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1/18/2024

Remarks by Assistant Secretary for Financial Institutions Graham Steele at the George Washington University Law Sch…

Remarks by Assistant Secretary for Financial Institutions
Graham Steele at the George Washington University Law School
Business & Finance Law Program
January 18, 2024

As Prepared for Delivery

INT RODUCT ION
Thank you, Professor Bearer-Friend, for that kind introduction. It is nice to be back at GW Law
for the first time in a long time. I want to thank the friends and colleagues who are here
today, particularly Bharat, who was gracious enough to agree to join me for a conversation
about the Biden Administrationʼs economic policy.
My connection to GW Law has helped to cement my long-held belief that I wanted to dedicate
my career to public service. I still recall Professor Dalia Tsuk Mitchellʼs Corporations class
during the fall semester of my 2L year in 2004. Her critical takes on the Delaware Chancellorsʼ
opinions made me appreciate business law as a means of understanding how economic policy
shapes our broader society.
I have similarly benefitted from the wisdom of former colleagues like Professor Bearer-Friend,
who was a fellow tax sta er in the U.S. Senate during part of my tenure there. Tax policy was
not my strong suit, to say the least, but in the entrepreneurial environment of Capitol Hill, it
helps to have brilliant colleagues with similar progressive values to help ensure that those
values translate into economic policy.
Finally, while I regret never having taken a class with him during my time at GW Law, I want to
express my immense gratitude to Professor Emeritus Art Wilmarth. No one has been more
generous with his time, more enthusiastic to welcome fellow travelers into the world of U.S.
banking law and policy, and more willing to share his encyclopedic knowledge of the financial
system. For every current-day banking policy issue, you will likely find a decades-old,
exhaustively researched law journal article written by Professor Wilmarth that explains the
roots of the problem and the path forward. Professor Wilmarth has le an indelible mark in his
field by inspiring an entire generation of banking law scholars.
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Turning to the topic of my remarks today, my reflections on the experience of serving for two
years as the Assistant Secretary for Financial Institutions at the U.S. Treasury Department.
The Assistant Secretary for Financial Institutions oversees a broad policy portfolio,
encompassing banks, credit unions, the insurance sector, cybersecurity and critical
infrastructure, community development, and consumer protection. I have organized this
portfolio according to the “seven Cs”: community, climate, cybersecurity, cryptocurrency,
capital, competition, and consumers. The Biden Administration has made meaningful
progress on these “seven Cs” by advancing an a irmative vision of a financial system that is
more stable, less concentrated, and more equitable for consumers and communities. We have
also responded to unforeseen challenges that have arisen along the way.

COMMUNIT Y
Iʼll begin with community. With all that has happened in the world since January 2021, it is
easy to forget that three years ago, the Biden Administration took o ice in a moment of
dramatic economic upheaval caused by the COVID-19 pandemic. The passage and rapid
implementation of the American Rescue Plan prevented the short-term shock of the pandemic
from devolving into a longer-term economic disaster. Recent analyses of programs like
Treasuryʼs Emergency Rental Assistance Program have demonstrated that Treasuryʼs
approach to pandemic-response programs resulted in resources being e ectively targeted to
women, communities of color, and the lowest-income households.1
We are proud to have achieved a historically rapid recovery from an economic crisis, but that
was not the end of our work. This Administration recognizes that a lack of economic
opportunity for communities of color, low-income communities, and rural areas impedes
economic progress for our nation overall, and we have been focused on building a more
equitable economy for the long term. We have implemented programs that have made
available historic funding to mission-driven organizations for the purpose of opening access
to capital and financial services for financially underserved borrowers and economically
distressed places. Investing in financially underserved communities is not only consistent with
our highest ideals; it is essential to our shared economic growth and prosperity.
This is a transformational moment in community finance, not only because of the scale of
federal investments, but also because Treasury has cra ed an approach to community finance
policy to ensure that these resources have a deep impact and meet the needs of underserved
communities. For example, Treasury has taken significant steps to better define and
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safeguard the Community Development Financial Institution (CDFI) mission of promoting
community development—including, for the first time, establishing responsible financing
guidelines for all CDFIs.2 Together with other e orts, like the reforms made by independent
regulators to the rules implementing the Community Reinvestment Act, these sustained
investments seek to target support to households and small businesses in low- and
moderate-income communities. Today, I published a blog on the Treasury website that
details Treasuryʼs approach to equitable community finance policy. The public sector has laid a
foundation, and now private investors have an opportunity to consider how they can bring
private capital to bear in ways that build on this foundation, promoting equitable growth that
benefits all people and communities.

