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Remarks by Governor Edward W. Kelley, Jr.

Before the Florida International Bankers Association and the Miami Bond Club,
Miami, Florida
February 11, 1998

Year 2000: A Worldwide Concern
Introduction to the Year 2000 Issue
Good evening. It's a great pleasure to be here in Miami to speak before the Florida
International Bankers Association and the Miami Bond Club to lengthen the growing list of
Federal Reserve governors who have appeared before your organizations over the past few
years. Tonight, I would like to discuss the Federal Reserve's perspective on the Year 2000
and share with you some of my observations and concerns about the banking industry's
computer system readiness for the century date change. With the impressive growth in
international banking activity in Florida since the passage of the Florida International
Banking Act 20 years ago, it is particularly important to ensure that the Year 2000 challenge
is effectively addressed by all banks conducting an international business in the local and
state markets.
The stakes are enormous, actually, nothing less than the preservation of a safe and sound
financial system that can continue to operate in an orderly manner when the clock rolls over
at midnight on New Year's Eve and the millennium arrives on the scene. And even the
government can not declare an extension!
So much has already been written about the difficulties ascribed to the Year 2000 challenge
that the subject is becoming almost commonplace in most conversational circles. By now,
almost everyone's familiar with the basic issue -- specifically, that information generated on
computer may be miscalculated and conveyed to others, or possibly programs may be
terminated because they cannot recognize dates shown as 00. The problem is even the brunt
of jokes contained in the monologues of late night TV comics, one of whom laughs that he'll
know when midnight, New Year's Eve, 2000 arrives because his pace maker will start to
play Auld Lang Syne. Whether you think the problem funny or not, it is quite real.
From the Federal Reserve's perspective as the central bank of the United States and a bank
supervisor, we have been working intensively to address the issues faced by the industry and
formulate an effective supervisory program tailored to those issues. To start with, it has
taken an enormous effort simply to elevate the industry's senior management awareness of
the seriousness and magnitude of the problem which sounds at first like a modest technical
issue that's easy to fix and not terribly significant. But, if programming logic misinterprets
the two-digit 00 representation of 2000 to be 1900, automated operating systems across the
entire breadth of the world's economy are likely to miscalculate date-sensitive information
or simply cease to operate. One reads in the press about the possibility of catastrophic
failures in such vital systems as air traffic control, telecommunications, and the utilities that
make up the power grid. Society depends on these vital systems to operate dependably, as it

also depends on the financial systems to do likewise. And they are interdependent. Those
responsible for every critical service need to review their Year 2000 plans to be sure they
will be compliant in a timely manner so that, among other obvious reasons, the financial
services industry can rely on them. In turn, we in the financial services industry are
determined, to the very best of our ability, to be part of the solution and not part of the
problem.
In the context of our banking environment, calculations based on a span of time such as
interest earned, interest due, settlement dates and many others, may result in the generation
of misinformation and errors that would be labor intensive, slow and costly to identify and
correct after the fact. In the extreme, if the problem doesn't get fixed ahead of time, a bank
or securities trading firm may find itself unable to depend on the information provided by its
general ledger including its funding position and the account balances of its depositors and
trading customers. Obviously, a bank's inability to understand and manage its funding and
liquidity positions could have disastrous consequences for the organization, its customers
and its counterparties. Accordingly, the Federal Reserve and the other banking supervisors
that make up the Federal Financial Institutions Examination Council, the FFIEC, have been
working closely to orchestrate a uniform supervisory approach to supervising the banking
industry's efforts to ensure its readiness.
Supervisory Initiatives
To give you an overview of the banking agencies' initiatives to date, the interagency
program began in earnest in June, 1996, with the issuance of the first Year 2000 advisory
distributed to all domestic and foreign banks in the U.S. Following up in May, 1997, the
agencies issued a second advisory entitled "Year 2000 Project Management Awareness"
which alerted senior management and the boards of directors to the serious challenge facing
the industry. The advisory indicated that the problem was not merely a technical issue and
that top management and the board had to be directly responsible for the implementation of
a suggested five-phase management process that included awareness, assessment,
renovation, testing and implementation. It also alerted bank directors and senior
management about the external risks relating to the Year 2000 readiness of their borrowers,
vendors and counterparties. Failure of these third parties to address this issue could easily
have an adverse effect on a bank's ability to conduct business.
As part of the May advisory we established two particular benchmarks with respect to
progress toward compliance. First, it was expected that by September 30, 1997, banks would
have completed a thorough inventory of all of their mission critical applications and
established a comprehensive plan and priorities for their renovation. This benchmark has
passed and so the banking agencies are now increasing supervisory efforts at those few
banks that have not completed such an inventory and plan. The second time frame stated
that by December 31, 1998, mission critical systems should be largely renovated with
testing well underway so that the balance of testing and implementation could be
accomplished in 1999.
The third banking agency advisory was issued last December affirming the need for
thorough periodic reporting of project progress to bank management and more importantly
making clear that all banking offices are ultimately responsible for their own readiness, even
though they may be heavily dependent on a third-party service provider or a foreign parent
for their automated data processing activities. Banks were encouraged to communicate with
their vendors or parents to seek a thorough understanding of their ability to service the

