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Testimony of Governor Edward W. Kelley, Jr.

Year 2000 progress
Before the Committee on Banking and Financial Services, U.S. House of
Representatives
April 13, 1999

I appreciate the opportunity to appear before this Committee to update you on Year 2000
issues. I will describe the Federal Reserve's continuing efforts with respect to our
contingency and event management plans as a central bank to ensure that adequate sources
of currency and liquidity are available, and summarize the special attention being given to
maintaining public confidence in the banking system. I will also focus on the progress of the
banking industry in preparing for the new millennium and our supervisory initiatives, where
considerable progress has been made since I last testified in September. Next, I will provide
an overview of our efforts to support the President's Year 2000 Conversion Council and the
international financial regulators' Joint Year 2000 Council, and close with our perspective
on legislative proposals relating to Year 2000. I also will discuss the Board's strong support
for passage of H.R. 1094 that would amend the Federal Reserve Act to broaden the range of
discount window loans that may be used as collateral for Federal Reserve notes.
That is a lot of material to cover and it reflects our extensive interest in and efforts to
address the litany of Year 2000 issues. We are approaching the last months before the
century date change with a keener understanding of the magnitude of the task the banking
industry, our country, and the rest of the world have been confronting. We are continuing
our efforts to ensure that our financial system is safe and sound and ready for the century
rollover. I am increasingly optimistic that the operational transition will go well and have
come to believe that Year 2000 technical issues will not cause major problems in the
financial markets of the United States. One issue I am concerned about and have raised with
the press is how to ensure that the public has reliable, complete information about the
readiness of the financial services industry and the other industrial and infrastructure sectors
of the country. Actions taken by the public based upon fear or bad information rather than
upon fact-based rationality may pose a greater threat to our economy than those caused by
Year 2000 computer problems themselves. The public's perception of the Year 2000
challenge and response to that perception relative to our banking system is of critical
importance to us all. The banking agencies are increasingly turning their attention to public
education, and, in that regard, I welcome the opportunity this hearing affords to explain the
Federal Reserve's perspective on the century date change.
Contingency Planning and Event Management
Having worked extensively to correct the Year 2000 computer problems in our systems, we
are confident that we will be fully prepared for the new millennium. Nevertheless, as the
nation's central bank, the Federal Reserve is actively engaged in contingency and event
management planning for any operational disruptions or systemic risks. The Federal
Reserve's CDC Council, a group of our most senior officials, is coordinating contingency
and event management planning across the Federal Reserve System to ensure a cohesive

approach to our preparations. In addition, we are completing plans for our supervision
function that provide for monitoring and responding to developments during the transition to
the Year 2000, including any disruptions that may occur at financial institutions or in key
financial markets where we have responsibilities. These plans are being coordinated with
other federal, state and foreign regulators and with the Year 2000 Response Center of the
President's Council on Year 2000 Conversion.
Business Resumption
The Federal Reserve's plans for ensuring operational continuity build upon existing business
resumption contingency plans. As part of our standard business processes, the Federal
Reserve has long maintained and tested comprehensive business resumption plans, which
have proven successful in providing for our continued operations during past crisis
situations and natural disasters. Last fall, each of the Federal Reserve's business functions
completed assessments of the adequacy of existing contingency plans for addressing Year
2000 risks. These plans are being enhanced to address issues unique to the century date
change.
For example, we are identifying problems external to the Federal Reserve that may arise
when the date changes to 2000, such as those affecting telecommunications providers, utility
companies, and key market participants. Based on available information we do not expect
widespread problems in these areas, but we nevertheless believe it prudent to develop action
plans to mitigate or work around them should they occur. Between now and the century date
change, we will test and continue to refine these plans as necessary to optimize operational
effectiveness at the century rollover. The goal of the contingency planning process is to
minimize the chance for surprise disruptions and to minimize their impact should they
occur.
Year 2000 Event Management Plan
Over the years, the Federal Reserve has demonstrated the ability to manage a wide range of
crisis situations. Nevertheless, we are augmenting our existing communication and control
structures to enhance our ability to collect information and react to issues as they develop
during the next six months and, particularly, during the "rollover period," that is, the last few
days or weeks of 1999 and the early days of 2000, as well as the leap year at the end of
February. The objectives of our event management plan are to:
z

z

z

monitor and report the status of internal systems, financial institutions and markets,
infrastructure, and other pertinent areas;
maintain a consistent flow of information within the Federal Reserve, to our business
partners, and to the public at large; and,
identify potential or actual problems and resolve them promptly.

