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For release on delivery
8 25 a m CDT (9 25 a m EDT)
May 1, 1997

Remarks by
Alan Greenspan
Chairman
Board of Governors of the Federal Reserve System
at the
Conference on Bank Stmctme and Competition
of the
Federal Reserve Bank of Chicago
May 1, 1997

Technological Change and the Design of Bank Supervisory Policies

For more than three decades, this conference has focused our attention on key
issues facing banks, their customers, and regulators Its proceedings have
chronicled a remarkable and ongoing transformation of the U S financial services
industry At the time of the first gathering in 1963, our financial system was highly
segmented, with commercial banks, savings and loans, investment banks, insurance
companies, and finance companies providing distinctly separate products Statutes
and regulations greatly restricted competition between banks and nonbanks, and
among banks themselves
Today, the marketplace for financial services is intensely competitive,
innovative, and global Banks and nonbanks, domestic and foreign, now compete
aggressively across a broad range of on- and off-balance sheet financial activities It
is noteworthy that, for the most part, this transformation has not been propelled by
sweeping legislative reforms Rather, the primary driving forces have been
advances in computing, telecommunications, and theoretical finance that, taken
together, have eroded economic and regulatory barriers to competition, de facto
Technology has fundamentally reshaped how financial products are created, and
how these products are delivered, received, and employed by end-users
In my remarks this morning, I plan to discuss two aspects of this process of
technological change First is the recurring theme of financial products being
unbundled into their component parts, including the unbundling of credit, market,
and other risks These developments have worked to enhance the competitiveness
and efficiency of the financial system, and at the same time to provide financial
institutions and then customers with better tools for managing risks A by-product
is that our largest and most complex financial organizations increasingly are

measuring and managing risk on a centralized basis This trend seems irreversible,
and in my view provides a compelling reason for maintaining some type of umbrella
supervision over banking organizations, especially as we contemplate repeal of
Glass-Steagall and other restrictions on the activities of banking organizations
The second theme I want to explore is the large element of uncertainty
underlying technological progress Reflecting this uncertainty, it is inherently very
difficult to predict the extent to which government policies may distort the private
sector's incentives to innovate This argues for supervisory and regulatory policies
that are more "incentive-compatible," in the sense that they are reinforced by market
discipline and the profit-maximizing incentives of bank owners and managers To
the extent this can be achieved, and I believe we have taken some innovative steps
in this direction, supervisory and regulatory policies will be both less burdensome
and more effective

Unbundling of Financial Services
The unbundling of financial products is now extensive throughout our
financial system Perhaps the most obvious example is the ever expanding array of
financial derivatives available to help firms manage interest rate risk, other market
risks, and, increasingly, credit risks Derivatives are now used routinely to separate
the total risk of more generic products into component parts associated with various
risk factois These components frequently are repackaged into synthetic products
having risk profiles that mimic financial instruments in other markets The synthetic
products can then be lesold to those investors most willing and able to bear the
associated risks

3

Another far-reaching innovation is the technology of securitization -- a form
of derivative ~ which has encouraged unbundling of the production processes for
many credit services Securitization permits separate financial institutions to
originate, service, fund, and assume the credit or market risks of a portfolio of loans
or other assets Thus, a financial institution may specialize in those activities where
it has parucular expertise or other comparative advantages For example, to reduce
the costs of originating and securitizing certain types of household loans, the
underwriting processes used by some financial institutions rely on highly automated
credit-scoring models developed by third-party vendors These models, in turn,
typically are linked to huge databases on borrower characteristics maintained
independently by national credit bureaus
Numerous types of assets are now routinely securitized, including residential
mortgages, commercial mortgages, auto loans, and credit card loans

