2, Part (C)(2)(g).
119 Id.
120 USDA Farm Sector Income Forecast, supra note 69.
121 USDA Farm Sector Income Forecast, supra note 69.
122 American Council of Life Insurers, ACLI Life Insurers Fact Book 2008, at 7 (Oct. 31, 2009)
(online at www.acli.com/ACLI/Tools/Industry+Facts/Life+Insurers+Fact+Book/GR08-108.htm).
123 USDA Farm Sector Income Forecast, supra note 69.
124 USDA Farm Sector Income Forecast, supra note 69.

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116 U.S.

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chases. In 2007, individuals and others held 10.18 percent of all
farm debt, including 7.79 percent of real estate debt and 12.66 percent of non-real estate debt.125 These figures include lending by
niche lenders such as equipment and input suppliers (so-called
‘‘captive finance companies.’’)
Captive finance companies, such as John Deere (in the case of
equipment) or seed and fertilizer suppliers, make credit available
to farmers to finance the purchase of their products and, therefore,
often enter into competition with commercial banks and other
sources of farm credit. These companies sometimes offer direct
lines of credit to farmers, but often credit is extended by smaller
wholesalers and dealers selling supplier products to local or regional markets around the country. Recent data are lacking, but
according to a 2004 survey these smaller dealers typically receive
financing from FCS institutions or commercial banks and then extend unsecured lines of credit for a year or less. Larger equipment
and input suppliers typically utilize a completely different financing scheme. They have the ability to directly access the commercial
paper markets or even to pursue securitization.126
The percentage of overall farm debt held by these miscellaneous
individuals and entities has progressively eroded over time, from
its peak of 40 percent, in 1960, the first year for which data are
available.127 This long-term trend is a result of the declining use
of friend and family networks to finance farm real estate and operating expenses, as the years since 1960 have seen the American
credit system become more developed and commercial bank and
FCS credit become available to more people in all regions of the
country. But nonetheless, certain subsectors of this category remain substantial credit providers, and niche lenders continue to
make financing available to farmers. In 2008, total agriculture
equipment sales reached $28.3 billion.128 $24.7 billion of this
amount is estimated to be financed.129 The most recent historical
data (comparing 2007 and 2008) showed 15.1 percent growth in agricultural equipment financing.130

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e. Farm Credit System
The FCS was established in 1916 and its stated purpose is ‘‘to
provide sound, dependable funding for agriculture and rural America.’’ 131 While the FCS is considered a Government Sponsored Enterprise (GSE), it is not explicitly guaranteed by the government
and it is not a lender-of-last-resort but, rather, a for-profit lender
125 USDA Farm Sector Income Forecast, supra note 69; See also USDA Finance Outlook, supra
note 5, at 49.
126 See Section C(4)(c), infra, for an analysis of credit availability in the captive finance sector.
127 USDA Farm Sector Income Forecast, supra note 69.
128 U.S. Department of Commerce, Bureau of Economic Analysis, Table 5.5.5U Private Fixed
Investment in Equipment and Software by Type (June 26, 2009) (online at bea.doc.gov/national/
nipaweb/NIPAlUnderlying/TableView.asp?SelectedTable=39&FirstYear=2008&LastYear=2009
&Freq=Qtr).
129 This estimate is calculated by multiplying total agriculture equipment sales by a propensity to finance percentage derived through research conducted by Global Insight. Equipment
Leasing and Finance Foundation, Propensity to Finance Study (October 2007).
130 Equipment Leasing and Finance Association, 2009 Survey of Equipment Finance Activity
(July
14,
2009)
(online
at
www.elfaonline.org/pub/news/press/pressreleases
lreport.cfm?ID=9873).
131 Federal Farm Credit Banks Funding Corporation, The Farm Credit System Investor Presentation, at 3 (July 2009) (online at www.farmcredit-ffcb.com/farmcredit/serve/public/invest/
present/report.pdf?assetId=135941) (hereinafter ‘‘July FCS Investor Presentation’’).

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that directly competes with commercial banks (though FCS does receive federal tax benefits). The system consists of five funding
banks and 90 lending associations, which are cooperatively owned
by borrowers (including farmers, ranchers, agriculture cooperatives,
rural utilities, and others).132 The FCS maintains its operations by
selling system-wide debt securities into the capital markets, and
the system banks and lending associations are regulated by FCA.
FCS institutions provide a variety of loan products to meet the
credit needs of farmers and those in rural areas, and the purposes
for which loans can be made, as well as guidelines for the terms
of FCS loans, are defined by the Farm Credit Act of 1971.133 Shortterm production loans (generally for twelve months or less) are
made to finance farmers’ operating costs—including inputs such as
labor, feed, and fertilizer—during the farmers’ typical production
and marketing cycle. Intermediate-term loans, made for a specific
term (generally ten years or less), are typically used to finance depreciable capital assets, such as farm machinery, vehicles, or breeding livestock. Finally, farm real estate loans are made for a term
that ranges from five to 40 years.
FCS loans may be made with either a fixed or floating interest
rate, and, among floating interest rate loans, there are two types:
administered-rate loans (which may be adjusted periodically at the
discretion of the lending institution) and indexed loans (which are
adjusted periodically based on changes in specified indices). At the
close of 2008, roughly 45 percent of the loan volume in the FCS
consisted of floating rate loans, with the remaining 55 percent having fixed rates.134 FCS loans often have interest-rate caps that prevent the interest rate from rising above a certain level.
With the exception of short-term operating loans, FCS loans are
generally secured (though intermediate-term loans can be made on
a secured or unsecured basis). Long-term real estate loans must be
secured by first liens on the real estate, and the loans may be
made only up to 85 percent of the appraised value of the property
(97 percent of the appraised value if the loan is government-guaranteed).135 However, FCS has indicated that the actual loan-tovalue ratio for farm real estate loans ‘‘is generally lower than the
statutory maximum percentage.’’ 136
The FCA requires that system institutions adopt written standards for prudent lending and effective collateral evaluation.137 In
order to manage credit risk, FCS institutions consider the following
in underwriting loans: borrower integrity, credit history, cash
flows, equity, and collateral, as well as any off-farm sources of income that may affect or enhance the ability of the borrower to
132 U.S. House Committee on Agriculture, Subcommittee on Conservation, Credit, Energy, and
Research, Testimony of President of Mid-Atlantic Farm Credit Bob Frazee, To Review Credit
Conditions in Rural America, 111th Cong., at 1 (June 11, 2009) (online at agriculture.house.gov/
testimony/111/h061109sc/Frazee.doc) (hereinafter ‘‘Bob Frazee House Agriculture Testimony’’).
133 Farm Credit Act of 1971, as amended through Pub. L. No. 110–246 (codified at 12 U.S.C.
§ 23).
134 Federal Farm Credit Banks Funding Corporation, Farm Credit System Annual Information
Statement 2008, at 52 (Feb. 27, 2009) (online at www.farmcredit-ffcb.com/farmcredit/financials/
statement.jsp) (hereinafter ‘‘FCS 2008 Annual Information Statement’’).
135 Id., at 8.
136 Id., at 8.
137 Id., at 10.

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repay the farm loan.138 Each FCS institution must establish a
‘‘lending limit,’’ representing the maximum amount of credit that
can be extended to one borrower or industry.
Last, FCS institutions further manage risk by entering into
agreements that provide long-term standby commitments to purchase FCS loans, such as agreements with Farmer Mac. As of December 31, 2008, $2.165 billion worth of FCS loans were under
guarantees with Farmer Mac.139 Additionally, $1.447 billion in
FCS loans were securitized (via exchanging them for mortgage
backed securities issued by Farmer Mac) at the close of last year,
though this figure represented a mere 0.90 percent of total FCS
loans and leases outstanding at that time.140
As of 2007, the FCS held 36.69 percent of total farm debt in the
United States, including 42.08 percent of farm real estate debt and
31.09 percent of non-real estate farm debt.141 The FCS’ overall
share of farm debt has edged upward this decade, after a sustained
period during which it held roughly 25 percent of farm debt—historically low for the FCS—in the aftermath of problems in the FCS
during the 1980s farm crisis.142
f. Commercial banks
While the credit needs of American farmers are served by two
separate entities with specific mandates to extend credit to the agriculture sector—FSA and FCS—and life insurance companies, individuals, and captive finance companies also provide a significant
share of farm loans, commercial banks—large and small—remain
a major source of farm credit. At the close of 2007, commercial
banks held 45.42 percent of total farm debt—a larger share than
any other source of credit.143 Commercial banks held 37.67 percent
of farm real estate debt and a majority of non-real estate farm
debt—53.47 percent.144 The overall share of farm debt held by commercial banks has stayed fairly constant this decade, but it is up
considerably from the roughly 25 percent share held by banks in
the mid-1980s.145
However, less is known about characteristics of farm loans at
commercial banks and trends in commercial bank lending to the
agriculture sector because of a lack of standardized data and reporting. While the government tracks and collects certain information about the farm sector and its programs (and, as a GSE, the
FCS is required to collect certain information as well), bank lending to farmers does not abide by rigid constraints, and the existence of fewer farm-specific reporting requirements for commercial
banks than FSA and FCS makes the interface of banks with the
farm sector much more opaque.
138 Id.,

at 10.
at 12.
at 12.
141 USDA Farm Sector Income Forecast, supra note 69.
142 USDA Farm Sector Income Forecast, supra note 69; For a discussion of problems in the
FCS during the 1980s, see Roland E. Smith, Chief Examiner, Farm Credit System, Conditions
in the Farm Credit System, Presented to the Farm Credit Administration Board (May 14, 1998)
(online
at
docs.google.com/gview?a=v&q=cache:cLJ3fB2L9QcJ:www.fca.gov/PDFs/
FCSlConditionslReport.pdf+Farm+Credit+System+1980s&hl=en&gl=us).
143 USDA Farm Sector Income Forecast, supra note 69.
144 USDA Farm Sector Income Forecast, supra note 69.
145 USDA Farm Sector Income Forecast, supra note 69.
139 Id.,

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140 Id.,

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Further, the unique nature of the farm sector makes it difficult
to describe any characteristics of farm loans made by commercial
banks as ‘‘typical.’’ Indeed, the variety in the terms of credit extended to farmers mirrors the variety in the credit needs of farmers
more generally, with farmers requiring credit for short-term operating expenses, intermediate-term equipment and livestock purchases, and long-term real estate costs. However, several distinguishing characteristics generally hold true across the industry.
On the whole, farm loans share more similarities with commercial loans than they do with residential mortgages, with banks extending credit on terms and with amortizations that tailor to the
unique needs of individual borrowers, and providing financing that
matches the useful life of what it is that is being financed (whether
for a yearly cycle of corn, a dairy cow, or a piece of farm equipment). Also unlike the residential mortgage market, farm loan
products have remained quite traditional, not seeing exotic loan
products in recent years—though the trend has been away from
fixed rate financing and toward loans with floating rates.146
Banks traditionally seek an abundance of collateral when extending credit to farmers, and they will cross-collateralize, using real
estate as collateral to secure loans for operating and production
purposes, and seeking additional collateral on short-term operating
loans whenever possible. Additionally, banks require a relatively
high equity cushion when making farm loans, with loan-to-value
ratios in excess of 60–70 percent of the appraised value of the property a rarity for farm real estate loans. Testimony at the Panel’s
field hearing in Greeley, CO, confirmed the conservative nature of
farm lenders, who, knowing the vicissitudes of the agriculture sector, are generally reluctant to lend to those not in a relatively
strong debt-to-equity position and thus tend to create a ‘‘larger
buffer, or margin,’’ between the loan and the value of the of the
land, equipment, or products being financed.147
Beyond looking at collateral and requiring high equity cushions
when making loans to farmers—and in keeping with the idea that
farms are not merely properties but often businesses—banks typically conduct a financial statement analysis of prospective borrowers when making loans, including looking at the balance sheet,
income statement, statement of cash flows, and statement of owner
equity.148
i. Bank Size. The farm credit market is served by all sizes of
commercial banks, though very large and very small banks play a
disproportionate role in extending credit to farmers. As of March
31, 2009, 8,256 commercial banks held farm loans, and the top 16
lenders to farmers—representing less than two-tenths of one per146 Second Quarter Fed Databook, supra note 2, at 19 (A.6 Share of Non-Real-Estate Bank
Loans with a Floating Interest Rate Made to Farmers).
147 Congressional Oversight Panel, Testimony of Senior Vice President of New West Bank Lonnie Ochsner, COP Field Hearing in Greeley, CO on Farm Credit (July 7, 2009) (online at
cop.senate.gov/hearings/library/hearing-070709-farmcredit.cfm) (‘‘However, in the ag[riculture]
industry, it is cyclical and good, prudent ag[riculture] lenders have created a larger buffer, if
you will, or margin. In other words, if a cow is worth $1,500, they would loan 70 percent of
that cow, knowing full well that cycles will occur where that cow may be worth $1,800, but still
leaving that margin in place and utilizing a more stabilized value over time rather than wagging the tail up to a $2,500 value and then loaning 80 or 90 percent because the industry is
experiencing great times.’’).
148 Farm Financial Standards Council, Financial Guidelines for Agricultural Producers
(accessed July 8, 2009) (online at www.ffsc.org/cdlnewslrelease.pdf).

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cent of banks making loans to farmers—held 21.67 percent of total
agriculture loans, including 16.91 percent of farm real estate loans
and 27.15 percent of non-real estate farm loans.149 For their part,
the 71 banks with total assets exceeding $10 billion as of March
3, 2009, held 20.38 percent of farm loans (also demonstrating that
several of the largest farm lenders are not among the largest banks
in the country).150
On the other hand, 5,547 commercial banks with total assets
under $1 billion held 64.25 percent of loans to farmers—65.98 percent of real estate and 62.26 percent of non-real estate loans—and
5,043 banks with total assets under $500 million held 53.88 percent of loans to farmers—54.04 percent of real estate and 53.69
percent of non-real estate loans.151 These 5,043 banks with total
assets under $500 million represent a mere 6.65 percent of the
total assets of all banks extending credit to the agriculture sector—
demonstrating the critical role that small, community banks across
the country play in the farm credit markets.152

149 Federal Deposit Insurance Corporation, Statistics on Depository Institutions from Quarterly
Reports of Condition and Income for the Quarter Ending March 31, 2009 (accessed July 8, 2009)
(online at www2.fdic.gov/sdi/index.asp) (hereinafter ‘‘FDIC First Quarter Call Report Data’’).
150 Id.
151 Id.
152 Id.
153 Id.

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Figure 20: Percent of Agricultural Loans by Bank Size 153

41
ii. Farm Size. The diversity of the American agriculture sector
makes for diverse credit needs for farms large and small, specializing in products ranging from commodity crops to livestock. Further, some agricultural lenders are generally more suited to the
specific needs of a certain type of farm or farmer than others. For
instance, while an FSA direct or guaranteed loan may be a suitable
credit source of last resort for a small family farm, the size limits
on those loans often preclude larger farms from turning to FSA to
fulfill their credit needs. Moreover, the specialized FCS, with its
government mandate to serve the needs of farmers and rural
America, may be a better option for larger farmers, while smaller
farmers—with a higher percentage of non-farm income—may find
it more practical to obtain a loan from the local bank that they use
for their non-farm banking and credit needs.
Data confirm that, taken on the whole, small family farmers are
more likely to use commercial banks as their principal source of
credit than larger and nonfamily farmers. Specifically, according to
USDA data, 66.1 percent of ‘‘retirement’’ farmers, 57.7 percent of
‘‘residential or lifestyle’’ farmers, and 54.3 percent of low-sales family farmers report using commercial banks for credit, while 44.7
percent of medium-sales family farmers, 48.0 percent of large-sale
family farmers, 43.2 percent of very large-sale family farmers, and
41.4 percent of nonfamily farmers report using commercial banks
for credit.154

154 U.S. Department of Agriculture, Economic Research Service, Structure and Finances of
U.S. Farms: Family Farms Report, at 20 (June 2007) (online at www.ers.usda.gov/publications/
eib24/eib24.pdf).
155 Id.

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Figure 21: Percent of Farmers Reporting Using a
Commercial Bank for Credit 155

42
iii. TARP and Non-TARP Banks. A critical aspect of determining
the potential effectiveness of any loan restructuring program to be
carried out by TARP-recipient banks—the congressional mandate
underlying this report—is determining the percentage of farm
loans held by TARP banks. As of March 31, 2009, commercial
banks that have received TARP dollars held 28.76 percent of the
slice of total farm loans held by commercial banks.156 Breaking it
down by types of farm loans, TARP-recipient banks held 27.46 percent of the portion of farm real estate loans made by commercial
banks and 30.26 percent of non-real estate farm loans made by
banks.157 Banks receiving funding through the TARP were responsible for 71 percent of the total assets in the U.S. banking system
as of March 31, 2009; therefore, relative to their assets, TARP-recipient banks are generally less involved in agriculture lending.158
At that time, the top 21 recipients of TARP dollars (the institutions for which Treasury tracks detailed lending statistics in its
Monthly Lending and Intermediation Snapshot), held 16.95 percent
of the portion of farm debt held by commercial banks—13.10 percent of bank-held farm real estate debt and 21.36 percent of bankheld non-real estate farm debt.159 The largest TARP-recipient lender to the agriculture sector—and, indeed, the largest commercial
bank farm lender—is Wells Fargo, whose holding company alone
(which includes Wachovia Bank), held 7.68 percent of commercial
bank farm debt—4.86 percent of real estate and 10.93 percent of
non-real estate bank farm debt.160
iv. Foreign Owned Banks. Given that foreign owned banks hold
approximately ten percent of total loans and leases outstanding in
the U.S. banking system, it deserves mention that the share of
farm loans held by foreign owned banks—which are ineligible for
funding through the TARP—cuts into the pool of farm loans that
could potentially be affected by any TARP-based loan restructuring
mandate.161 Indeed, two of the five largest commercial bank agricultural lenders in the United States are headquartered abroad—
Bank of the West and Rabobank. These two foreign owned banks
alone account for slightly less than 4 percent of all commercial
bank agriculture lending.162

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g. Other players in the farm credit markets
Although they do not provide credit directly to farm borrowers,
Farmer Mac and the Federal Home Loan Banks play an important
role in making credit available to key agricultural lenders.
i. Farmer Mac. The Federal Agricultural Mortgage Corporation
(Farmer Mac) was created by Congress in 1987 via passage of the
Agricultural Credit Act. Farmer Mac is a GSE whose mission is to
156 FDIC First Quarter Call Report Data, supra note 149; U.S. Department of the Treasury,
Troubled Asset Relief Program Transactions Report for Period Ending June 26, 2009 (June 30,
2009)
(online
at
www.financialstability.gov/docs/transaction-reports/transactions-reportl063009.pdf) (hereinafter ‘‘TARP Transactions Report’’).
157 Id.
158 Id.
159 Id.
160 Id.
161 Board of Governors of the Federal Reserve System, Statistical Release H.8 Assets and Liabilities of Commercial Banks in the United States (July 2, 2009) (online at
www.federalreserve.gov/releases/h8/Current/).
162 FDIC First Quarter Call Report Data, supra note 149.