The CDC Council has established an Event Management Planning Team that is formulating
recommendations to meet these objectives. As with any complex institution, this is
challenging because it is necessary to integrate the myriad needs and functions of all areas
of the Federal Reserve System into one coordinated and cohesive plan.
The Event Management Planning Team presented a number of recommendations to the
CDC Council last week, and will continue to refine them in coming months. As we finalize
our plans, we will coordinate with other federal and state regulators as well as the
President's Council on Year 2000 Conversion. This should result in further streamlining and

enhancements. Our event management plans should be substantially completed during the
second quarter 1999, and will be tested during the third quarter 1999--with September 9,
1999, scheduled as our first operational date.
Cash and Liquidity Issues
The Federal Reserve does not believe that the public needs to hold excess cash in
anticipation of the century rollover. Although there may be isolated problems, we expect the
usual payment methods of checks, debit cards and credit cards to operate.
Nevertheless, we recognize that there likely will be some increased demand for cash during
the period surrounding the century rollover. In developing cash and liquidity contingency
plans, depository institutions have been advised and are taking steps to forecast and prepare
for potential spikes in year-end cash demands of their customers. Such plans should address
how to distribute cash to locations where it is most needed and provide for close
coordination with armored carriers and cash suppliers (their Federal Reserve Bank or
correspondent bank). Some of the best practices we've seen include plans to increase cash
inventories ahead of seasonal and any anticipated Year 2000 related rise in demand. They
also include advance identification of prudent trigger points to replenish currency supplies
based upon customer demand that take into account the availability and frequency of
transportation arrangements. Equally important, they provide for a customer communication
program that explains the Year 2000 problem, how the bank is preparing for it, and any
plans to work around minor disruptions in services that could affect access to the bank. We
have reminded banks that, as part of their Year 2000 contingency cash planning, banks
should review their insurance policies and blanket bond limits to ensure they have sufficient
coverage.
As I have said in previous testimony, we instituted plans to increase our inventory of
currency as a precautionary measure, and not because we believe the public should hold
more cash because of the Year 2000. Some observers have suggested that this represents a
contradictory message to the public. Not so. Regardless of our view that consumers do not
need to hold excess cash during this period, the Federal Reserve has been given the mission
by Congress to provide currency to the public as demanded and we will be prepared to
fulfill this responsibility whatever the level of demand might be.
Another related issue for the central bank is the possibility that despite their best efforts,
some depository institutions may encounter problems resulting from or affecting
relationships with counterparties and customers. To the extent these problems reduce their
liquidity, and other sources of funding may no longer be reasonably available, the Federal
Reserve is prepared to lend to provide liquidity with adequate collateral.
Depository institutions are expected to address liquidity issues in their contingency plans
and to take steps necessary to facilitate the process of borrowing from the Federal Reserve,
for example, by completing necessary documentation and prepositioning collateral now
rather than waiting for the actual event when there may be other organizations seeking
additional funding at the same time. We have sent a letter to all depository institutions
encouraging them to consider including the Federal Reserve, as lender of last resort, in their
funding contingency plans, and, if they do, to complete necessary documentation and
collateral arrangements as soon as possible.
Public Affairs Program

Let me go back to an earlier comment I made regarding the public's perception of the Year
2000 issue. We believe that the best way to engender a strong and positive public attitude is
through open and candid discussion. The public is getting information from a variety of
sources. We believe that it is important to ensure that the public can look to the Federal
Reserve System as a source of accurate information regarding the readiness of the banking
industry and the payments mechanisms through the century rollover. Federal Reserve
communications activities have been focused on providing accurate, consistent information
to the public and keeping the media informed about our Year 2000 activities.
The Federal Reserve has initiated a series of public affairs activities related to the Year 2000
designed to provide the public with the information it needs. In this regard, staff is working
actively with the communications team for the President's Council on Year 2000 Conversion
to develop responses to consumer questions that come in on the Council's Year 2000
"hotline." A Year 2000 consumer web page is being designed to provide easy access to the
information already available on the Federal Reserve's Year 2000 web site. A brochure
describing the Year 2000 issue and the Federal Reserve's Year 2000 program will soon be
available. Many Federal Reserve officials as well as several Board members have been
giving speeches on Year 2000. Reserve Banks have scheduled press conferences and
briefing sessions for the media and the media kit that we provide is updated regularly to
include current information and new materials.
There are a number of other communications programs underway, including joint programs
with the other bank regulatory agencies as well as with banking industry trade groups. In
this regard, the regulatory agencies are sponsoring consumer research, planning a consumer
awareness video, developing a consumer checklist for financial institution customers, and
planning to hold joint press briefings.
Many people would like to have an ironclad guarantee that there will be no Year 2000
disruptions, but that guarantee cannot be made. We cannot know in advance exactly how the
millennium rollover will go. The truth is that no one can guarantee that everything will work
perfectly even later this morning, but we have every confidence that it will. In fact, banking
systems and utilities experience brief disruptions in service from time-to-time that are
transparent to consumers or present only minor inconveniences. Public confidence does not
require that everyone believe that everything will work perfectly all the time. Rather, the
public needs to be confident that the information it is receiving is complete, reliable,
balanced and adequate to identify actions appropriate to their own circumstances.
Bank Supervision
Turning to our efforts with respect to the readiness of individual banking organizations, let
me emphasize today, as I have in the past, that while the bank supervisors have
appropriately provided significant guidance and meaningful incentives to the industry to
prepare for the Year 2000, we cannot be responsible for ensuring the readiness of any
banking organization. The boards of directors and senior management of banks are
responsible for ensuring that their organizations are able to provide uninterrupted services
and operate in a safe and sound manner after the century date change.
With that said, over the past few months the Federal Reserve and the banking agencies have
been active in responding to requests for additional guidance about the difficult tasks of
testing and contingency planning and the importance of effective customer communication
programs. We also have been extremely active in banker outreach and education programs