bank's needs. Banks have also been advised to incorporate Year 2000 credit risk into their
underwriting standards and securities trading policies, given that their borrowers or
counterparties could experience unresolved processing problems that might hamper their
ability to meet their financial obligations on a timely basis.
The Federal Reserve has also committed to conduct an examination for Year 2000 readiness
of every bank subject to our supervisory authority by June 1998, and we will continue to
conduct further Year 2000 examinations right up to the millennium.
Industry Assessment
Well, taking a step back from looking at our initiatives, it's fair to ask, "How well is the
industry doing?" Most banks have completed the assessment phase; however, those that
missed the September 30, 1997, time frame are going to be the subject of intensive
supervisory attention. They are also likely to lag behind their peers when it comes time to
test their renovated applications with their counterparties. Accordingly, in some cases, we
are issuing notification letters putting lagging banks on notice that the deficiencies in their
progress require specific corrective action. Most banks are now in the renovation and testing
phases and are finding it more expensive and time consuming to fix and test their systems
than they previously estimated. Consequently, many have had to revise their budgets
upward and delay the development of new services that would divert limited programming
and systems development resources.
Some banks have started the validation phase and have confirmed that testing is a costly,
cumbersome and time consuming process. As for the final phase of implementation, few
banks have advanced this far with any more than a handful of their mission critical systems.
Most have a significant amount of testing ahead of them before final implementation can be
accomplished. Let's focus for a moment on the testing phase as an excellent example of the
magnitude of this process.
Testing
Testing is one of the more crucial issues being addressed, given that it will consume more
than a year and absorb as much as 70 percent of Year 2000 resources. One must focus first
on internal testing and the isolation of a test environment to avoid contamination with the
current production environment. Then a building block approach starts with one-by-one unit
testing of a single application such as demand deposit accounting, then progresses to
integration testing, which would apply to a group of applications such as those for all
deposit systems for demand, time and savings deposits. Then system testing combines entire
systems, which might, for example, cover all automated applications that permit the
preparation of the liabilities side of the general ledger. This is often followed by regression
testing which checks each variable and all combinations of variables relied on by the various
systems to see if any cause a problem.
Each application is also subject to external testing that is conducted with a single counter
party to confirm compliance with agreed upon protocols and compatibility of different Year
2000 solution techniques that may have been used. In a trading operation, this might mean
testing trades with a single counterparty. Then organizations have to test with multiple
counterparties and if problems are discovered, it may require further renovation and
retesting. Each step is very time consuming and absolutely essential, and it is anticipated
that costs associated with getting it done will rise appreciably as strains on labor markets to
support such testing grow.