In addition,

medium- and large-size businesses, including some that are below investment-grade,
legulaily access the commeicial paper market by securitizing their trade accounts or
other assets Recently, securitization and credit-scoring are beginning to be applied
to small business lending
These and other developments facilitating the unbundling of financial
products have surely improved the efficiency of our financial markets One benefit
is greater economic specialization, as banks and other financial institutions are able
to create market niches, for example, in cash management, investment management,
or the origination or servicing of certain loans Moreover, by lowering the costs of
hedging and financial arbitrage, derivatives and securitization work to enhance
market liquidity and reduce both absolute risk premiums and disparities in risk
premiums across financial instruments and geographic regions

Unbundling also has lowered economic barriers to competition, affording
households and businesses a greater choice of potential providers for financial
products The ability to unbundle permits potential competitors to target highly
specific product- or market-attributes, for which existing providers are earning
excessive "rents " Through credit-scoring and direct-mail marketing, for instance, a
financial institution can identify and recruit potentially profitable credit card
customers over a wide geographic area, without incurring the costs associated with
a large branch network According to our Survey of Consumer Finances, for
example, 84 percent of general purpose credit cards held by U S households in
1995 were issued by financial institutions from which the card holder received no
other financial service
In addition, unbundling has helped erode legal barriers to competition, by
enabling one or more attributes of a product to be modified in order to exploit
statutory or regulatory "loopholes " A classic example, of course, is the
introduction of money market mutual funds, which ultimately forced the removal of
Regulation Q interest rate ceilings on deposit accounts
It is important to recognize that these developments would not have been
possible without complementary advances in technology across several disciplines
First, innovations in finance theory, such as the principle of financial arbitrage and
models for pricing contingent claims, provided a conceptual framework for
understanding and modeling financial risks Second, advances in computer and
communications technologies have made these conceptual innovations economically
feasible, by lowering the costs associated with information processing and with the
transmission of large volumes of data over long distances

5
Besides promoting competition and improved products and production
efficiencies, these same technological advances have spawned a sea-change in the
risk management practices of financial institutions The largest and most
sophisticated banking organizations increasingly have centralized their risk
management at the parent level -- cutting across legal entities and financial
instruments
This new management paradigm is grounded in the same conceptual
techniques employed by financial engineers to unbundle the total risk of an
individual asset

Such techniques rely on the financial engineer's ability to model

the relationship between an individual asset's economic value and a number of
separate risk factors

Carrying this process further, the relationship between these

risk factors and the value of an overall portfolio can be obtained by summing the
relationships foi the individual underlying assets With the processing power of
modern computers, it is now possible to estimate the joint probability distribution of
many risk factors and, given this distribution, to simulate the probability
distributions of losses for large, complex portfolios
Over the past decade or so, the largest banking organizations have invested
substantial sums to hire the staff and to create the software, databases, and related
management information systems to carry out such computations Most of you are
aware of the application of this technology in VaR, or "value-at-risk," models,
which are used to estimate loss distributions for trading portfolios

More recently,

many large banking organizations have begun using similar technologies to measure
the credit risk in their loan portfolios In both applications, the measurements of
overall portfolio risk are used to determine the prices for loans and other products
needed to achieve hurdle rates-of-return on shareholder equity, to assess the

adequacy of an organization's overall equity capital, as well as for other
management purposes
These efforts to develop more centralized risk management systems are being
driven by normal competitive pressures to maximize synergies within financial
organizations, such as joint-production and cross-selling opportunities involving
multiple subsidiaries This, in turn, is the logical outcome of the organization's
desire to produce and market its products most efficiently, and to achieve the
highest risk-adjusted returns for shareholders Such synergies cannot occur if the
parent is merely a passive portfolio investor in its subsidiaries Reflecting this
economic reality, vntually all large bank holding companies are now operated and
managed as integrated units
The trend toward centralized risk management raises some fundamental
policy issues for how we should regulate and supervise large, complex banking
organizations Chief among these, this trend raises serious doubts regarding
suggestions that we rely solely on decentralized "functional regulation" as we move
to expand further the permissible activities of banking organizations The traditional
view of the functional approach to regulating a banking organization would involve
a bank regulator supervising the insured bank, the SEC supervising any
broker/dealer subsidiary, a state insurance department supervising any insurance
subsidiary, and so on Each functional regulator would look only at the risk
management practices of the regulated entity under its supervision, unregulated
subsidiaries, including the parent, would be unsupervised
Before technology advanced to a point where substantial oversight and
control of large banking organizations could be consolidated at the parent level,
functional regulation conformed with practical limitations on the abilities of