across the country, and in participating in domestic and international securities
industry/payment systems work groups such as the Global 2000 Co-ordinating Group. Even
more important, we have completed a second round of on-site Year 2000 supervisory
reviews of the banking organizations we supervise to assess their progress in testing
remediated systems, evaluating customer and counterparty risk, and in developing their
business resumption contingency plans.
Issuance of Supervisory Guidance
Shortly after my testimony to you in September, on October 15, 1998, the FFIEC agencies
adopted "Interagency Guidelines Establishing Year 2000 Standards for Safety and
Soundness," which apply to all insured depository institutions. The guidelines incorporate
important elements of previously issued FFIEC guidance including aggressive milestone
dates for testing and implementation. The guidelines were issued under section 39 of the
Federal Deposit Insurance Act, which authorizes the Federal Reserve and other banking
agencies to direct an insured depository institution to prepare an acceptable corrective action
plan and comply with such a plan, without having to initiate an administrative proceeding.
The guidelines, therefore, provide an expedited enforcement tool to address serious Year
2000 deficiencies at insured depository institutions and may be useful in addressing any
serious deficiencies over the next few months, when time is of the essence.
On December 11, 1998, the FFIEC issued "Questions and Answers Regarding Year 2000
Contingency Planning" to answer frequently asked questions received by the agencies. The
statement underscores the importance of implementing an effective business resumption
plan that establishes a course of action to resume core business processes in the event of a
system failure.
On February 17, 1999, the FFIEC issued additional guidance to assist financial institutions
with customer communications on the Year 2000. The guidance supplements the May 1998
FFIEC policy statement on Year 2000 Customer Awareness Programs and emphasizes that
maintaining customer confidence in the financial services industry needs to be a top priority
of bank management. The guidance outlines key subject matters that could be incorporated
into bank customer communication statements. The two papers together emphasize that it is
essential for banks to establish customer communication programs and train staff so that
they are able to respond to customer inquiries about their readiness.
Outreach to Banking Industry
We stress the importance of customer communications whenever we meet with bankers, and
we do that often. We participated in 101 programs during the fourth quarter 1998 that were
attended by 5,000 participants. We participated in a total of 497 programs during 1998 that
were attended by over 26,000 participants. So far in 1999, we have participated in over 75
programs reaching over 6,600 participants. We think these programs have been extremely
useful to all parties because they provide attendees with an opportunity to hear about our
expectations "up close and personal" and to ask questions. They also provide us with an
opportunity to hear about the concerns, problems and accomplishments being experienced
by participants and their colleagues.
Phase II Supervision Program
The Federal Reserve has just completed Phase II of its Year 2000 supervision program,
which ran from July 1, 1998, through March 31, 1999. During Phase II we performed a riskfocused Year 2000 assessment of approximately 1,500 supervised institutions, including