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provide liquidity in the ‘‘secondary market for agriculture real estate and rural housing mortgage loans.’’ 163 Congress expanded
Farmer Mac’s mission in 2008 via passage of the Food, Conservation, and Energy Act (commonly known as the 2008 Farm Bill) ‘‘to
purchase, and to guarantee securities backed by, loans made by cooperative lenders to cooperative borrowers to finance electrification
and telecommunications systems in rural areas.’’ 164
Very simply, Farmer Mac purchases qualified agriculture loans,
pools them into securities, and then either holds those securities in
its portfolio or sells them to investors in the secondary market,
much like Fannie Mae and Freddie Mac do for qualified home
mortgage loans.165 In addition to purchasing loans, Farmer Mac
issues long-term standby purchase agreements, whereby it promises to purchase a certain number of loans from the lender. Farmer
Mac provides these services through three main programs: Farmer
Mac I (loans not guaranteed by USDA); Farmer Mac II (USDA
guaranteed loans); and Rural Utilities (rural utilities loans). The
total volume in these three programs stands at over $9.9 billion.
Farmer Mac is part of the FCS and regulated by the FCA. It is
not liable for the debt of any other institution within the FCS and,
therefore, is also considered its own GSE. As a GSE, Farmer Mac
enjoys having an implicit government guarantee, and the debt that
Farmer Mac issues to raise funding for its operations is priced as
such. As of March 31, 2009, Farmer Mac had total liabilities of
$4.566 billion. It also had core capital of $250 million, which is $67
million above its minimum statutory capital requirement of $183
million.166
As mentioned above, Farmer Mac securitizes and issues purchase
commitments on over $9.9 billion in agricultural loans. Of these assets, the GSE holds roughly $3.1 billion in mission-related assets
(Farmer Mac guaranteed securities and loans) on its portfolio.167
Comparatively, Fannie Mae and Freddie Mac securitize and guarantee over $5.4 trillion in mortgage loans. These two GSEs combined hold over $1.5 trillion in mission related assets (mortgage
loans and securities) on their portfolios.168 Farmer Mac lost $106
million in 2008 due to its investments in Fannie Mae and Lehman
Brothers. These losses, among other pressures, spurred it to raise
new capital and replace its CEO. As Farmer Mac works to shore
up its capital position, it can be expected to sell off assets, including loans, on its balance sheet.169 Thus, its secondary market function may be less than it has been. Yet the agricultural loan secondary market has never been as robust nor as large as the sec163 Federal Agricultural Mortgage Corporation, 2008 Annual Report (accessed July 7, 2009)
(online at www.farmermac.com/investors/pdf/ar/annuall2008.pdf) (hereinafter ‘‘Farmer Mac
2008 Annual Report’’).
164 Id.
165 Federal Agricultural Mortgage Corporation, Farmer Mac Programs (accessed July 7, 2009)
(online at www.farmermac.com /lenders/fmacprograms/farmermacprograms.aspx).
166 Federal Agricultural Mortgage Corporation, Form 10–Q for the Quarterly Period Ended
March 31, 2009, at 30 (May 12, 2009) (online at www.farmermac.com/investors/pdf/10Q/Q1-200910-Q.pdf).
167 Id.
168 Federal Housing Finance Agency, Report to Congress 2008 (May 18, 2009) (online at
www.fhfa.gov/webfiles/2331/FHFAReportToCongress2008final.pdf).
169 On March 31, 2009, Rabobank announced plans to purchase a $354 million portfolio of agricultural loans from Farmer Mac. Rabobank, Rabobank to Acquire $354 Million Portfolio from
Farmer Mac (Mar. 30, 2009) (online at www.rabobankamerica.com/content/documents/news/
2009/rabobankltolacquirel354lmillionlportfoliolfromlfarmerlmac.pdf).

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ondary market for home loans. This moderates the impact on credit
availability of any financial difficulties faced by Farmer Mac.
ii. Federal Home Loan Banks. Congress created the Federal
Home Loan Bank System (FHLB System) in 1932 through the Federal Home Loan Bank Act. The FHLB system is made up of 12 cooperative banks or Federal Home Loan Banks (FHLBs), each representing a district within the United States. The system is a GSE
and all 12 FHLBs have joint and several liability for each other.
The FHLB’s primary purpose is to provide liquidity to its member
institutions. The FHLB System has over 8,100 member institutions, comprising 5,861 commercial banks, 1,217 thrifts, 896 credit
unions, and 145 insurance companies.170 To become a member, an
institution must own stock within its particular district FHLB.
FHLBs provide liquidity to their member institutions by offering
short-term loans called advances. In order to qualify for the advances, member institutions must offer in exchange certain types
of pledged assets or collateral. Previously, pledged collateral had to
be in the form of mortgage loans or government securities. However, the Federal Home Loan Bank System Modernization Act of
1999, which was Title VI of the Gramm-Leach-Bliley Act, expanded
the type of pledged collateral small member institutions could offer
and allowed the FHLBs to make advances secured by agricultural,
small business, and community development loans, as well.171 The
amount of FHLB outstanding advances has increased steadily
throughout the years, rising from $581.2 billion in 2004 to $619.9
billion in 2006, $640.7 billion in 2006, $875 billion in 2007, and
$928.64 billion in 2008.172 However, the number dropped by nearly
12 percent to $817.4 billion in the first quarter of 2009, which is
likely indicative of the overall tightening of credit availability in
the banking system.173
3. EFFECT OF THE BROADER FINANCIAL CRISIS ON FARM CREDIT
MARKETS

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In the fall of 2008, much of the world plunged into arguably the
worst economic crisis since the Great Depression. While the U.S.
agricultural credit sector remains stronger than the overall credit
system,174 it is not immune from turbulence in the broader economy. For example, in the first quarter 2009, the overall commercial
bank delinquency rate was 5.60 percent, compared to an agricultural loan delinquency rate of 1.71 percent during the same period.175 Also in the first quarter 2009, the percentage of banks reporting at least the same availability of funds for farm operating
170 Council of Federal Home Loan Banks, The Federal Home Loan Banks (accessed July 17,
2009) (online at www.fhlbanks.com/assets/pdfs /sidebar/FHLBanksWhitePaper.pdf).
171 Gramm-Leach-Bliley Act of 1999, Pub. L. No. 106–102.
172 Federal Home Loan Bank System, Office of Finance, Quarterly Combined Financial Report
for the Six Months Ended June 30, 2008 (Aug. 13, 2008) (online at www.fhlb-of.com/
specialinterest/finreportframe.html).
173 Id.
174 See, e.g., Paul N. Ellinger, Financial Markets and Agricultural Credit at a Time of Uncertainty, Choices: The Magazine of Food, Farm, and Resource Issues, at 33 (First Quarter 2009)
(online at www.choicesmagazine.org/magazine/article.php?article=61) (‘‘Relative to other financial intermediaries, agricultural lenders generally remain healthy.’’).
175 Board of Governors of the Federal Reserve System, Charge-off and Delinquency Rates on
Loans and Leases at Commercial Banks (accessed July 8, 2009) (online at
www.federalreserve.gov/releases/chargeoff/delallsa.htm).

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loans as last year remained steady.176 In other credit sectors, first
quarter 2009 was much worse. During that quarter, 79.2 percent
(net) of senior lending officers reported tightening standards for
commercial real estate loans and 58.8 percent reported doing the
same for household credit cards.177
However, since the beginning of the year, surveys of agricultural
credit institutions show indications of both more repayment problems for existing loans and tighter lending standards on new originations.178 Delinquency rates for commercial bank farm real estate
loans jumped from 1.7 percent in first quarter 2008 to 2.8 percent
in first quarter 2009, their highest level since first quarter 2003.
There was double digit growth in the percent of banks reporting
higher collateral requirements for non-real estate farm loans in
three surveying Federal Reserve Districts (12 percent, 15 percent,
and 13 percent, respectively) between the first quarters of 2008 and
2009.179
The financial crisis and recession weakened virtually every part
of the overall credit market. As indicated above, the farm credit
market is in a weaker state as compared to one year ago. Thus, the
U.S. farm credit market currently faces a crucial transition moment: Agriculture lenders in most regions enjoyed strong performances over the past few years, with historically low delinquency
rates and ample credit availability. The agriculture credit markets
now face rising delinquency and tighter lending standards, although today’s situation remains within historical parameters. The
key question is whether the global financial crisis will continue to
prompt, and even possibly accelerate, these downward trends beyond historical averages within the sector.
a. Commodity prices
Farm product prices declined 15 percent in June 2009 from their
June 2008 index values.180 Certain individual commodities have
seen prices fall even faster and even farther.181 Consequently, commodity price declines are one of the significant factors contributing
toward the projected 20 percent decline in net farm income in 2009,
a steep drop off for farmers to bear even though it would still leave
net income above a running ten-year average.182 Lower net income
restricts a farmer’s cash flow and thus both increases the risk of
non-performance on current debt and makes it harder to obtain
new credit. While the economy remains in recession, the U.S. agriculture industry can expect the continued possibility of weak demand and downward pressure on prices.183 Over the long-term, the
outlook is equally unsettled. A growing global population needs to

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176 Second

Quarter Fed Databook, supra note 2.
177 Board of Governors of the Federal Reserve System, Senior Loan Officer Opinion Survey on
Bank Lending Practices (May 4, 2009) (online at www.federalreserve.gov/BoardDocs/
SnLoanSurvey/200905/chartdata.htm).
178 Second Quarter Fed Databook, supra note 2.
179 Second Quarter Fed Databook, supra note 2.
180 USDA June Agricultural Prices, supra note 68.
181 This is particularly true in the livestock sector where the dairy industry has been particularly hard hit (prices in June plunged 41 percent from their position a year ago) along with,
to a lesser extent, the hog, poultry, and cattle industries.
182 See Section B(1), supra, for a complete discussion of farm income.
183 Thus short-term predictions for commodity prices depend heavily on the accuracy of assumptions as to the duration and severity of the economic crisis. See OECD–FAO Outlook, supra
note 53.

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eat, so a lack of demand is unlikely to be a problem.184 However,
other factors (chief among them the value of the dollar, as discussed earlier) may limit how much U.S. farmers can take advantage of rising prices should demand rise as expected.185 Thus,
lower commodity prices are very likely to negatively impact farm
credit in the near-term while the long-term trend remains uncertain.
The agriculture economy is far from a monolithic area, both in
terms of commodity and geography. The Panel recognizes that due
to the cyclical and counterbalanced nature of the agriculture market, certain commodities may be in greater distress at any particular time compared to the sector as a whole. It is quite common
for one or more sub-sectors or geographic regions, even in good
times, to experience problems even while the overall industry remains generally healthy. This can result in credit pressures for
lenders with portfolios concentrated on one sub-sector or region.

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b. Longer-term fixed-rate financing availability
Due to tightening credit conditions, farmers face greater difficulty in obtaining desirable long-term, fixed-rate term loans, according to representatives of the FCS and its regulator.186 However, at the moment, Federal Reserve data offer only lukewarm
support for extending these statements to commercial banks. The
floating interest rate share of total farm operating loans is elevated, with the implication that the fixed interest rate loan share
would be lower, but not above historical levels. Further, average
maturity on farm operating loans actually rose for the second quarter of 2009, although it is lower than it has been since 2006.187
If there is a trend away from long-term fixed-rate financing, two
negative implications for agricultural operators should be noted.
First, it keeps farmers from locking in currently low interest rates,
which are generally as low as at any point in the past two decades.188 Second, it places more pressure on current cash flow, as
farmers are forced to use shorter maturity debt that takes up a relatively larger portion of resources at any given time. As noted
184 OECD–FAO Outlook, supra note 53. The OECD–FAO report argues that the worldwide agriculture sector is poised for renewed growth assuming economic recovery occurs within 2–3
years. The USDA’s own income projections also show a short-term dip in income followed by
renewed growth through the rest of the time frame. See USDA Economic Research Service,
USDA Agricultural Projections to 2018 (Feb. 12, 2009) (online at www.ers.usda.gov/publications/
oce091/).
185 U.S. Department of Agriculture, Economic Research Service, The 2008/2009 World Economic Crisis: What It Means for U.S. Agriculture, at 27 (Mar. 2009) (online at www.ers.usda.gov/
Publications/WRS0902/WRS0902.pdf.).
186 Bob Frazee House Agriculture Testimony, supra note 132, at 8; House Agriculture Committee, Subcommittee on Conservation, Credit, Energy, and Research, Testimony of Chairman
and Chief Executive Officer of the Farm Credit Administration Leland A. Strom, To Review
Credit Conditions in Rural America, at 2 (online at agriculture.house.gov/hearings/statements.html) (‘‘Fixed-rate term loans are more difficult to obtain.’’) (hereinafter ‘‘Leland Strom
House Agriculture Testimony’’).
187 Second Quarter Fed Databook, supra note 2, A.4 Average Maturity of Non-real-estate Bank
Loans and A.6 Share of Non-real-estate Bank Loans with a Floating Interest Rate. Considering
these tables together, one possibility is a trend toward more long-term variable rate loans.
188 Second Quarter Fed Databook, supra note 2, C.4 Average Fixed Interest Rates on Farm
Loans. Variable rates are also low at the moment. See Second Quarter Fed Databook, supra note
2, C.5 Average Variable Interest Rates on Farm Loans. Thus, this problem may only gradually
become more apparent in the future, when farmers excluded from fixed-rate loans now are
forced to face higher variable rates later, assuming interest rates eventually begin to climb
again.

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above, decreased cash flow makes new credit more expensive to obtain and increases the risk of repayment problems.

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c. Loan underwriting and documentation
Both observers and lenders themselves agree that commercial
lending standards are tighter as a result of the financial crisis.189
However, it is unclear whether this trend extends to all parts of
the farm credit market. FSA is the lender of last resort and has
statutory lending standards designed to support those unable to obtain credit elsewhere.190 In May, its then-Administrator noted
much higher demand for its loans so far in 2009: 81 percent higher
for direct operating loans and 132 percent higher for direct real estate loans.191 FCS members report unchanged lending standards
despite the financial crisis, although their regulator has testified
that weak debt markets will force FCS institutions into more conservative lending.192 News reports offer anecdotal examples of
farmers draining retirement savings or accumulating credit card
debt in the face of fewer available long-term loans.193
Increased demand for FSA loans might suggest tougher standards at commercial banks and FCS institutions, as FSA borrowers
must be unable to obtain a loan from another source.194 Likewise,
Federal Reserve data indirectly support the conclusion that underwriting and documentation standards are tighter. Collateral requirements for lending are higher and referrals to non-bank lenders (such as FSA) are up.195 Even putting aside the pressure the
overall economic situation places on lending standards, loan officers faced with reduced farm cash flows are likely to continue
tightening their standards and asking for additional documentation.
Market participants express mixed views with regard to why underwriting standards are elevated. Community banks, who often
carry sizeable agriculture portfolios, argue that overly cautious
189 See, e.g., House Agriculture Committee, Subcommittee on Conservation, Credit, Energy
and Research, Testimony of President and CEO of Farmers Bank Fred Bauer on behalf of the
Independent Community Bankers of America, To Review Credit Conditions in Rural America,
111th Cong., at 3 (June 11, 2009) (online at agriculture.house.gov/hearings/statements.html)
(‘‘81 percent [of community banks] have tightened their credit standards since the start of the
crisis.’’) (hereinafter ‘‘Fred Bauer House Agriculture Testimony’’).
190 See 7 U.S.C. § 1922 for statutory lending requirements.
191 FSA June Testimony, supra note 41, at 2. In discussions with FSA economists and farm
groups, other contributing factors for increased demand were discussed beyond less credit availability in the wider market. They include: higher application volume in anticipation of increased
Congressional appropriations and the 2008 Farm Bill’s increase in the maximum direct loan size
from $200,000 to $300,000.
192 Congressional Oversight Panel, Testimony of Senior Vice President and Corporate Secretary of Farm Credit Services of the Mountain Plains Mike Flesher, COP Field Hearing in
Greeley, CO on Farm Credit, at 3 (July 7, 2009) (online at cop.senate.gov/documents/testimony070709-flesher.pdf) (‘‘Mountain Plains . . . has not changed its lending standards in response
to the current financial and economic disruption.) (hereinafter ‘‘Mike Flesher COP Testimony);
The FCS representative testifying before the House Agriculture Committee on June 11, 2009
made a similar statement. See Leland Strom House Agriculture Testimony, supra note 186
(‘‘Lenders are naturally becoming more cautious and conservative on the extension of credit.’’);
Federal Farm Credit Banks Funding Corporation, Farm Credit System Quarterly Information
Statement—First Quarter 2009, at 15 (May 7, 2009) (online at www.farmcreditffcb.com/
farmcredit/serve/public/finin/quarin/report.pdf?assetId=132506) (‘‘System managements have
made a decision to slow loan growth.’’) (hereinafter ‘‘FCS First Quarter 2009 Statement).
193 Lauren Etter, Farmers Start to Feel Credit Pinch, Wall Street Journal (May 19, 2009) (online at online.wsj.com/article/SB124268924963032355.html).
194 However, it need not mechanically show tighter standards at these institutions. There are
other possible reasons for increased FSA applications. See note 191, supra.
195 Second Quarter Fed Databook, supra note 2, C.1 Non-real-estate Farm Lending Compared
with a Year Earlier and C.3 Indicators of Relative Credit Availability.

