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For release on delivery
2 p.m. E.D.T
May 18, 2001

Issues for Bank Regulators

Remarks by
Alan Greenspan
Chairman
Board of Governors of the Federal Reserve System
via satellite
to the
Conference of State Banking Supervisors
Traverse City, Michigan
May 18, 2001

Good afternoon. It is a pleasure, once again, to talk with you about banking
supervision and regulation. The decade of the 1990s was one of dramatic change for the
U.S. financial services industry, inducing us to rethink much of our approach to
supervising and regulating banks. During the 1990s, the Congress adopted historic
changes in banking laws that transformed the structure of, and outlook for, the U.S.
banking system and laid the groundwork for significantly more change. Those events, in
turn, have caused bank supervisors to rely more heavily on banks' own internal risk
management practices and to focus supervisory efforts to ensure that those practices are
sound.
We entered the past decade dealing with an industry under stress—one that was
saddled with high levels of nonperforming assets and that was still experiencing a high
number of bank failures, all a result of misjudging risks. On the heels of the thrift
industry debacle, these problems led the Congress to enact the Federal Deposit Insurance
Corporation Improvement Act of 1991, imposing "prompt corrective action" and other
requirements on bank supervisors.
By the decade's end, we saw even more substantial legislation that has led to truly
nationwide banking and the possible combination of banking, securities, and insurance
underwriting activities under common ownership. In some respects, these legislative
events contrast sharply with the action taken at the beginning of the 1990s to address
weaknesses in banking and the bank supervisory process and reflect a much higher level
of comfort with the industry's financial condition and risk management techniques. As
such, the industry's new-found freedom speaks, in large part, to the progress it has made

-2-

throughout the decade in preparing itself for the tests ahead. The different laws also
reflect a greater understanding by the Congress of banking risks and how industry
practices and financial markets have changed.
New technologies have altered business practices around the globe, spurring
international trade and producing larger commercial firms with more efficient systems for
information and control. This, in turn, has encouraged many banks to increase their own
size and financial strength and expand the scope of their product lines. Confining banks
to outdated rules was, in the circumstances, perceived as both unfair to them and their
shareholders and harmful to the long-term economic interests of the United States. We
need a banking system that is not only sound but also able to innovate and respond to
customer needs. The question for us is how best to accommodate change while
protecting the public interest.
In my comments today, I would like to draw upon some of our past experiences
and outline a conceptual approach for addressing future issues. Even a casual observer of
banking history will recognize that many of the matters we deal with—and perhaps the
most important ones, in particular-are largely variations of older and more familiar
themes. That may be because the fundamental nature of banking and its role in a modern
economy have not changed materially for generations, despite the important operational
changes taking place every day. However, the management and supervision of banking—
especially bank risk-taking-is in the process of fundamental change.

-3-

The Role of Bank Supervision and Regulation
As we consider the challenges ahead, it seems useful to remind ourselves of bank
regulators' underlying directives, which I would describe as: First, to promote and
enforce sound practices so that banks do not present unacceptable threats to U.S. or world
financial markets or impose unacceptable costs on the insurance funds and, ultimately,
the U.S. taxpayers. And second, to maintain a supervisory and regulatory environment
that encourages innovation and efficient competition in financial services and that does
not require excessive risk-taking by banks in order to generate competitive returns.
Reducing the broad objectives of bank supervisors and regulators to two
sentences may be difficult, given the many demands placed on them in overseeing a
business as dynamic and important as banking. Yet, in some respects, these statements
could be simplified still more: To promote safety and soundness while allowing banking
institutions to innovate and compete. There are clearly some tensions in these goals.
The hard part, of course, is in implementing these concepts on a daily basis. Can
we always tell, for example, what is "unsafe and unsound" when we see it, and at what
point do we interfere with management's judgment when we disagree? What is "efficient
competition" when banks have access to a subsidized safety net? And how do we judge
the competitiveness of a bank's returns? Reaching clear agreement on such questions is
not easy, even among bank regulators with generally common goals. Resolving them
becomes far more contentious when bankers weigh in with materially different views.
One approach is for regulators to be permissive, unless it is clear that established
public interests are at risk. Banking in this country is, in most areas, highly competitive,
and the industry has proven itself to be highly resilient. To survive and be effective,