state member banks, bank holding companies with at least $1 billion in total assets or with
significant information processing activities, and U.S. branches and agencies of certain
foreign banking organizations. Our Phase II program called for an evaluation of a bank's
overall Year 2000 program and progress relative to FFIEC guidelines and milestone dates.
Based on our reviews, 95 percent of the banking organizations we supervise are making
satisfactory progress in their Year 2000 programs and are in substantial compliance with the
FFIEC milestone dates.
Any financial institution rated less than satisfactory is required to file an acceptable
corrective action plan within 30 days of receiving a deficiency notification letter from the
Federal Reserve. These institutions are placed on an intensified monthly monitoring plan,
and depending on the severity of the deficiencies identified, the use of an appropriate
informal or formal supervisory action is considered. This "watch list" program for
monitoring less than satisfactory banks has proven extremely effective in bringing the issues
to the attention of boards of directors and management, and obtaining an appropriate
response. We find that most banks are able to intensify their programs and begin making
satisfactory progress within a few months.
For the small minority of financial organizations found to be making less than satisfactory
progress, the deficiencies most frequently noted during Phase II reviews have been
relatively manageable and include delays in completing evaluations of customer risk,
weaknesses or delays in completing remediation or testing programs, and insufficient
communication between management and boards of directors. The progress of institutions
that lagged behind the December 31, 1998, FFIEC milestone for completion of internal
testing is being closely monitored.
With respect to the readiness of bank customers and counterparties, it does appear that banks
are formulating policies for managing credit risk and are incorporating Year 2000
considerations into their underwriting and loan review practices. We are just beginning to
see instances where credit standards and collateral requirements are being tightened where a
counterparty or customer is not able to provide sufficient assurances of Year 2000 readiness.
We expect to see an increase in the number of banks acting to minimize credit risks over the
next few months.
In addition to reviewing the status of banking organizations, the Federal Reserve participates
with the other FFIEC agencies in Year 2000 reviews of certain large national and regional
data processing service providers and software vendors serving financial institutions.
Sixteen national Multiregional Data Processing Servicers (MDPS), twelve national Shared
Application Software Review (SASR) software vendors, and approximately 250 other
independent service providers and software vendors are in the review program. Because of
their importance to the Year 2000 readiness of financial institutions, service providers and
software vendors subject to review by the FFIEC agencies were reviewed on site at least
twice by December 31, 1998. Review reports for service providers and software vendors are
sent to banks that are direct customers for their information. These entities also are subject
to quarterly reviews and were contacted during the first quarter of 1999 to assess the
availability of testing programs for their bank customers.
Based on reviews completed and other available information, nearly all vendor software
products have been renovated and internally tested, and financial institutions are actively
testing these products within their own environments. Proxy testing has been pursued by

many institutions that rely on a specific vendor software product for its core banking
systems when their hardware/software platform and operating environment are identical to
the one that was used to perform direct testing with the servicer. National and regional
service providers also have implemented Year 2000-ready services and are testing with their
customers. Overall, the service providers and software vendors have made meaningful
progress in meeting the testing and implementation needs of their financial institution
customers. The few service providers that are not rated satisfactory are subject to intense
oversight by the FFIEC agencies and the review reports detailing deficiencies or problems
being experienced have been sent to their bank customers.
While I'm on the subject of testing with service providers, I'd like to update you on the
Federal Reserve's customer testing program. As I informed you last September, beginning
June 29, 1998, the Federal Reserve is offering customers the opportunity to test future-dated
transactions for Fedwire funds and securities transfer, Fed Automated Clearing House, the
Integrated Accounting System, Treasury Tax and Loan, Check, and other services with
electronic data exchanges. To date, over 8,000 institutions have tested with us, and the
Financial Management Service (FMS) of the U.S. Treasury has conducted interface testing
for social security payments. We are continuing to offer testing opportunities through the
end of 1999.
Phase III Supervision Program
In January, we distributed guidance on our Phase III program, including intensified
monitoring procedures for institutions that are rated less than satisfactory, and established
broad criteria under which it will be presumed that the Federal Reserve will take an informal
or formal enforcement action against such an institution. These procedures provide
guidelines for addressing problem institutions through the century date change.
Looking forward to the critical months remaining until the century date change, the Federal
Reserve has initiated a Phase III program for monitoring the Year 2000 readiness of banking
organizations. Our Phase III supervision program--which began April 1 and runs through
December 31, 1999--calls for risk-based Year 2000 reviews of financial institutions during
the second and third quarters of 1999 to confirm that all FFIEC milestone dates have been
met. Our examiners have been instructed to confirm that every state member bank is in
compliance with FFIEC guidelines by the end of the third quarter 1999.
Financial institutions of special importance to key financial and payment systems in the
United States will be subject to at least monthly contacts after June 1999, and the top 50
bank holding companies will be subject to at least quarterly contacts, to ensure that
implementation is completed and that appropriate risk management policies and
contingency plans are up to date. Service providers and software vendors that service large
numbers of banking organizations will continue to be subject to at least quarterly contacts to
review the status of third party testing and contingency planning.
By June 30, 1999, financial institutions are expected to comply with critical FFIEC
milestone dates for completing all Year 2000 internal and external testing, implementation
of remediated mission critical systems, and contingency planning. A major emphasis of our
supervision program through the century date change will be the adequacy of contingency
plans, which should incorporate not only operational issues but liquidity, funding, customer/
counterparty risk, customer and community communications, and other subject matters.
Through the end of the year, financial institutions will be expected to continue to monitor