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bank regulators have pressured them to unnecessarily restrict new
lending.196 On the other hand, agricultural economists at the Federal Reserve report banks tightening credit standards on their own,
exhibiting caution due to turbulent economic events and their own
increased costs in obtaining funding from the bond markets.197
Whether the cause is direct decision-making or nervous supervisors
applying pressure, clearly tighter farm credit can be at least partially attributable to turmoil in the economy away from the farm.
d. Unemployment
U.S. unemployment reached 9.5 percent by June 2009.198 Seventy percent of farm households have an operator or a spouse engaged in off-farm employment.199 Especially for smaller family
farms, the trend is toward ever greater reliance on non-farm income sources. In fact, only the eight percent of farms with sales
greater than $250,000 a year derive more income from the farm,
on average, than from off-farm sources.200 Thus, despite the recent
strength of the U.S. farm economy, problems in the larger rural
economy certainly affect the agriculture sector, and especially
smaller producers.
Given the farm sector’s increasing reliance on off-farm employment, regional employment market stability becomes a key factor
in predicting the direction of farm credit. When a town’s central
business district faces higher unemployment, these troubles radiate
out to its surrounding farmland and increase the risk of loan repayment issues. In the modern, interconnected economy, the farm
sector cannot escape larger employment troubles. However, as of
this spring, USDA noted that 39 percent of farm operators and 71
percent of spouses are employed in retail, services, government,
education, or health, which in USDA’s opinion, represent employment sectors that are more stable than hard-hit industries like construction and manufacturing, as well as many of the more volatile
agriculture sectors, as well.201 Given that, according to USDA, 95
percent of the average farm family’s income is from off-farm
sources. If this employment stability is real, then off-farm employment could actually function as a means of limiting delinquency in
the event of farm net cash flow issues. Close attention should also
be paid to farmland values; a significant decline in real estate equity could further expose non-farm unemployment issues by removing a current cushion against problems like unemployment or a decline in wages.
4. CREDIT AVAILABILITY MOVING FORWARD

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The different providers of farm credit face differing challenges in
determining the availability of credit going forward. Three key factors inevitably influence how much credit they will extend. One is
the state of both the agricultural and general economy. Even gov196 Fred Bauer House Agriculture Testimony, supra note 189, at 3 (‘‘They also feel the government is dissuading them from lending by putting them through overzealous regulatory exams.’’).
197 Henderson Article, supra note 27, at 73–74.
198 U.S. Department of Labor, Bureau of Labor Statistics, Employment Situation Summary
June 2009 (July 2, 2009) (online at www.bls.gov/news.release/empsit.nr0.htm).
199 USDA Finance Outlook, supra note 5, at 31.
200 USDA Finance Outlook, supra note 5, at 31.
201 USDA Crisis Impact Report, supra note 6, at 20.

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ernment appropriators indirectly set loan funding based on external economic conditions. The other major players, the FCS, commercial banks, and life insurance companies, must respond to market conditions in a way that allows them to maximize return on investment. With respect to commercial banks in particular, stresses
on bank capital due to market conditions also could play a role in
the availability of credit for farmers, as discussed later in the report. The second factor is farmland real estate prices. Up to the
present, appreciating land values have been a substantial countervailing force for maintaining a relatively robust farm credit market
in the face of larger economic storm clouds. Rising equity helps to
make up for declining net cash income and rising off-farm unemployment. If real estate values fall substantially in the future, credit availability would likely tighten. The final factor is the capital
strength of the lending institution. A weakly capitalized commercial bank or FCS institution will not have the capacity to maintain
or expand credit availability moving forward.202

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a. Government programs
FSA loan funding levels depend on congressional appropriations.
Of course, in times of agricultural or general market problems,
Congress faces pressure to increase its appropriations to the direct
and guaranteed loan programs as a backstop against decreases in
commercial or FCS lending. Thus, FSA credit availability is at
least indirectly affected by external credit conditions. Recently, Agriculture Secretary Vilsack announced the availability of over $760
million in additional funds this year for direct real estate and operating loans.203 The funding was made available through the Supplemental Appropriations Act of 2009 204 and is designed to both
remove a backlog of approved but unfunded loans as well as allow
for new originations. FSA reports demand for agency loans reaching its highest level in two decades.205 The increased loan demand
likely comes from a loss of credit availability, as well as the additional funding for FSA loans, expansions of the maximum loan levels, or increased refinancing activity.206
In the end, credit availability from FSA is in some senses both
the most predictable and least predictable of the major sources. It
is highly predictable for three reasons: it cannot withdraw from the
market nor can it shift resources to another industry without violating its mandate. Strong political support for agriculture makes
it unlikely that its credit funding would ever drastically decline,
outside of a fundamental reorganization of farm support programs.
Finally, as the governmental lender of last resort, underwriting
standards are much less volatile and susceptible to changes in mar202 See section C.4.d.ii, infra, for further discussion of commercial bank capital strength and
its impact on credit availability.
203 U.S. Department of Agriculture, Agriculture Secretary Vilsack Announces Availability of
$760 million in Direct Loans to Farmers and Producers (July 16, 2009) (online at www.usda.gov/
wps/portal/!ut /p/s.7lOlA/7lOl1RDprintable=true&contentidonly =true&contentid=2009/07/
0313.xml).
204 Pub. L. No. 111–32.
205 FSA June Testimony, supra note 41; Scuse Testimony, supra note 64.
206 See FSA June Testimony, supra note 41 at 1 (‘‘Activity in FSA’s loan programs certainly
indicates that less commercial credit is available to farmers at the present time.’’). The possible
alternative explanations for the sharp rise in demand were brought to the Panel’s attention during Panel staff discussions with FSA economists.

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ket conditions. Increased credit availability, however, only results
from congressional action or an intra-agency discretionary funding
transfer, always a difficult process to predict.207 Borrowers could
end up waiting in an application queue if the level of funding does
not equal demand.
b. Farm Credit System
FCS funding availability over the near-term is likely to contract,
but individual FCS institutions may be able to maintain pre-crisis
credit availability.208 Despite modest improvements in the availability of funding through the debt markets, spreads relative to
Treasuries remain double their levels before the financial crisis and
it remains extremely difficult to issue long-term debt.209 When
combined with greater regulatory scrutiny, tighter underwriting
standards, and increased delinquency on existing loans, this suggests credit availability will remain tighter than the norm of the
past few years. FCS notes in its first quarter 2009 statement, ‘‘System managements have made a decision to slow loan growth.’’ 210
Furthermore, FCS’s regulator, FCA, testified that ‘‘lenders are naturally becoming more cautious and conservative on the extension
of credit to farmers, ranchers, and other agricultural producers.’’ 211
More definitive data will provide clarity on the availability of credit
from FCS.
FCS’s charter restricts its lending activities to agriculture-related
activities. Thus, there is little chance of its members shifting their
lending allocations to other industries. In fact, at the end of the
first quarter of 2009, gross loan volume was $1 billion higher than
it was on March 31, 2008.212 With a mandatory borrowers’ rights
scheme already in place, but never tested during a significant general financial downturn, it is unclear whether a surge in modification requests would cause FCS members to further restrict credit
availability as a precaution. Finally, the Panel again notes the regional and commodity-specific nature of any agriculture sector survey. FCS member associations tend to be regionally focused. An
FCS member whose portfolio tilts heavily toward a particularly
hard-hit product or region (such as the dairy sector) may make different credit availability decisions as compared to the System as a
whole.213

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c. Insurance companies and captive finance suppliers
Both insurance companies and captive finance suppliers represent a small, yet relatively stable portion of the overall farm
credit market.214 Life insurers provide loans secured by the real es207 See 7 U.S.C. § 1988 for the relevant statutory language on the appropriations process for
FSA’s loan programs.
208 Mike Flesher COP Hearing Testimony, supra note 192, at 3; Bob Frazee House Agriculture
Testimony, supra note 132, at 3.
209 Leland Strom House Agriculture Testimony, supra note 186, at 4.
210 FCS First Quarter 2009 Statement, supra note 192, at 15.
211 Leland Strom House Agriculture Testimony, supra note 186, at 2.
212 FCS First Quarter 2009 Statement, supra note 192, at 15.
213 FCS First Quarter 2009 Statement, supra note 192, at 10 (‘‘Most institutions have higher
geographic, borrower and commodity concentrations than the System as a whole.’’).
214 See sections 2.c and 2.d, supra for background on these market players.

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tate of larger farmers.215 As such, some experts see signs that insurers are scaling back lending in the face of reduced access to
working capital on the part of their borrowers.216
Likewise, the captive finance supplier lending market will continue to face challenges from an only slightly thawed asset-backed
finance market and a still limited commercial paper market. Furthermore, input suppliers such as seed and fertilizer companies
must deal with the diminished cash flows of farmers involved in
certain commodity sectors.217 Those smaller dealers and suppliers
extending unsecured lines of credit face the possibility of non-recovery in the event of farm failures.218 Larger input suppliers may be
impacted by the recent problems in the commercial paper market
as well. John Deere reports lower revenue from financing and operating loans extended.219 Monsanto, the largest U.S.-based seed
company, noted in its third quarter financial statement that it was
ending its customer lending operation that had been conducted
through a securitization vehicle of its creation.220
On the other hand, healthy equipment and input companies, perhaps strengthened by other corporate units or the vitality of certain
agriculture sectors and regions, may look to fill any gaps in credit
availability left by other market players, such as commercial
banks. For example, witnesses at the Panel’s field hearing in Greeley, CO, indicated that some input suppliers in their region may
have increased their credit offerings in recent months, perhaps in
an effort to ‘‘pick up the slack’’ from other lenders.221 John Deere
has publicly expressed an interest in continuing to grow its loan
portfolio, and its volume of operating loans to customers (many of
whom are farmers) increased 58 percent from 2007 to 2008.222
Data from the Equipment Leasing and Financing Association show
that credit approvals for the three agriculture equipment financing
companies in its economic index dropped sharply from 95 percent
in November 2008 to just over 70 percent in January 2009 but
have since recovered to 85 percent in May 2009.223 This percentage
215 See, e.g., Prudential Agricultural Investments, Agricultural Lending (accessed July 14,
2009)
(online
at
www3.prudential.com/businesscenter/realestate/pmcc/whoweare/agricultural.html). Prudential’s minimum loan size is $500,000.
216 Paul Ellinger, Financial Crisis’s Impact on Producer’s and Agriculture’s Long-term Forecast
Presentation to the Independent Community Bankers of America, at 43 (2009) (hereinafter
‘‘Paul Ellinger ICBA Presentation’’).
217 Id.
218 See Agricultural Retailers Association, Customer Financing Survey Results (May 4, 2004).
According to the survey, most wholesalers and dealers do not have insurance covering their unsecured lending. One way they combat this risk is through the farmer’s assignment of a payment, such as USDA subsidy payment, to the supplier.
219 See Deere & Company, Deere Announces Second-Quarter Earnings (May 20, 2009) (online
at
www.deere.com/enlUS/ir/media/pdf/financialdata/reports/2009/2009lsecondquarter.pdf).
John Deere Credit Corporation, the Deere lending arm, also saw lower profits last year as its
charge-off rate rose and interest rates declined.
220 See Monsanto Company, Form 10–Q for the period ending May 31, 2009, at 36 (June 26,
2009)
(online
at
www.monsanto.com/investors
/financiallreports/
seclhtml.asp?ipage=6394612&repo=tenk).
221 Congressional Oversight Panel, Testimony of Marc Arnusch, Owner, Marc Arnusch Farms,
COP Field Hearing in Greeley, CO, on Farm Credit (July 7, 2009) (audio available online at
cop.senate.gov/hearings/library/hearing-070709-farmcredit.cfm).
222 See Deere & Company, Annual Report 2008, at 16 (Dec. 18, 2008) (online at
www.deere.com/enlUS/ir/media /pdf/financialdata/reports/2009/2008annualreport.pdf).
223 This data was provided by Bill Choi, Director for Information and Research Services,
Equipment Leasing and Finance Association. Choi disaggregated the index data cited in note
218, infra.

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is roughly 20 percentage points higher than the overall credit approval figure for all companies in the index.224

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d. Commercial banks
Commercial bank credit availability will continue to be driven by
both agricultural producer demand for loan products and credit
availability from lenders on the supply side. However, the extraordinary economic events of the past year and the extensive government response to those events means that events external to the
agriculture industry will also cause disruptions. In its June report,
the Panel noted the impact that continued stresses on bank capital
could have on overall credit availability, which would include availability in the agriculture sector.
According to the bank supervisors, and in some cases
only after very large infusions of capital by the U.S. taxpayer, most U.S. banks now have capital levels in excess
of the amounts required under banking rules. Nonetheless,
the realized and prospective losses created by the financial
crisis and the impact of the country’s economic condition
on banks’ revenues have substantially reduced, and are expected to further reduce, the capital of some major banks.
Falling capital levels at major banks can lead to a broad
loss of confidence in bank solvency, particularly if there is
a lack of clear information as to the financial condition of
the major banks. Loss of confidence can become a self-fulfilling prophecy, leading to the reluctance of banks to lend
to one another (a key component of the banking system’s
operation), causing individual banks to tighten credit by
cutting back on lending in general, and forcing regulators
to pump funds into one bank or BHC after another on an
ad hoc basis.225
i. Demand. Buoyed by appreciating land values and record product prices, farm credit at commercial farm banks 226 increased to
$55.1 billion in 2008.227 Demand for farm credit remains relatively
strong, the likely result of farmers using credit as a means to ride
out the recent volatility in certain sectors and the general economic
crisis. In five Federal Reserve District first quarter agricultural
lending surveys, approximately 70 percent of banks reported either
the same or higher demand for farm operating loans as compared
to a year earlier.228 However, in one District (Richmond) 48 percent
of its bank respondents said demand for such loans was lower compared to a year ago.229 FDIC aggregated call report data indicate
a four percent rise in farm loans from the first quarter of 2008 to
224 Equipment Leasing and Finance Association, MLFI–25 and Beige Book Review First Quarter 09, at 14 (April 2009).
225 Congressional Oversight Panel, June Oversight Report: Stress Testing and Shoring Up
Bank Capital (June 9, 2009) (online at cop.senate.gov/documents/cop-060909-report.pdf).
226 As defined by the American Bankers Association, a farm bank has assets of less than $1
billion whose ratio of domestic farm loans to total domestic loans is greater than or equal to
14.20 percent. There are also 21 banks with more than $1 billion in assets which meet the farm
loans to total loans ratio requirement.
227 American Bankers Association. 2008 Farm Bank Performance, at 3.
228 Second Quarter Fed Databook, supra note 2, C.1 Non-real-estate Farm Lending Compared
with a Year Earlier.
229 Second Quarter Fed Databook, supra note 2, C.1 Non-real-estate Farm Lending Compared
with a Year Earlier.

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the first quarter of 2009.230 The Chicago, Richmond, and Dallas
District surveys show 80 percent, 60 percent, and 61 percent of
banks expecting the same or higher volume of real estate loans in
the next quarter as compared to a year earlier.231 On the other
hand, many farmers used the strong earnings and farmland values
of the past few years to instead decrease their reliance on debt.
This trend is especially noticeable among small farmers, while larger farmers remain relatively more reliant on debt to finance their
operations.232
ii. Availability. On the supply side, in all six Federal Reserve
Districts conducting agriculture surveys at least 70 percent of
banks responding had the same funds available for farm lending as
they did a year earlier.233 Nevertheless, two prominent agricultural
credit experts expect the gloomy economic picture to likely dampen
farm credit availability: ‘‘Even if loan demand rebounds, tighter
credit standards and increased collateral requirements could limit
loan originations.’’ 234 Some data seem to bear out this gloomier assessment. Four districts reported a rise in the percentage of banks
referring loan applicants to non-bank agencies (for example, FSA)
as compared to a year earlier.235 The verdict is still out as to
whether tighter underwriting standards and deteriorating farmer
financial conditions will make credit harder to come by in the next
few years.
iii. Other Factors. While the overall farm credit market offers
mixed signals, certain locales have clearly seen declines. New Frontier Bank’s April 2009 failure left farmers searching for new lenders to pick up the bank’s $700 million agriculture portfolio, the
eighth largest in the nation. As the dust continues to settle, credit
in the area remains lacking relative to this demand.236 However,
reports of possibly lax lending standards raise questions as to
whether analogous localized credit contractions would result if
other farm banks become insolvent.237 Nonetheless, the situation
provides an example of the pressures that can occur in a locality
when credit supply and demand become significantly imbalanced
through any number of reasons, such as a bank failure, a major
lender shifting its portfolio from agriculture, a natural disaster, or
other reasons.
230 Federal Deposit Insurance Corporation, Quarterly Banking Profile All Institutions Performance First Quarter 2009, Table 11–A (accessed July 7, 2009) (online at www2.fdic.gov/qbp/
2009mar/qbpall.html).
231 Second Quarter Fed Databook, supra note 2, Table C.6. The most recent data available
compiles the results of the first quarter 2009 survey, asking about expectations regarding the
second quarter of 2009.
232 USDA Finance Outlook, supra note 5, at 49.
233 Second Quarter Fed Databook, supra note 2, Table C.1 Non-real-estate Farm Lending
Compared with a Year Earlier.
234 Jason Henderson and Maria Akers, Recession Catches Rural America, Federal Reserve of
Kansas City Economic Review, at 80 (First Quarter 2009) (online at www.kc.frb.org/PUBLICAT/
ECONREV/PDF/09q1Henderson.pdf).
235 Second Quarter Fed Databook, supra note 2, Table C.3 Indicators of Relative Credit Availability.
236 It is unclear whether a lack of new entrants into the northeastern Colorado farm credit
market is due to borrowers with weak balance sheets or the capacity of commercial lenders. See
Congressional Oversight Panel, Transcript of COP Field Hearing in Greeley, CO on Farm Credit,
at 71–73 (July 7, 2009); See also Larry Dreiling, Bank Failure Fallout is Topic of Vilsack Stop,
High Plains/Midwest Ag Journal (May 25, 2009) (online at www.hpj.com/archives/2009/may09/
may25/Bankfailurefalloutistopicof.cfm).
237 Stephanie Simon, Town’s Friendly Bank Left Nasty Mess, Wall Street Journal (June 16,
2009) (online at online.wsj.com/article/SB124510107619616409.html).

