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Testimony of Governor Edward W. Kelley, Jr.
Y2K readiness and the banking industry
Before the Committee on Banking and Financial Services, U.S. House of
Representatives
November 4, 1997
I am pleased to appear before the Committee today to discuss the Federal Reserve's efforts
to address the Year 2000 computer systems issue. The Federal Reserve System has
developed and is executing a comprehensive plan to ensure its own Year 2000 readiness and
the bank supervision function is well along in a cooperative, interagency effort, to promote
timely remediation and testing by the banking industry. This afternoon I will focus on
actions being taken by the Federal Reserve System to address our internal systems,
coordination with the industry, and contingency planning.
Background
The Federal Reserve operates several payments applications that process and settle
payments and securities transactions between depository institutions in the United States.
Three of these applications are the Fedwire funds transfer, Fedwire securities transfer, and
Automated Clearing House (ACH) applications. The first two applications are large-value
payments mechanisms for U.S. dollar interbank funds transfers and U.S. government
securities transfers. Users of the applications are primarily depository institutions and
government agencies.
The Fedwire funds transfer system is a real-time credit transfer system used primarily for
payments related to interbank funds transfers such as Fed funds transactions, interbank
settlement transactions, and "third-party" payments between the customers of depository
institutions. Funds transferred over Fedwire are immediately final; they cannot be revoked
after they have been accepted and processed by the Federal Reserve. About 10,000
depository institutions use the Fedwire funds transfer system to transfer each year
approximately 86 million payments valued at over $280 trillion. The current average total
daily value of Fedwire funds transfers is approximately $1.1 trillion.
The Fedwire securities transfer system supports the safekeeping, clearing, and settlement of
U.S. government securities in both the primary and secondary markets. It provides custody
of U.S. government securities in book-entry form, as well as the transfer of securities
ownership among market participants. On the custody side, the system calculates and credits
interest and principal payments to the holders of securities, reconciles outstanding securities
balances with issuers, and performs other record keeping and collateral safekeeping
functions. On the transfer side, the system delivers book-entry securities against a
simultaneous payment, called delivery-versus-payment, thus reducing the settlement risks of
market participants. About 8,000 depository institutions use the Fedwire securities transfer
service to transfer each year approximately 13 million securities valued at over $160 trillion.
The average total daily value of Fedwire securities transfers is about $650 billion.

The ACH is an electronic payment service that supports both credit and debit transactions
and is used by approximately 14,000 financial institutions, 400,000 companies, and an
estimated 50 million consumers. Typical credit transactions include direct deposit of payroll
and corporate payments to suppliers. Typical debit transactions include the collection of
mortgage and loan payments and corporate cash concentration transactions. The ACH
processes transactions in batches one or two days before they are scheduled to settle. ACH
transactions are settled through depository institutions' accounts at the Federal Reserve
Banks. Approximately 4 billion ACH transactions were processed in 1996 with a total value
of approximately $12 trillion. About 3.3 billion of these payments were commercial
transactions; 625 million payments were originated by the Federal government.
The Reserve Banks' critical applications, such as Fedwire funds and securities transfer,
ACH, and supporting accounting systems, run on mainframe computer systems operated by
Federal Reserve Automation Services (FRAS), the internal organizational unit that
processes applications on behalf of the Federal Reserve Banks and operates the Federal
Reserve's national network. These critical applications are "centralized," that is, one copy of
the application is used by all twelve Reserve Banks. In addition to centralized applications
on the mainframe, the Federal Reserve Banks operate a range of applications in a distributed
computing environment, supporting business functions such as cash distribution, banking
supervision and regulation, research, public information, and human resources. The Reserve
Banks also operate check processing systems that provide check services to depository
institutions and the U.S. government. A national communications network, called FEDNET,
supports the exchange of information among the Reserve Banks, FRAS, and external
organizations. The scope of the Federal Reserve's Year 2000 activities includes all of these
processing environments and the supporting telecommunications network.
Year 2000 Readiness
It is crucial that the Federal Reserve provide reliable services to the nation's banking system
and financial markets. The Federal Reserve is giving the Year 2000 its highest priority,
commensurate with our goal of maintaining the stability of the nation's financial markets
and payments systems, preserving public confidence, and supporting reliable government
operations.