customer and counterparty credit risk, and to update contingency plans as necessary to
respond to internal and external events or other Year 2000-related developments that could
affect operations.
I must emphasize that the FFIEC milestone dates are not hard and fast deadlines, but rather
important benchmarks for ensuring that a financial institution is managing its Year 2000
program in a prudent manner - one that provides a six month cushion to tie up loose ends,
continue testing activities, complete work on non-mission critical systems, and observe
renovated and newly-installed systems in a production environment.
During Phase III reviews, we will apply our best judgement in assessing an institution's
progress in meeting FFIEC milestones, most importantly the June 30 date. Let me caution,
however, that this process is very complex and it should not be surprising to see some
testing activity prescribed by the FFIEC policy statements extend past the milestone dates.
If, during our Phase III reviews we find that it is taking an institution a little longer to
complete its preparations, we will assess the risk presented and respond accordingly, either
through increased monitoring and supervision, or through intelligent use of enforcement
actions and disclosure. While ratings provide an objective measure of our assessment of an
organization's progress relative to the FFIEC's milestones, during Phase III the actual Year
2000 status of an organization through and into the Year 2000 will be the focus of our
supervisory activities.
Our Reserve Banks will be assessing each financial institution reviewed under the program
by the end of the third quarter 1999. Obviously we want these assessments to reflect the
Year 2000 progress and status of each banking organization accurately, and Reserve Banks
to be consistent in assigning ratings to organizations within their Districts. In this regard,
each Reserve Bank will have an internal review process to ensure that organizations that are
similarly situated relative to the extent of work remaining will be comparably rated.
Moreover, in our discussions with Reserve Banks, we have established certain parameters
that limit somewhat the flexibility examiners have when rating an organization.
Our staff in Washington reviews all reports for organizations rated less than satisfactory as
well as a sampling of "satisfactory" reports to ensure that there is consistency across
Districts. Implicit in all of this is the understanding that our examiners have a "hands on"
understanding of each organization - including the scope of its Year 2000 project and status,
the track record of management in responding to challenges and meeting regulatory
directives, and the adequacy of the organization's resources. These factors provide the depth
and intelligence necessary to formulate realistic and fair appraisals of banking organizations.
FFIEC Contingency Planning Working Group
There is one other supervisory initiative I would like to mention. The FFIEC agencies have
established a Year 2000 Contingency Planning Working Group to identify and coordinate
contingency planning issues of common interest. The group has agreed upon many areas of
common interest and is considering how contingency planning efforts in these areas can be
coordinated among the agencies. The subjects for review include communications with the
public, monitoring of large institutions, international/payment systems, liquidity, fraud, nonviable and viable financial institutions, service providers and software vendors, and resource
sharing among agencies. The Conference of State Banking Supervisors also participates.
Where appropriate, the group is preparing guidance and planning how to coordinate
responses to problems that may arise in these areas.