-4-

banks must be willing and able to take risk. Revenue, shareholder equity, and if
necessary the Bank Insurance Fund are there to deal with mistakes. Put differently, while
public policy needs to limit the financial and social costs of bank failures, we should not
view every bank failure as a supervisory or regulatory failure. It is not our role to prevent
all failures, let alone to guard against every earnings decline. Indeed, to do our jobs well,
we should understand that the essential economic function of banks is to take risk, and
that means mistakes will sometimes be made. A perfectly safe bank, holding a portfolio
of Treasury bills, is not doing the economy or its shareholders any good.
The experience of the early 1990s illustrates the process of recovery after a period
of excessive risk-taking. A decade ago, many regional and money center banks were
reeling from excessive commercial real estate lending and still-substantial holdings of
weak foreign country loans. Meanwhile, many agricultural banks were only then
recovering from their own bout with problem credits that had proved too heavy for
hundreds of other banks to bear. The FDIC was reporting that the Bank Insurance Fund
was nearly drained, while the General Accounting Office was saying that, in substance, it
already was. Banks nationwide were tightening their credit standards and cutting access
to credit for many firms, producing a "credit crunch."
It was clear that change was needed. The industry needed to resolve its problems,
improve its risk management practices, and construct new strategies that would provide
more stability in lending markets and more competitive, long-term returns to investors.
For their part, bank supervisors needed to pay more attention to emerging weaknesses
and deal with them more quickly.

-5-

Solving the immediate problem of weak asset quality and improving the
industry's overall profitability was, of course, the first priority, and fortunately that was
accomplished sooner than anyone expected. By the mid-1990s, U.S. banks were
enjoying stronger portfolios and higher earnings than they had seen in recent memory,
attesting to the underlying strength and resiliency of our banking system. During the past
decade, the industry's profitability has arguably climbed to its highest level ever, as large
banks finally joined small ones in achieving annual returns on average assets in excess of
1 percent.
To be sure, no one wants to repeat the experience of the early 1990s and, indeed,
that period has set a standard for what we should seek to avoid. It is also clear, however,
that the industry rebounded quickly when given the incentives to deal with its problems
through market and regulatory pressures. The key was addressing asset quality problems
and reducing the associated weight of bad loans. Getting there required some banks to
reduce or eliminate dividends and raise new capital, often on dilutive terms. That did not
always occur easily or without frank discussions between bankers and regulators. At
times forceful intervention is required to ensure that banks don't take risks that, at least in
the judgment of their supervisors, they are not prepared to handle. We supervisors also
need to resolve insolvent institutions while not trying to minimize every risk. But that
does not mean we should avoid addressing the causes of banking crises, no matter how
adept we may be at getting out of them.

-6Pro-Cyclicality of Bank Lending and Agency Supervision
A typical-one may almost say predictable-bank lending pattern is an easing of
lending terms as the economy recovers from a cyclical trough and a tightening as the
economy peaks and then contracts. At the same time, one can also observe what appears
to be less aggressive supervisory criticism of lending policies during the economic
expansion and an apparent get-tough policy at cyclical peaks and during contractions.
Both of these phenomena can be explained by rising optimism followed by a pulling back
and heightened caution. As such, they may be just an implicit part of the dynamics of the
business cycle. But neither are demonstrably in the best interests of the economy or the
bank's shareholders. They lead to an unnecessary degree of volatility in earnings and, as
such, to a reduced long-term capitalized value of the bank. This, in turn, lessens the
effectiveness of financial intermediation. Fortunately, there is some evidence that
desirable changes have already begun, changes that both private and public policymakers
should reinforce.
Historically, as I have said, loan standards are softened during an expansion,
when loan books are growing rapidly. As the economy expands, business and household
financing needs increase and projections of future outcomes are optimistic. It is difficult
for managers and supervisors to be critical of loan growth in such an environment,
particularly one marked by intense competition. In addition, incentives for loan officers
and managers traditionally have rewarded loan growth, market share, and nominal
profits. In an effort to expand loans in an optimistic environment, potential returns are
often not fully adjusted for risk, with the nominally high-yielding credit looking
particularly attractive. Moreover, credit specialists at banks—a function often separated