CLIMAT E
Next, I will turn to climate. In May 2021, President Biden issued the Executive Order on

Climate-Related Financial Risk,3 which tasked Treasuryʼs Federal Insurance O ice with
assessing “the potential for major disruptions of private insurance coverage in regions of the
country particularly vulnerable to climate change impacts.” In November, we issued a revised
proposal to collect, for the first time in history, a limited amount of historical and current
underwriting data on homeowners insurance from certain insurers in order to assess the role
of climate change in the decline in the availability of property insurance in the United States,
especially in certain markets.4 This work has equity implications, as studies have shown that
traditionally underserved and disadvantaged communities and consumers, including those
who are low- and moderate-income, are hardest hit by climate change. It also bears on
financial stability, as impacts in the insurance market can have potentially significant
consequences for homeowners and their property values, which can spill over to other parts
of our interconnected financial system.
Also pursuant to the climate financial risk Executive Order, following a recommendation from
the Financial Stability Oversight Council, Treasuryʼs O ice of Consumer Policy in September
released a report on the Impact of Climate Change on American Household Finances.5 The
report found that climate change is resulting in profound impacts on household finances—
from pressure on income and expenses to real and personal property damage, to reduced
access to financial products and services, including insurance as I just discussed. It also
highlighted how the intersection of economic and social vulnerability and place-based
exposure to climate hazard means that communities that have been historically underserved
or subject to disparities are at disproportionate risk of financial harm, even though they are
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not the people who have most benefitted financially from the activities driving climate
change.
Treating only the symptoms of climate change will not be su icient. That is why, in addition
to the Inflation Reduction Act and the other historic investments that the Biden
Administration has made in the climate transition, Treasury has issued principles-based
guidance to the financial sector in financing the climate transition. In September, the
Department released its voluntary Principles for Net-Zero Financing & Investment.6 The
Principles state that financial institution net-zero commitments should be in line with limiting
the increase in the global average temperature to 1.5 degrees Celsius; a irm that financial
institutions that have made these commitments should develop transition plans with clear
practices, targets, and metrics; and note that financial institutions that have made such
commitments should support their clients and portfolio companies in adopting their own
transition plans.
Addressing the social and economic impacts of climate change will require mobilizing the
financial system to both address risks and mitigate harms. That is why climate change is a
priority for the Treasury Department.

CYB ER
Moving ahead to the third “C,” cybersecurity, Treasuryʼs O ice of Cybersecurity and Critical
Infrastructure Protection coordinates Treasuryʼs role as Sector Risk Management Agency for
the financial services sector. Shortly a er I joined the Department a little over two years ago,
Russian state-sponsored cyber actors conducted a wave of cyberattacks against Ukrainian
infrastructure, including several attacks targeting financial services sector entities, in the
weeks following Russiaʼs invasion of Ukraine. By April 2023, Russiaʼs attempts to dominate
the cyber landscape had not materialized in tangible results, and there has been a continued
lull in their state-sponsored activity.
That does not mean that all has been quiet in terms of malicious cyber activity. In October, for
example, several cloud service providers reported that they had withstood the internetʼs
largest-known distributed denial-of-service (DDoS) attack, with one cloud service provider
reporting that it experienced an attack more than seven times larger than the previous largest
known attack. Industry sources have also reported a substantial resurgence in ransomware
attacks in the past year. To cite two notable recent public examples, in February and March, a
ransomware attack on the trading firm Ion disrupted its cleared derivatives business for
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several days. In November, the U.S. broker-dealer a iliate of the bank ICBC su ered a
ransomware attack that impacted its client clearing business. Treasury has increasingly
served as a coordinator for financial institutions and regulatory agencies to plan for, and
respond to, these kinds of cyber incidents.
Treasury also advances Administration policies for financial sector cybersecurity and
infrastructure protection. This has placed us at the forefront of some of the most important
emerging cybersecurity policy issues of the day, including our report on the Financial Services

