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3/7/2022

Remarks by Under Secretary for Domestic Finance Nellie Liang at the Institute of International Bankers’ Annual Washing…

Remarks by Under Secretary for Domestic Finance Nellie Liang
at the Institute of International Bankers’ Annual Washington
Conference
March 7, 2022

As prepared for delivery
Let me start by thanking the Institute for International Bankers for inviting me to join you
today.
I prepared remarks for today focusing on financial system resilience. But first I want to
acknowledge the heroic resilience of the Ukrainian people as they fight for their country
against Russiaʼs unprovoked attack. We support the Ukrainian people in their fight for their
homes and their democracy.
Together, the Treasury Department and finance ministries around the world have isolated the
Russian economy. Eighty percent of its banking assets are now under Treasury restrictions,
and we, along with our allies, have immobilized about half the assets in Russiaʼs central bank.
The success of these sanctions illustrates the joint responsibility that we—policymakers and
industry alike— have as part of the global financial system to prevent it from being used to
facilitate illegal or terrorist activity. Your institutions are on the front lines of this important
e ort, and we thank you.
Since the Russian aggression commenced and sanctions put in place, the ruble has fallen and
the Russian stock market has closed. Commodity prices have surged and equity prices have
fallen, and by more in economies more closely tied to Russia. Market liquidity has thinned and
volatility has increased. Markets have continued to function well as the financial system works
through implementing the broad scale of new sanctions, albeit with some signs of strain such
as wider bid-ask spreads and slightly higher term unsecured funding costs. Investors are
meeting elevated margin calls without delay. Moreover, investors show little concern about
solvency or liquidity stresses at domestic financial institutions. With the situation changing
rapidly, the Financial Stability Oversight Council (FSOC) convened last week to discuss
financial developments and actions to mitigate risks. We are talking to our global regulatory
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Remarks by Under Secretary for Domestic Finance Nellie Liang at the Institute of International Bankers’ Annual Washing…

colleagues, who are also closely monitoring the situation. We will continue to be alert to
fallout from the recent events.
My remarks today will focus on financial reforms taken since the global financial crisis more
than a decade ago, and more recent e orts to address newer, more novel risks, specifically
climate change and increasing digitization of assets. US and global policymakers have been
striving to establish regulatory and supervisory frameworks to ensure that financial systems
will be resilient. Resilience means the system can continue to provide critical functions to
support economic activity and growth, importantly providing credit, payment, and risk
transfer services even in the face of unexpected shocks. Clearly, the system now is much more
resilient than when these e orts started.
Looking forward, regulators will need to be nimble in their approaches to ensure the financial
system continues to be resilient as some key emerging risks look to be di erent from those in
the past. To illustrate these di erences, we can look back to the weaknesses that
precipitated the global financial crisis. They were largely within the financial sector.
Commercial and investment banking firms did not have su icient capital or liquidity, or
adequate risk management practices. These and other financial structures, like money market
funds and asset-backed commercial paper conduits, were highly vulnerable to runs. These
structural weaknesses amplified the steep fall in house prices, and led to runs and failures,
and spilled over to the real economy, with tremendous costs to our households, communities,
and businesses for many years.
Global regulators came together in the a ermath and made significant changes to prevent
such a crisis from ever happening again. They required stronger standards and prudential
oversight, as well as resolution planning for banks, mandated central clearing for derivatives
and stronger regulations for CCPs, and enhanced market transparency to bolster financial
system resilience.
In early 2020 at the onset of the COVID-19 pandemic, the benefits of the reforms were
apparent. The banks and CCPs performed relatively well, though these intermediaries along
with the real economy benefitted from the extraordinary measures taken by the Federal
Reserve and fiscal support from the Administration and the Congress. But vulnerabilities in
the nonbank financial sector were made more salient by that episode. For some time,
financial regulators had been concerned about liquidity mismatch and leverage in nonbank
activities, and their contribution to market dysfunction in March 2020 strengthened the
resolve of regulators to make changes. For example, FSOC has called for additional reforms
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Remarks by Under Secretary for Domestic Finance Nellie Liang at the Institute of International Bankers’ Annual Washing…