7

managers to coordinate resources, and evaluate risks, for the organizations as a
whole In essence, a decentralized approach to regulation followed from the
decentralized financial decision-making process of its day To borrow a concept
from architecture form followed function
In today's world, however, the "form," decentralized regulation, no longer
follows the "function," centralized risk management Almost by definition, the
synergies upon which centralized management is predicated imply that neither a
subsidiary's economic condition on a going-concern basis, nor its exposure to
potential risks, can be evaluated independently of the condition and management
policies of the consolidated organization Regulation must fit the architecture of
what is being regulated
To give one example, it is common for complex banking organizations to
manage the relationships with large customers centrally, even though the underlying
cash management, credit, 01 capital maikets services piovided to the customer may
transcend several subsidiaries Under this framework, the way the organization's
internal transfer pricing system allocates costs, revenues, and risks to a specific
regulated entity may be somewhat arbitrary, or even misleading Yet, a functional
regulator -- looking only at the entity under its supervision -- generally would have
insufficient information to validate the reasonableness of these allocations
A purely decentralized regulatory approach would also greatly diminish our
ability to evaluate and contain potential systemic disruptions in the financial system,
since no legulator would be responsible for monitoring the consolidated banking
organization We should lemember that one of the primary motivations of a society
having a central bank and a safety net is precisely to limit systemic risk Partly in
recognition of the fact that financial organizations are managed on a consolidated

8

basis, financial markets generally view them as single economic entities Thus,
troubles in the non-government-regulated portion of a bank holding company cannot
be expected to leave the government-regulated subsidiaries unscathed In a worst
case scenario, problems in one part of an organization could precipitate a run at a
healthy affiliate bank, and could even generate spillover effects onto nonaffiliated
banks
It is worth noting that recent deposit insurance and depositor preference
legislation may increase these concerns, by exposing uninsured creditors of banks to
a greater risk of loss than in the past While these new initiatives have the
significant benefit of strengthening market discipline, they may also induce some
additional systemic risks, even for healthy banks, in periods characterized by
heightened levels of economic uncertainty We don't have much experience, yet, in
operating under these new ground rules
For all of these leasons, I believe we must continue to have some type of
umbrella supervision for banking organizations, especially for the largest and most
complex organizations that pose the greatest systemic risk concerns In my
judgment, therefore, the critical challenge is to develop approaches to implementing
umbrella supervision that are effective in limiting systemic risk without distorting
economic incentives or being unduly burdensome to banking organizations

Innovation, Uncertainty, and Bank Supervision
If history is our guide, market innovations - with or without supporting
legislation -- will continue to stimulate financial modernization As this process
unfolds, we can expect banking organizations to undertake an increasing number of
financial activities Under these cricumstances, policymakers face a very difficult