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D. FARM LOAN RESTRUCTURING
1. STATISTICS AND TRENDS IN DELINQUENCIES AND FORECLOSURES

Any analysis of statistics and trends in farm loan delinquencies
and foreclosures is necessarily limited by the lack of hard data
available on farm loan foreclosures. The Panel noted a similarly
frustrating lack of adequate delinquency, foreclosure, and restructuring data in its March report on residential mortgage foreclosure
mitigation.238
With the exception of FSA—which tracks foreclosure rates for its
direct loan programs there is no existing source that tracks foreclosures on farm loans held by commercial banks or FCS institutions. However, a review of data that are available—such as data
on farm loan delinquencies, nonaccrual loans, and loan charge-offs,
for the various sources of farm credit—provides a reasonably good
picture of the current performance of loans made to American
farmers.
On the whole, observable trends in the performance of farm loans
mirror trends in agriculture markets generally, which have seen
modest stress in recent quarters on the heels of several historically
strong years. Similarly, delinquency, nonaccrual, and loan chargeoff rates began to tick upward starting in the fourth quarter of
2008 and continuing in the first quarter of 2009; however, these
upticks are from historically low rates—and they remain well
below the rates seen during previous times of stress in the agriculture sector. Notwithstanding this caveat, the first quarter of
2009 did see some measures of credit quality rise to levels of stress
not seen in the better part of a decade, and it remains to be seen
whether these levels will continue to escalate to match the crisis
conditions in other sectors of the economy or whether they will plateau at levels that, while above the excellent levels seen the past
few years, are more in-line with historical agricultural loan performance.

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a. The Farm Service Agency
As the lender-of-last-resort for the American agriculture sector—
exclusively serving borrowers who are unable to obtain credit at
reasonable rates from other sources of farm credit—it would stand
to reason that signs of stress among farm borrowers would first
238 ‘‘In every area of policy, Congress and the Administration need quality information in order
to make informed decisions. . . . The first step for understanding the foreclosure crisis and evaluating responses is to have an accurate empirical picture of the mortgage market. For example,
how many loans are not performing, what loss mitigation efforts have lenders undertaken, how
many foreclosures have occurred, how many are in the process of occurring, and how many more
are likely to occur? How many of these foreclosures are preventable, meaning that another loss
mitigation option would result in a smaller loss to the lender? What is driving mortgage loan
defaults? Are there any salient characteristics of the loans that are defaulting and for which
successful modifications are not feasible? What relationship does foreclosure have to loan type,
to loan-to-value ratios, to geographic factors, and to borrower characteristics? And crucially,
what obstacles stand in the way of loss mitigation efforts? These are some of the questions for
which the Congressional Oversight Panel believes the Congress and the Administration need to
know the answers in order to make informed policy decisions.
‘‘Unfortunately, this essential information is lacking. The failure of banks and housing regulatory agencies to gather and analyze quality market intelligence is striking. The United States
is now two years into a foreclosure crisis that has brought economic collapse, and federal banking and housing regulators still know surprisingly little about the number of foreclosures, what
is driving the foreclosures, and the efficacy of mitigation efforts.’’ Congressional Oversight Panel,
Foreclosure Crisis: Working Toward a Solution: March Oversight Report, at 11 (Mar. 6, 2009)
(online at cop.senate.gov/documents/cop-030609- report.pdf).

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begin to appear within the loan portfolio of FSA. However, fiscal
year 2008 was a historically strong year for FSA loan performance,
with loan loss rates in FSA’s direct and guaranteed loan programs
falling to their lowest levels since FSA began to track the data in
1985—1.7 percent for the direct loan program and 0.3 percent for
the guaranteed loan program.239
Figure 22: FSA Direct Loan Losses: FY 1998–FY 2008 240

240 FSA

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June Testimony, supra note 41.

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239 FSA

56

241 FSA

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Figure 23: FSA Guaranteed Loan Losses: FY 1998–FY 2008 241

57
Likewise, FSA loan delinquency rates indicated continued
strength in the farm sector. The direct loan delinquency rate of 6.5
percent was the lowest rate on record and the guaranteed loan delinquency rate of 1.18 percent was the lowest rate since 1995.242
Figure 24: FSA Direct Loan Delinquency: FY 1998–FY
2008 243

243 FSA

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June Testimony, supra note 41.

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242 FSA

58
Figure 25: FSA Guaranteed Loan Delinquency: FY 1998–FY
2008 244

Foreclosure rates for FSA’s direct loan program were also ‘‘very
low’’ in fiscal year 2008, as FSA participated in 169 foreclosures,
down from 311 foreclosures five years ealier.245 However, then-FSA
Administrator Doug Caruso testified that he expects farm loan performance to ‘‘deteriorate somewhat’’ this year ‘‘given the increased
financial stress in the agriculture economy.’’ 246 USDA testimony
provided at the Panel’s field hearing in Greeley, CO, described such
deterioration as ‘‘almost inevitable’’ given the challenging economic
times, increased stress in the dairy, hog, and poultry industries,
and the fact that delinquencies and losses have been at all-time
lows in recent years.247

244 FSA

June Testimony, supra note 41.
June Testimony, supra note 41.
June Testimony, supra note 41.
247 Scuse Testimony, supra note 64.
245 FSA

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246 FSA

59
FSA tracks the number of its guaranteed loans that are restructured by the lender. Thus far in the Fiscal Year ending September
30, 2009, 736 loans totaling $139 million have been restructured.
At this pace, total restructurings have already nearly eclipsed last
year’s final numbers (853 restructurings totaling $141 million) and
may exceed the highest volume seen since Fiscal Year 2003 (853
restructurings in 2007).248 However, FSA’s guaranteed loan portfolio increased from 53,000 to 65,000 loans during this time period.
Thus, while the number of restructurings rose this year as the
farm economy weakened, this number saw an uptick as early as
2006 while still remaining a small percentage of total loans. FSA
does not track the type of lender, such as a commercial bank or
FCS institution, involved in the restructuring.

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b. The Farm Credit System
The quality of loans held by FCS institutions began to deteriorate a bit in the fourth quarter of 2008; however, this uptick in
nonperforming loans was from historically low levels. Nonaccrual
loans as a percentage of gross loan volume reached 1.41 percent as
of December 31, 2008, up from 0.36 percent one year earlier and
0.43, 0.49, and 0.67 percent at the close of 2006, 2005, and 2004,
respectively.249 Overall, nonperforming loans as a percentage of
gross loan volume followed a similar trend, hitting 1.50 percent at
the close of 2008, up from 0.43, 0.50, 0.56, and 0.77 percent in the
four preceding years.250 Nonaccrual and nonperforming loans have
edged up further in 2009, hitting 1.70 percent and 1.80 percent, respectively, as of March 31, 2009.251
While FCS reports that ‘‘the current level of [nonperforming]
loans has moved more in line with historical levels,’’ following an
extraordinarily strong couple of years, the fact is that these nonaccrual and nonperforming loan rates are the highest such rates
seen this decade, and thus should be carefully monitored moving
forward.252 However, these rates would have to increase dramatically to come close to rivaling rates seen during previous periods
of stress in the farm sector. For a point of reference, nonperforming
loans as a percentage of gross loan volume exceeded ten percent in
1989, at the tail end of the 1980s farm crisis.253 The chart below
tracks the percentage of nonperforming FCS loans over the past
two decades.

248 FSA loan servicing officials provided the Panel with data on restructurings through a data
request to their internal loan tracking system.
249 Farm Credit Administration, FCS Major Financial Indicators (June 16, 2009) (online at
www.fca.gov/reports/fcsindicators.html) (hereinafter ‘‘FCS First Quarter 2009 Indicators’’).
250 Id.
251 Id.
252 FCS 2008 Annual Information Statement, supra note 134, at 9.
253 July FCS Investor Presentation, supra note 131.

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254 July

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FCS Investor Presentation, supra note 131.

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Figure 26: FCS Nonperforming Loans to Total Loans: 1989–
First Quarter 2009 254

61
c. Commercial banks
Trends in delinquencies and nonperforming loans at commercial
banks likewise reveal a modest uptick beginning in the fourth
quarter of 2008, and a continued upswing in the first quarter of
2009, following a number of years of extraordinarily high farm
credit quality. The share of total farm real estate loans delinquent
at the close of the first quarter of 2009 hit 2.76 percent, up from
1.66 percent one year earlier, with loans past due 30–89 days up
from 0.87 to 1.26 percent, loans past-due over 90 days yet still accruing interest up from 0.21 to 0.23 percent, and nonaccruing loans
rising from 0.58 percent to 1.26 percent.255

255 Second Quarter Fed Databook, supra note 2, at 24 (B.4 Delinquent Real Estate Farm
Loans Held by Insured Commercial Banks).
256 Second Quarter Fed Databook, supra note 2, at 24 (B.4 Delinquent Real Estate Farm
Loans Held by Insured Commercial Banks).

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Figure 27: Farm Real Estate Loan Delinquencies at
Commercial Banks 256

62
The net share of farm real estate loans charged off rose from
0.008 percent in the first quarter of 2008 to 0.051 in the first quarter of 2009.257 While all of these figures remain at or below typical
levels seen in the 1990s and even earlier this decade, the jumps
seen over the past two quarters may be reason for concern should
delinquencies continue to rise at this rate in future quarters.

257 Second Quarter Fed Databook, supra note 2, at 25 (B.5 Net Charge-Offs of Real Estate
Farm Loans Held by Insured Commercial Banks).
258 Second Quarter Fed Databook, supra note 2, at 22 (B.2 Delinquent Non-Real Estate Farm
Loans Held by Insured Commercial Banks).

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Figure 28: Net Charge-offs of Farm Real Estate Loans at
Commercial Banks 258

63
The performance of non-real estate farm loans followed a similar
trend, with the total share of delinquent non-real estate farm loans
rising from 1.72 percent in the first quarter of 2008 to 2.53 percent
in the first quarter of 2009.259 From year-to-year, the share of nonreal estate farm loans past-due 30–89 days rose from 0.98 percent
to 1.36 percent, loans past-due over 90 days yet still accruing interest went up from 0.22 to 0.32 percent, and nonaccruing loans rose
from 0.52 percent to 0.85 percent.260

259 Second Quarter Fed Databook, supra note 2, at 22 (B.2 Delinquent Non-Real Estate Farm
Loans Held by Insured Commercial Banks).
260 Second Quarter Fed Databook, supra note 2, at 22 (B.2 Delinquent Non-Real Estate Farm
Loans Held by Insured Commercial Banks).
261 Second Quarter Fed Databook, supra note 2, at 22 (B.2 Delinquent Non-Real Estate Farm
Loans Held by Insured Commercial Banks).

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Figure 29: Farm Non-Real Estate Loan Delinquencies at
Commercial Banks 261

64
Net charge-offs of non-real estate farm loans increased from 0.02
percent to 0.11 percent from the first quarter of 2008 to the first
quarter of 2009.262 Again, while these numbers are up from the
historically low levels seen in recent years, they are below loan delinquency rates from earlier this decade, and well below delinquency and charge-off rates from the 1980s.

262 Second Quarter Fed Databook, supra note 2, at 23 (B.3 Net Charge-Offs of Non-Real Estate
Farm Loans Held by Insured Commercial Banks).
263 Second Quarter Fed Databook, supra note 2, at 23 (B.3 Net Charge-Offs of Non-Real Estate
Farm Loans Held by Insured Commercial Banks).

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Figure 30: Net Charge-offs of Farm Non-Real Estate Loans at
Commercial Banks 263

65
Additional Federal Reserve data that capture a somewhat different universe of loans to finance agricultural production show the
same uptick in charge-offs and delinquencies.264 Specifically, the
delinquency rate on agricultural production loans rose from 1.06
percent (seasonally adjusted) in the first quarter of 2008 to 1.71
percent (seasonally adjusted) in the first quarter of 2009, with the
delinquency rate at the 100 largest banks in the United States (by
assets) rising from 1.14 percent to 2.52 percent and the delinquency rate at the remainder of commercial banks going from 1.01
percent to 1.38 percent over that time period.265

264 Data on charge-offs and delinquencies on agricultural loans are compiled in two quarterly
Federal Reserve statistical releases, the E.15 Agricultural Finance Databook (discussed throughout this report) and the Charge-Off and Delinquency Rates on Loans and Leases at Commercial
Banks release. The two releases differ somewhat in their methodology and the universe of agricultural loans that they include. While the E.15 Databook includes delinquency and charge-off
rates for both agricultural production and farm real estate loans, the Charge-Offs and Delinquencies release only includes a figure for agricultural production loans. The E.15 Databook also
manipulates the data to provide an estimate for delinquency and charge-off rates on non-real
estate farm loans at banks with under $300 million in assets at which farm production loans
account for fewer than five percent of total loans and leases (these small banks not concentrated
in agriculture are not required to report this data on their call reports). The E.15 also adjusts
the data to exclude foreign results for large banks that report farm delinquencies and chargeoffs on a consolidated basis. For its part, the Charge-Offs and Delinquencies release seasonally
adjusts its data, and it provides an annualized figure for charge-offs (thus accounting for the
higher charge-off rates in the Charge-Offs and Delinquencies release compared to the E.15
Databook.)
265 Board of Governors of the Federal Reserve System, Charge-Off and Delinquency Rates on
Loans and Leases at Commercial Banks (First Quarter 2009) (online at www.federalreserve.gov/
releases/chargeoff/default.htm) (hereinafter ‘‘Fed Charge-Off and Delinquency Rates’’).
266 Id.

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Figure 31: Delinquency Rate on Loans to Finance
Agricultural Production 266

66
Annualized charge-off rates on agriculture production loans likewise went up from the first quarter of 2008 to the first quarter of
2009, going from 0.08 percent to 0.42 percent overall (seasonally
adjusted)—0.04 percent to 0.47 percent at the largest 100 banks
and 0.11 percent to 0.45 percent at the remainder of commercial
banks.267 Tracking these data from the height of the 1980s farm
crisis—when delinquency rates topped nine percent and charge-off
rates exceeded four percent—puts this current upswing into perspective.
Figure 32: Charge-off Rate on Loans to Finance Agricultural
Production 268

268 Id.

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267 Id.

67
A look at the distribution of agriculture banks—defined by the
Federal Reserve as those that have a proportion of farm loans (real
estate plus non-real estate) to total loans that is greater than the
unweighted average at all banks—according to the proportion of
their loans that are nonperforming provides an alternative measure
of the performance of farm loans. The share of agriculture banks
with more than five percent of their loans nonperforming increased
from 3.4 percent in the first quarter of 2008 to 6.6 percent in the
first quarter of 2009.269 This proportion was 31.5 percent during
the first quarter of 1987.270
However, the proportion of agricultural banks in the next tier
down those with 2.0 and 4.9 percent of total loans nonperforming
rose from 15.5 percent to 23.6 percent between the first quarters
of 2008 and 2009, while the proportion of agriculture banks with
fewer than 2.0 percent of total loans nonperforming fell from 81.0
percent to 69.9 percent over that time period.271 This proportion of
banks with under 2.0 percent of loans nonperforming is at its lowest level since 1992, though it should be emphasized that these proportions are based on the performance of all loans and leases—not
merely agricultural loans.

269 Second Quarter Fed Databook, supra note 2, at 26 (B.6
by the Share of Their Total Loans that are Nonperforming).
270 Second Quarter Fed Databook, supra note 2, at 26 (B.6
by the Share of Their Total Loans that are Nonperforming).
271 Second Quarter Fed Databook, supra note 2, at 26 (B.6
by the Share of Their Total Loans that are Nonperforming).
272 Second Quarter Fed Databook, supra note 2, at 26 (B.6
by the Share of Their Total Loans that are Nonperforming).

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Distribution of Agricultural Banks
Distribution of Agricultural Banks
Distribution of Agricultural Banks
Distribution of Agricultural Banks

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Figure 33: Agriculture Banks with Nonperforming Loans
Exceeding 5 Percent 272

68
Also useful to consider when attempting to track the performance
of farm loans is the amount of farmland held by commercial
banks—a rough gauge of foreclosure activity. The value of farmland
in bank possession more than doubled between the first quarter of
2008 and the first quarter of 2009 going from $60.7 million to
$122.4 million.273 While this figure is well below the value of farmland held in the early 1990s, in the aftermath of the farm crisis
(farmland in bank possession exceeded $424 million in 1992), this
jump does provide reason for concern, and a continued upswing
could be an indication of more difficult times than anticipated for
the farm sector.274
Figure 34: Farmland Held by Commercial Banks 275

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274 FDIC
275 FDIC

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First Quarter Call Report Data, supra note 149.
First Quarter Call Report Data, supra note 149.
First Quarter Call Report Data, supra note 149.

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273 FDIC

69

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Finally, the Federal Reserve’s survey of farm lenders provides information on repayment rates for farm loans. Recent surveys conducted in the Federal Reserve’s Kansas City, Dallas, and Minneapolis regions indicate that between five and 20 percent more
bankers have found farm loan repayment rates to have decreased
in the first quarter of 2009 compared to the first quarter of 2008
than have found that rate to have increased over that time period.276 As with other indicators, this rate should be tracked moving forward, as continued spikes in loan nonpayment would likely
give rise to increased rates of farm foreclosures.

276 Second Quarter Fed Databook, supra note 2, at 31 (C.1 Non-Real Estate Farm Lending
Compared with a Year Earlier).

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2. LOAN RESTRUCTURING POLICIES IN PLACE AT MAJOR CREDIT
SOURCES

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a. Farm Service Agency
i. FSA Direct Loans. The Agricultural Credit Act of 1987 instituted a number of reforms to USDA’s Farm Loan Programs (FLP)
that aimed to enhance several core principles of FSA, including
timely and comprehensive disclosure of loan programs and loan
status; preservation of operating farms whenever feasible; uniform
criteria for credit decisions; and fair and equitable treatment by
FSA. These principles are reflected in specific mandates, such as
required notice of loan servicing programs and a period to consider
the options before the agency can accelerate a delinquent loan; a
range of loan servicing tools; specific timeframes for the agency to
respond to loan applications and loan servicing requests; and a
duty on the agency’s part to provide assistance to any farmer who
seeks to make a loan application or servicing request.277
FSA is required by law to attempt to restructure loans issued by
its FLP when borrowers are unable to make scheduled payments
due to reasons beyond their control.278 The law also provides a
process by which FSA loans are to be serviced in order to avoid
foreclosure and liquidation. FSA’s responsibilities under the law
are triggered when a borrower becomes 90 days past due on an
FSA loan account. The agency must provide a servicing packet to
the borrower presenting the available options for avoiding foreclosure on the loan. Borrowers who are not delinquent, but anticipate that they will not be able to make their next payment, may
request the servicing packet at any time. Borrowers have 60 days
from the receipt of the packet to respond to FSA and express their
desire to pursue an alternative to foreclosure.279 The guiding principle in the exploration of foreclosure alternatives is to keep borrowers on their land and operating their farms under restructured
loans whenever the government would receive an equal or greater
net return than it would otherwise realize through foreclosure.
FSA determines the net recovery value of a given loan security
retrieved through liquidation by adding (1) the current appraised
value of the borrower’s interest in the security property, and (2) the
value of the borrower’s interests in all other assets that are neither
exempt from judgment nor essential for farm living or farm operating expenses, and then subtracting the government’s costs of acquiring, holding, maintaining, and disposing of the property. These
costs include prior liens on the property, taxes and assessments,
depreciation, lost interest income, resale expenses (including necessary repairs), and other administrative and legal expenses. If
FSA determines that the present value of payments that the borrower would make under a restructured loan would be of equal or
greater value than the calculated net recovery value of the security
for the original loan, under the law a loan modification must be offered. The appropriate restructuring option is calculated by the
277 Jerome Stam, Steven Koenig, Susan Bentley, and H. Frederick Gale, Jr. Farm Financial
Stress, Farm Exits, and Public Sector Assistance to the Farm Sector in the 1980s, USDA Economic Research Service (Agriculture Economic Report Number 645).
278 7 U.S.C. § 2001.
279 17 C.F.R. § 766.1 et seq. (2004).