President's Council on Year 2000 Conversion, Financial Sector Group
The Federal Reserve has been extremely active in assisting the government's coordination of
the nation's Year 2000 preparations. The Federal Reserve represents the banking industry on
the President's Council on Year 2000 Conversion and a senior Board official chairs the
Financial Sector Group (FSG), which is made up of 27 U.S. government agencies and
corporations, government-sponsored enterprises and state regulatory associations that play a
role in the credit, equity, debt and exchange-traded derivatives markets. The financial sector
includes depository institutions, credit unions, the securities industry, stock markets,
clearing and settlement firms, and the insurance industry. The sector group also includes
over 50 trade associations that represent U.S. financial market participants.
The FSG is charged with increasing awareness of the importance of Year 2000 readiness in
the financial services industry, as well as promoting communications and cooperation with
public and private organizations within the sector. It serves as a forum for addressing
interagency issues and developing positions on important matters before the President's
Council. For example, the FSG recently took the lead in developing a cross-sector paper
examining the pros and cons of establishing a special Year 2000 holiday and related
proposals for the President's Council. The FSG also is assisting in the Council's event
management planning and will participate in its national communication center during the
last quarter of 1999 and first quarter of 2000.
The FSG sponsored a trade association summit meeting in December 1998. The theme of
the meeting was infrastructure readiness, and Senator Bennett was our keynote speaker.
Over 250 trade association representatives and members of the press attended this
informative event, which significantly expanded the dialogue and opened the door for better
coordination of Year 2000 efforts between the financial services industry and the electric
power and telecommunications sectors. The FSG is sponsoring a second summit on April
15, addressing the themes of contingency planning and customer awareness. Congressman
Leach will be our keynote speaker.
Joint Year 2000 Council
The Joint Year 2000 Council was established in April 1998, by the Basle Committee on
Banking Supervision, the G-10 Committee on Payment and Settlement Systems, the
International Association of Insurance Supervisors, and the International Organization of
Securities Commissions. My colleague, Governor Roger Ferguson, chairs the Council. The
Council provides a vital forum for communication among international regulatory and
supervisory authorities on Year 2000 issues. It also serves as a point of contact with various
national and international private sector initiatives.
Among its initiatives, the Council has developed a global supervisory contact list of over
600 financial regulators, and initiated several mechanisms for communicating with them. It
is publishing a series of bulletins on different Year 2000 topics, and has issued six guidance
papers on key phases in the Year 2000 process including papers on testing, information
sharing, and contingency planning, which are published on its web site. The Council has
conducted regional Year 2000 roundtables for regulators in Europe, Asia-Pacific, North and
South America and the Caribbean, the Middle East, and Africa. These conferences provide
an excellent means of bringing supervisors together to discuss common interests within
specific geographic areas. Another round of regional meetings is being planned for this year,
with a focus on the important issues of implementing remediated systems, information
sharing, testing, and contingency planning.

The international arena remains an area that needs to be watched closely by all market
participants and supervisors. The Year 2000 readiness survey conducted by the Basle
Committee on Banking Supervision late last year identified significant progress in the
international financial community's efforts to prepare for the century date change and help
prevent serious problems. Of the 100 banking supervisors that responded to the survey, all
indicated that they had contacted their banks regarding the Year 2000 issue and the large
majority --including all major markets--had initiated supervisory programs to ensure that
banks allocate the necessary resources to identify any potential Year 2000 problems.
However, much work remains to be done, particularly in smaller, less industrial and
emerging countries.
While we do not know with certainty what the outcome will be around the globe, the level
of Year 2000 awareness of financial services regulators is now quite high. Moreover, the
effect of applying the FFIEC policy statements to the U.S. operations of foreign banking
organizations had a salutary effect in making their parent organizations abroad aware of the
problem and the need to formulate Year 2000 programs. In light of the recent increase in
information showing that the Year 2000 problem is receiving increased attention and
resources, and that progress is being made abroad, it is increasingly likely that Year 2000
technical issues will not cause significant problems in the most active foreign global
markets. However to achieve that goal, it is critical that the current momentum and level of
resources be maintained. It also is essential that countries coordinate with each other across
financial and other sectors to share information and develop contingency plans in areas of
common interest.
Legislative Matters
Federal Reserve Note Collateral
The Board strongly supports adoption of H.R. 1094 that would amend the Federal Reserve
Act to broaden the range of discount window loans that may be used as collateral for
Federal Reserve notes. Section 16 of the Federal Reserve Act requires the Federal Reserve
to collateralize Federal Reserve notes when they are issued. In other words, we are required
to hold certain kinds of assets in an amount at least equal to the amount of currency in the
hands of the public. The list of eligible collateral includes Treasury and federal agency
securities, gold certificates, Special Drawing Right certificates, foreign currencies, and
discount window loans made under section 13 of the Federal Reserve Act.
The reference to discount window loans made under section 13 was in the original Federal
Reserve Act. Subsequently, however, when the Federal Reserve Act, including section 13,
was amended to allow discount window loans to be made against a wider array of collateral,
section 16 was not similarly amended. Thus, section 16 currently limits the types of discount
window loans the Federal Reserve can use to collateralize the currency. For example, certain
discount window loans under section 10B of the Act secured by mortgages on one-to-four
family residences cannot be used. The margin of available extra currency collateral has been
shrinking due to the growth of retail sweep accounts, which reduces reserve balances and
causing a corresponding reduction in Treasury securities held by Reserve Banks. In this
context and in light of the potential for depository institutions to seek access to the discount
window because of events related to the Year 2000, we believe that it would be prudent to
amend the Federal Reserve Act to expand the types of assets eligible to collateralize the
currency to include all types of discount window loans, thereby assuring flexibility in times
of high loan demand.