We are taking a comprehensive approach to our preparedness which includes assessments of
readiness, remediation, and testing. The Federal Reserve has completed application
assessments and internal test plans, and we are currently renovating and testing software.
We are also updating proven plans and techniques used during other times of operational
stress in order to be prepared to address potential century date change difficulties. All
Federal Reserve computer program changes, as well as system and user-acceptance testing,
are scheduled to be completed by year-end 1998. Further, critical financial services systems
that interface with the depository institutions will be Year 2000 ready by mid-1998. This
schedule will permit approximately 18 months for customer testing, to which we are
dedicating considerable support resources.
A large cadre of top personnel in the Federal Reserve System have been assigned to this
task. Our staff is putting in many extra hours to prepare for testing with customers, planning
for business continuity in the event of any unanticipated problems with internal systems, and
enhancing our ability to respond to possible Year 2000-related operating failures of
depository institutions. Assuring compliance internally is requiring review of approximately
90 million lines of computer code. While there are challenges and a great deal of work

before us, I can report that we expect to be fully prepared for the century date change.
The Federal Reserve recognized the potential problem with two-digit date fields more than
five years ago when we began consolidating our mainframe data processing operations. Our
new centralized mission-critical applications, such as Fedwire funds transfer, Fedwire
securities transfer, and ACH, were designed from inception with Year 2000 compliance in
mind. The mainframe consolidation effort also necessitated extensive application
standardization, which required us to complete a comprehensive inventory of our mainframe
applications, a necessary first step to effective remediation. Like our counterparts in the
private sector, the Federal Reserve System still faces substantial challenges in achieving
Year 2000 readiness. These challenges include managing a highly complex project
involving multiple interfaces with others, ensuring the readiness of vendor components,
ensuring the readiness of applications, thorough testing, and establishing contingency plans.
We are also faced with labor market pressures that call for creative measures to retain staff
who are critical to the success of our Year 2000 activities.
CDC Project Management
According to industry experts, up to one-quarter of an organization's Year 2000 compliance
efforts are devoted to project management. Managing preparations for the century date
change is particularly resource-intensive given the number of automated systems to be
addressed, systems interrelationships and interdependencies, interfaces with external data
sources and customers, and testing requirements. In addition, Year 2000 preparations must
address many computerized environmental and facilities management systems such as
power, heating and cooling, voice communications, elevators, and vaults. Our Year 2000
project is being closely coordinated among the Reserve Banks, the Board of Governors,
numerous vendors and service providers, approximately 13,000 customers, and government
agencies.
In 1995, a Federal Reserve System-wide project was initiated, referred to as the Century
Date Change (CDC) project, to coordinate the efforts of the Reserve Banks, FRAS, and the
Board of Governors. Our project team is taking a three-part approach to achieve its
objectives, focusing on planning, readiness, communication, and monitoring. Our planning
began with a careful inventory of all applications and establishment of schedules and
support mechanisms to ensure that readiness objectives are met. The readiness process
involves performing risk assessments, modifying automated systems, and testing both
internally and with depository institutions, service providers, and government agencies. We
are stressing effective, consistent, and timely communication, both internal and external, to
promote awareness and commitment at all levels of our own organization and the financial
services industry, more generally. Some of our most senior executives are leading the
project, and the Board and senior Bank management are now receiving formal, detailed
status reports at least every 60 days. Any significant compliance issues will be reported to
the Board immediately. The Reserve Banks' internal audit departments and the Board's
oversight staff are also closely monitoring progress.
A significant challenge in meeting our Year 2000 readiness objectives is our reliance on
commercial hardware and software products and services. Much of our information
processing and communications infrastructure is comprised of hardware and software
products from third-party vendors. Additionally, the Federal Reserve utilizes commercial
application software products and services for certain administrative functions and other
operations. As a result, we must coordinate with numerous vendors and manufacturers to

ensure that all of our hardware, software, and services are Year 2000 ready. In many cases,
compliance will require upgrading, or even replacing, equipment and software. We have a
complete inventory of vendor components used in our mainframe and distributed computing
environments, and vendor coordination and system change are progressing well. These
preparations also include careful attention to the Year 2000 readiness of telecommunications
providers.