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Debt and Loan Restructuring System (DALRS), an automated software program using inputs provided by the borrower. Each loan
servicing alternative generated by DALRS is considered with the
goal of developing a feasible plan that allows the borrower to meet
necessary family living and farm operating expenses and service all
debts, including restructured loans. A feasible plan must cover up
to 110 percent of the borrower’s projected expenses and debt service obligations.280
FSA has four ‘‘primary loan servicing’’ options at its disposal
under the restructuring program. The options include: 281
1. Consolidation, reamortization, and rescheduling
General operating loans can be rescheduled for up to 15 years
from the date of their restructure. Principal and unpaid interest
can be combined and rescheduled for up to 15 years. Line of credit
loans can be rescheduled for up to seven years from the date of the
restructure. Real estate loans may be reamortized over a period of
up to 40 years from the date of the original loan.
2. Deferral
The deferral option allows the borrower to make no payments or
only partial payments for up to five years. All of the principal and
a portion of the interest may be deferred but a partial interest payment must always be received. To be eligible for a deferral, borrowers must obtain FSA approval of a feasible first-year deferral
and post-deferral farm operating plan that does not create excessive net cash reserves.
3. Interest rate reduction
FSA may also complement the restructuring mechanisms in options one and two by reducing the interest rate on a loan.

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4. Writedown
If consolidation, rescheduling, reamortization, deferral, or some
combination thereof does not result in a feasible plan with 110 percent debt service margin, FSA may consider a writedown, a reduction in the total debt. This option is only available to borrowers
who are currently delinquent on their loans and have not previously received debt forgiveness on any FSA direct loan. The size
of the writedown is generally calculated to require the borrower to
pay the most he or she can afford, including the value of any nonexempt, nonessential assets. The debt cannot be written down
below the net recovery value of the loan collateral. Federal law limits debt forgiveness to one instance of no more than $300,000.282
In circumstances where a loan is restructured via writedown,
FSA is required by law to enter into a Shared Appreciation Agreement (SAA) providing for the government to share any appreciation
in value of the security property that occurs over a specified time
period. SAAs are designed to protect taxpayers, ensuring that
280 U.S. Department of Agriculture, Direct Loan Servicing—Special and Inventory Property
Management, Farm Service Agency Handbook (Oct. 9, 2008) (online at www.fsa.usda.gov/Internet/FSAlFile/2-flp.pdf).
281 Loan Restructuring in the USDA Farm Loan Program, Farmers’ Legal Action Group, Inc.
Briefing Paper (hereinafter ‘‘FLAG Loan Restructuring’’).
282 7 U.S.C. § 2001.

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farmers who benefit from a government writedown and subsequently enjoy a reversal of fortune must repay at least a portion
of the public assistance. SAAs issued after August 18, 2000, have
a maximum term of five years and may be triggered by either a
conveyance of the security property (other than to a spouse upon
the borrower’s death); full payment or other satisfaction of the underlying loan; cessation of farming by the borrower; or acceleration
of the underlying loan. If none of these triggers occur during the
life of the contract, recapture will be triggered upon expiration of
the contract. The amount of appreciation that USDA is entitled to
depends upon when the trigger event occurs. If the trigger event
occurs in the first four years of the agreement, USDA will claim
75 percent of the increase in value of the security. If the trigger
occurs in the fifth year, or at the expiration of the SAA, USDA may
claim 50 percent of the increase in the value of the security. Under
no circumstances may FSA recapture more than the amount of
principal and interest that was written down.283
If DALRS indicates that no feasible plan is possible under any
of the available restructuring options, state-sponsored mediation or
a meeting of creditors may be offered. If restructuring is not possible after mediation, the borrower may have the opportunity to
buy out the debt at the current market value of the security and
any non-essential assets. The remainder of the debt is written off
when the buyout is accomplished. If the borrower is unable to take
advantage of the buyout option, FSA is required to proceed with
foreclosure in an effort to recover as much value as possible. In certain situations, borrowers may avoid foreclosure by voluntarily conveying the security property to the government in full satisfaction
of the debt.284
An individual receiving notification of an adverse decision from
USDA has the right to appeal. The USDA appeals process has two
stages. The borrower must first participate in a hearing in his or
her state or jurisdiction of residence with an FSA officer. Following
this hearing, either the borrower or FSA may petition the National
Appeals Division of the USDA (NAD) to reconsider the finding of
the local hearing officer. The NAD Director then decides if the case
will be heard and either finds the case to be not appealable or
schedules a final hearing. The vast majority of these petitions are
found to be appealable.285
ii. FSA Guaranteed Loans. While FSA guaranteed loans are
made by private lenders and only guaranteed by the government,
federal law requires that the Secretary of Agriculture ensure that
the programs are designed to be responsive to the needs of borrowers and lenders, and that all viable options are explored before
the lender initiates foreclosure proceedings.286 USDA regulations
provide thorough instructions on the steps that lenders are expected to take to keep borrowers out of foreclosure via loan restruc-

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283 FLAG

Loan Restructuring, supra note 281.
284 U.S. Department of Agriculture, Fact Sheet: Primary and Preservation Loan Servicing for
Delinquent
FSA
Borrowers
(July
2008)
(online
at
www.fsa.usda.gov/FSA/
newsReleases?area=home&subject= empl&topic=pfs&newstype= prfactsheet&type=detail&item=
pfl20080710l farlnlenlppls08.html) (hereinafter ‘‘Delinquent FSA Borrower Factsheet’’).
285 Of the 266 cases brought before the NAD Director in 2008, 242 of those cases were found
to be appealable. U.S. Department of Agriculture, National Appeals Division, FY 2008 NAD Appeal abilities (online at www.nad.usda.gov/Forms/FY%202008%20NAD%20Appealabilities.pdf).
286 7 U.S.C. § 1998.

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turing.287 However, ultimately it is solely the lender’s prerogative
to accept or reject a borrower’s plan for resolution of a default or
offer another alternative for restructuring debt. FSA credit officers
play an advisory role, helping to maximize the outcome for all concerned stakeholders.288
A guaranteed loan is considered in default if a loan payment is
outstanding 30 calendar days after its due date. Within 15 days of
default, the lender should arrange a meeting with the borrower to
identify the nature of the delinquency and develop a course of action that will resolve the issue and preclude the loan from going
to foreclosure. An FSA credit officer may be brought into the process at the request of either the lender or the borrower to help facilitate a solution. Similar to direct loans, the restructuring options for
guaranteed loans include rescheduling, reamortization, deferral,
debt writedown, or some combination thereof. However, unlike the
direct loan program, the burden of identifying the appropriate restructuring option lies with the borrower, not the lender. In addition, holders of distressed guaranteed operating loans may also be
eligible for relief through FSA’s Interest Assistance Program (IAP).
Under IAP, FSA agrees to subsidize four percent of the interest
rate in the form of a payment from FSA to the lender.289 If a borrower qualifies for IAP assistance, the lender may not initiate foreclosure action on the loan until 60 days after the date that eligibility is determined, affording the borrower time to present a viable
restructuring plan with IAP as a component.290
Institutions that guarantee FSA loans are categorized according
to their experience and performance in the program. Junior lenders, known as standard eligible lenders, must seek approval of restructuring plans, whereas the more senior certified and preferred
lenders have greater leverage to restructure loans without FSA approval. Certain restrictions apply to all lenders. Loans secured by
real estate and/or equipment may be restructured using a balloon
payment, equal installments, or unequal installments, but the projected value of the security must indicate that the loan will be fully
secured when the balloon payment is due. These loans must have
a minimum term of five years. Loans secured solely by livestock or
crops are not eligible for rescheduling using a balloon payment.291
All debt writedowns require prior approval from FSA. The present
value of the loan to be written down, based on the interest rate of
the rescheduled loan, must be equal to or exceed the net recovery
value of the loan collateral. FSA will compensate the lender for the
loss incurred as a result of the writedown in proportion to the
guaranteed percentage of the loan.292 On loans secured by real estate, lenders must execute a shared appreciation agreement under
the same terms as direct loans that are written down by FSA.

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287 7

C.F.R. § 762.101 et seq. (2007).
288 U.S. Department of Agriculture, Guaranteed Loan Making and Servicing, Farm Service
Agency Handbook (Oct. 9, 2008) (online at www.fsa.usda.gov/Internet/FSAlFile/2-flp.pdf) (hereinafter ‘‘FSA Guaranteed Loans Handbook’’).
289 American Bankers Association, Industry Issues: USDA, Farm Service Agency Guaranteed
Loan Servicing Options (June 30, 2009) (online at www.aba.com/Industry+Issues/
GRlAGlFSAGuarLoan.htm) (hereinafter ‘‘ABA Guaranteed Loans’’).
290 FSA Guaranteed Loans Handbook, supra note 288.
291 FSA Guaranteed Loans Handbook, supra note 288.
292 ABA Guaranteed Loans Handbook, supra note 289.

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Since USDA guaranteed loans are neither owned nor serviced by
USDA, USDA maintains that its role is as a guarantor.293 The borrower and lender must jointly petition for an appeal. The only exception is when a lender is appealing the amount of a final loss
payment from USDA, in which case only the lender may appeal.
USDA does not allow appeals to lender decisions by borrowers.294

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b. Farm Credit System
The Agricultural Credit Act of 1987 required the FCS to implement mandatory protections for its customers, a set of provisions
known as ‘‘borrower rights.’’ 295 The provisions are designed to ensure that FCS lenders provide borrowers with full disclosure of
their loan status and the opportunity to pursue a viable alternative
to foreclosure. The borrower rights provisions are enumerated in
the statute and are enforced by the FCA.296 In addition, each FCS
lending institution is required to maintain a formal policy governing loan restructuring that is consistent with the law and approved by the FCA.297
Borrower rights entitle FCS customers to certain disclosures on
all loans, whether the loan is distressed or not. These basic disclosure requirements on non-distressed loans include: 298
• the current effective rate of interest on a loan by the date
it closes;
• any borrower requirement to purchase at-risk stock in the
FCS institution;
• copies of all the documents signed by the borrower prior to
closure of the loan;
• prompt notification of whether a loan application has been
accepted, reduced, or denied.
With respect to distressed loans, FCS lenders are required to notify borrowers at least 45 days in advance of the initiation of a foreclosure proceeding that they may qualify for a restructuring. At
that time, the borrower is entitled to an opportunity to review the
status of the loan and respond to the institution with an acceptable
plan for restructuring the loan. Restructuring may include rescheduling, reamortization, renewal, deferral of principal or interest,
debt forgiveness, or any other action to modify a loan so as to make
it probable that the borrower will recover and become financially
viable. As in the case of FSA loans, if a restructuring alternative
can be identified which is less than or equal to the estimated cost
of foreclosure and liquidation, the lender is required to enter a restructuring agreement with the borrower.299 The key difference is
that the burden of developing a feasible alternative on an FCS loan
lies with the borrower, not the lender.
FCS institutions are required to consider several factors when
evaluating the borrower’s proposal and conducting a least-cost
293 In this way, USDA guarantees serve a purpose analogous to the role played by TARP in
agriculture lending by TARP-recipient banks: both are federal backstops to commercial bank
risk taking.
294 12 C.F.R. § 762.104 (2007).
295 Agricultural Credit Act of 1987, Pub. L. No. 100–233.
296 12 U.S.C. § 2202(a).
297 12 C.F.R. § 616 (1999).
298 Farm Credit Administration, Borrower Rights (accessed July 17, 2009) (online at
www.fca.gov/about/borrowerlrights.html).
299 12 U.S.C. § 2202(a).

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analysis of restructuring versus foreclosure. The net recovery value
of foreclosure must take into consideration the outstanding balance
due on a loan and the liquidation value of the loan, including the
borrower’s repayment capacity and the liquidation value of the collateral. This includes estimates of maintaining a loan as a nonperforming asset or incurring the administrative and legal fees associated with foreclosing on the loan and disposing of the acquired
property. The calculation of the cost of restructuring the loan must
account for the present value of interest income and principal forgone by the lender in carrying out the restructuring plan; the reasonable and necessary administrative expenses involved in working
with the borrower to finalize and implement the restructuring plan;
whether the borrower has presented a preliminary restructuring
plan and cash-flow analysis taking into account income from all
sources to be applied to the debt and all assets to be pledged, showing a reasonable probability that orderly debt retirement will occur
as a result of the proposed restructuring; and whether the borrower
has furnished or is willing to furnish complete and current financial statements in a form acceptable to the institution.
Ultimately, the decision of what is the least-cost alternative, and
therefore of whether or not to restructure a loan, lies with the lending institution. Provided that it has done the proper due diligence
and conducted a fair comparative assessment of the cost of a loan
restructuring versus foreclosure, the institution may deny the application and pursue foreclosure. If restructuring is denied, an FCS
borrower may request a review by a credit review committee
(CRC). The board of directors of each FCS institution must establish a CRC to review an adverse credit decision and that CRC must
include at least one of the institution’s farmer-elected board members and exclude any loan officers involved in making the initial
decision. The CRC has the ultimate decision-making authority on
all credit decision reviews.300
As the regulator of the FCS, FCA receives any complaints regarding loan restructuring applications. FCA also examines for
compliance with borrower rights provisions as part of its regular
examination process. If the FCA determines that an FCS institution has failed to properly comply with the borrower rights requirements, FCA may issue a directive instructing the institution to
take corrective action. Failure to comply with the directive may result in FCA assessing monetary penalties or seeking a court order.
Borrowers are afforded no private right of action under the borrower rights provisions. Borrower rights do not attach to loans that
are sold into the secondary market.

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c. Commercial banks
i. Options for Restructuring. There is no across-the-board agricultural loan restructuring policy for commercial banks. Each institution, be it a smaller, community bank or a large, national lender,
determines its modification policy based on its own risk tolerance,
the borrower assets involved, and other considerations. At the moment, due to strong farmland values and historically low farm
300 Delinquent

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debt-to-asset ratios (as discussed infra) greater options may exist
for flexible modifications.301
The variability of commercial bank policies creates difficulties for
data analysis of current farm loan restructuring activities. No
statutorily mandated or industry-adopted policies are in place. Due
to the lack of standardization and reporting requirements, no data
are available concerning the frequency or types of farm loan modifications conducted by commercial banks.
While lacking any sort of enforcement mechanism, some regional
associations representing larger institutions develop best practices
to serve as a framework for making restructuring decisions, particularly when the region is dealing with problems in prominent
local product sectors.302 For example, the Wisconsin Bankers Association has developed a set of principles of farm debt restructuring:
• Customer success is the overriding principle: bankers want
to see their farm customers thrive and will work with their
customers during good times and bad.
• Customer equity considerations: sometimes the best option
for a financially troubled borrower is for them to preserve their
equity by liquidating the business. The decision to liquidate is
not easy, but many times is the best solution in a number of
situations. Bankers will work with their customers to help
them decide the best course of action
• Honesty: Customers must make a good faith effort to abide
by any existing loan agreements that were executed when the
credit was first obtained. For example, they must not sell collateral out of trust. If a customer violates the basic business
security agreement(s) and sells assets that are collateral for
the loan in question, and does not apply the proceeds from the
sale of the assets to the outstanding loan, this action will limit
the bank’s ability to do problem mitigation with the borrower.
• Communication: Every borrower and lender relationship
demands open and honest communication. The identification of
distress in a loan relationship should not change the communication process. Timeliness and the expectations for both the
borrower and the bank need to be clearly communicated on a
regular and ongoing basis.
• Responsibility for problem identification: In most distressed loan situations, insufficient repayment capacity is the
root cause of the problem. As the owner of the farm business,
the borrower is primarily responsible for developing a plan to
cure the problem. The lender’s responsibility is to review the
borrower’s plan and to advise the borrower on the feasibility of
the plan, and if the plan fits within the underwriting standards of the bank.
• Plan development: The borrower typically identifies potential expense reductions, any potential for additional farm income, considers the potential for non-farm income, identifies
excess assets to sell, or decides to liquidate the entire business.
301 See sections B(2) and B(3), supra, for a detailed discussion of farmland values and debtto-asset ratios.
302 See, e.g., Wisconsin Bankers Association, Principles of Farm Debt Restructuring, Letter
from Kurt Bauer, President and Chief Executive Officer of the Wisconsin Bankers Association,
to Senator Feingold (June 19, 2009).

