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Remarks
by
Donna Tanoue
Chairman
Federal Deposit Insurance Corporation
before the
Annual Convention
of
America’s Community Bankers
Chicago, Illinois
November 3, 1998

Good morning -- it is a pleasure to be with you here in Chicago.
I am pleased to participate in the upcoming panel moderated by Bill Fitzgerald. Skip
Hove -- the FDIC’s Vice Chair, a lifelong community banker and Bill’s fellow Nebraskan
-- tells me that Ellen and I are in good hands.
I am also pleased to be here with my colleague -- OTS Director and FDIC Board
member Ellen Seidman. As Chairman, I can tell you firsthand how much Ellen brings to
the Board. Intellectually alert and analytical, articulate, dynamic and opinionated -- she
is a source of strength on our Board.
As I prepared for this convention, I could not help but reflect on how much has changed
since I was a state regulator for thrift institutions in the 1980s. Even the smallest
institution today must operate in a global financial marketplace. We have truly national
financial institutions today -- institutions that operate throughout the United States.
And financial modernization is less and less about the promise of tomorrow and more
and more about opportunities and the brutal reality of competition today.
We are also still enjoying a seven-year economic expansion, but this is no time for
complacency. As of mid-year, there were only 64 commercial banks and 18 thrift
institutions on the FDIC’s problem list, compared to the almost 1,500 that were on the
list in 1990. The Bank Insurance Fund has a record balance of $28.9 billion and the
Savings Association Insurance Fund has a balance of $9.6 billion.
Today, 92 percent of the members of the Savings Association Insurance Fund are in the
best capitalized and best managed category of institutions in our risk-based premium
system. That means that 1,354 institutions pay no premiums into the SAIF for insurance
coverage.
Today, 95 percent of the members of the Bank Insurance Fund are in the best or "1A"
category. That means that 8,808 institutions pay no premiums into the BIF.

In recognition of the strong financial condition of the banking industry, the FDIC Board
of Directors last week voted to maintain the current assessment rates for both funds
during the first half of next year.
With that background on the funds, I want to talk with you briefly about three issues
involving deposit insurance:The first issue deals with the FDIC’s effort to refine the riskbased premium system. The second is the Savings Association Insurance Fund special
reserve.
And the third is preparing computer systems for the Year 2000 date change.
Let’s turn first to the refinement in premiums.
As you know, the reasoning behind our system of risk-based premiums is simple -- and
fair: The greater the risk that an institution poses to the deposit insurance funds, the
higher the premium it should have to pay. Of course, the smaller the risk an institution
poses, the lower the premium it should have to pay.
Not only is this fair, there are also policy considerations to risk-adjusted deposit
insurance premiums. Risk-based assessments provide a financial institution with a
modest financial incentive to avoid taking on undue risk. And they thereby lessen the
moral hazard that is created when we provide a safety net for our banking system.
How sensitive to risk should deposit insurance premiums be? As sensitive as practical.
I noted several weeks ago that, despite concerns about increasing risk in banking, there
has been no increase in the percentage of institutions classified into the riskier
categories of our premium system, and I announced that I have asked the FDIC staff to
look into a number of possible explanations, including this one:
Are supervisors identifying institutions whose condition is good, but whose practices
make them "outliers" in terms of underwriting, concentration of risk, or undisciplined
growth?
If these institutions are being identified, they should be asked to pay -- through deposit
insurance premiums -- for the risks they pose to the rest of you.
The FDIC is talking with the other regulators to find ways to refine existing procedures
to assure that we consider risky practices fully and consistently.
Today I will update you on the preliminary approaches that the FDIC staff is exploring to
reconcile risk-adjusted premiums and the greater risks that "outlier" institutions may be
taking on.
Specifically, the FDIC is asking the question:

Are there any insured institutions rated 1 or 2 under the CAMELS rating system that
warrant a rise in their premiums because their banking practices jeopardize their
financial condition?
The FDIC would ask that question for the banks we supervise. And we would ask our
colleagues at the other agencies -- the Office of Thrift Supervision, the Federal Reserve,
and the Comptroller of the Currency -- that question for the institutions they supervise.
If the answer is "yes," we might reclassify the institution from an "A" to a "B" in our
premium matrix, recommend further onsite review, or take no action, depending upon
the unique situation at each individual institution. No premium increase would be made
unless deficiencies in risk management had been discussed with the management of an
institution.
We are also looking at ways to screen institutions so that we can zero in on those most
in need of review. One possibility we are exploring is to look first at institutions that have
composite CAMELS ratings of 1 or 2 -- and a management component rating of 3 or
worse.
Today, there are 333 banks and savings institutions with those ratings out of 10,700
institutions we insure. Of the 333 institutions, 278 are banks and 55 are thrifts. Of the 55
thrifts, 36 are savings and loans and 19 are mutual savings banks.
If we were to use this screen, each one of these institutions would receive a closer look
from its primary regulator. Based on what was found, we would decide whether
premiums should be raised -- institution by institution. This fine-tuning of premiums
would contribute to our common goal of avoiding an excess buildup of risk in the
banking system.
I want to stress this morning that we have not made any decisions on these possibilities.
Much would depend on the outcome of discussions with our colleagues at the other
banking regulatory agencies, with whom we are beginning to discuss these approaches.
Of course, just as I am raising this possible approach with you today, we would inform
you and your colleagues of our thinking as it continues to evolve. And we would give
insured institutions advance notice of any changes we would make.
The earliest any changes could take place would be the spring of next year. Of course,
we may not find any institution that we need to shift to another category. And we are
prepared to accept that result.
The second issue I want to discuss with you briefly today is the SAIF special reserve -a reserve that will total $1.05 billion as of the beginning of the year. We warned that
creating this reserve could lead to an unnecessary rise in SAIF insurance premiums. As
well as to a differential between BIF and SAIF premiums.

We saw with great clarity the destructive effects of a premium differential a couple of
years ago. The FDIC supported repealing the special reserve. There was no opposition
to repeal. But many issues were in play and time ran out.
Even though the SAIF special reserve probably will not have any immediate effect, we
should still get rid of it. You can be assured that the FDIC will continue working to have
it repealed. Of course, if the BIF and SAIF were merged -- as the FDIC has advocated
and will continue to advocate -- the issue would be moot.
Finally, the third issue I want to touch upon this morning is Year 2000 readiness. The
most recent assessments are encouraging. Nevertheless, there is more to be done:
testing systems and contingency planning, the part of the process when problems are
most likely to appear.
I want to make several points about banking, Y2K and the FDIC. If a bank or thrift
institution should fail because of Year 2000 problems, insured deposits will be covered.
No ifs, ands, or buts.
Because of the FDIC, depositors can place their money in an insured account with the
assurance that their money is safe. When consumers see the FDIC symbol on your
door, they can be confident that the full faith and credit of the U.S. government stand
behind the insured money in the bank or thrift.
This is a message that we all should be giving the public. The FDIC has been making
this point for months and we want to work with America’s Community Bankers to get the
message out to depositors.
I appreciate this opportunity to address you for the first time. There are tremendously
exciting challenges ahead for all of us. I also am especially glad to address you at this
convention where your current Chairman, Neal Mahoney, is a former banker from
Hawaii and an individual who has led ACB during a critical period -- and where in the
next day or so, a woman becomes Chair of America’s Community Bankers for the first
time.
I look forward to working closely with Lee Beard -- and with all of you.

Last Updated 06/25/1999