Sectorʼs Adoption of Cloud Services,7 and the work that we are undertaking on the
implications of artificial intelligence (AI) on financial services sector cybersecurity. The cloud
report highlights some of the key challenges of increased cloud adoption, including
insu icient transparency to customers pertaining to operations and operational incidents at
cloud service providers; unequal dynamics in cloud contract negotiations, which can
particularly a ect smaller firms; and the potential impacts that market concentration among
cloud service providers could have on exposures to operational risk and general sector-wide
resilience. We are working toward establishing a more transparent model for cloud services
that places less pressure on cloud customers and asks cloud service providers to take more
responsibility for the security of those customers. These changes would particularly benefit
smaller institutions such as community banks and credit unions. Treasury has also been
tasked by the President, through the Executive Order on the Safe, Secure, and Trustworthy

Development of Artificial Intelligence, with issuing a report on best practices for financial
institutions to manage AI-specific cybersecurity risks.8
While none of the recent events that I have noted have resulted in catastrophic cyber
incidents, they are increasing in their frequency and impact. Indeed, it is likely a matter of
when—not if—we experience a catastrophic cyber event. The increasing adoption of cloud
services and AI will further raise the stakes for public- and private-sector e orts to ensure
operational and cyber resilience. That is why Treasury takes its cybersecurity role so seriously.
Confronting the growing cybersecurity risks requires a steadfast commitment to an allhands-on-deck approach to public-private coordination.

CRYPTO
Turning to the next “C,” crypto-assets have occupied an outsized amount of policymakersʼ
bandwidth over the past three years relative to the value of their demonstrated use cases. In
the spring of 2022, the President issued the Executive Order on Ensuring Responsible
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Development of Digital Assets,9 which tasked Treasury with issuing a series of reports,
including our O ice of Consumer Policyʼs report on Crypto-Assets: Implications for Consumers,

Investors, and Businesses.10
That report noted that consumers, investors, and businesses engaging with crypto-assets are
exposed to conduct, operational, and intermediation risks, and risks from regulatory noncompliance. These factors contribute to frequent instances of operational failures, market
manipulation, fraud, the s, and scams. There are also unique risks associated with cryptoasset o erings, such as data privacy and security risks, cost structure concerns, and other
risks related to new forms of discrimination and unfair and deceptive acts and practices. We
also focused on the claims that crypto-assets can advance financial inclusion, concluding that
although some have argued that digital assets have the potential to improve access to
financial services for financially underserved communities, that vision has not materialized.
Our report noted that the U.S. generally has strong investor and consumer protection laws
that address many of the risks posed by crypto-assets. Where existing laws and regulations
apply, they must be enforced vigorously so that crypto-assets and services—and the
consumers who use them—are subject to the same protections and principles as other
financial products and services.
Less than two months a er we released the report, one of the leading crypto-asset
exchanges, FTX, filed for bankruptcy. While consumers and investors have su ered meaningful
and unnecessary harms as the crypto hype met the cold reality of “crypto winter,” so far
crypto-assets have not undermined U.S. financial stability more broadly. That is due in large
part to the federal banking agencies taking a careful and cautious approach that has largely
maintained the safety and soundness of banking institutions in the context of these
extremely volatile financial products. In my view, the agencies have responded with
appropriate prudence to the destabilizing events in the crypto-asset markets.
Our nationʼs long history of financial booms and busts has repeatedly shown the failures of
race-to-the-bottom regulatory approaches, which lead to consumer manipulation, threats to
financial stability, and recessions. A er every financial crisis, we have adopted a set of fixes,
from the National Bank Act to the New Deal banking legislation to the Dodd-Frank Act. For
crypto-assets, policymakers have a chance to act before a crisis to adopt high standards that
support responsible innovation. At the same time, it is critical that any legislative proposals
not undermine the already robust regulatory foundations that apply to financial institutions
and capital markets.
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CAPITAL
The next “C” is capital, meaning the shareholder equity and other loss-absorbing funding that
enables banks to fund customers and businesses resiliently throughout periods of economic
ups and downs. The issue of bank capital was front and center during the Global Financial
Crisis of 2007-09, and it has again come to the fore in the wake of the rapid failure in early
March of Silicon Valley Bank (SVB), followed two days later by the failure of Signature Bank.
These events created the potential for significant impacts to the broader banking system and
U.S. economy. In response to concerns about potential broader contagion in the U.S. banking
system, Treasury, the FDIC, and the Federal Reserve took actions to protect depositors and
provide additional liquidity. While First Republic Bank failed two months later, that was more
of an a ershock of the March developments than a sign of any shi in the fundamental health
of the banking system, and we believe that our actions restored public confidence in the
banking system and protected the American economy.
Nonetheless, over the course of two months last spring, we experienced the second, third,
and fourth largest bank failures in U.S. history by assets. SVB, Signature, and First Republicʼs
failures were caused by classic bank runs, albeit at historic proportions. One factor motivating
the depositorsʼ run on SVB was a concern about its solvency, particularly the risk that the
unrealized losses on the firmʼs securities holdings exceeded the firmʼs shareholder equity.
This loss of confidence underscores the importance of credible and robust capital standards
and prompt supervisory intervention to address weaknesses. The tailoring framework
implemented by the previous Administration that weakened, and in some cases removed,
regulatory and supervisory requirements for large regional banks was undergirded by a belief
that the failure of those banks would not have broader systemic impacts.11 In hindsight, that
belief was clearly misguided.
The President has urged the banking regulators, in consultation with the Treasury
Department, to consider a set of reforms that would reduce the risk of future banking
crises.12 The banking agencies have proposed rules that would implement the final elements
of the Basel III international capital reforms and proposed additional revisions to their
prudential frameworks, including rules for long-term debt and resolution planning. Treasury,
across Administrations, has long supported the e orts of the U.S. banking agencies to
implement the Basel Accords in a manner consistent with the unique structure of the U.S.
banking system to further safety and soundness and promote financial stability.13 This series