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The borrower may ask for time to allow him or her to refinance
his or her debt with another credit source.
• Evaluation of the plan: The feasibility of the business plan
completed by the borrower must be evaluated by the bank to
determine the farm management’s ability to succeed, the adequacy of collateral for the loan, and the ability of the operation
to meet debt service requirements. Deadlines for the execution
of asset sales, expense reductions, refinancing of debt by another source, or the acquisition of non-farm employment are
set and are mutually agreed to by the borrower and the banker. Once a plan is agreed to, the bank typically notifies the borrower in writing.
• Plan execution: Once the plan is completed and approved,
bankers may use several tools to assist distressed borrower.
Not all banks will offer the same options. What each individual
bank will do is dependent upon the risk tolerance of management, the loan policy of the individual bank, regulatory circumstances, and other factors (such as whether or not the loan
has been sold or participated).
• Monitoring the plan: When a plan is agreed to by a borrower and the bank, it must be monitored by both parties for
performance compliance. Mutually agreeing to a set of objectives to be met on an agreed upon schedule is of the utmost
importance.
• Resolution of the problem: Once the problem period has
passed, and the business has recovered, the borrower is expected to return to the original repayment plan unless otherwise agreed to.
• Bankruptcy: At all times, farm business owners have the
option to try to restructure their business debt through bankruptcy, including Chapter 12 which is reserved for family farmers who are defined in the statute. In addition to Chapter 12,
farmers have Chapter 11, 7, and 13 available to them depending upon their individual circumstances.303
Because FSA guarantees loans made by both FCS and commercial banks, it is possible to obtain limited data on commercial bank
loan write-offs through FSA data. It is important to note, though,
that FSA is the lender of last resort; therefore, commercial bank
loans guaranteed by FSA are by definition to borrowers who were
unable to get a regular commercial bank loan. As noted earlier in
this section, USDA does have regulations instructing lenders whose
loans it guarantees to take steps to keep borrowers out of foreclosure through restructuring. However, the provisions appear to
have little enforcement. Therefore, commercial banks’ willingness
and ability to restructure FSA guaranteed loans may provide information on their ability and willingness to restructure regular loans
held by the bank.
Out of all FSA guaranteed loans made in the past seven years,
loans made by commercial lenders had a delinquency rate of 1.97
percent, while loans made by FCS institutions had a rate of 1.14
percent. For guaranteed loans that eventually had to be written off
as unrecoverable over the same time span, FSA data show a loss
303 Id.

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rate of 0.61 percent for commercial banks versus 0.20 percent for
FCS institutions.304 The commercial bank delinquency rate above
is less than two times that of FCS institutions. By the time troubled loans must be written off, the loss rate gap has widened to
three times higher for commercial credit.
Here again though, insufficient and missing data prevent drawing any solid conclusions from these data. FSA staff notes that the
above delinquency rate was gathered through self-reporting by institutions. Thus, what one lender reports as delinquent 30 days
after a missed payment, another lender may consider a loan that
is in essence still current and only delinquent in form. More importantly, since FSA does not track the lender type engaging in a restructuring, the Panel is unable to conclude whether commercial
banks’ higher write-off rate is a consequence of conducting fewer
restructurings or due to another cause, such as higher-risk lending.
ii. Home Affordable Modification Program. While commercial
banks do not have a requirement to restructure farm loans, the
residential mortgage restructuring program provides insight into
the effectiveness of a requirement on TARP recipient banks to restructure a specific type of loan. On March 4, 2009, Treasury announced the Home Affordable Modification Program (HAMP) as
part of its Making Home Affordable (‘‘MHA’’) initiative. Treasury
estimates that three to four million potentially at-risk homeowners
could benefit from HAMP through mortgage modification. HAMP is
funded by a government commitment of $75 billion, which is comprised of $50 billion of TARP funds and $25 billion from the Housing and Economic Recovery Act. The $50 billion of TARP funds is
directed toward modifying private-label mortgages, and the $25 billion from the Housing and Economic Recovery Act is dedicated to
the modification of Fannie Mae and Freddie Mac mortgages.
The goal of HAMP is to prevent foreclosures by creating a partnership between Treasury and private institutions in order to reduce borrowers’ monthly payments to an affordable level. In addition to creating monetary incentives for the modification of at-risk
mortgages, HAMP standardizes loan modification guidelines in
order to create an industry paradigm. Also, all TARP recipients
will be required to use these guidelines for loan modifications going
forward.
Eligibility Requirements—The loan must have originated on or
prior to January 1, 2009. The mortgage must be a first lien on an
owner-occupied property with an unpaid balance up to $729,750.305
There is no maximum or minimum loan-to-value (LTV) requirement to participate in HAMP. Borrowers in bankruptcy or in active
litigation regarding their mortgage can participate in the program
without waiving their legal rights.
Incentives—There are a number of incentives aimed at both encouraging participation of borrowers, servicers, and investors and
at maintaining a focus on successful results. First, servicers receive
an up-front fee of $1,000 for each completed modification. Second,
servicers receive ‘‘Pay-for-Success’’ fees of up to $1,000 each year
304 FSA loan servicing officials provided the Panel with loan loss rate statistics through a data
request to their internal loan tracking system. The data is accurate as of June 30, 2009.
305 The unpaid balance ceiling increases in relation to number of units on the property (2
units—$934,200; 3 units—$1,129,250; 4 units—$1,403,400).

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for up to three years. These fees will be paid monthly and are
predicated on the borrower staying current on the loan. Borrowers
are eligible for ‘‘Pay-for-Performance Success Payments’’ of up to
$1,000 each year for up to five years, as long as they stay current
on their payment. This payment is applied directly to the principal
of their mortgage. The ‘‘Responsible Modification Incentive Payment’’ is a one-time bonus payment of $1,500 to the lender/investor
and $500 to servicers that will be awarded for modifications made
while a borrower is still current on payments. Finally, Treasury estimates that up to 50 percent of at-risk mortgages have second
liens.306 In order to address second lien debts, such as home equity
lines of credit or second mortgages, HAMP encourages servicers to
contact second lien holders and negotiate the extinguishment of the
second lien. The servicers will receive a payment of $500 per second lien modification, as well as success payments of $250 per year
for three years, as long as the modified first loan remains current.
Debt Ratios—The front end debt-to-income (DTI) target is 31 percent. The lender will first have to reduce the borrower’s mortgage
payments to no greater than a 38 percent front end DTI ratio.
Treasury will then match the investor/lender dollar-for-dollar in
any further reductions, down to a 31 percent front end DTI ratio
for the borrower. Treasury has established a two percent floor
below which it will not subsidize interest rates. Lenders and
servicers could reduce principal rather than interest and would receive the same funds available for an interest rate reduction.
Servicers must follow a strict step-by-step standardized formula
known as the ‘‘Standard Waterfall’’ to achieve the 31 percent frontend DTI ratio.307
Counseling—If the borrower has a back-end DTI ratio of 55 percent or more, he or she must enter a debt counseling program.
Cost assessment of foreclosure versus modification—A Net
Present Value (NPV) test is required for each loan that is in ‘‘Imminent Default’’ or is at least 60 days delinquent. First, servicers
should determine the NPV of the proceeds from the liquidation and
sale of a mortgaged property. Variables to take into account are:
1. The current market value of the property as established
by a broker’s price opinion, automated valuation methodology,
or appraisal;
2. The cost of foreclosure proceedings, repair and maintenance of the property;
306 U.S. Department of the Treasury, Making Home Affordable: Program Update (Apr. 28,
2009) (online at www.financialstability.gov/docs/042809SecondLienFactSheet.pdf).
307 Step 1a: Request Monthly Gross Income of borrower. Step 1b: Validate first lien debt and
monthly payments. This information is used to calculate a provisional modification for the trial
period. Step 2: Capitalize arrearage. Step 3: Target front end DTI of 31 percent and follow steps
4,5,6 in order to reduce borrower’s monthly payment. Step 4: Reduce the interest rate to achieve
target (two percent floor). The guidelines specify reductions in increments of 0.125 percent that
should bring the monthly payments as close to the target without going below 31 percent. If
the modified interest rate is above the Interest Rate Cap as defined by Treasury, then the modified interest rate will remain in effect for the remainder of the loan. If the modified interest
rate is below the Interest Rate Cap, it will remain in effect for five years followed by annual
increases of 1 percent until the interest rate reaches the Interest Rate Cap. The modified interest rate will then be in effect for the remainder of the loan. Step 5: If the Front end DTI target
has not been reached, the term or the amortization of the loan may be extended up to 40 years.
Step 6: If the Front end DTI target has still not been reached, it is recommended that the
servicer forbear principal. If there is principle forbearance then a balloon payment of that
amount is due upon the maturity of the loan, the sale of the property, or the payoff of the interest bearing balance.

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3. The time to dispose of the property if not sold at foreclosure auction;
4. Costs associated with the marketing and sale of the property as real estate owned; and
5. The net sales proceeds.308
Second, servicers should determine the proceeds from a loan
modification. Treasury has established parameters for running the
NPV for modification test.309 The NPV of the foreclosure scenario
is then compared to an NPV for a modification scenario. If the NPV
of the modification scenario is greater, then the servicer must modify the loan.
Home Price Depreciation Payments—Lender compensation will be
provided to partially offset losses from home price declines. The
payment is linked to declines in the home price index. The Administration, working with the FDIC, will provide up to $10 billion for
this program. The goal is to discourage servicers and lenders from
pursuing foreclosure at the present due to weakening home prices.
Monitoring—Servicers are required to maintain records for
verification/compliance reviews. All borrowers must fully document
income, including a signed IRS 4506–T form, their two most recent
pay stubs, and their most recent tax return. In addition, borrowers
must also sign an affidavit of financial hardship. Property owner
occupancy status will be verified through a borrower credit report
and other documentation; no investor-owned, vacant, or condemned
properties are eligible.
3. ISSUES RAISED BY RESTRUCTURING MODELS

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The Helping Families Save Their Homes Act directed the Panel
to produce a special report on farm loan restructuring. As part of
the report, the Panel was asked to examine ‘‘any programs for direct loan restructuring or modification carried out by the Farm
Service Agency of the Department of Agriculture, the Farm Credit
System, and the Making Home Affordable Program of the Department of the Treasury.’’
The Panel’s analysis of each of the three restructuring models
first considers key factors that differentiate the lenders, the type
of loans they offer, and the type of borrowers that they serve from
the commercial bank farm credit market that would be affected by
a potential TARP-based loan restructuring requirement. The analysis then proceeds to a discussion of the restructuring models
themselves, issues raised by each model’s inherent structure and
operation, and possible challenges that could shape the effectiveness of the model should it be applied to commercial bank farm
loans.
One general issue to consider when analyzing the applicability of
any of the three models to the commercial bank farm credit market
308 Jordan D. Dorchuck. Net Present Value Analysis and Loan Modifications, Mortgage Bankers Association (Sept. 15, 2008) (online at www.mortgagebankers.org/files/Conferences/2008/
RegulatoryComplianceConference08/RC08SEPT24ServicingJordanDorchuck.pdf).
309 The servicer may choose the discount rate for the calculation, although there is a ceiling
set by the Freddie Mac Primary Mortgage Survey rate (PMMS), plus a spread of 2.5 percentage
points. The servicer may apply different discount rates to loans in investor pools versus loans
in portfolio. Cure rates and redefault rates must be based on GSE analytics. Servicers having
at least a $40 billion servicing book have the option to substitute GSE established cure rates
and redefault rates with the experience of their own aggregate portfolios.

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is the presence or lack thereof of junior liens. As evidenced by the
residential mortgage market, junior liens can significantly complicate the restructuring process, because the junior lien holder has
little incentive to extinguish the lien, but a primary mortgage cannot be restructured without such consent.310 While it is not uncommon for farmers to have multiple lines of credit, not all farm loans
are secured by real estate, and data are not available regarding the
prevalence of second liens on farms. However, it should be noted
that the extent to which second liens are present could ease or
complicate the application of any of the loan restructuring models.
Finally, while within each model it is clearly paramount to compare the cost of loan restructuring with the cost of foreclosure to
come to a rational decision on the direction in which to proceed, in
comparing the restructuring models to each other, it can be expected that the cost of foreclosure in each case would be virtually
the same. Therefore, it is important to consider the resources that
restructuring loans through each of these processes would consume
relative to each model’s potential benefits. Data are not available
on the relative value for the lender of farm loan restructuring compared to farm foreclosures, though bank and FCS witnesses at the
Panel’s field hearing indicated that they can often get better value
via a loan restructuring than by prosecuting a foreclosure.311

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a. FSA
Any attempt to transfer FSA’s loan restructuring model to a
wider group of borrowers must first keep in mind the unique nature of FSA and of those who utilize its loan products. First, given
that FSA is the lender-of-last-resort for the agriculture sector, FSA
borrowers are necessarily less creditworthy than borrowers at commercial banks and FCS (perhaps increasing the likelihood that
foreclosure would be a rational option for FSA loans, but above all
making FSA loans and borrowers distinct from those of other farm
lenders). FSA, therefore, as a specialized institution, has programs
designed specifically to meet the needs of the type of farmers that
it serves, and the fact that FSA holds a small slice of overall farm
debt—less than 2.5 percent—means that its model has never been
attempted on a larger, sector-wide scale. The dollar amounts confronted by FSA in modifying loans are also a key difference between FSA and other lenders, as FSA loans must fall below statutory limits.
310 As noted in the Panel’s March report, Foreclosure Crisis: Working Toward a Solution,
‘‘Junior mortgages pose a significant obstacle to restructurings of first mortgages because of junior mortgagees’ ability to free ride on modifications and hold up refinancings. Any modification
that reduces payments on the first mortgage benefits the junior mortgagee because the modification frees up income that is available to service the junior mortgage. Because of this free riding
problem, first mortgagees may be reluctant to engage in modifications.’’
It goes on to note ‘‘Junior mortgagees are able to stymie refinancings of first mortgages. Unless the junior mortgagee’s consent is gained, the junior mortgage gains priority over the
refinancer. As a result, refinancing is extremely difficult unless the junior mortgagee agrees to
remain subordinated, and junior mortgagees often seek a payment for this. The problem is particularly acute with totally underwater junior mortgages, who only have hold-up value in their
mortgage.’’ Congressional Oversight Panel, Foreclosure Crisis: Working Toward a Solution, at
50 (Mar. 6, 2009) (online at cop.senate.gov/documents/cop-030609-report.pdf) (hereinafter ‘‘March
COP Report’’).
311 See Congressional Oversight Panel, COP Field Hearing in Greeley, CO, on Farm Credit
(July 7, 2009) (audio available online at cop.senate.gov/hearings/library/hearing-070709farmcredit.cfm).

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Of the various models examined in the previous section, restructuring based on FSA direct loan model would clearly be the most
involved. The onus of taking action for a restructuring under this
program falls on FSA, rather than the borrower. FSA is not only
required by statute to notify the borrower of a potential default,
but it is also required to lay out and present all of the options for
restructuring a loan to the borrower. Under the FSA loan guarantee model, the lender must notify the borrower of a potential default; however, it is the borrower who must present the various options for restructuring to the lender. Representatives from FSA estimated that for each direct loan that FSA restructures, it spends
about 40 hours of staff time processing and completing that restructuring.312 However, FSA currently uses a streamlined substitute process for loans that will be modified via reamortization or
a deferral as opposed to an interest rate or principal reduction.313
This process takes approximately 10 hours.
The time and individual attention that each loan receives, consequently, as well as USDA’s knowledge of the agriculture sector
that FSA brings to the process, is paramount to ensuring that the
borrowers whose loans are modified do not become delinquent once
again (FSA discussed the low re-default rate of modified FSA loans
in its testimony at the Panel’s Greeley, CO, field hearing).314 This
approach is only possible because roughly half of FSA’s mortgage
modification administrative costs are paid for through direct appropriation (rather than a self-funding mechanism).315
The involved nature of the process, as well as the specialized
knowledge of the USDA farm loan officers who carry out the responsibilities of the restructuring process, offer a unique benefit to
the FSA model. However, that involved process and specialized
knowledge also make the process more difficult to replicate. Moreover, fundamental differences between FSA loans and borrowers
and commercial loans and borrowers—and the share of farm debt
held by FSA versus commercial banks—call into question the ease
with which the FSA model could be applied.

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b. Farm Credit System
The FCS holds a significantly larger share of total farm debt
than FSA (indeed, a comparable amount to commercial banks), per312 These time estimates were provided to Panel staff by staff of the FSA, and the estimates
are based on a Delphi study undertaken by the FSA in 2000 in an effort to determine staffing
needs. In conducting the study, the FSA sampled county offices in regions across the country
to estimate the amount of time required to complete different tasks, including loan restructuring.
313 The regulations that guide the implementation of the FSA’s loan restructuring program require that reamortization, rescheduling, and consolidation be considered prior to a deferral, and
that all of these options be considered prior to moving to the more labor-intensive process of
considering interest rate reduction or principal write down. See U.S. Department of Agriculture,
Farm Service Agency, FSA Handbook: Direct Loan Servicing—Special and Inventory Property
Management, at 4–51 and 4–71 (Dec. 31, 2007) (online at www.fsa.usda.gov/Internet/FSAlFile/
5lflplr00la06.pdf).
314 See Congressional Oversight Panel, Testimony of Acting State Executive Director for Colorado, Farm Service Agency, Gary Wall, COP Field Hearing in Greeley, CO, on Farm Credit (July
7, 2009) (audio available online at cop.senate.gov/hearings/library/hearing-070709farmcredit.cfm) (‘‘After the loan is restructured, there are not a lot of accounts that go delinquent again because it is based on cash flow and history. We look at the history of that operation to determine what the history has been over the past and their yields and their income
and their expenses. So after you work through those numbers and get it down to debt, defer,
or whatever, they seem to continue on after you do it’’).
315 See Omnibus Appropriations Act of 2009, Pub. L. No. 111–8, Title I.

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haps increasing the likelihood that its loan modification program
could serve as a reasonable model for banks. However, there are
several key aspects of the FCS model—and FCS itself—that could
complicate the model’s implementation at commercial banks.
The most important distinguishing factor for FCS is a general
one: the FCS has a specific mandate to lend to farmers and those
in rural America. Further, it is a relatively cohesive entity—5 funding banks and 90 associations that make loans, and it is owned by
the members who utilize the cooperatives. On the other hand, farm
loans are a small portion of total loans and leases at the vast majority of commercial banks.316 Consequently—as with FSA—when
FCS modifies farm loans, it is doing so with a unique knowledge
of the farm industry and its ebbs and flows, and the detailed list
of items that FCS institutions must take into account when evaluating borrowers’ proposals to modify their loans (to determine if the
NPV of modifying the loan exceeds the NPV of foreclosure) requires
knowledge of the peculiarities of the industry.
Further, the unique nature of the Credit Review Committee—to
which borrowers may appeal if their proposal to restructure their
loan is rejected by their FCS institution—including the requirement that a farmer-elected board member serve on the review committee, could complicate the application of the FCS model to commercial banks.