to money market funds to reduce run risk, and is evaluating the liquidity mismatch in openend mutual funds and the leverage of hedge funds. Regulators also are evaluating possible
reforms to address the surprising liquidity stresses in Treasury markets during March 2020.
The Financial Stability Board (FSB) also is looking at these same issues on a global basis.
Today, two emerging risks– climate change and increased digitization of assets – are
presenting new challenges to the financial system. These risks reflect broad external changes
that can manifest in the financial system in part through traditional channels, but existing
supervisory and regulatory frameworks and practices may not be su icient. I will discuss
these two risks in more detail.
Let me turn first to climate change. Climate change is an existential threat to our
environment and ecosystems, and is creating increasing and significant economic costs.
According to the National Oceanic and Atmospheric Administration (NOAA), there were
twenty billion-dollar-or-more weather and climate disasters in 2021, which caused a combined
$145 billion in damages. This is a 50 percent increase in damages from 2020. Scientific
consensus indicates that the world must halve emissions by 2030 to avoid the most extreme
consequences of climate change. President Biden has put forward a target for the United
States in line with that imperative.
Financial regulators have a responsibility to ensure the resilience of the financial system to
climate change, and they are taking important steps. But actions by the financial sector alone
cannot counteract the drivers of climate change. Actions must be complementary to broader
policies to reduce global greenhouse gas emissions to facilitate the transition to net-zero.
The longer it takes to address the underlying causes of climate change, the greater the risk
that policies will need to be implemented in an abrupt fashion and have disorderly e ects on
economic activity and asset values.
In November 2021, FSOC published a report on climate-related financial risks, which identified
that climate change is an emerging threat to financial stability. It also recognized that the
scope and uncertainties of climate change on the financial sector represents a new challenge
to existing regulatory frameworks and supervisory practices. Broadly, the report
recommended that financial regulators take actions to better assess and measure climaterelated financial risks in order to enhance the resilience of the financial system to these risks.
It also recommended that regulators improve disclosures so that investors would have more
useful information to be able to assess climate risks.

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Remarks by Under Secretary for Domestic Finance Nellie Liang at the Institute of International Bankers’ Annual Washing…

Since then, Treasury and its FSOC colleagues have been working to implement the FSOC
recommendations. First, weʼre expanding capacity to assess, monitor, and quantify climaterelated financial risks. The FSOC formed an inter-agency sta committee, the Climate-related
Financial Risk Committee (CFRC), to coordinate activities and provide a forum for analysts and
researchers to share experiences with developing data, risk metrics, and models. An
immediate focus is to advance climate-related scenario analysis, importantly informed by the
scenarios produced by the Network for the Greening of the Financial System (NGFS). A
significant challenge is that climate-related impacts are historically unprecedented, and their
timing and scope are uncertain. Scenario analysis can give a useful sense of vulnerabilities
based on possible future outcomes, but our understanding of vulnerabilities and transmission
channels should be expected to evolve as we gain experience over time.
Second, U.S. regulators continue to incorporate climate risks into their regulatory and
supervisory programs. The development of ways to quantify risks requires concerted focus
and new climate expertise, and agencies are making progress. The Federal Reserve has
established two committees which are focused on climate-related risks at supervised
financial firms and for financial stability, and is developing a program for scenario analysis.
The Fed, the OCC, and Federal Insurance O ice have joined the NGFS. Some regulators have
pilot projects with the O ice of Financial Research to better integrate climate data with
financial data. More recently, the O ice of the Comptroller of the Currency (OCC) released
dra principles for identifying and managing climate-related financial risks for large banks
that generally align with Basel III and NGFS e orts. The FDIC recently announced its plans to
seek comment on guidance designed to help banks manage climate-related risks.
Agencies also will draw on the learnings of our international colleagues on how best to
identify data gaps and direct modeling e orts, and to establish supervisory principles. We
understand from their experiences that this work will take time. To date, no advanced
economy has established direct capital implications for financial firms. But many financial
firms themselves are assessing their own risks, and this information is being incorporated into
their own decision making, even apart from regulatory requirements. We collectively know
that there are significant costs of not making progress and that it is important that resources
be dedicated on a sustained basis to this work.
The FSOC report also emphasized the importance of disclosure, recognizing the urgent need
to provide markets with the information necessary to price climate related risks. SEC sta is
working on a rulemaking proposal to improve the quality and extent of climate risk disclosure
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Remarks by Under Secretary for Domestic Finance Nellie Liang at the Institute of International Bankers’ Annual Washing…

by public issuers, building on a previous guidance. A robust disclosure framework, however,
will need to include both private and public companies, and encompass a broad range of
assets. Recognizing this need, Treasury recently held a roundtable last week with state and
local finance o icials that discussed best practices for climate risk disclosure in municipal debt
markets. SEC sta have also begun to review whether fund managers should disclose criteria
and data related to ESG and green claims.
International work to promote more consistent climate-related financial disclosures is critical.
The recently-created International Sustainability Standards Board (ISSB) plans to issue a
climate disclosure standard in 2022, building on the work of the TCFD. The FSB is tracking
international progress on climate disclosure and considering how to support consistent and
comparable disclosures across jurisdictions and sectors. These standardization e orts will
help to promote a level playing field across countries, which in turn, promotes global
competition and e iciency.
I would like to highlight two other e orts related to climate change. The first is to ensure
market integrity for investors who invest in climate-aligned investments. Countries
representing 90 percent of global GDP have committed to some form of net-zero target by
mid-century or shortly therea er, and more than $130 trillion in global assets under
management have committed to a mid-century net zero goal. A key challenge for policy
makers is how to ensure that these targets are achieved in an orderly, expeditious, and
transparent manner, and with credibility and “high-integrity.” Treasury is looking closely at
how financial institutions and markets can actively support the net-zero transition, including
serving as co-chair of the G20 Sustainable Finance Working Group to promote accountability
and best practices.
A second e ort is to help improve the resilience of the most vulnerable households and
communities to the risks of climate change. Studies by the Environmental Protection Agency
and others show a high correlation between low-income communities and major climate
events, such as flooding and extreme heat, and such weather-related disasters can have a
lasting e ect on the financial well-being of more vulnerable households. Treasury, as chair of
the inter-agency Financial Literacy and Education Commission (FLEC), has initiated a study to
improve understanding of the risks of vulnerable households, and to provide
recommendations to increase or improve awareness of available resources to improve
resilience of households to climate events. This work is underway by “FLEC and friends,” the