The banking agencies are working with the industry to develop guidance on best practices
pertaining to testing. In addition, the Federal Reserve will soon be publishing a detailed
schedule of testing opportunities for Fedwire, automated clearing house transactions and
other services provided by the Federal Reserve. Actual testing will commence at mid-year
1998 and continue throughout 1999. It promises to be a very busy period.
Contingency Planning
The Federal Reserve has been involved with contingency planning and dealing with various
types of emergencies for many years. Today is no different in many respects, but the need
for Year 2000 readiness raises new concerns that are applicable to all banks, foreign or
domestic. One is the risk of contagion. Operating problems at individual banks must not be
allowed to spread and become systemic. Many experts have pointed out that counterparties
to automated transactions ordinarily do not transmit material whose logic statements can act
as a virus and destroy software in a receiving host. On the contrary, most exchanges are
simply transmitting data that is ordinarily subject to edits intended to identify any
miscalculated date sensitive information. If indeed, the sender has unintentionally
transmitted erroneous, miscalculated information and it is identified as such, the recipient
rejects the misinformation and is free from the problem which can then be corrected by the
sender. So this very important issue should be readily manageable, but managed it must be.
On the subject of operating outages, if an automated information system crashes because of
a Year 2000 readiness problem, the crash must be prevented from spreading. We know that
when electric utilities experience a local problem with the power grid, it has on occasion in
the past taken down a wider, regional network. Could this happen with interconnected
computer systems? Most professionals argue that the operational outage of one data center
need not spread and disable others. Nevertheless, as a bank supervisor concerned about
systemic issues, even the remote possibility for operational outages and disruptions to
service require all of us to do significant contingency planning.
Early in our efforts to address Year 2000 automation issues, we realized contingency
planning in the Year 2000 context is made more difficult because operating centers can not
fall back to an earlier version of a software package because the earlier version itself may
not have been readied for Year 2000. Similarly, a U.S. office of a foreign bank experiencing
local problems may not be able to rely on its parent because it is likely that the parent
depends on the same software that caused the local problem. So, in order to plan for
continuation of services, it may be necessary to provide a complete, alternative service, or a
service that can be repaired as a Year 2000 problem is identified.
A major interagency contingency planning effort underway addresses a possible federally
assisted resolution scenario that might be necessary should a bank experience extensive
computer problems. If this were to lead to serious liquidity problems, the chartering
authority might deem the bank nonviable, thus necessitating resolution by the FDIC together
with other banking agencies that may be involved. It is also necessary for us to consider the
legal and policy issues that may pertain to a U.S. office of a foreign bank that is unable to
meet its liquidity obligations. Such a case will not lend itself to a simple resolution process.
Another concern of the Federal Reserve is the extent to which the industry is so heavily
dependent on vendors. As I noted earlier in discussing the most recent advisory to the
industry, banks are ultimately responsible for their own operations despite their reliance on
third-party service providers. There are many thousands of information systems vendors of

one form or another that provide services to federally insured depositories, and obtaining
meaningful information on vendor plans and status has proven difficult for the industry and
the regulators. If they have not already done so, vendors need to provide very soon their
program to renovate and support a product relied on by banks. With sufficient information
on vendor plans, banks can prepare their testing strategies.
Vendors and banks are realizing that it is advantageous to make vendor plans public on web
sites and through other means so that they do not have to repeatedly respond to the same
questions from each of their customers. There are important opportunities for banks to work
together in this area. By expanding and intensifying interbank cooperative efforts to address
Year 2000 issues such as the development of common testing scripts and the sharing of
information, the industry can enhance its ability to be prepared in a timely manner.
International Initiatives - Foreign Banking Organizations
Let me now turn more directly to international initiatives which are likely to be of particular
interest here tonight given the extent of business you conduct with customers and banks
outside the U.S. The Federal Reserve has a keen interest in the readiness of the international
community and the special problems facing foreign banks operating branches and agencies
in the U.S. The Federal Reserve has been involved in active dialogue with bankers and
supervisors that have banks in the U.S. from around the world. We are involved in
international visitation programs, conferences and training efforts pertaining to their
preparedness efforts. On an interagency basis, the Federal Reserve, the OCC and the FDIC
are all represented on the Bank for International Settlements' (BIS) Committee on Banking
Supervision, referred to as the Basle Committee. The Federal Reserve is also on the BIS
Committee on Payment and Settlement Systems (CPSS) which is presently chaired by
William McDonough, President of the Federal Reserve Bank of New York.
With the issuance of the U.S. industry advisory in May, the Basle Committee took up the
subject, forming a special task force on Year 2000. Subsequently, the G-10 governors issued
an advisory on September 8 to all BIS member central banks and bank supervisors for
distribution to their respective banks world-wide. It clearly spells out the issues pertaining to
the challenge, and I strongly recommend you read it if you have not yet had an opportunity
to do so. The Federal Reserve also produced a video entitled "Year 2000 Executive
Management Awareness" and distributed it to all bank supervisors responsible for foreign
banks that operate in the U.S. In so doing, we encouraged foreign bank supervisors to
intensify their efforts to address millennium issues in their home countries and to ensure that
their banks were taking the necessary steps to ready their operations, including those
conducted in the U.S. The Federal Reserve and the other banking agencies are making their
Year 2000 supervisory material available to domestic and foreign banks, and the general
public over the Internet. The Federal Reserve has already distributed about 20,000 copies of
our video, many in response to requests from abroad, and our web site hot links to that of
the BIS and many other Year 2000 sites world-wide. By widening the availability of
information on an international basis, we hope to encourage global readiness.
The BIS is also working with the International Organization of Securities Commissioners
and the International Association of Insurance Supervisors to address this important issue.
Together, they will convene a meeting in April of international financial supervisors and
financial organizations to focus on Year 2000 and address issues of concern to all.
Based on concerns expressed by banks, the work of the BIS task force and our own