Year 2000 Holiday
Various segments of the financial services industry, particularly those operating abroad,
have suggested that governments adopt an additional holiday around the century date
change. There are a number of dates proposed for a Year 2000 holiday--Friday, December
31; Monday, January 3; and even Tuesday, January 4--although there does not appear to be
any consensus which date would be most desirable. Adding to the uncertainty is the question
whether the holiday should be mandatory (requiring all businesses to close) or permissive
(permitting but not requiring businesses to close). In the United States, most holidays are
permissive and December 31 will be such a federal holiday. The Federal Reserve announced
last year that the Reserve Banks will be open for business on that day and on Monday,
January 3, 2000, and we understand that most businesses plan to be open on those days as
well.
We do not support the concept of a special Year 2000 holiday. Some have suggested that a
Year 2000 holiday facilitate the transition to the next century. For example, a December 31,
1999, holiday would provide additional time to complete end-of-day (December 30) as well
as at least some end-of-quarter and end-of-year processing before the rollover to January 1.
A January 3, 2000, holiday--as contemplated by H.J. Res. 14--would provide an additional
day for organizations to confirm that computer, telecommunications, and embedded systems
are operating properly and to identify and resolve any Year 2000 disruptions that may occur,
although, since the holiday would be permissive, the extent to which organizations would
take advantage it is unclear, and it could engender even more confusion as to who is open
and who is not. The recently proposed January 4 holiday purportedly would provide time to
process and react to any problems that appear on the first business day of the new
millennium.
In our view, the drawbacks to a Year 2000 holiday are significant and include additional
operational burdens, potential contractual and taxation issues, and potential adverse public
reaction. The adoption of a mandatory Year 2000 holiday may require banks to initiate
additional procedural and operational changes. Internal systems would have to be
reprogrammed to include the new holiday and to treat it as a non-business day for purposes
of completing transactions. Because these changes are date-related, systems that already
have been remediated would require additional Year 2000 testing to ensure that the changes
did not inadvertently create date-related processing problems. Banks would have to revise
their test scripts, create different future-dated computing environments to simulate the new
sequence of business days, generate new test data to reflect the holiday, and then retest
systems that were previously designated as Year 2000 ready. This would place significant
additional burdens on firms and may increase, rather than reduce, the risk of disruption.
Moreover, the task would divert already scarce resources away from the primary task of
completing Year 2000 testing, implementation and contingency planning. We should
understand that all of this work would have to occur long after the FFIEC milestone dates
for completion of testing and implementation of remediated systems.
Declaring a new Year 2000 holiday also would further increase transaction volume on the
last and first business days of the year, when volume is traditionally higher than average.
This may exacerbate workloads on adjacent days, complicating the transition and the
resolution of any problems. A special Year 2000 holiday also would affect contractual and
other payment obligations, and there would be potential tax implications attendant to any
pre- or post- Year 2000 payments made as a result of the new holiday.

Finally, and equally troubling, changes to existing holiday laws would send a signal to the
public that the government has serious concerns about the potential for significant Year
2000 problems within the financial services industry. We do not believe significant
problems will occur and we are opposed to taking actions that could unnecessarily erode
public confidence in the industry, where erosion of confidence can create significant
destabilizing effects on our economy.
The Federal Reserve first discussed the holiday issue with the financial industry over a year
ago. At that time, proponents of a Year 2000 holiday emphasized that the decision must be
made no later than the first quarter 1998 for organizations to derive the intended benefits
without incurring undue costs and risks. They correctly believed that declaration of a Year
2000 holiday at a later time would impede an organization's ability to limit changes to
remediated systems during the period surrounding the century date change. Indeed, many
institutions such as the Federal Reserve have adopted change management policies in order
to limit the risks to information systems posed by changes in the second half of 1999.
Changes in holidays or payment schedules at this late date would run counter to the risk
mitigation objectives of these policies.
Some agencies have asked whether rescheduling payments from early January to late
December should be considered as part of their contingency planning. While this initially
may seem to be a prudent approach, the premise underlying the proposal must be that either
the financial system will be unable to deliver payments to recipients' bank accounts or that,
once payments have been delivered, recipients will be unable to use those funds because of
problems at their banks. With respect to the ability of the financial system to deliver
payments to banks, we have a high degree of confidence that the Federal Reserve will
continue to process payments during this period. Further, our understanding of the readiness
of private sector providers of payment services, gained through our supervisory efforts and
the efforts of the other financial supervisory agencies, gives us confidence that other
wholesale providers of payments services will also continue to process payments during this
period.
With respect to individuals and businesses' ability to use their funds at their banks, we
believe that it is reasonable to assume, based on the Year 2000 progress being made by the
banking industry, that access to those funds will continue unabated. To assume otherwise
could engender problems more severe than the problems that people are seeking to avoid.
For example, if a large number of individuals interpret an early payment to mean that they
will be unable to access their bank account, or make payments by other means, such as
credit cards, for some period, they may seek to withdraw large quantities of cash. Moreover,
cash is in many respects an inefficient payment vehicle--the risk of loss or theft is great and
its delivery to remote payees can be difficult and time-consuming. While there may be
particular circumstances that warrant rescheduling payments during the Year 2000 rollover
period, we would caution against actions that may themselves lead to problems as severe or
even more severe than the problems that they are designed to avoid.
Credit Union Liquidity
In an area related to issues of cash availability and liquidity of financial institutions, the
Federal Reserve has been working with representatives of the credit union industry and the
National Credit Union Administration to address logistical problems that might arise due to
any need for a large number of credit unions to obtain liquidity beyond the considerable
amount they already have available. Although this work is still in the preliminary stages, we