Testing
As we continue to assess our systems for Year 2000 readiness, we are well along in
preparing a special central environment for testing our payment system applications. We are
establishing isolated mainframe data processing environments to be used for internal testing
of all system components as well as for testing with depository institutions and other
government agencies. These environments will enable testing for high-risk dates, such as the
rollover to the year 2000 and leap year processing. Testing will be conducted through a
combination of future-dating our computer systems to verify the readiness of our
infrastructure, and testing critical future dates within interfaces to other institutions. Our test
environments will be configured to provide flexible and nearly continuous access by
customers. Network communications components are also being tested and certified in a
special test lab environment at FRAS.
The testing effort for Year 2000 readiness within the Federal Reserve will be extensive and
complex. Industry experts estimate that testing for readiness will consume more than half of
total Year 2000 project resources. To leverage existing resources and processes, we are
modeling our Year 2000 testing on proven testing methods and processes. Our customers
are already familiar with these processes and the testing environment. We shared our testing
strategy with depository institutions in October of this year, and we are currently developing
a coordinated test schedule. As I noted earlier, the Reserve Banks are targeting June 1998 to
commence testing with their depository institution customers, which allows an 18-month
time period for depository institutions to test their systems with the Federal Reserve.
All of these activities require that we retain highly skilled staff critical to the success of the
project. As I mentioned earlier, we have placed the highest priority on our CDC project, and,
as such, have allocated many of the best managers and technical staff in the Federal Reserve
System to work on the project. The information technology industry is already experiencing
market pressures due to the increased demand for technical talent. As the millennium draws
closer, the global market requirements for qualified personnel will intensify even further.
We are responding as necessary to these market-induced pressures by implementing
programs to retain staff members in critical, high-demand positions.
Our focus at the Board goes beyond the immediate need to prepare our systems and ensure
reliable operation of the payments infrastructure. We are also working hard to address the
supervisory issues raised by Year 2000 and are developing contingency plans which I will
discuss later.
Bank Supervision
As a bank supervisor, the Federal Reserve has worked closely with the other supervisory
agencies that are part of the Federal Financial Institutions Examination Council (FFIEC) to
alert the industry to our concerns and to monitor Year 2000 preparations of the institutions
we supervise so that we can identify early and address problems that arise. Comptroller of
the Currency Ludwig is testifying today as Chairman of the FFIEC to describe the

interagency Year 2000 supervisory initiatives of all of the five member agencies (Federal
Reserve, OCC, FDIC, OTS and NCUA), so I will limit my comments on the Federal
Reserve's supervisory efforts.
In May of this year, the Federal Reserve and the other regulatory agencies developed a
uniform Year 2000 assessment questionnaire to collect information on a national basis.
Based on the responses and other information, we believe the banking industry's awareness
level improved substantially during 1997 and is reflected in the intensified project
management, planning, budgeting, and renovation efforts that have been initiated.
Generally speaking, the nation's largest banking organizations have done much to address
the issues and have devoted significant financial and human resources to preparing for the
century date change. Many larger banks are already renovating their operating systems and
have commenced testing of their critical applications. Large organizations seem generally
capable of renovating their critical operating systems by year-end 1998, and will have their
testing well underway by then.
Smaller banks, including the U.S. offices of foreign banks and those dependent on a third
party to provide their computer services, are generally aware of the issues and are working
on the problem; however, their progress is less measurable and is being carefully monitored.
We are directing significant attention to ensure that these banks intensify their efforts to
prepare for the Year 2000.
Major third-party service providers and software vendors serving the banking industry are
acutely aware of the issue and are working diligently to address it. Most of these suppliers
consider their Year 2000 capability to be a business survival issue, as it is of critical
importance to their ability to remain competitive in an aggressive industry.
By mid-year 1998 we will have conducted a thorough Year 2000 preparedness examination
of every bank, U.S. branch and agency of a foreign bank, and service provider that we
supervise. Our examination program includes a review of each organization's Year 2000
project management plans in order to evaluate their sufficiency, to ensure the direct
involvement of senior management and the board of directors, and to monitor their progress
against the plan. As we proceed through the examination process, we are identifying any
institutions that require intensified supervisory attention and establishing our priorities for
subsequent examinations.
