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FRB: SR 99-18 (SUP)

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BOARD OF GOVERNORS
OF THE
FEDERAL RESERVE SYSTEM
WASHINGTON, D. C. 20551
DIVISION OF
BANKING
SUPERVISION AND
REGULATION

SR 99-18 (SUP)
July 1, 1999
TO THE OFFICER IN CHARGE OF SUPERVISION AND APPROPRIATE
SUPERVISORY AND EXAMINATION STAFF AT EACH
FEDERAL RESERVE BANK AND CERTAIN DOMESTIC
ORGANIZATIONS SUPERVISED BY THE FEDERAL RESERVE
SUBJECT:

Assessing Capital Adequacy in Relation to Risk at Large Banking
Organizations and Others with Complex Risk Profiles

Overview
Over the past several years, supervisors have placed increasing emphasis
on banking organizations' internal processes for assessing risks and for ensuring that
capital, liquidity, and other financial resources are adequate in relation to the
organizations' overall risk profiles. This emphasis has been motivated in part by the
greater scope and complexity of business activities at many banking organizations,
and in particular those activities related to ongoing financial innovation. In this
setting, one of the most challenging issues faced by bankers and supervisors is how to
integrate the assessment of an institution's capital adequacy with a comprehensive
view of the risks it faces. Simple ratios - including risk-based capital ratios - and
traditional rules of thumb no longer suffice in assessing the overall capital adequacy
of many banking organizations, especially large institutions and others with complex
risk profiles such as those significantly engaged in securitizations or other complex
transfers of risk.
This SR letter emphasizes the growing need for banking organizations to
take greater efforts to assure that their capital is not only adequate to meet formal
regulatory standards, but also is fully sufficient to support their underlying risk
positions. A recent supervisory review of internal capital management processes at
several large complex banking organisations suggests that these processes could be
significantly improved, in particular to become better integrated with internal risk
measurement and analysis.
Consequently, this letter directs supervisors and examiners to evaluate
internal capital management processes to judge whether they meaningfully tie the
identification, monitoring, and evaluation of risk to the determination of the
institution's capital needs. To support that evaluation, this letter describes the
fundamental elements of a sound internal capital adequacy analysis - identifying and
measuring all material risks, relating capital to the level of risk, stating explicit capital
adequacy goals with respect to risk, and assessing conformity to the institution's stated
objectives - as well as the key areas of risk to be encompassed by such analysis.

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It is particularly important that large institutions and others with complex
risk profiles be able to assess their current capital adequacy and future capital needs in
a systematic and comprehensive manner in light of their risk profiles and business
plans. In providing guidance to examiners and supervisors, this letter is also intended
to encourage such banking organizations to strengthen their risk measurement
capabilities as well as to integrate these capabilities more fully into evaluations of
their own capital adequacy.
The practices described in this letter extend in a number of respects
beyond those currently followed by most large banking organisations to evaluate their
capital adequacy. In general, therefore, examiners should not expect these institutions
to have in place immediately a comprehensive internal process for assessing capital
adequacy, but rather to initiate efforts to do so promptly and thereafter to make steady
and meaningful progress toward that end. Examiners should evaluate an institution's
progress at each examination or inspection, considering progress both relative to the
institution's former practice and relative to its peers, and record the results of this
evaluation in the examination or inspection report.
For those banking organizations actively involved in complex
securitizations, other secondary market credit activities, or other complex transfers of
risk, however, examiners should expect a sound internal capital adequacy analysis
process as described in this letter to be in place immediately as a matter of safe and
sound banking.1
Using as a guide the elements of sound practice described in this
SR letter, examiners should evaluate whether the organisation is making adequate
progress in assessing its capital needs on the basis of the risks arising from its
business activities, rather than focusing its internal processes primarily on compliance
with regulatory standards or comparisons with the capital ratios of peer institutions.
Examiners should discuss the issues raised by this SR letter with bank management
and directors in this context.
In addition to evaluating the organisation's current practices, examiners
should take account of plans and schedules to enhance existing capital assessment
processes and related risk measurement systems, with appropriate sensitivity to
transition timetables and implementation costs. Evaluation of adherence to schedules
should be part of the examination process. But, regardless of planned enhancements,
supervisors should expect current internal capital adequacy assessment processes to
be appropriate to the nature, size and complexity of the organisation's activities, and to
its process for determining the allowance for credit losses.
The results of this evaluation of internal processes for assessing capital
adequacy should for the present time be reflected in the institution's ratings for
management. Examination and inspection reports should contain a brief description
of the internal processes involved in internal analysis of the adequacy of capital in
relation to risk, an assessment of whether these processes are adequate for the
complexity of the institution and its risk profile, and an evaluation of the institution's
efforts to develop and enhance these processes. Significant deficiencies and
inadequate progress in developing and maintaining capital assessment procedures
should be noted in examination and inspection reports. As noted above, examiners
should expect those institutions already engaged in complex activities involving the
transfer of risk, such as securitization and related activities, to have sound internal