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of reforms both completes some of the work that began in the wake of the Global Financial
Crisis and addresses specific vulnerabilities highlighted by the events of last spring.
The banking agencies have taken significant steps to address some of the underlying causes
of the 2023 regional bank stress, but there are a few items that could warrant additional
scrutiny. First, while the Basel proposal incorporates unrealized gains or losses on availablefor-sale securities in the capital requirements applicable to banks with $100 billion or more in
total assets, it may be worth reassessing the treatment of unrealized gains or losses in banksʼ
available-for-sale and held-to-maturity securities under both capital and liquidity frameworks.
Second, there are important questions that remain about whether the current prudential
framework su iciently addresses the risks that arise from the rapid growth in a bankʼs assets
in a timely manner. For example, the phase-in of the application of requirements like the
stress test and stress capital bu er contains significant lags. The capital requirements for
large regional banks are also relatively static, meaning that many of the largest U.S. nonglobal systemically important banks have the same risk-based capital requirements as much
smaller and less complex banks. Third, the application and calibration of the various liquidity
requirements for large, regional, and midsize banking institutions could likely be updated
based upon recent experience, including by revising the treatment of both uninsured and
brokered deposits. Finally, I would note that Signature and First Republic operated without
bank holding companies and were therefore not subject to the holding company regulatory
regime, including regulatory requirements like the supervisory stress testing framework,
potentially undermining the e ectiveness of supervisory and resolution regimes. While there
has been progress on some reforms—like the proposals on capital, resolution planning, and
long-term debt—it is worth considering whether regulatory frameworks should provide more
comparable treatment for large regional banking organizations with a holding company and
those without one.
The events last spring were severe, but some of the causes and consequences have already
faded from the memories of many—a condition that my former boss in the Senate has
referred to as “collective amnesia.”14 It is important for policymakers to remain keenly aware
of the lesson from banking panics over the last two centuries, including the turmoil that we
experienced in March, that the banking system cannot operate without trust—but if risks
develop unchecked over time, that trust can disappear in an instant.

COMPET IT ION
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The sixth “C” on my list is competition, specifically in the banking sector. President Bidenʼs

Executive Order on Promoting Competition in the American Economy in 2021 tasked Treasury
with assessing the impacts of new entrant non-bank firms on competition in consumer finance
markets.15 Last November, we published a report finding, unsurprisingly, that the banking
industry has grown more concentrated over time.16 As a result, we recommended that the
banking agencies review their bank merger oversight policies in light of ongoing consolidation
and the potential waning utility of certain traditional measurements of competition due to
the evolving marketplace.
New entrant non-bank firms have largely not been subject to the kind of comprehensive
regulation and supervision to which banks are subject. As a result, the growing role of these
firms in financial markets is accompanied by risks related to regulatory arbitrage, data privacy
and security, bias and discrimination, and consumer protection, among others. The reportʼs
recommendations supported the e orts by the banking agencies and the CFPB to address
these risks, using their relevant authorities, including increased oversight of bank-fintech
partnerships, guardrails around Buy Now, Pay Later products, and increased consumer data
protections. But there are some remaining outstanding issues raised by our report. More can
be done to address the emerging competitive risks from the entrance of Big Tech firms into
financial services, including ensuring that structures like industrial loan companies do not
threaten the traditional separation of banking and commerce.
In the traditional banking space, last February, I participated in a panel discussion at the OCCʼs
symposium on bank mergers, just a month before the SVB failure. That discussion centered
on how to evaluate the financial stability risk from bank mergers, including whether the failure
of a large regional bank would a ect U.S. financial stability.17 In hindsight, those questions
were timelier than we realized, occurring shortly before three of the largest bank failures in
U.S. history by assets, accompanied by two systemic risk exception determinations. But SVBʼs
systemic importance score prior to its failure was well below the threshold that would qualify
a bank as systemically important,18 and, when SVB was approved to make an acquisition in
2021, it easily passed the financial stability analysis. This suggests that further improvements
can be made to our methodologies for measuring the financial stability risks that a bank can
pose as part of the merger review process.