International Awareness
With regard to the international aspects of the Year 2000 issue, U.S. offices of foreign banks
pose a unique set of challenges. We are concerned about the possibility that some offices
may not have an adequate appreciation of the magnitude and ramifications of the problem,
and may not as yet have committed the resources necessary to address the issues effectively.
This is a particular concern for foreign bank offices that are dependent on their foreign
parent bank for information processing systems. In addition, we are increasingly concerned
that the foreign branches of U.S. banks may be adversely affected if counterparties in
foreign markets are not ready for the Year 2000.
Therefore, we are working through the Bank for International Settlements (BIS) Committee
on Banking Supervision, composed of many of the international supervisory agencies
responsible for the foreign banks that operate in the United States. Through formal and

informal discussions, the distribution of several interagency statements and advisories, and
the Federal Reserve's Year 2000 video (see below) to the BIS supervisors committee, we
have sought to elevate foreign bank supervisors' awareness of the risks posed by the century
date change.
The G-10 governors issued an advisory in September that included a paper by the bank
supervisors committee on the Year 2000 challenge to banks and bank supervisors around the
world to ensure a higher level of awareness and activity on their part. The BIS supervisors
committee has developed a survey sent to about 40 countries to collect better information on
the state of readiness of banks in those countries and the extent of the efforts of the bank
supervisors to address the issues locally and internationally. The surveys will be evaluated
and the findings distributed early next year. Also on the international front, William
McDonough, President of the Federal Reserve Bank of New York, in a keynote address to
the annual meeting of the Institute of International Finance in Hong Kong, emphasized the
importance of planning for the century date change on an international basis and the
significant risk to financial markets posed by the Year 2000.
We also participated in the BIS meeting sponsored by the Committee on Payments and
Settlement Systems and the Group of Computer Experts for G-10 and major non-G-10
central banks in September which provided a forum to share views on and approaches to
dealing with Year 2000 issues, and we have been active in various private sector forums.
The majority of foreign central banks are confident that payment and settlement applications
under their management will be Year 2000 ready. Like the Federal Reserve, however, the
operation of foreign central bank payment systems is dependent on compliant products from
hardware and software suppliers and the readiness of telecommunication service providers.
The approach of foreign central banks toward raising bank industry awareness varies
widely. Information garnered from this meeting and similar meetings planned for the future
will assist the BIS Committee on Payment and Settlement Systems, as well as the Federal
Reserve, in understanding the state of preparedness of payment systems on a global level.
Public Awareness
We are mindful that extensive communication with the industry and the public is crucial to
the success of century date change efforts. Our public awareness program concentrates on
communications with the financial services industry related to our testing efforts and our
overall concerns about the industry's readiness. We continue to advise our bank customers
of the Federal Reserve's plans and time frames for making our software Year 2000 ready.
We have inaugurated a Year 2000 industry newsletter and have just published our first
bulletin addressing specific technical issues. We would be glad to provide you with copies
of our recent newsletter and the bulletin. We have also established an Internet Web site to
provide depository institutions with information regarding the Federal Reserve System's
CDC project. This site can be accessed at the following Internet address:
http://www.frbsf.org/fiservices/cdc.
On behalf of the FFIEC, the Federal Reserve has developed a Year 2000 information
distribution system, including an Internet Web site and a toll free Fax Back service (888882-0982). The Web site provides easy access to policy statements, guidance to examiners,
and paths to other Year 2000 Web sites available from numerous other sources. The FFIEC
Year 2000 Web site can be accessed at the following Internet address:
http://www.ffiec.gov/y2k.

The Federal Reserve has also produced a ten-minute video entitled "Year 2000 Executive
Awareness" intended for viewing by a bank's board of directors and senior management.
The video presents a summary of the Year 2000 five-phase project management plan
outlined in the interagency policy statement. In my introductory remarks on the video, I note
that senior bank officials should be directly involved in managing the Year 2000 project to
ensure that it is given the appropriate level of attention and sufficient resources to address
the issue on a timely basis. The video can be ordered through the Board's Web site.
Contingency Planning
While we will continue our public outreach efforts, our main focus is preparedness. Because
smooth and uninterrupted financial flows are obviously of utmost importance, our main
focus is on our readiness and the avoidance of problems. But we know from experience that
upon occasion, things can go wrong. Given our unique role as the nation's central bank, the
Federal Reserve has always stressed contingency planning -- for both systemic risks as well
as operational failures.