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capital adequacy analysis processes in place immediately as a fundamental component
of safe and sound operation.
As these processes develop and become fully implemented, supervisors
and examiners should also place increasing reliance on internal assessments of capital
adequacy as an integral part of an institution's capital adequacy rating. If these
internal assessments suggest that capital levels appear to be insufficient to support the
risks taken by the institution, examiners should note this finding in examination and
inspection reports, discuss plans for correcting this insufficiency with the institution's
directors and management and, as appropriate, initiate supervisory actions.
The guidance set forth in this SR letter does not constitute a regulation,
nor does it seek to establish new regulatory requirements. Rather, it is intended to
assist examiners in assessing capital adequacy and associated internal processes at
banking organisations, and to inform the banking industry of some of the factors
examiners will consider during on-site examinations.
Background
Over the past several years, the federal banking agencies have sought to
refine and strengthen their examination and supervisory programs to adapt to
significant changes taking place in the U.S. banking and financial system. A central
goal of this effort has been to focus supervisory resources on areas of greatest risk.
Examiners are also directing greater attention to the risk management and internal
control systems of banking organizations to ensure that they effectively identify,
measure, monitor and control major risks. An area of increasing interest to
supervisors now is the way that directors and senior management of banking
organizations integrate the assessment of major risks with the processes they use to
determine the appropriate capital levels for their organizations.
Evolution of supervisory approach to capital: A critical component of
the examination and supervisory process is the assessment of a banking organization's
capital adequacy. Historically, examiners evaluated capital adequacy primarily by
first assessing the soundness of an organization's investments, loan portfolio and asset
valuation process, and then determining how its capital position compared with
regulatory capital minimums and those of its peer group. Risks to solvency arising
from other sources were incorporated into this evaluation only in exceptional cases.
Today, however, financial institutions and supervisors must consider a
much broader range of exposures, and must deal with an increasingly complex array
of financial instruments and activities that reflect important, but often subtle,
differences in levels of risk. Simple ratios and traditional rules of thumb no longer
suffice in assessing the overall capital adequacy of many banking organisations,
especially large institutions and others with complex risk profiles or engaged in
complex transfers of risk.2 As a result, such organisations require formal, analytical
processes to identify and measure their risks and to maintain an adequate overall level
of capital that is appropriate to that risk. A recent review of such processes at several
large institutions suggests that current industry practices appear only partially to meet
these objectives.
Current industry practice: Most institutions consider several factors in
evaluating their overall capital adequacy: a comparison of their own capital ratios with

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regulatory standards and with those of industry peers; consideration of identified risk
concentrations in credit and other activities; their current and desired credit agency
ratings, if applicable; and their own historical experiences including severe adverse
events in the institution's past. Some more sophisticated banks also use risk modeling
techniques and scenario analyses to evaluate risk, but generally have not yet
incorporated such analyses formally into their overall assessment of capital adequacy.
Their evaluation of the adequacy of capital relative to risk - as well as their decisions
on the appropriate level and structure of capital - continue to rely heavily on
subjective considerations, including implicit or explicit regulatory and market
expectations, peer group analysis, and other qualitative factors.
Some institutions are using risk modeling and scenario analysis as tools
to illuminate potential economic losses arising from certain types of risk, and are
working to integrate such tools as they apply to different risk types. The approaches
and methods used vary by institution, as do the current degree of precision and
integration. Such tools nonetheless provide valuable reference points in overall risk
measurement and, when more fully developed, may provide useful comparisons for
analysis of overall capital adequacy.
While the industry may not have reached consensus on the best
techniques to use for assessing capital adequacy internally, sound practices are clearly
moving toward a more quantitative, systematic, and comprehensive process.
Sophisticated institutions are making greater use of analytical techniques developed
either for pricing and performance measurement across business and product lines or
for making portfolio risk management decisions. These techniques incorporate one or
more volatility-based measures that allow for analysis of unexpected losses as well as
more subjective considerations.
Regardless of the techniques used, nearly all U.S. banking organizations
have found it advantageous to operate with capital levels above regulatory minimums,
and indeed above levels defined as "well-capitalized" by regulation. Such decisions
recognize supervisory expectations for strong capital positions, the cyclical nature of
credit risks, the uncertainties and errors associated with measuring risk, pressures
from significant business counterparties and other market participants, geographic or
industry concentrations, business uncertainties associated with specific banking
activities, and other factors not considered in the current risk-based capital
measurement framework. Nonetheless, even high capital ratios are often not
indicative of overall capital adequacy, especially for institutions engaging in
securitization of high quality assets and other capital arbitrage techniques.
Supervisors thus often cannot rely on risk-based capital ratios as indicators of capital
strength at institutions engaging in such activities.
Fundamental Elements of a Sound Internal Capital Adequacy Analysis
Because risk measurement and management issues are evolving rapidly,
at this stage it is neither possible nor desirable for supervisors to prescribe in detail the
precise contents and structure of a sound and effective internal capital assessment
process for large and complex institutions. Indeed, the attributes of sound practice
will evolve over time as methodologies and capabilities change, and will depend
importantly on the individual circumstances of each institution.
Nonetheless, it is clear that such a process should include four

