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Financial Institution Letter
FIL-22-2020
March 22, 2020

Federal Deposit Insurance Corporation
550 17th Street, NW, Washington, D.C. 20429-9990

Interagency Statement on Loan Modifications by Financial Institutions
Working with Customers Affected by the Coronavirus
Summary: The FDIC, the Board of Governors of the Federal Reserve System (FRB), the Office of the
Comptroller of the Currency, the National Credit Union Administration, the state banking regulators, and the
Consumer Financial Protection Bureau issued the Interagency Statement on Loan Modifications and Reporting by
Financial Institutions Working with Customers Affected by the Coronavirus to encourage financial institutions to
work constructively with borrowers impacted by the Coronavirus Disease 2019 (referred to as COVID-19) and
provide additional information regarding loan modifications.
Statement of Applicability to Institutions with Total Assets under $1 Billion: This Financial Institution Letter
(FIL) applies to all FDIC-supervised institutions.
Distribution:

Highlights:

FDIC-Supervised Institutions

Suggested Routing:
Chief Executive Officer
Chief Financial Officer
Chief Credit Officer
Board of Directors

Related Topics
Frequently Asked Questions for Financial
Institutions Affected by the Coronavirus Disease
2019 (Referred to as COVD-19) – Updated March
19, 2020
FIL-50-2013, Interagency Supervisory Guidance
Addressing Certain Issues Related to Troubled
Debt Restructurings

Attachment:
Interagency Statement on Loan Modifications by
Financial Institutions Working with Customers
Affected by the Coronavirus

Contact:
John Rieger, Chief Accountant,
202-898-3602 or jrieger@fdic.gov
Shannon Beattie, Deputy Chief Accountant,
202-898-3952 or sbeattie@fdic.gov
Bryan Jonasson, Senior Examination Specialist,
781-794-5641 or bjonasson@fdic.gov

As described in the interagency statement, the FDIC:
• Encourages financial institutions to work constructively with
borrowers affected by COVID-19;
• Will not criticize institutions for prudent loan modifications and
will not direct supervised institutions to automatically
categorize COVID-19-related loan modifications as troubled
debt restructurings (TDRs);
• Confirmed with staff of the Financial Accounting Standards
Board (FASB) that short-term modifications made on a good
faith basis in response to COVID-19 to borrowers who were
current prior to any relief are not TDRs;
• Views that modification efforts described in the interagency
statement for borrowers of one-to-four family residential
mortgages where loans are prudently underwritten and not
past due or carried in nonaccrual status do not result in loans
being considered restructured or modified for the purpose of
respective risk-based capital rules; and
• Views prudent loan modification programs to financial
institution customers affected by COVID-19 as positive
actions that can effectively manage or mitigate adverse
impacts on borrowers due to COVID-19, and lead to
improved loan performance and reduced credit risk.

Note:
Access FDIC Financial Institution Letters (FILs) on
the FDIC's website.
Subscribe to receive FILs electronically.
Paper copies may be obtained via the FDIC's
Public Information Center, 3501 Fairfax Drive,
E-1002, Arlington, VA 22226 (877-275-3342 or
703-562-2200).

The interagency statement also provides supervisory views on
regulatory reporting of past due and nonaccrual status for loan
modification programs whereby past due status should be based on
the due date stipulated in the legal loan documents as modified within
such modification program. Additionally, the interagency statement
reminds institutions that loans that have been restructured as
described under the statement will continue to be eligible as collateral
at the FRB’s discount window based on the usual criteria.