CONSUMERS

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Last is the seventh C, the consumer. The landscape of consumer financial products o ered by
financial institutions—particularly payments, credit, and deposit-taking—is shi ing at an
unprecedented rate, with the emergence of new technologies, intermediaries, and even new
forms of payment. These developments carry significant implications for the financial system
and the consumers who want to use financial products and services. They are also forcing
policymakers to confront profound questions about the meaning of responsible
innovation. While some of the financial risks to consumers are new, many are not.
For example, consumer data is increasingly at the heart of the financial services ecosystem.
While new technologies and permissioned data sharing can expand access to beneficial
financial services, designing new products and services without adequately accounting for the
needs of the most vulnerable and marginalized could create or reinforce certain disparities.
The rise of fintech firms and their novel uses of consumer data and technology, including AI,
create the potential for new forms of discrimination, including increased opportunities for
predatory targeting and price discrimination. The opacity of AI models could pose challenges
for compliance with fair lending requirements and could perpetuate discrimination by using
and learning from data that reflects historical biases. The large amount of consumer data
being collected and used in AI applications also poses broader surveillance and privacy risks,
particularly for certain communities.
As the importance of data in financial services increases, so too must consumer protections.
The CFPBʼs proposed rulemaking implementing Section 1033 of the Dodd-Frank Act is an
important step in establishing personal data rights and helping to resolve core issues that
have inhibited consumersʼ control over their own data. Treasury has also previously
recommended that the CFPB consider directly supervising data aggregators, which store vast
and ever-growing amounts of consumer financial data, generally without the kind of
supervision of their data practices applicable to regulated depository institutions.
Longstanding regulatory and supervisory expectations to address things like model risk
management and prevent discrimination or bias can address some of the risks associated
with new technologies like AI.
Digital payments is another area of growing interest. Credit and debit cards remain the most
prevalent instruments for consumer payments and the CFPB is working to finalize a rule aimed
at reining in excessive credit card late fees. The CFPB recently issued a proposed rule to
supervise large nonbank payment companies that are entering the payment markets, and it
will be important to continue to address the role of Big Tech firms and nonbank payment
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providers in digital payments. Treasury has recommended establishing a more comprehensive
federal framework for payments regulation, to protect users and the financial system and
ensure that innovation ultimately benefits consumers.19

CONCLUSION
Over the past three years, the Treasury Department has responded to a series of challenges—
from a global pandemic to geopolitical tensions, to financial system instability—to protect
the U.S. economy, businesses, and households.
While we have made significant progress on our economic agenda, the journey toward a fairer
and more stable financial system is not over, and some are already pushing back on our
e orts. There are always arguments against creating a more just and equitable economy—
whether it involves addressing financial booms and busts, the escalating crisis of climate
change, or the legacies of racial and economic inequality. In good times, people will say the
system is working and thereʼs no need for more regulations. When the business cycle turns,
they say the financial system is too fragile to withstand rules intended to avoid future
downturns and protect our most vulnerable communities. To paraphrase an old saying, the
time for financial reform “has a trick of going rotten before it is ripe.”20 As history teaches us
again and again, strong regulation and consumer protection are vital to ensuring that our
financial system serves as a source of stability and equitable growth.
Thank you again for having me and for your time today. Iʼm looking forward to the
conversation with my good friend Bharat Ramamurti.
###
[1] O ice of Evaluation Sciences, Equity in the Distribution of the Emergency Rental Assistance Program, General Services
Administration (2022), https://oes.gsa.gov/projects/era-equity/.
[2] Press Release, U.S. Treasury Department Updates Certification Application for Community Development Financial Institutions
to Promote Responsible Lending to Financially Underserved Communities, U.S. Department of the Treasury, Dec. 7, 2023,
https://home.treasury.gov/news/press-releases/jy1967.
[3] Executive Order No. 14,030 (May 20, 2021), https://www.govinfo.gov/content/pkg /DCPD-202100425/pdf/DCPD202100425.pdf

.