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fundamental elements:
1. Identifying and measuring all material risks: A disciplined risk measurement
program promotes consistency and thoroughness in assessing current and
prospective risk profiles, recognizing that risks often cannot be measured with
precision. The detail and sophistication of risk measurement should be
appropriate to the characteristics of the institution's activities and to the size and
nature of the risks that each activity presents. At a minimum, risk measurement
systems should be sufficiently comprehensive and rigorous to capture the nature
and magnitude of risks faced by the institution, while differentiating risk
exposures consistently among risk categories and levels of riskiness. Controls
should be in place to ensure objectivity and consistency and that all material
risks - both on- and off-balance-sheet - are adequately addressed.
Banks should conduct detailed analyses to support the accuracy or
appropriateness of the risk measurement techniques used.
Similarly, inputs used in risk measurement should be of good
quality. Those risks not easily quantified should be evaluated
through more subjective, qualitative techniques or through stress
testing. Changes in an institution's risk profile should be
incorporated into risk measures on a timely basis, whether due to
new products, increased volumes or changes in concentrations, the
quality of the bank's portfolio, or the overall economic
environment. Measurement thus should not be oriented to the
current treatment of these transactions under risk-based capital
regulations.
In general, in measuring these risks, institutions should perform
comprehensive and rigorous stress tests to identify possible events
or changes in markets that could have serious adverse effects in the
future. Institutions should also give adequate consideration to
contingent exposures arising from loan commitments,
securitization programs, and other transactions or activities that
may create such exposures for the bank.
2. Relating capital to the level of risk: The amount of capital held should reflect
not only the measured amount of risk, but also an adequate "cushion" above that
amount to take account of potential uncertainties in risk measurement. A
banking organization's capital should reflect the perceived level of precision in
the risk measures used, the potential volatility of exposures, and the relative
importance to the institution of the activities producing the risk. Capital levels
should also reflect that historical correlations among exposures can rapidly
change.
Institutions should be able to demonstrate that their approach to
relating capital to risk is conceptually sound and that outputs and
results are reasonable.3 Sensitivity analysis of key inputs and peer
analysis could be used by an institution in assessing its approach.
3. Stating explicit capital adequacy goals with respect to risk: Institutions need to
establish explicit goals for capitalization as a standard for evaluating their
capital adequacy with respect to risk. Such target capital levels might reflect