9
tradeoff namely, balancing the need for financial stability and umbrella supervision,
on the one hand, against our desire to avoid extending bank-like regulation and the
safety net over these new activities
In addressing this tradeoff, policymakers also have an obligation to consider
the potential effects of their policies, unintended as well as intended, on the process
of financial innovation Technological progress has been a critical element in rising
living standards This is not surprising, because the creation and diffusion of
innovations have represented voluntary decisions by individuals and firms acting in
then own self-interests Government policies always pose some risk of misdirecting
or distorting this process by interfering with normal competitive market
mechanisms This concern is particularly relevant to the financial sector, whose
innovations seem to be especially attuned to the risk-return incentives created by the
safety net and regulatory policies
Designing government policies that minimize the potentially disruptive effects
on private incentives to innovate is complicated by how little we really understand
the process of innovation and technological change Forecasting the direction or
pace of technological change has proven to be especially precarious over the
generations, even for relatively mature industries
While uncertainty is inherent in any creative process, Nathan Rosenberg of
Stanford suggests that even after an innovation's technical feasibility has been
clearly established, its ultimate effect on society is often highly unpredictable He
notes at least two sources of this uncertainty First, the range of applications for a
new technology may not be immediately apparent For instance, Alexander Graham
Bell initially viewed the telephone as solely a business instrument - merely an
enhancement of the telegraph — for use in transmitting very specific messages, such

10
as the terms of a contract Indeed, he offered to sell his telephone patent to Western
Union for only $100,000, but was turned down Similarly, Guglielmo Marconi
initially overlooked the radio's value as a public broadcast medium, instead
believing its principal application would be in the transmission of point-to-point
messages, such as ship-to-ship, where communication by wire was infeasible
A second source of technological uncertainty reflects the possibility that an
innovation's full potential may be realizable only after extensive improvements, or
after complementary innovations in other fields of science According to Charles
Townes, a Nobel Prize winner for his work on the laser, the attorneys for Bell Labs
initially refused, in the 1960s, to patent the laser because they believed it had no
applications in the field of telecommunications Only in the 1980s, after extensive
improvements in fiber optics technology, did the laser's importance for
telecommunications become apparent
It's not hard to find examples of such uncertainties within the financial
services mdustry The evolution of the OTC derivatives market over the past
decade has been nothing less than spectacular But as the theoretical underpinnings
of financial arbitrage were being pubbshed by Modigliani and Miller in the late
1950s, few observers could have predicted how their insights would eventually
revolutionize global financial markets This is because, in addition to their insights,
at least two complementary innovations had to fall into place The first was further
conceptual advances in contingent claims theory, such as the Black-Scholes option
pricing model The second was several generations of advances in computer and
communications technologies that were necessary to make these concepts
computationally practicable

11
Given the high degree of uncertainty inherent in the development of new
products and processes, policymakers should be cautious when attempting to
anticipate the future path of innovation, or the effects new regulations may have on
innovation There are several aspects to this interaction between government
policies and market innovation First, banking organizations may develop new
products or innovations to exploit regulatory "loopholes," or they may decline to
develop new products whose bkely regulatory treatments are viewed as burdensome
or unclear Another unintended consequence is that a policy action may establish an
inappropriate unofficial government standard for how certain activities should be
conducted In contrast to government standards, which can be extremely difficult to
change, when the private sector adopts a standard that subsequently becomes
outmoded, market forces generally can be expected to remedy the situation
The history of retail electronic payments provides a useful illustration In the
1970s, when many were heralding the advent of a "cashless society," the Federal
Reserve and the Treasury played an important role in developing and promoting
what was seen as a key component of this vision - the automated clearinghouse
system Now, twenty yeais later, we know that while the ACH has been successful
in some areas, it has failed to replace a substantial portion of the daily flow of paper
checks in the economy This experience leads me to conclude that the
experimentation with innovative electronic payment methods that we are seeing
today in the private sector is likely to have a much better chance of meeting the
needs of consumers and businesses than did the government-led initiatives two
decades ago