In this regard, we regularly conduct exhaustive business resumption tests of our major
payment systems that include depository institutions. Moreover, as a result of our
experience in responding to problems arising from such diverse events as earthquakes, fires,
storms, and power outages, as well as liquidity problems in institutions, we expect to be
appropriately positioned to deal with similar problems in the financial sector that might arise
as a result of CDC. However, CDC presents many unique situations. For example, in the
software application arena, the normal contingency of falling back to a prior release of the
software is not a viable option. We are, of course, developing specific CDC contingency
plans to address various operational scenarios, and our contingency planning includes
preparation to address unanticipated problems when we bring our systems into production as
Year 2000 begins. Key technical staff will be ready to respond quickly to problems with our
computer and network systems. We are establishing procedures with our primary vendors to
ensure direct communication and appropriate recourse should their products fail at Federal
Reserve installations during Year 2000 date processing. Our existing business resumption
plans will be updated to address date-related difficulties that may face the financial industry.
We already have arrangements in place to assist financial institutions in the event they are
unable to access their own systems. For example, we are able to provide financial
institutions with access to Federal Reserve computer terminals on a limited basis for the
processing of critical funds transfers. This contingency arrangement has proven highly
effective when used from time to time by depository institutions experiencing major
hardware/software outages or that have had their operations disrupted due to natural
disasters such as the Los Angeles earthquake, hurricane Hugo in the Carolinas, and
hurricane Andrew in south Florida. In these cases we worked closely with financial
institutions to ensure that adequate supplies of cash were available to the community, and
we arranged for our operations to function virtually without interruptions for 24 hours a day
during the crisis period. We feel the experience gained from such crises will prove very
helpful in the event of similar problems triggered by the century date change. We are
formulating responses for augmenting certain functions, such as computer help desk
services and off-line funds transfers, to respond to short-term needs for these services.
Beyond reliance on a sound plan and effective execution of the plan, the Federal Reserve
provides several different payment services, such as Fedwire, ACH, check, and cash;
therefore, the banking industry is not totally dependent upon any single system for executing

payments. Alternatives are available in the event of a disruption in a segment of the
electronic payment system.
We recognize that despite their best efforts, some depository institutions may experience
operating difficulties, either as a result of their own computer problems or those of their
customers, counterparties, or others. These problems could be manifested in a number of
ways and would not necessarily involve funding shortfalls. Nevertheless, the Federal
Reserve is always prepared to provide information to depository institutions on the balances
in their accounts with us throughout the day, so that they can identify shortfalls and seek
funding in the market. The Federal Reserve will be prepared to lend in appropriate
circumstances and with adequate collateral to depository institutions when market sources of
funding are not reasonably available. The terms and conditions of such lending may depend
upon the circumstances giving rise to the liquidity shortfall.
Our preparations for possible liquidity difficulties also extend to the foreign bank branches
and agencies in the U.S. that may be adversely affected directly by their own computer
systems or through difficulties caused by the linkage and dependence on their parent bank.
Such circumstances would necessitate coordination with the home country supervisor.
Moreover, consistent with current policy, foreign central banks will be expected to provide
liquidity support to any of their banking organizations that experience a funding shortfall.
Closing Remarks
As I indicated at the outset, the Federal Reserve views its Year 2000 preparations with great
seriousness. As such, we have placed a high priority on the remediation of date problems in
our systems and the development of action plans that will ensure business continuity for the
critical financial systems we operate. While we have made significant progress and are on
schedule in validating our internal systems and preparing for testing with depository
institutions and others using Federal Reserve services, we must work to ensure that our
efforts remain on schedule and that problems are addressed in a timely fashion. In particular,
we will be paying special attention to the testing needs of depository institutions and the
financial industry and are prepared to adjust our support for them as required by experience.
We believe that we are well-positioned to meet our objectives and will remain vigilant
throughout the process.
As a bank supervisor, the Federal Reserve will continue to address the industry's
preparedness, monitor progress, and target for special supervisory attention those
organizations that are most in need of assistance. Lastly, we will continue to participate in
international forums with the expectation that these efforts will help foster an international
awareness of Year 2000 issues and provide for the sharing of experiences, ideas, and best
practices.
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