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the desired level of risk coverage, or alternatively, a desired credit rating for the
institution that reflects a desired degree of creditworthiness and thus access to
funding sources. These goals should be reviewed and approved by the board of
directors. Because risk profiles and goals may differ across institutions, the
chosen target levels of capital may differ significantly as well. Moreover,
institutions should evaluate whether their long-run capital targets might differ
from short-run goals, based on current and planned changes in risk profiles and
the recognition that accommodating new capital needs can require significant
lead time.
In addition, capital goals and the monitoring of performance
against those goals should be integrated with the methodology used
to identify the adequacy of the allowance for credit losses
(allowance). Although both the allowance and capital represent the
ability to absorb losses, insufficiently clear distinction of their
respective roles in absorbing losses can distort analysis of their
adequacy. For example, an institution's internal standard of capital
adequacy for credit risk could reflect the desire that capital absorb
"unexpected losses" - that is, some level of potential losses in
excess of that level already estimated as being inherent in the
current portfolio and reflected in the allowance.4 In this setting, an
institution that does not maintain its allowance at the high end of
the range of estimated credit losses would require more capital than
would otherwise be necessary to maintain its overall desired
capacity to absorb potential losses. Failure to recognize this
relationship could lead an institution to overestimate the strength of
its capital position.
4. Assessing conformity to the institution's stated objectives: Both the target level
and composition of capital, along with the process for setting and monitoring
such targets, should be reviewed and approved periodically by the institution's
board of directors.
Risks Addressed in a Sound Internal Capital Adequacy Analysis
Sound internal risk measurement and capital assessment processes
should address the full range of risks faced by the institution. This section describes
four such areas, referring as appropriate to previous examination guidance specifically
related to capital adequacy. This does not represent an exhaustive list of potential
issues. The capital regulations of the Federal Reserve (and the other U.S. banking
agencies) make reference to many specific factors and other risks that institutions
should consider in assessing capital adequacy.5
Credit risk: Internal credit risk rating systems are vital to measuring and
managing credit risk at large banking organizations. Accordingly, a large institution's
internal ratings system should be adequate to support the identification and
measurement of risk for its lending activities and be adequately integrated into the
institution's overall analysis of capital adequacy (SR letter 98-25). Well-structured
credit risk rating systems should reflect implicit, if not explicit, judgments of loss
probabilities or expected loss, and should be supported where possible by quantitative

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analysis. Definitions of risk ratings should be sufficiently detailed and descriptive,
applied consistently, and regularly reviewed for consistency throughout the
institution.6
Banking organizations should also take full account of credit risk arising
from securitization and other secondary market credit activities, including credit
derivatives (SR letter 97-21). Maintaining detailed and comprehensive credit risk
measures is most necessary at institutions that conduct asset securitization programs,
due to the potential of these activities to greatly change - and reduce the transparency
of - the risk profile of credit portfolios.7 Because the current capital standard treats
most loans alike, banks have incentives to reduce their regulatory capital requirements
by securitizing or otherwise selling lower-risk assets, while increasing the average
level of remaining credit risk through devices like first-loss positions and contingent
exposure. It is important, therefore, that these institutions have the ability to assess
their remaining risks and hold appropriate levels of capital and allowances for credit
losses. Such institutions, which are at the frontier of financial innovation, should also
be at the frontier of risk measurement and internal capital allocation.
Market risk: The current regulatory capital standard for market risk is
based largely on a bank's own measure of value-at-risk (VaR). This approach was
intended to produce a more accurate measure of risk and one that is also compatible
with the management practices of banks. The market risk standard also emphasizes
the importance of stress testing as a critical complement to a mechanical VaR-based
calculation in evaluating the adequacy of capital to support the trading function.
Interest rate risk: Interest rate risk within the banking book (i.e., in
nontrading activities) should also be closely monitored. The banking agencies have
emphasized that banks should carefully assess the risk to the economic value of their
capital from adverse changes in interest rates. The Joint Policy Statement on Interest
Rate Risk (SR 96-13) provides guidance in this matter that includes the importance of
assessing interest rate risk to the economic value of a banking organization's capital
and, in particular, sound practice in selecting appropriate interest rate scenarios to be
applied for capital adequacy purposes.
Operational and other risks: Many banking organizations view
operational risk - often viewed as comprising any risk not categorized as credit or
market risk - as being second in significance only to credit risk. This view has
become more widely held in the wake of recent, highly visible breakdowns in internal
controls and corporate governance by internationally active institutions. Although
operational risk does not easily lend itself to quantitative measurement, it can have
substantial costs to banking organizations through error, fraud, or other performance
problems. The great dependence of banking organizations on information technology
systems, including Year 2000 preparedness issues, highlights only one aspect of the
growing need to identify and control this risk.
Composition of Capital
Analysis of capital adequacy should couple a rigorous assessment of the
particular measured and unmeasured risks faced by the institution with consideration
of the capacity of the institution's paid-in equity and other capital instruments to