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c. Making home affordable
There are a number of issues raised by the Home Affordable
Modification Program that must be considered in analyzing the potential applicability of this loan restructuring model to distressed
farm loans.
While both the HAMP loan modification program and any potential TARP-based loan modification for farm loans would be carried
out by commercial banks, there are several critical differences between the residential mortgage sector and farm credit markets that
deserve mention. First and foremost, problems in the housing sector—though particularly acute in some regions as opposed to others—are deep and pervasive, with sharply declining property values combining with high levels of exotic, adjustable-rate and
subprime mortgages to wreak havoc on homeowners across America. Conversely, current or future stresses in the agriculture sector
can be expected to be scattered and the result of challenges unique
to specific regions, sectors, or, indeed, individual borrowers. Further, the farm sector did not see widespread use of the type of nontraditional loan products that amplified the crisis in the housing
sector, nor did securitization—and the accompanying failure of
some banks to maintain appropriate underwriting standards that
so often resulted—ever take root to any great extent in the farm
sector.
Considering the severe nature of the challenges in the housing
sector, the HAMP loan modification program was, therefore, created with the goal of reaching a large number of homeowners, and
the program’s guidelines for mortgage services are standardized so
316 Farm loans (real estate and non-real estate) make up less than 2 percent of total loans
and leases in the U.S. banking system. See FDIC First Quarter Call Report Data, supra note
149.

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as to facilitate widespread implementation of the program. However, FSA and FCS officials, commercial banking groups, and representatives of the farm sector have all stressed that modifying
farm loans is an inherently nuanced and labor-intensive process,
not suited to rigid models. Unlike residential mortgage modifications, which examine more straightforward items such as debts, income, and asset value, farm loan restructurings must also examine
business plans, cash flows, and market conditions. Therefore, the
feasibility of providing standardized guidelines for modifying farm
loans that would be effective industry-wide—or the necessity of
doing so on anything near the scale of the HAMP—would need to
be considered. This is particularly true given that farm loans do
not merely cover a farmer’s home (if it is on his farm property) but
are effectively business loans as well, and the ability of a farmer
to repay is dependent on the idiosyncrasies of farm markets, volatile commodity prices, the farmer’s business plan and, ultimately,
cash flow. Because of this additional complexity, scrutiny would
need to be given to how the tools, mechanisms, and procedures for
dealing with distressed home loans through the HAMP could also
be modified before attempting to apply the model to farm loans.
In considering the impact of various loan restructuring models,
policymakers should also consider the differing implications of
whether a loan is more likely to be securitized or held on a bank’s
books. While over two-thirds of residential mortgages originated
since 2001 are securitized,317 the percentage of farm loans
securitized and sold into the secondary market remains quite low.
This difference is important because lenders have different incentives to modify loans they hold in portfolio (and thus for which the
lender would still hold all the risk) as compared to loans they
merely service. It can also be easier to restructure portfolio loans,
because for securitized loans there are competing interests within
segments of MBS owners, adding another layer of complexity.318
This complexity can also impede foreclosure mitigation efforts, and
it has been found that the foreclosure rate for securitized loans is
higher than the rate for loans held on banks’ balance sheets.319
While the fact that farm loans are generally not securitized could
work to make it easier to implement a farm loan restructuring program, in considering the usefulness of HAMP as a model, it important to keep in mind that HAMP was designed to be used principally in the highly securitized residential mortgage market, and
thus includes incentives to overcome barriers that may not exist in
the farm sector.
Additional considerations when contemplating applying the
HAMP model to troubled farm loans are the effectiveness of the
HAMP model itself in reducing preventable foreclosures and the incentive system that guides HAMP’s implementation. With regard
to the former, since HAMP is still in its early stages, its record is
incomplete to assess its success fully (and thus incomplete to determine whether this would be an appropriate model to apply). While
317 March

COP Report, supra note 310, at 40.
COP Report, supra note 310, at 46.
Piskorski et al., Securitization and Distressed Loan Renegotiation: Evidence from
the Subprime Mortgage Crisis, University of Chicago Booth School of Business Working Paper,
at 3 (Dec. 2008) (No. 09–02) (online at papers.ssrn.com/abstract=1321646) (finding a 19–33 percent decrease in the relative mean foreclosure rate among portfolio loans).
318 March

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319 Tomasz

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Treasury has reported contacting numerous borrowers and extending modification offers,320 it also acknowledges problems.321
Finally, it should be noted that HAMP is an incentive based system, providing payments for various participants, and not requiring those banks that received TARP dollars prior to its implementation to participate in the program. In total, $75 billion has been
set aside for incentive payments. It is unclear what level of subsidization would be required for farm restructuring incentives. Nevertheless, it should be noted that, in the HAMP model, when compared with the others, the administrative costs are borne more directly by taxpayers.
4. GENERAL ISSUES FOR POLICYMAKERS TO CONSIDER

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a. Need
In assessing the state of the farm credit markets and considering
the use of loan restructuring as an alternative to foreclosure by
TARP recipients, policymakers must first determine whether there
is a need. To make such a determination, the Panel’s analysis examined a number of factors including: the demand for and availability of credit in the agriculture sector, charge-offs and delinquencies of agricultural loans, values of farm real estate and bank
holdings of farmland, debt-to-asset ratios of farmers, and farm income and profitability.
At the Panel’s July 7th field hearing in Greeley, CO, Michael
Scuse, Deputy Undersecretary of USDA’s Farm and Foreign Agricultural Services (FFAS), noted the following:
Reports from the Federal Reserve and other sources indicate there is a tightening of credit for farmers and
ranchers around the country. A combination of limited or
negative returns in much of the livestock industry, reduced
profit margins in crop production, and increased sensitivity
to credit risk has caused many farm lenders to raise their
credit standards, reduce the amount they are willing to
lend in agriculture, or both. Many lenders report that increased scrutiny from regulators has caused them to raise
credit standards significantly. Activity in FSA’s farm loan
programs certainly indicates that less commercial credit is
available to farmers at the present time.322
While Federal Reserve data may indicate some tightening of
credit in agricultural lending, the data are mixed, and the actual
320 Congressional Oversight Panel, Testimony of Assistant Treasury Secretary for Financial
Stability Herbert Allison, Jr., Hearing with Assistant Treasury Secretary Herbert Allison (June
24, 2009) (online at cop.senate.gov/hearings/library/hearing—062409—allison.cfm) (‘‘We have
now over 200,000 offers for modifications out there’’). See also U.S. Department of the Treasury,
Making Home Affordable Progress Report (May 14, 2009) (online at http://www.ustreas.gov/
press/releases/docs/05142009ProgressReport.pdf) (‘‘The 14 participating servicers have . . .
mailed out over 300,000 letters with information about trial modifications to borrowers’’).
321 Congressional Oversight Panel, Testimony of Assistant Treasury Secretary for Financial
Stability Herbert Allison, Jr., Hearing with Assistant Treasury Secretary Herbert Allison (June
24, 2009) (online at cop.senate.gov/hearings/library/hearingl062409lallison.cfm) (In reply to
Mr. Neiman’s assertion that the HAMP program was plagued by confusion and delays, Assistant
Secretary Allison replied: ‘‘We certainly are concerned . . . I think we need to keep in mind that
this is a massive program of a size never before attempted.’’) (In reply to questions regarding
fraud-prevention policies, Secretary Allison stated: ‘‘we’re doing our best with a system that
wasn’t designed for this type of a crisis and trying to make the best of it as it exists.’’).
322 Scuse Testimony, supra note 64.

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availability of credit in the months ahead remains unclear. Five of
the six Federal Reserve district first quarter agricultural lending
surveys show that approximately 70 percent of banks reported either the same or higher demand for farm operating loans as compared to a year earlier. However, in one district (Richmond) 48 percent of its bank respondents said demand for such loans was lower
compared to a year ago.323 Three district surveys (Chicago, Richmond, and Dallas) show 80 percent, 60 percent, and 61 percent of
banks expecting the same or higher volume of real estate loans in
the next quarter as compared to a year earlier.324 However, four
districts also reported a rise in the percentage of banks referring
loan applicants to non-bank agencies (for example, FSA) as compared to a year earlier.325 Overall, the survey results are mixed,
and this is an area that merits further monitoring.
Deputy Undersecretary Scuse’s testimony before the Panel also
highlights the increased demand for FSA’s direct and guaranteed
operating loan programs. Of particular note, ‘‘45 percent of the direct operating loans approved in FY2009 were for customers who
did not have existing FSA operating loans,’’ which according to Secretary Scuse is normally ‘‘about 20 percent.’’ 326 There are a number of factors that could explain the increase in demand in addition
to a tightening of credit in the commercial credit markets. The increase could also be due in part to recent expansions in the FSA
direct operating loan program itself. The program received an additional $173 million in authority under the American Recovery and
Reinvestment Act signed into law earlier this year. Moreover, the
2008 Farm Bill raised the lending limit for FSA direct loans from
$200,000 to $300,000.327
Federal Reserve data on commercial bank delinquencies and
charge-offs on loans to finance agricultural production show a
steady uptick in each of the last four quarters. The delinquency
rates on agricultural loans (seasonally adjusted) were 1.06 percent
in the first quarter of 2008; 1.11 percent in the second quarter of
2008; 1.23 percent in the third quarter of 2008; 1.43 percent in the
fourth quarter of 2008; and 1.71 percent in the first quarter of
2009. Charge-off rates for agricultural loans (seasonally adjusted)
were .08 percent in the first quarter of 2008; .16 percent for the
second quarter of 2008; .18 percent in the third quarter of 2008;
.28 percent in the fourth quarter of 2008; and .42 percent in the
first quarter of 2009.328 Despite a steady increase, commercial
bank delinquency rates and charge-offs put into the context of the
last 20–25 years are still quite low. Commercial bank delinquency
rates (seasonally adjusted) peaked at 9.08 percent in the first quarter of 1987, and have not risen above 2 percent since the fourth
quarter of 2003. Commercial bank charge-off rates (seasonally adjusted) peaked at 5.23 percent in the fourth quarter of 1985, but
323 Second

Quarter Fed Databook, supra note 2, Table C.1.
Quarter Fed Databook, supra note 2, Table C.1.
Quarter Fed Databook, supra note 2, Table C.1.
326 Second Quarter Fed Databook, supra note 2, Table C.1.
327 Food, Conservation, and Energy Act of 2008, Pub. L. No. 110–246 (codified at 7 U.S.C.
§ 1925 (a)).
328 See Board of Governors of the Federal Reserve System, Federal Reserve Statistical Release:
Charge-Offs and Delinquency Rates on Loans and Leases at Commercial Banks (online at
www.federalreserve.gov/releases/chargeoff/chgallsa.htm).
324 Second

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325 Second

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have only once topped 1 percent (1.03 percent in the third quarter
of 2001) since the second quarter of 1988.329
Of concern to the Panel is the increase in the value of commercial bank holdings of farmland, which may indicate an increase in
farm loan foreclosures. The value of farmland in bank possession
more than doubled last year, increasing from $60.7 million in the
first quarter of 2008 to $122.4 million in the first quarter of 2009.
While the average value per acre of farmland in the U.S. reached
a record high of $2,170 per acre in 2008 (an increase of 7.96 percent from 2007), the overall increase in farmland value alone cannot explain the increase in the value of farmland held by banks.
The current value of farmland held in bank possession is still well
below the level reached in 1992 (when it exceeded $424 million),
however, the increase in the first quarter of 2009 is significant and
merits careful observation by Congress.
Finally, on a more positive note, the Panel notes that the national debt-to-asset ratio for farmers is at a historically low level,
and that the average U.S. farm operator household income, which
has surpassed overall average U.S. household income every year
since 1996, appears strong. However, the Panel also notes the increasing reliance of farmers on non-farm sources of income, which
in 2009 is expected to exceed 95 percent for the first time in history.330 While it is unclear how this increasing reliance on nonfarm sources of income will affect farmers’ future ability to pay off
their agricultural loans, this is an area that also bears watching.
As stated earlier, the rising dependence on off-farm income could
make small farms increasingly vulnerable to outside economic conditions.
In determining the immediate need for a restructuring mandate
of agricultural loans by TARP recipients, the Panel’s analysis is inconclusive. Several factors such as generally low delinquency and
charge-off rates, a historically low farmer debt-to-asset ratio, and
record U.S. farm operating income levels suggest that an agricultural restructuring requirement may be premature. However, other
factors such as a possible tightening of the farm credit markets, an
uptick in the delinquency and charge-off rates, an increase in the
value of commercial bank holdings of farmland, and a growing reliance of farmers on non-farm sources of income remain areas of concern for the Panel and deserve further monitoring. If trends in
these areas continue, the need for a restructuring mandate may be
clearer.
b. Other options for farmers
Congress has other tools available that may provide indirect relief for distressed farm loans. Most troubled loan situations arise
from insufficient repayment capacity. Therefore, other programs
providing assistance to farmers have the potential to ease a distressed loan situation.
Congress has established a variety of programs to assist struggling farmers, whether they specialize in some type of commodity
crop or livestock production. This assistance is provided through a

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329 Id.
330 U.S. Department of Agriculture, The 2008/2009 World Economic Crisis: What It Means for
U.S. Agriculture (Mar. 2009) (online at www.ers.usda.gov/Publications/WRS0902/WRS0902.pfd).

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wide array of government initiatives, including fixed direct payments, counter cyclical payments, marketing loan benefits, conservation grants, emergency relief, and income loss contract payments. According to USDA, 40 percent of farms received government payments in 2007, averaging $9,792 per operation.331 The
current recession has, however, affected all sectors of the economy,
including agriculture. Net farm income and farmer net cash income, which reached record levels in 2008, are expected to decline
dramatically in 2009.332 It is noteworthy that government assistance through direct payments is also expected to decline in 2009.333
Direct government payments are forecast at $11.4 billion in 2009
(comprising over 16 percent of total net farm income expected for
2009), which is down about 8 percent from $12.4 billion in 2008,
and well below the record of $24.4 billion in 2005.334 The decline
can be explained in large part due to a $2.4 billion decrease in
emergency disaster assistance expected for 2009. Emergency disaster assistance is projected to be only $0.26 billion in 2009.335
While the 2008 Farm Bill created a permanent fund for disaster assistance, many agricultural producers will not receive payments
until 2010.336
Other payments are projected to increase. The lower market
prices forecast for 2009 are expected to generate moderate increases in payments under two major price contingent programs,
counter-cyclical payments (CPP) and marketing loan benefits.
As mentioned earlier in the report, dairy has been the hardest
hit of all farm sectors. There are two federal programs that assist
dairy farmers by providing price supports for dairy products: the
Milk Income Loss Contract Program (MILC) and the Dairy Product
Price Support Program (DPPSP). Payments under both programs
have already been triggered. Under the DPPSP, the Commodity
Credit Corporation (CCC) purchases surpluses of nonfat dry milk,
cheese, and butter from dairy processors. CCC expects to remove
234 million pounds of dry nonfat dry milk this year; it removed 111
million pounds of nonfat dry milk in 2008.337 In addition, in February of this year, USDA started making payments to participating
dairy farmers under MILC, another federally sponsored price support system. Federal MILC payments are expected to amount to
$700 million in 2009.338
In testimony before the Panel, Les Hardesty, Chairman of the
Dairy Farmers of America Mountain Area Council, suggested that
dairy farmers might best be helped through the Commodity Credit
Corporation (CCC). Mr. Hardesty testified that ‘‘if TARP funding
was used temporarily to increase the CCC [Commodity Credit Cor331 U.S. Department of Agriculture, Economic Research Service, Farm Income and Costs: 2009
Farm
Sector
Income
Forecast
(online
at
www.ers.usda.gov/Briefing/FarmIncome/
nationalestimates.htm) (accessed July 20, 2009).
332 Id.
333 Id.
334 Id.
335 Id.
336 Public Law No. 110–246.
337 U.S. Department of Agriculture, Economic Research Service, Livestock, Dairy, and Poultry
Outlook (January 2009) (See online at: http://www.ers.usda.gov/publications/ldp/2009/06Jun/
ldpm180.pdf).
338 U.S. Department of Agriculture, Economic Research Service, Farm Income and Costs: 2009
Farm Sector Income Forecast (See online at: http://www.ers.usda.gov/Briefing/FarmIncome/
nationalestimates.htm).

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poration] purchase price for cheese and nonfat dry milk, all of those
products could go back immediately into food assistance programs.’’ 339
Crop growers also have various options for assistance. Crop insurance policies cover many major crops in most areas of the country. In total, crop insurance is available for more than 100 crops.
Four major crops—corn, cotton, soybeans, and wheat—account for
more than two-thirds of sectors covered by crop insurance.340 Certain livestock and dairy producers are also covered under various
pilot programs designed to protect producers from loss of gross
margin or price declines. Another potential avenue of assistance for
crop farmers is the Average Crop Revenue Election (ACRE) program, which was created in the 2008 Farm Bill. According to the
Food and Policy Research Institute, ‘‘ACRE is a voluntary program
that makes payments to producers when state per acre revenues
for a particular commodity fall below a trigger tied to a moving average of national prices and state level yields.’’ The FPRI predicts
that ‘‘ACRE is likely to be attractive to grain and oilseed producers,
providing more payments on average than the traditional payments
that program participants must agree to forgo.’’ 341
While these options incur a cost for taxpayers, some loan restructuring models, such as the housing foreclosure mitigation program,
also require taxpayer funding. These programs provide Congress
with possible alternatives, but could allow more specific targeting,
thereby matching assistance to the sectors and areas of greatest
need.
c. Effect on TARP participation
Congress must also consider the possible effect on TARP, and
what changing the rules could mean for both current and future
participants of either TARP or any other federal effort to address
the financial crisis. In its July oversight report on TARP repayments, the Panel noted that a ‘‘motivation for prompt repayment
of TARP investments has to do with the specific rules or conditions
to which TARP recipients are subject.’’ 342 ‘‘Changing of rules’’ was
a concern specifically addressed in a memo dated March 30, 2009,
from the American Bankers Association to Members of Congress
regarding legislation that would have further restricted compensation of employees at TARP recipient banks.
Beyond this unfairness to these institutions and bank
employees, there is a much broader concern about how
banks can be involved with the government in stimulating
the economy when the rules keep changing. The intention
of the CPP [Capital Purchase Program] was to stimulate
new lending and to provide healthy, well-run banks with
capital to weather the economic storm. The changes proposed send the opposite message. They signal to any
strong, viable bank that any involvement by the govern339 Hardesty

Testimony, supra note 65.
Research Services, Federal Crop Insurance: Background and Issue (April 17,
2009) (See online at: http://www.nationalaglawcenter.org/assets/crs/R40532.pdf).
341 Food and Policy Research Institute (FPRI) 2009 U.S. and World Agricultural Outlook,
(January 2009).
342 Congressional Oversight Panel, July Oversight Report: TARP Repayments, Including the
Repurchases of Stock Warrants (July 2009).