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Remarks by Under Secretary for Domestic Finance Nellie Liang at the Institute of International Bankers’ Annual Washing…

23 FLEC agencies plus science and environmental agencies as well as the Federal Reserve
Banks, and they plan to produce a report this fall.
Let me turn next to digital assets. If well-designed and appropriately regulated and
supervised, digital asset innovations could enhance financial system e iciency and resiliency,
as well as help provide access to financial services for those outside of the traditional banking
system. Treasury supports responsible innovation that promotes global economic growth,
financial stability, and financial inclusion. At the same time, it is committed to ensuring that
new financial products do not pose new, significant risks to financial system resilience.
Stablecoins are an important part of the emerging set of digital assets. Their distinguishing
feature, as compared to other digital assets, is that they are designed to maintain a stable
value relative to a reference asset, o en the U.S. dollar. Because of their o er of stable value,
they could become widely used as money. Indeed, many companies are working to create
stablecoins to be used by households and businesses for payments. They have the potential
to make payments faster and more e icient, but they could also pose significant concerns for
users and the broader financial system if they are not stable or cannot reliably provide
payment services.
Last November, the Presidents Working Group on Financial Markets (PWG), with the OCC and
FDIC, issued a report highlighting certain prudential risks of stablecoins associated with their
use for payments, notably run risk, payment risk, and concerns related to concentration of
economic power. The report also importantly highlighted gaps in the current regulatory
framework to address these risks. Some of the largest stablecoin issuers operate with
limited regulatory oversight, and even where there is oversight, supervisors lack the visibility
into the broader ecosystem supporting the stablecoin. Existing regulations also are not
designed to address the financial stability or payment system risks for new products based on
distributed ledger technology, which has the potential to significantly change how some
financial services are provided.
To fill this regulatory gap, the PWG Report recommends legislation to require that stablecoins
be subject to a consistent and comprehensive regulatory framework that is proportionate to
the risks posed. Such legislation would complement existing authorities with respect to
market integrity, investor and consumer protection, and illicit finance.
Specifically, the PWG report recommended: limiting issuance of stablecoins to insured
depository institutions which would reduce the risk of investor runs; giving supervisors of
stablecoin issuers authority to set risk management standards for critical activities related to
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Remarks by Under Secretary for Domestic Finance Nellie Liang at the Institute of International Bankers’ Annual Washing…

use of stablecoin as a means of payment, helping to ensure the resilience of critical payment
systems; and certain measures to reduce concerns related to concentration of economic
power that would limit competition and harm consumers.
As noted earlier, stablecoins are a subset of the larger and quickly evolving digital assets
market. At Treasury, we have made strides to better understand and address the implications
of digital assets for the financial system. The FSOC has identified digital assets as one of its
priorities for 2022 and plans to bring together its member agencies to assess any potential
risks that digital assets may pose and ways to make the financial system more resilient to
those risks. These e orts are part of a broader Biden-Harris Administration strategy to
develop a comprehensive strategy for all digital assets that calls for policies that will result in
real benefits for households and businesses, financial inclusion, and the nation as a leader in
the global financial system. At the same time, it will work to prevent increased use for illicit
finance, risks to financial stability, and harm to consumers and investors.
International groups continue to prioritize similar work on digital assets. This work includes
the G7ʼs consideration of potential implications of new forms of money for the functioning of
the international monetary system, the G20ʼs focus on cross border payments, and the FSBʼs
ongoing assessment of growing risks to global financial stability posed by crypto-assets. We
at Treasury look forward to continuing to partner with our international colleagues in these
important endeavors.
To conclude, risks to the financial system deriving from climate change and digital assets that
I highlighted today present new challenges to our existing regulatory and supervisory
framework. At Treasury, we are actively working to address these risks, with colleagues
domestically and internationally. We share the goal of ensuring a stable financial system in
the years to come.
Thank you for letting me join you today and I look forward to continuing to work with the IIB
and its members in the future.
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