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absorb economic losses. In this regard, it has been the Board's long-standing view
that common equity (that is, common stock and surplus and retained earnings) should
be the dominant component of a banking organization's capital structure and that
organizations should avoid undue reliance on noncommon equity capital elements.8
Common equity allows an organization to absorb losses on an ongoing basis and is
permanently available for this purpose. Further, this element of capital best allows
organizations to conserve resources when they are under stress because it provides full
discretion as to the amount and timing of dividends and other distributions.
Consequently, common equity is the basis on which most market judgements of
capital adequacy are made.
Consideration of the capacity of an institution's capital structure to
absorb losses should also take into account how that structure could be affected by
changes in the institution's performance. For example, an institution experiencing a
net operating loss - perhaps due to realization of unexpected losses - not only will face
a reduction in its retained earnings, but also possible constraints on its access to
capital markets. These constraints could be exacerbated should conversion options be
exercised to the detriment of the institution. A decrease in common equity, the key
element of Tier 1 capital, may have further unfavorable implications for an
organization's regulatory capital position. The eligible amounts of most types of Tier
1 preferred stock and Tier 2 or Tier 3 capital elements may be reduced, because
current capital regulations limit the amount of these elements that can be included in
regulatory capital to a maximum percentage of Tier 1 capital. Such adverse
magnification effects could be further accentuated should adverse events take place at
critical junctures for raising or maintaining capital, for example, as limited-life capital
instruments are approaching maturity or as new capital instruments are being issued.
Examiner Review of Internal Capital Adequacy Analysis
As part of the regular supervisory and examination process, examiners
should review internal capital assessment processes at large and complex banking
organizations as well as the adequacy of their capital and their compliance with
regulatory standards. In general, this review should assess the degree to which an
institution has in place, or is making progress toward implementing, a sound internal
process to assess capital adequacy as described above. Examiners should briefly
describe in the examination or inspection report the approach and internal processes
used by the institution to assess its capital adequacy with respect to the risks it takes.
Examiners should then document their evaluation of the adequacy and appropriateness
of these processes for the size and complexity of the institution, along with their
assessment of the quality and timing of the institution's plans to develop and enhance
its processes for evaluating capital adequacy with respect to risk.
In all cases, the findings of this review should be considered in
determining the institution's supervisory rating for management. Examiners should
expect those institutions already active in complex activities involving the transfer of
risk, such as securitization and related activities, to have sound internal processes for
assessing capital adequacy as described in this SR letter immediately as a fundamental
element of safe and sound operation.
Beyond its consideration in evaluating management, over time this

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review should also become an integral element of assessing, and assigning a
supervisory rating for, capital adequacy as the institution develops appropriate
processes for establishing capital targets and analysing its capital adequacy as
described above. If these internal assessments suggest that capital levels appear to be
insufficient to support the risks taken by the institution, examiners should note this
finding in examination and inspection reports, discuss plans for correcting this
insufficiency with the institution's directors and management and, as appropriate,
initiate follow-up supervisory actions.
Measurement and risk coverage: Examiners should assess the degree to
which internal targets and processes incorporate the full range of material risks faced
by the banking organisation. Examiners should also assess the adequacy of risk
measures used in assessing internal capital adequacy for this purpose, and the extent
to which these risk measures are also used operationally in setting limits, evaluating
business line performance, and evaluating and controlling risk more generally.
Measurement systems that are in place but are not integral to the institution's risk
management should be viewed with some skepticism. Examiners should review
whether an institution's approach treats similar risks across products and/or business
lines consistently, and whether changes in the institution's risk profile are fully
reflected in a timely manner. Finally, examiners should consider the results of
sensitivity analyses and stress tests conducted by the institution and how these results
relate to capital plans.
Relating capital to the level of risk: In addition to being in compliance
with regulatory capital ratios, banking organizations should be able to demonstrate
through internal analysis that their capital levels and composition are adequate to
support the risks they face, and that these levels are properly monitored and reviewed
by directors. Examiners should review this analysis, including the target levels of
capital chosen, to determine whether it is sufficiently comprehensive and relevant to
the current operating environment. Examiners should also consider the extent to
which the institution has provided for unexpected events in setting its capital levels.
In this connection, the analysis should cover a sufficiently wide range of external
conditions and scenarios, and the sophistication of techniques and stress tests used
should be commensurate with the institution's activities. Consideration of such
conditions and scenarios should take appropriate account of the possibility that
adverse events may have disproportionate effects on overall capital levels, such as the
effect of Tier 1 limitations, adverse capital market responses, and other such
magnification effects. Finally, supervisors should consider the quality of the
institution's management information reporting and systems, the manner in which
business risks and activities are aggregated, and management's record in responding to
emerging or changing risks.
As a final matter, in performing this review supervisors and examiners
should be careful to distinguish between a comprehensive process that seeks to
identify an institution's capital requirements on the basis of measured economic risk,
and one that focuses only narrowly on the calculation and use of allocated capital or
"economic value added" (EVA) for individual products or business lines for internal
profitability analysis. This latter approach, which measures the amount by which
operations or projects return more or less than their cost of capital, can be important to
an organization in targeting activities for future growth or cutbacks. It requires,
however, that the organization first determine - by some method - the amount of