[4] Press Release, Treasuryʼs Federal Insurance O ice Advances First Insurer Data Call to Assess Climate-Related Financial Risk to
Consumers, U.S. Department of the Treasury, Nov. 1, 2023, https://home.treasury.gov/news/press-releases/jy1867.
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[5] U.S. Department of the Treasury, The Impact of Climate Change On American Household Finances (Sept. 2023),
https://home.treasury.gov/system/files/136/Climate_Change_Household_Finances.pdf

.

[6] U.S. Department of the Treasury, Principles for Net-Zero Financing & Investment (Sept. 2023),
https://home.treasury.gov/system/files/136/NetZeroPrinciples.pdf

.

[7] U.S. Department of the Treasury, The Financial Services Sectorʼs Adoption of Cloud Services (Feb. 2023),
https://home.treasury.gov/news/press-releases/jy1252.
[8] Executive Order No. 14,110 (Oct. 30, 2023), https://www.govinfo.gov/content/pkg /FR-2023-11-01/pdf/2023-24283.pdf

.

[9] Executive Order No. 14,067 (Mar. 9, 2022), https://www.whitehouse.gov/briefing-room/presidentialactions/2022/03/09/executive-order-on-ensuring-responsible-development-of-digital-assets/.
[10] U.S. Department of the Treasury, Crypto-Assets: Implications for Consumers, Investors, and Businesses (Sept.
2022), https://home.treasury.gov/system/files/136/CryptoAsset_EO5.pdf

.

[11] Graham S. Steele, The Tailors of Wall Street, 93 University of Colorado Law Review 993 (2022),
https://lawreview.colorado.edu/print/volume-93/the-tailors-of-wall-street/.
[12] The White House, President Biden Urges Regulators to Reverse Trump Administration Weakening of Common-Sense
Safeguards and Supervision for Large Regional Banks, March 30, 2023, https://www.whitehouse.gov/briefing-room/statementsreleases/2023/03/30/fact-sheet-president-biden-urges-regulators-to-reverse-trump-administration-weakening-of-common-sensesafeguards-and-supervision-for-large-regional-banks/.
[13] Treasury Secretary Geithner Remarks to International Monetary Conference, June 6,
2011, https://home.treasury.gov/news/press-releases/tg1202; also Treasury Secretary Mnuchinʼs Statement on Basel III, December
7, 2017, https://home.treasury.gov/news/press-releases/sm0232.
[14] Press Release, Brown Keynote Speech at Americans for Financial Reform Forum on the Financial Crisis Ten Years Later, O ice
of Senator Sherrod Brown, July 24, 2018, https://www.brown.senate.gov/newsroom/press/release/brown-keynote-speech-atamericans-for-financial-reform-forum-on-the-financial-crisis-ten-years-later.
[15] Executive Order No. 14,036 (July 9, 2021), https://www.govinfo.gov/content/pkg /DCPD-202100578/pdf/DCPD202100578.pdf

.

[16] U.S. Department of the Treasury, Assessing the Impact of New Entrant Non-bank Firms on Competition in Consumer Finance
Markets (Nov. 2022), https://home.treasury.gov/system/files/136/Assessing-the-Impact-of-New-Entrant-Nonbank-Firms.pdf

.

[17] O ice of the Comptroller of the Currency, Bank Merger Symposium, Financial Stability Panel, February 10, 2023,
https://www.youtube.com/watch?v=edaBCbv2eHg&t=9213s.

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[18] Remarks By Assistant Secretary for Financial Institutions Graham Steele at the Americans for Financial Reform Education
Fund, U.S. Department of the Treasury, July 25, 2023, https://home.treasury.gov/news/press-releases/jy1648.
[19] U.S. Department of the Treasury, The Future of Money and Payments (August
2022), https://home.treasury.gov/system/files/136/Future-of-Money-and-Payments.pdf

.

[20] This quote from English classical scholar Francis M. Cornfordʼs Microcosmographia Academica appears in the epigraph to
chapter 11 of the book The Bankerʼs New Clothes by Anat Admati and Martin Hellwig.

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