are confident that a relatively cost effective, efficient means can be found to channel funds
through the corporate credit union system to natural person credit unions in need of
liquidity. Such a structure would seek to rely to the extent possible on existing credit
relationships and documentation.
Litigation Issues
There has been a great deal of talk about litigation that may arise due to Year 2000
problems. This has led to the introduction of a number of bills designed to limit litigation
relating to Year 2000, including H.R. 775, the proposed "Year 2000 Readiness and
Responsibility Act," as well as concerns whether existing consumer laws limiting liability
for bona fide errors should be clarified. We do not have a position as to whether H.R. 775
should be adopted. We do believe that no legislation should be construed to limit the
financial supervisory agencies' ability to bring enforcement actions based on Year 2000
related problems. To do so could interfere with the agencies' ability to encourage supervised
institutions to address Year 2000 issues appropriately. Accordingly, we recommend that any
legislation limiting liability in civil actions should exclude actions brought by a Federal,
state or other public entity, agency or authority acting in a regulatory, supervisory or
enforcement capacity. A similar exclusion was incorporated in the Year 2000 Information
and Readiness Disclosure Act.
The issue of banking agency enforcement authority may be of particular significance with
respect to section 605 of H.R. 775, "Suspension of Penalties for Certain Year 2000 Failures
by Small Business Concerns." That section would provide that, as a general rule, no agency
shall impose a civil penalty on a small business concern for a first time error resulting from
a Year 2000 failure. Some banking institutions and their affiliates may come within the
definition of small business concerns to which this provision applies. Again, we are
concerned that this provision could interfere with the financial supervisory agencies' ability
to encourage supervised institutions to address Year 2000 issues appropriately and urge that
this limitation not apply to any penalty imposed by a Federal banking agency as defined in
the Federal Deposit Insurance Act.
Finally, with respect to the bona fide error provisions contained in many consumer laws, in
our view, computer malfunctions and programming errors due to Year 2000 problems
appear to be covered by statutory provisions dealing with "bona fide errors." Accordingly,
we do not see a need for additional clarifying legislation.
Conclusion
In closing, I would like to thank the Committee for the opportunity to share this information
with you. We appreciate your concern and assistance in identifying the appropriate focus of
our efforts during the last months before the Year 2000. Financial institutions are continuing
their efforts and making significant progress in renovating their systems to prepare for the
century rollover. The Federal Reserve is committed to a rigorous program of industry testing
and contingency planning and, through our supervisory initiatives, to identifying those
organizations that most need to apply additional attention to Year 2000 readiness programs.
We are committed to working with national and international counterparts and other groups,
including the President' Council on Year 2000 Conversion, the Joint Year 2000 Council, and
industry trade associations to assist the industry in preparing for the rollover to the Year
2000.

Important Year 2000 Web Sites:
Federal Reserve Year 2000 Web site: http://www.federalreserve.gov/y2k
Federal Reserve Century Date Change Project: http://www.frbsf.org/fiservices/cdc/
Federal Financial Examination Council: http://www.ffiec.gov
President's Council on Year 20000 Conversion: http://www.y2k.gov/
Bank for International Settlements & Joint Year 2000 Council: http://www.bis.org
Global 2000 Co-ordinating Group: http://www.global2k.org
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1999 Testimony
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