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capital necessary for each activity or business line. It is that process for determining
the necessary capital that is the topic of this SR letter and should not be confused with
related efforts of management to measure relative returns of the firm or of individual
business lines, given an amount of capital already invested or allocated. Moreover,
such EVA approaches often are unable to meaningfully aggregate the allocated capital
across business lines and risk types as a tool for evaluating the institution's overall
capital adequacy.
This SR letter should be disseminated to all domestic large complex
banking organizations, large institutions actively engaged in securitization or similar
risk-transfer activities, and other institutions supervised by the Federal Reserve as
Reserve Bank staff believes appropriate. Questions may be directed to Roger Cole,
Associate Director, at 202-452-2618 or William Treacy, Senior Supervisory Financial
Analyst, at 202-452-3859.

Richard Spillenkothen
Director
Cross-References: SR letters 93-70, 96-13, 96-17, 97-21, 98-25, and 99-13

Notes:
1 Secondary market credit activities generally include loan syndications, loan sales
and participations, credit derivatives, and asset securitizations, as well as the provision
of credit enhancements and liquidity facilities to such transactions. Such activities
are described further in SR letter 97-21, “Risk Management and Capital Adequacy of
Exposures Arising from Secondary Market Credit Activities”.
2 Such complex transfers of risk would include collateralized loan obligations
(CLOs), credit derivatives, and credit-linked notes. For further information on CLOs,
see the section entitled “Collateralized Loan Obligations” in the Trading Activities
Manual. For further information on credit derivatives and other secondary market
credit activities, see SR letter 96-17, “Supervisory Guidance for Credit Derivatives”,
and SR letter 97-21, “Risk Management and Capital Adequacy of Exposures Arising
from Secondary Market Credit Activities”.
3 One credible method for assessing capital adequacy would be for an institution to
consider itself to be adequately capitalized if it meets a reasonable and objectively
determined standard of financial health, tempered by sound judgement, such as a
target public agency debt rating or even a statistically measured maximum probability
of becoming insolvent over a given time horizon. In effect, this latter method is the
foundation of the Basle Accord’s treatment of capital requirements for market and
foreign exchange risk.
4 In March 1999 the banking agencies and the Securities and Exchange Commission
issued a Joint Interagency Letter to Financial Institutions stressing that depository

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institutions should have prudent and conservative allowances that fall within an
acceptable range of estimated losses. The Federal Reserve has issued additional
guidance on credit loss allowances to supervisors and bankers in SR letter 99-13,
“Recent Developments Regarding Loan Loss Allowances”.
5 See 12 CFR 208 appendix A (Overview) for state member institutions and 12 CFR
225 Appendix A (Overview) for bank holding companies.
6 SR letter 98-25, “Sound Credit Risk Management and the Use of Internal Credit
Risk Ratings at Large Banking Organizations”, discusses the need for banks to have
sufficiently detailed, consistent, and accurate risk ratings for all loans, not only for
criticized or problem credits. It describes as an emerging sound practice the
incorporation of such ratings information into internal capital allocation frameworks,
recognizing that riskier assets require higher capital levels.
7 SR letter 97-21, “Risk Management and Capital Adequacy of Exposures Arising
from Secondary Market Credit Activities”, states that such changes have the effect of
distorting portfolios that were previously “balanced” in terms of credit risk. As used
here, the term “balanced” refers to the overall weighted mix of risks assumed in a loan
portfolio by the current regulatory risk-based capital standard. This standard, for
example, effectively treats the commercial loan portfolios of all banks as having
“typical” levels of risk.
8 The Basle Committee on Banking Supervision affirmed this view in a release
issued in October 1998, which stated that common shareholders’ funds are the key
element of capital. This release also suggested that, to protect the integrity of an
organization’s Tier 1 capital and its common equity base, innovative instruments
included in Tier 1 capital generally should be limited to 15 percent of total Tier 1.
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