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from the loan officers— historically have had difficulty making their case about risk
because of their inability to measure and quantify risk. At the same time, with debt
service current and market risk premiums cyclically low, and with the same inability to
quantify and measure risk, supervisory criticisms of standards are difficult to justify.
When the economy begins to slow and the quality of some booked loans deteriorates,
loan standards belatedly tighten and supervisors' criticism of previous standards is taken
more seriously, inducing an even greater tightening of credit. In part, the examiners'
observations have often provided a reality check by which some banks came to recognize
a deterioration at first denied.
The last few years have had some of the traditional characteristics I have just
described: the substantial easing of terms as the economy improves, the rapid expansion
of the loan book, the deterioration of loan quality as the economy slows, and a
cumulative tightening of loan standards. But this interval has had some interesting
characteristics not observed in earlier expansions. First, in the mid-1990s, examiners
began to focus on banks' risk management systems and processes; at the same time,
supervisors' observations about softening loan standards came both unusually early in the
expansion and were taken more seriously than had often been the case. The turmoil in
financial markets in 1998 associated with both East Asia and the Russian default also
focused bankers' attention on loan quality during the continued expansion in this country.
And there was a further induced tightening of standards last year, months before the
aggregate economy weakened, in response to early indications of deteriorating loan
quality.

-8All of this might have been the result of idiosyncratic events from which
generalizations should not be made. Perhaps. But at the same time another, more
profound development of critical importance had begun: the creation at the larger, more
sophisticated banks of an operational loan process with a more or less formal procedure
for recognizing, pricing, and managing risk. In these emerging systems, loans are
classified by risk, internal profit centers are charged for equity allocations by risk
category, and risk adjustments are explicitly made. In short, the formal measurement and
quantification of risk has begun to occur and to be integrated into the loan-making
process. This is a sea change—or at least the beginning of one. Formal risk management
systems are designed to reduce the potential for the unintended acceptance of risk and
hence should reduce the pro-cyclical behavior that has characterized banking history.
But, again, the process has just begun.
The federal banking agencies are trying to generalize and institutionalize this
process in the current efforts to reform the Basel Capital Accord. The proposed
foundation approach, intended mainly for regional banks, and the advanced internal riskbased approach, intended mainly for large, complex banking organizations, would require
banks to create and use internal risk classifications for their banking book. These
classifications would not only be used to establish minimum regulatory capital, but the
associated risk profiles would be disclosed by the bank for the review of its creditors and
shareholders. How well this process works will depend on the supervisors' skill and, for
lack of a better word, toughness in validating the conceptual and empirical basis of the
risk classifications and management system. A weak or misused classification system
would destroy the process.

-9If applied seriously, and when operational near the middle of this decade, the
revised accord, Basel II, promises to promote not only better risk management over a
wider group of banks but also less-intrusive supervision once the risk management
system is validated. It also promises less variability in loan policies over the cycle. To
be sure, banks' risk appetites can change as they decide to increase or decrease the
riskiness of their loan portfolios. In addition, minimum regulatory capital might tend to
be pro-cyclical as loans migrate from less- to more-risky classifications as the economy
weakens, in the process increasing minimum capital requirements. This tendency must,
however, be balanced against what should be the reduction in cyclical reserving and
write-offs that traditionally have come with the late recognition of excess risk taken
earlier. Moreover, if, as promised, better risk-management reduces the variance of
charge-offs and earnings, bank equity values, to repeat, are likely to be rewarded with
higher price-earnings ratios. Put somewhat differently, better risk management and
supervision may well focus bank management on its real objective: maximizing
shareholder wealth.