inquiries, we believe that certain countries around the world have not embarked on
aggressive compliance supervision and examination programs, so that there is a likelihood
that banks in those countries have not yet begun to effectively address the problem and will
now find it increasingly difficult to be ready. We are concerned that many U.S. offices of
foreign banks may be particularly exposed if their parent is not ready for the Year 2000.
Therefore, we have asked the U.S. branches and agencies to confirm that they will be able to
continue to conduct business using the same standards for readiness that we apply to
domestic banks. Those that rely heavily on their parent for information processing and risk
management are expected to be able to demonstrate to examiners that these systems are
being readied for the Year 2000.
Further, Federal Reserve supervision policy calls for direct contact with the parent bank to
ensure its awareness of the requirements. When problems are identified, contact with the
home country supervisor may also be warranted to coordinate a thorough understanding of
the bank's plans for the readiness of its U.S. operations. In so doing, we hope to be better
able to address any institutions that have not made sufficient progress toward resolving the
issue with their U.S. offices. Given the unique characteristics of a branch operation
dependent on a foreign parent that, in turn, is subject to the authority of its home country
bank supervisor, the Federal Reserve and other U.S. banking agencies must carefully
consider any necessary follow-up with the appropriate international authorities.
Compounding our concerns about international readiness are a number of competing
initiatives that further stretch the limited resources available to achieve preparedness. In
1999, the Euro will be introduced requiring record keeping of financial transactions in a new
currency. Extensive planning and programming will be necessary to permit foreign
exchange trading and other cross border transactions to be conducted in the Euro, with the
added complexity of the continued circulation of various national currencies for several
years. Of course, banks outside the European Monetary Union that are trading
counterparties will also have to program their computers to accommodate the Euro.
Similarly, plans in Japan call for extensive deregulation of various segments of the financial
markets relatively soon. These and any other high priority efforts will exacerbate the
problem of preparing for the century date change by competing for limited resources. I
suggest that all nations should assess their respective financial initiatives and determine if
any opportunities exist to defer projects that can wait until after 2000. We all need to
recognize the magnitude and overriding importance of this task and take action to protect
vitally needed resources from being diverted to other projects that may be of lesser priority.
Concluding Remarks
In closing, let's take a moment to ask what you can do. First of all, be alert to recognize any
danger signs in your own organizations and in your counterparties, customers and
borrowers. For those of you involved in underwriting and dealing in securities, solid
evidence of Year 2000 readiness should be part of your due diligence. You will know you
likely have a problem if you hear that the Year 2000 is "not an issue for our shop," or if you
hear "we can handle the Year 2000 within the normal planning process without significant
budget implications," or if you hear that the Year 2000 "is a technical issue that does not
require special attention by senior management and directors." Any of these comments are
almost certain to be dead wrong, and probably are tip offs to the presence of dangerous
complacency, ignorance, or naivete.
You, of the Florida International Bankers Association and the Miami Bond Club, can also

help heighten international awareness and action on the matter by ensuring that the policy
statements I referred to are widely available in other languages, by discussing them at each
opportunity and by building Year 2000 issues into your day-to-day lending and financing
business activities, negotiations, contracts, and sales agreements as well as conferences and
meetings with various international regulatory authorities. I am sure that many here have
close relationships with banks in other countries. Let me urge you to delve deeply into
preparations for Year 2000, and if there is evidence of a potential readiness shortfall, do
everything in your power to urge the institution to get active very quickly. In so doing, you
will advance the cause of readiness throughout the local community and on an international
basis as well, while protecting yourself in the process.
Hopefully, when the century date change arrives, we will be ready, everything will work
effectively, and we will all celebrate the new millennium in a relaxed and unreserved
manner. On that positive note, let me close by saying that I truly appreciate the opportunity
to address the Florida International Bankers Association and the Miami Bond Club, and that
I don't look forward to going back to the cold reaches of Washington tomorrow. Thank you
very much.
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