12

Within the context of banking regulation, concerns about setting a potentially
inappropriate regulatory standard were an important factor in the decision by the
banking agencies several years ago not to incorporate interest rate risk and asset
concentration risk into the formal risk-based capital standards In the end, we
became convinced that the technologies for measuring and managing interest rate
risk and concentration risk were evolving so rapidly that any regulatory standard
would quickly become outmoded or, worse, inhibit private market innovations
Largely for these reasons, ultimately we chose to address the relationship between
these risks and capital adequacy through the supervisory process
I believe that in many cases, policymakers can reduce potential distortions by
structuring policies to be more "incentive-compatible" -- that is, by working with,
rather than around, the profit-maximizing goals of investors and firm managers In
light of the underlying uncertainties illustrated in my earlier examples, I readily
acknowledge this is often easier said than done Nevertheless, I believe some useful
guiding principles can be formulated
The first guiding principle is that, where possible, we should attempt to
strengthen market discipline, without compromising financial stability As financial
transactions become increasingly rapid and complex, I believe we have no choice
but to harness market forces, as best we can, to reinforce our supervisory objectives
The appeal of market-led discipline lies not only in its cost-effectiveness and
flexibility, but also in its limited intrusiveness and its greater adaptability to
changing financial environments
Measures to enhance market discipline involve providing private investors the
incentives and the means to reward good bank performance and penalize poor
performance Expanded risk management disclosures by financial institutions is a

13

significant step in this direction In addition, Congress has undertaken important
initiatives, including a national depositor preference statute and the least-cost
resolution and prompt corrective action provisions of the FDIC Improvement Act
Of course, the value of these initiatives will depend on the credibility of regulators
in implementing the legislative mandates consistently over time
A second guiding principle is that, to the extent possible, our regulatory
policies should attempt to simulate what would be the private market's response in
the absence of the safety net Such a principle suggests that supervisory and
regulatory policies, like market responses, should be capable of evolving over time,
along with changes in institutional practices and financial technologies

Almost

certainly, such a principle impbes that we avoid locking ourselves into formulaic,
one-size-fits-all approaches to measunng and affecting bank safety and soundness
Foi example, as a bank's internal systems for measuring and managing market,
credit, and operating risks improve with advances in technology and finance, our
supervisory policies should become more tailored to that bank's specific needs and
internal management processes
Recently, we have taken several steps that attempt to operationalize this
concept, including the introduction of an internal models approach to assessing
capital for market risks in large banks' trading accounts Also, as I am sure most of
you are aware, the Board is currently pilot-testing with the New York Clearing
House Association an alternative capital allocation procedure for market risk, called
the "pre-commitment" approach The pre-commitment approach would permit
capital lequnements for market risk to reflect not only the estimates of risk derived
from a bank's internal market-risk model, but also other features of the bank's
trading risk management system that help limit its overall risk exposure - such as

14
the effectiveness of its internal controls and other risk-management tools

Conclusions
Over the last three decades, the folly of attempting to legislate or regulate
against the primal forces of the market is one of the most fundamental lessons
learned by banking regulators If those market forces are driving financial firms
toward centralized decision-making regarding risk, pricing, and other operational
issues, it will be difficult, at best, to implement a decentralized approach to
prudential regulation, however attractive its apparent simplicity Similarly, in the
face of continual market-driven innovations in banks' risk measmement and
management systems, regulatory approaches based on rigid, one-size-fits-all rules
are likely to become quickly outdated, ineffectual, and, worse, potentially
counterproductive
Incentive-compatible regulation, flexibly constructed and applied, is the
logical alternative to an increasingly complex system of rigid rules and regulations
that inevitably have unintended consequences, including possible deleterious effects
on the innovation process While I have discussed some examples of incentivecompatible regulation that appear to be working, we have a very long way to go
For example, banking regulators have yet to reach a consensus on some of the most
basic questions associated with prudential supervision ~ questions such as what is
an appropnate conceptual basis for assessing a financial institution's overall risk
exposure, how should such risk exposures be measured, and if we use internal
management models for such measurements, how can these models be validated?
The revolution in risk measurement techniques makes the answers to these questions
approachable, but not without significant effort on the part of the regulators and the

15
financial industry itself
I am confident that all parties are both willing and able to solve the challenges
that confront us It is clearly in our mutual self-interest to do so Our success will
pieserve not only the benefits of the most competitive and innovative financial
markets in the world, but also the benefits of financial stability that are cntical to our
economy