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340 Congressional

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ment in the business of private enterprise brings with it
significant risk and costs, not the least of which is the unilateral changing of rules at any time.343
In its May report, the Panel noted that investors had questions
as to whether or not investors of the Term Asset-Backed Securities
Loan Facility (TALF) would be subject to conditions placed on participants in the TARP generally.344 In fact, the prime reason cited
for modest participation in TALF was uncertainty regarding the
political risks of participation. TALF participants desired clear and
unambiguous statements from both executive and congressional officials. In an April 18th speech, William Dudley, President of the
Federal Reserve Bank of New York, said the following: ‘‘the effectiveness of some of the Fed facilities have been undercut by stigma
. . . or by worries about what other strings are or might be attached to the use of the facilities . . .’’
One reason why the TALF has gotten off to a relatively
slow start is the reluctance of investors to participate . . .
Some investors are apparently reluctant not because the
economics of the program are unattractive, but because of
worries about what participation might lead to. The TARP
loans to banks led to intense scrutiny of bank compensation practices given that TALF loans are ultimately secured by TARP funds, investor anxiety about using the
program has risen.345
Unlike FSA and FCS, a TARP recipient bank could choose to
avoid a loan restructuring mandate by repaying its loan and
exiting the TARP program. Other banks could choose to avoid a
TARP recipient bank restructuring mandate by declining to participate in TARP in the first place. Yet, Treasury has made repeated
efforts to improve participation. On May 13, Treasury tried to bolster the participation of smaller community banks by extending
their application deadline for the Capital Purchase Program by another six months.346 Later that month, Treasury also tried to encourage all financial institutions in need of further capital from
Treasury to seek such capital by extending the application deadline
for the Capital Assistance Program by another six months as
well.347 However, Congress must consider whether conditionality
would run counter to Treasury’s objective by impacting participation in these and other TARP-related programs. Ultimately, Congress will have to weigh the potential cost of creating a mandate
343 See Memorandum from Floyd Stoner, American Bankers Associations to Members of the
House of Representatives (March 30, 2009) (online at www.aba.com/NR/rdonlyres/76DCD307–
2D7E–48A6–A10F–623175F0AEAD/59034/ExecComplABAHouseLetterl033009.pdf).
344 Congressional Oversight Panel, May Oversight Report, Reviving Lending to Small Businesses and Families and the Impact of TALF (May 2009).
345 See Federal Reserve Bank of New York, Prepared Remarks by William C. Dudley, President
and Chief Executive Officer, at Vanderbilt University: The Federal Reserve’s Liquidity Facilities
(Apr. 18 2009) (online at www.newyorkfed.org/newsevents/speeches/2009/dud090418.html) (characterizing fears expressed by some investors that participation in TALF may lead to increased
regulation of investor practices as ‘‘misplaced’’ but ‘‘understand[able] . . . given the political discourse’’ and the ‘‘intense scrutiny of bank compensation practices’’ that arose from TARP investments in financial institutions).
346 U.S. Department of the Treasury, Frequently Asked Questions Regarding the Capital Purchase
Program
for
Small
Banks
(online
at
www.financialstability.gov/docs/CPP/
FAQonCPPforsmallbanks.pdf) (accessed July 17, 2009).
347 U.S. Department of the Treasury, FAQs on Capital Purchase Program Repayment and
Capital Assistance Program (online at www.financialstability.gov/docs/FAQlCPP-CAP.pdf)
(accessed July 17, 2009).

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against the potential benefits of an agricultural loan restructuring
requirement.
d. Effect on farm credit availability
Policymakers must also consider the potential impact of a restructuring mandate for TARP recipient banks on farm credit
availability. Commercial banks are for-profit businesses; therefore,
any mandate affecting their cost of doing business will likely have
some influence on their lending decisions. Unlike FSA and FCS,
commercial banks have no exclusive mandate to serve farm markets. Should banks perceive the cost of providing farm loans as too
high, they are free to shift their resources to other markets.
Lenders, particularly large lenders for whom agricultural lending
is a small piece of their portfolios, may simply exit the farm credit
market if the cost of doing business becomes too onerous. Yet,
while farm loans may be a small percentage of their portfolio, large
banks are an important source of farm loans, providing 36 percent
of commercial bank farm credit. The loss of a large lender could diminish farm credit availability.
When a commercial bank withdraws from the local farm credit
market, the results can be quite harsh, as demonstrated by New
Frontier Bank in Greeley, CO. The absence of this commercial
bank farm credit provider has left a dearth of farm credit. There
is not sufficient credit capacity with the remaining credit providers
to fill the void quickly or easily.
The three possible loan restructuring mandate models have differing approaches to administrative costs. The Making Home Affordable program offers numerous incentives, designed to help offset the administrative costs of a restructuring. By contrast, the
FSA and FCS models would leave the administrative costs with the
banks, possibly to be passed through to the borrowers.
e. Benefits to the taxpayer
Finally, Congress may also consider taxpayer fairness in determining the use of a loan restructuring requirement, and whether
TARP-recipient banks that lend to agriculture should have to conform to the practices of other federally subsidized agricultural lenders. FSA is a government agency and is directly subsidized by the
federal government. FCS is a quasi-government entity or GSE that
is also subsidized by the federal government, albeit to a lesser extent. Both are lenders of agricultural loans and both have a loan
restructuring requirement. Comparatively, a commercial bank that
is a recipient of billions of dollars in TARP funds is also subsidized
by the federal government. However, taxpayers, who are providing
the funding for TARP, do not enjoy the option of a loan restructuring requirement from TARP-recipient banks like they enjoy
from FSA and FCS.

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E. CONCLUSION
Unlike many other sectors, over the last few years farm lending
has featured positive signs, both for borrowers and lenders. The agriculture sector posted record profits and had historically low debt
to asset ratios. Farm loan delinquency rates were also at historic
lows. Even as farm news has been generally positive in recent

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years, the news has not been universally good. Some sectors, such
as dairy, have faced tough economic times brought on by high input
costs and low milk prices.
It now appears that some of the stresses in the rest of the economy may be catching up to the farm sector. While still within historic averages, recent quarters have revealed deeply worrisome
trends. Credit availability appears to be tightening, and demand
for loans from USDA, the lender of last resort, has increased notably. Lenders have reported a steady rise in loan delinquencies and
charge-offs. Of particular concern is the projection that farm income will fall by 20 percent this year and that farm families have
an increasing reliance on non-farm income.
Unfortunately, farm credit data are incomplete. While the available data reveal some troubling trends, the existing data make it
extremely difficult to predict the potential length and depth of
these trends with any certainty. Without definitive data, it is difficult to draw definitive conclusions or to make definitive recommendations at this time. Thus, the Panel’s first recommendation
is that all available data should be closely monitored going forward. It is critical to track the direction of these trends.
As noted in the Panel’s March report on residential mortgage
foreclosure mitigation, in order for Congress and regulators to respond properly and promptly to issues in the market, better information is needed. Congress should create a farm loan performance
reporting requirement to provide a source of comprehensive intelligence about loan performance, loss mitigation efforts and foreclosure. Banking regulators, USDA, and FCS could be required to
analyze these data and to make the data and their analysis public.
To the extent that lenders already report delinquency and foreclosure data to credit reporting bureaus, the additional cost of federal reporting would be quite modest, but the better information
could be very valuable both in identifying problems and in working
out policy responses.
It is possible that the current negative economic trends in agriculture may level out or even reverse. In its ten-year projection released in February 2009, USDA projected that net farm income
would decline in the near term from the high levels of 2007 and
2008, but remain historically strong and rebound to near record
levels by the end of the projections (2018).348 Like all projections,
however, this is based on critical long-term assumptions based on
a number of factors. If the situation in the farm sector improves,
Congress could determine that no action to mitigate farm loan foreclosures is necessary. On the other hand, it is possible that current
trends may continue or even worsen. If the situation deteriorates,
Congress has a range of possible responses:
One possibility, and the topic of this report, is a farm loan restructuring mandate for TARP recipient banks. Congress could impose a restructuring mandate on TARP banks, following the pattern of the obligations imposed on lenders by FSA, FCS, or the
Making Home Affordable program. Each model offers one possible
means to require restructuring, but would require some amount of
adaptation to fit the TARP recipient banks’ loan model.
348 USDA

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While it is an option, mandatory modifications might not be the
most effective policy choice because of the limited number of farm
loans held by TARP recipient banks. Commercial banks hold only
45.42 percent of overall farm debt. When considering real estate
debt, the form of debt most likely to be collateralized by real estate,
commercial banks hold an even smaller piece of total farm debt,
only 37.67 percent. Further, TARP recipient banks only hold 27.46
percent of the commercial bank portion of total farm real estate
bank loans or ten percent of all farm debt. Thus, a restructuring
mandate for TARP recipient banks would have limited reach. Over
time, TARP recipient banks are likely to play a diminishing role in
the farm credit arena as banks continue to return their TARP
funding to the government. Already, banks holding 2.54 percent of
total commercial farm bank debt have returned their TARP funding.349 With Wells Fargo, the nation’s largest agricultural lender,
seeking to return its TARP dollars at the ‘‘earliest practicable
date,’’ the share of farm loans held by TARP institutions is likely
to dwindle further.350
Congress and Treasury have other options within TARP to protect farm homes, just as they have embraced the principle of using
TARP to protect non-farm homes. They could apply this principle
in different ways. One possibility would be to devote some portion
of the remaining TARP funding to a farm mortgage foreclosure
mitigation program, patterned on the incentive-based program developed to protect homes, but focusing on bank participation that
extends beyond current TARP recipients. Unlike residential mortgage restructurings, farm loan restructurings must also consider
business plans, cash flows, and market factors. Therefore, the
model would need to be adapted to provide the necessary flexibility.
Another option for utilizing TARP money is to create a loan guarantee program for restructured farm loans. Both FCS and banks
have indicated that FSA’s loan guarantees are important to their
ability to restructure troubled farm loans, yet the demand for such
loans nearly always exceeds the supply. TARP could help ensure
that guarantees are available to help lenders conduct successful
restructurings.
If the farm sector continues to decline, Congress has options outside the TARP program. The U.S. government has a longstanding
commitment to farmers. This is embodied through the numerous
existing programs designed to assist the farm industry, many of
which are targeted toward different needs or sectors. If Congress
determines that the farm sector in part or in whole needs assistance, then such assistance could be delivered through existing programs. While having a potentially wider impact than a TARP bank
mandate, this alternative could also allow assistance to be narrowly targeted, such as to the struggling dairy industry.
While most people now live in cities rather than on a farm or
ranch and most people earn a living at an office rather than in the
fields, agriculture remains central to our nation. We rely on our na349 FDIC First Quarter Call Report Data, supra note 149; TARP Transactions Report, supra
note 156.
350 Tom Petruno, Wells Fargo Says It Will Hold on to TARP Money for Now (June 9, 2009)
(online at latimesblogs.latimes.com/moneylco/2009/06/wells-fargo-co-didnt-want-a-federal-capital-infusion-last-fall-but-got-one-anyway-now-despite-its-earlier-objection.html).

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tion’s farmers and ranchers to provide us with a steady, safe food
supply. Congress has a long history of acting to help maintain a
robust agriculture sector while also ensuring the survival of the
family farm. We offer this analysis of the current farm credit situation in that spirit.

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SECTION TWO: ADDITIONAL VIEWS
A. DAMON SILVERS
I wish to make the following additional points:
As is the case in housing, foreclosure is usually a mutually destructive option in farm lending. This was confirmed in our hearing
in Greeley, CO, by witnesses from the banking industry and the
Farm Credit System.
In other instances where federal money or guarantees are injected into the farm credit system, the Congress has required various forms of foreclosure mitigation policies to be adopted by lenders.
It is clearly the policy of the Treasury Department in administering TARP to seek to prevent home foreclosures, and properly
so, given the explicit mandate in the EESA to do so.
It should be the policy of the Treasury Department to administer
TARP in such a manner to encourage TARP recipient banks to pursue options other than foreclosure in dealing with troubled loans to
family farmers.
B. REP. JEB HENSARLING

AND

SENATOR JOHN E. SUNUNU

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Although we commend the Panel and its staff for their efforts in
producing the Special Report on Farm Loan Restructuring under a
tight time frame, we do not concur with all of the analysis and conclusions presented in the report.
We do agree with the Panel’s conclusion that agriculture is a
vital part of our nation’s economy. However, we think a retroactive
restructuring mandate would burden TARP recipients unduly and
amplify the overall risk of extending credit to borrowers, causing
adverse ripple effects to the farm industry it intends to assist.351
In addition, such action would send the wrong message to the private sector and enhance the uncertainty associated with participation in public sector programs. The tepid response to the TALF program and the protracted start-up period for the PPIP program are
attributable in part to the concern that private sector participants
may be subjected to burdensome rules and regulations on a retroactive basis. Private sector participants have taken a circumspect
and guarded approach to public sector programs, and the Panel’s
suggestion that Congress sanction a retroactive restructuring mandate for TARP recipients is clearly counterproductive.352
351 In this regard, we refer only to TARP recipients that have not repaid all amounts owed
to the United States government. It is our understanding that no member of the Panel advocates the imposition of any restructuring mandate on any TARP recipient that has repaid all
such amounts.
352 Many recipients have been stigmatized by their association with TARP and wish to leave
the program as soon as their regulators permit.µ Some of the adverse consequences that have
arisen for TARP recipients include, without limitation, executive compensation restrictions, corporate governance and conflict of interest issues, employee retention difficulties, and the distinct
possibility that TARP recipients (including those who have repaid all Capital Purchase Program
advances but have warrants outstanding to Treasury) may be subjected to future adverse rules
and regulations. In our opinion, the TARP program should be terminated due to, among other
reasons: (1) the clear desire of the American taxpayers for the TARP recipients to repay all
TARP related investments sooner rather than later; (2) the troublesome corporate governance
and regulatory conflict of interest issues raised by Treasury’s ownership of equity interests in
the TARP recipients; (3) the stigma associated with continued participation in the TARP program by the recipients; and (4) the demonstrated ability of the current Administration to use
Continued

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More significantly, we are troubled that the private sector must
now incorporate the concept of ‘‘political risk’’ into its due diligence
analysis before engaging in any transaction with the United States
government.353 While private sector participants are accustomed to
operating within a complex legal and regulatory environment,
many are unfamiliar with the emerging trend of public sector participants to bend or restructure rules and regulations so as to promote their economic, social, and political agenda. The realm of political risk is generally reserved for business transactions undertaken in developing countries and not interactions between private
sector participants and the United States government. Private sector participants are beginning to view interactions with the United
States government through the same jaundiced eye they are accustomed to directing toward third-world governments. It appears
somewhat ironic that the Panel champions transparency and accountability for the private sector but fails to note that retroactive
mandates are their public sector antithesis. How is it possible for
directors and managers of private sector enterprises to discharge
their fiduciary duties and responsibilities when policy makers legislate and regulate without respect for precedent and without
thoughtfully vetting the unintended consequences of their actions?
The business community is sorting through this sea change and
may appear intimidated by the Administration. The public sector
should not, however, view the reticence of the private sector to
challenge the Administration and Congress as acquiesce to their
policies. Time will tell, but the private sector has no doubt learned
much from the circuitous and unpredictable nature of the TARP,
TALF, and PPIP programs, as well as from the treatment of the
non-UAW creditors in the Chrysler and GM bankruptcies.354 Any
suggestion by the Panel that Congress should consider the imposition of a retroactive restructuring mandate on TARP recipients is
not helpful in restoring a sense of confidence between the private
and public sectors.

the program to promote its economic, social, and political agenda. Rep. Hensarling introduced
legislation (H.R. 2745) to end the TARP program on December 31, 2009. In addition, the legislation (1) requires Treasury to accept TARP repayment requests from well capitalized banks; (2)
requires Treasury to divest its warrants in each TARP recipient following the redemption of all
outstanding TARP-related preferred shares issued by such recipient and the payment of all accrued dividends on such preferred shares; (3) provides incentives for private banks to repurchase
their warrant preferred shares from Treasury; and (4) reduces spending authority under the
TARP program for each dollar repaid.
353 While scholars have not agreed on a single definition of ‘‘political risk,’’ the term generally
refers to the inappropriate interference of the public sector in the affairs of the private sector.
354 It will be interesting to note if the cost of capital of business enterprises with large unionized workforces increases after the treatment of the private sector secured and unsecured creditors in the Chrysler and GM bankruptcies.

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SECTION THREE: ABOUT THE CONGRESSIONAL
OVERSIGHT PANEL
In response to the escalating crisis, on October 3, 2008, Congress
provided Treasury with the authority to spend $700 billion to stabilize the U.S. economy, preserve home ownership, and promote
economic growth. Congress created the Office of Financial Stabilization (OFS) within Treasury to implement a Troubled Asset
Relief Program. At the same time, Congress created the Congressional Oversight Panel to ‘‘review the current state of financial
markets and the regulatory system.’’ The Panel is empowered to
hold hearings, review official data, and write reports on actions
taken by Treasury and financial institutions and their effect on the
economy. Through regular reports, the Panel must oversee Treasury’s actions, assess the impact of spending to stabilize the economy, evaluate market transparency, ensure effective foreclosure
mitigation efforts, and guarantee that Treasury’s actions are in the
best interests of the American people. In addition, Congress instructed the Panel to produce a special report on regulatory reform
that analyzes ‘‘the current state of the regulatory system and its
effectiveness at overseeing the participants in the financial system
and protecting consumers.’’ The Panel issued this report in January
2009.
On November 14, 2008, Senate Majority Leader Harry Reid and
the Speaker of the House Nancy Pelosi appointed Richard H.
Neiman, Superintendent of Banks for the State of New York,
Damon Silvers, Associate General Counsel of the American Federation of Labor and Congress of Industrial Organizations (AFL-CIO),
and Elizabeth Warren, Leo Gottlieb Professor of Law at Harvard
Law School to the Panel. With the appointment on November 19
of Congressman Jeb Hensarling to the Panel by House Minority
Leader John Boehner, the Panel had a quorum and met for the
first time on November 26, 2008, electing Professor Warren as its
chair. On December 16, 2008, Senate Minority Leader Mitch
McConnell named Senator John E. Sununu to the Panel, completing the Panel’s membership.

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