Building on Market Practice
In setting boundaries and minimum standards for banks, we typically look at
industry practices to identify what works well and what does not. In almost all cases,
that's the correct approach-to build on industry practice. Indeed, the development of the
Basel II capital proposals I have just discussed has been constructed on the principles
developed initially by the best-practice banks.

-10We should encourage all banking organizations to continually strengthen their
systems and controls as their operations and market practices evolve. But we need not
expect—and surely not require—significant numbers of banks to develop risk management
systems that are more complex than they need. Simplicity can work well, too, and for
most banks that is likely to be the best approach. For the vast majority of U.S. banks,
current practices, as I noted, seem fine.
It is, of course, our belief that, for the larger banks, improving the measurement
and management of risk will provide bank supervisors with more reliable and efficient
ways to evaluate a bank's financial health. That thought underlies the concept of riskbased supervision and our increased focus on internal processes and controls. If we can
gain greater confidence in a bank's operating procedures and in its own evaluation of
risk, we should be able to reduce our oversight role—certainly when compared with what
would otherwise be required.

Innovative Banking System
The management principles adopted by U.S. banks, our capital market system,
and our oversight regime have worked well, I believe, in providing this country with a
healthy and responsive banking system and probably the most efficient allocation of
financial resources in the world. Much of that success relies on the effective
measurement of risk, on high levels of competition, and on arm's length transactions.
Indeed, these elements support one another: competition requires institutions to correct
mistakes quickly and assess risks as accurately as they can, while independent decision-

-11making helps ensure that pricing reflects risk. Sound pricing, in turn, produces good
returns to investors and spurs further competition.
Despite more than a decade of consolidation, the U.S. banking system remains
highly competitive on virtually every front. With enhanced technology and deregulation
we now have global and national markets for a growing number of banking products,
while low barriers to entry encourage competition in more sectors than ever before. The
pace of bank creation has actually increased in recent years, despite the contraction in the
overall number of insured commercial banks. Interstate banking has also brought new
competitors into previously settled markets, and Gramm-Leach-Bliley has the prospect of
adding more competition, as nonbank firms seek entry into the banking business. Even
when these events simply change the ownership of existing banks, one could still argue
that, in most cases, they introduce stronger, more aggressive competitors into a market.
The role of bank regulators is, of course, to ensure that all of these activities do
not reduce the safety and soundness of banks. In recent years, state bank regulators have
worked well together and with their federal counterparts in accommodating interstate
banking and minimizing oversight costs to both the supervisors and to state-chartered
institutions. Now, Gramm-Leach-Bliley has introduced nonbank activities and functional
regulators into the mix. In moving forward into new areas, the Federal Reserve will
strive to build on the long tradition of coordination and cooperation with state bank
supervisors in ensuring that the broader activities of financial holding companies remain
adequately supervised and regulated.
On numerous occasions last year, Federal Reserve staff met with staff members of
the Securities and Exchange Commission, various state insurance commissions, and other

-12state and federal bank supervisors in a mutual effort to learn more about each other's
interests and how our role as umbrella supervisor can mesh best with their activities. It is
important that we maintain this cooperative process and work to make supervision as
efficient as it can be.

Conclusion
In recent years, we have incorporated innovative ideas and accommodated
significant change in banking and supervision.

Institutions have more ways than ever to

compete in providing financial services. Financial innovation has improved the
measurement and management of risk and holds substantial promise for much greater
gains ahead.
It seems clear that, building on bank practice, we are in the process of developing
an improvement in both lending and supervisory policies that will not only foster better
risk management but could also reduce the pro-cyclical pattern of easing and tightening
of bank lending, and accordingly increase bank shareholder values. It is not an easy road,
but it seems that we are well along it.