View original document

The full text on this page is automatically extracted from the file linked above and may contain errors and inconsistencies.

ORAL TESTIMONY OF

L. WILLIAM 6EIDMAN
CHAIRMAN
FEDERAL DEPOSIT INSURANCE CORPORATION
ON
THE STATUS OF THE BANK INSURANCE FUND

BEFORE THE

SUBCOMMITTEE ON FINANCIAL INSTITUTIONS
SUPERVISION/ REGULATION AND INSURANCE
COMMITTEE OF BANKING/ FINANCE AND URBAN AFFAIRS
UNITED STATES HOUSE OF REPRESENTATIVES

9:30 A.M.
DECEMBER 17, 1990
ROOM 2129, RAYBURN HOUSE OFFICE BUILDING

1
Mr. Chairman and members of the Subcommittee:

We appreciate

the opportunity to testify on the financial condition of the FDIC
and on the study prepared for your Subcommittee.

Overall, while there are certainly statements in the report
which we would not support, we believe the report is credible and
useful
system.

particularly the

recommendations

for reform

of the

But let me make clear that we are talking here more than

about FDIC funding and banking matters.

If we do not assure that

credit is made available by a sound and strong financial system,
our economy will wither and our economic strength will erode.

So let me begin, this morning,

with a review of the financial

position and resources of the FDIC Bank Insurance Fund.

Our Fund

has declined from $18.3 billion at year-end 1986 to $11.4 billion
as of mid-year 1990.

We estimate our loss at year—end 1990 will

be about $4 billion.

Of this amount, over 80 percent represents

year-end reserves for losses on banks which will not fail in 1990,
but are expected to fail early in 1991.

These anticipated losses

result in our projection that the Fund balance will decline to
about $9 billion by year-end 1990.




. 2

What

is the outlook for the Fund and the banking industry

beyond 1990?

Even in stable times it is difficult to identify

potential failures significantly in advance of the event.
there

is

general

agreement

that

the

economy

is

While

slowing,

the

severity and length of the slowdown is unknown.

Therefore, let me emphatically state that we do not identify
with the leading economic forecaster whose maxim is as follows:
"Often wrong, but never in doubt."

We also would stress that the numbers we are talking about
represent our best professional judgment on the condition of the
Bank Insurance Fund.
the

problem,

or

to

Forecasting designed to attempt to minimize
be

"safely"

on

disservice to the banking industry,

the

high

side,

to the Congress,

would

be

a

and to the

American public.

To state the obvious, it is easier to project revenues than
to predict insurance losses.
expected resources.

So let us start with a review of our

Over the next three years, if we make certain

assumptions regarding future action to bolster fund resources, we
estimate our available resources will be as follows:




3

Bank Insurance Fund Balance January 1, 1991

$9.0 billion

Assessment Income (1991 - 1993),

$18.0 billion

assuming 23 basis points in assessment
rate in 1992 and 4.5 percent deposit growth.

Interest on Investments (1991 - 1993)

$1.0 billion

Revenue generated from a 1 percent

$25.0 billion

of deposits recapitalization funded
by the banking industry.
m

Total BIF Resources (1991 - 1993)

Estimated operating expenses

$53.0 billion

($1.0 billion)

(1991 - 1993)

Net Resources Available to
absorb insurance losses (1991 - 1993)




$52.0 billion

4

In addition to 1991 failures already reserved for in 1990, our
preliminary forecast for 1991 is for about 180 bank failures with
a

total

of

$70

billion

of

assets.

This

would

result

in

approximately $10 billion in insurance losses, before offsetting
premium revenue.

Our net loss in 1991 after accounting for premium

revenue, would be about $5 billion, reducing our fund to about $4
billion at year-end, 1991.

We have estimated our losses for 1991 by reviewing all problem
banks,

on a bank-by-bank basis,

and identifying likely failures

based on the results of examinations by supervisory staffs.

Deducting the 1991 insurance loss of $10 billion from the $52
billion of resources available to absorb insurance losses which we
previously set forth,

leaves approximately $42 billion available

to resolve failed banks in 1992 and 1993. At current loss rates,
the BIF could handle at least $200 to $250 billion of failed-bank
assets

in these two years.

This would be

in addition to

billion of failed-bank assets handled in 1991.
^^ree

y©&rs,

our

total

capability

to

handle

$70

Thus, over the next
losses

in

failed

institutions would be from $270 to $320 billion of institutional
assets.




5

To give a standard for comparison, assets on which losses were
handled from January 1, 1987 to June 30, 1990 —
half year period —

How

likely

magnitude?

is

a three and one

were $102 billion.

it

that we will

Bank-by-bank

completed in January,

failure

1991.

experience

forecasting

losses

for

1992

of

that

will

be

Predictions for two and three years

ahead can really only be educated guesses.

Three years ago, who

could have predicted that Germany would be reunited and that we
would be shipping food to Russia?

In three years, will we be in

a booming economy, stagflation or a deep recession?
knows, very little reliance,

Since no one

in terms of operating plans, can be

put on such forecasts.
er

However,

taking

all

these

factors

together,

our

best

assessment of the situation is that the Bank Insurance Fund remains
solvent, and will be solvent at the end of 1991.
weak. A recapitalization will be necessary.

But, it is very

With recapitalization,

the FDIC Fund should be able to handle the problems of the next
three years unless a disaster occurs.

However, there are scenarios under which the Fund would need
additional resources even with a recapitalization.




6

The BBL report would appear to agree as it indicates that BIF
likely is facing bank failure costs of between $31 and $43 billion
during the next three years if we experience a mild recession.
While

those

predicted

recapitalization,

losses

appear

the Fund will have

to

be

at least

high,

assuming

$52 billion of

projected resources with which to handle them.

However, if we take the BBL report’s worst case scenario, ”a
Texas style recession,” with estimated costs of $65 billion at the
high

end,

then the

fund would have to borrow

$13

billion,

$5

billion of which has already been authorized by the U.S. Treasury.
It is our view, however, that the report’s estimate of loss, in the
case of a major, deep recession, probably is too low.
#

Thus, the immediate problem that needs to be addressed is how
to strengthen the Bank Insurance Fund.

We have initiated talks

with Treasury and banking industry officials on this issue.
in

agreement

on

several

key

points.

First,

We are

recapitalization

refunding should be in place before it is actually needed.
other words, action should be taken early next year.




In

7

Second, any strengthening of the Bank Insurance Fund can and
should be financed by the banking industry,

not by the American

taxpayers.

Beyond
enhance

refunding

credit

measures,

availability

resolution methods —

—

measures

to

including

reduce

losses

alternative

and

failure-

as a means to strengthen the Bank Insurance

Fund must be put into place.

My written testimony discusses a

number of methods for dealing with failed or weakened institutions
designed to reduce losses to the fund.

If economic conditions

continue to erode, we must also explore means to reduce losses and
improve credit availability by preventing failures.

We cannot let

weakness in 'the financial system bring on recession or worse in
the economic system.

Longer term,

we must

address

the

need to

restructure

the

banking industry and reform the deposit insurance system in a way
that will enhance profitability, the safety and soundness of the
system

and the availability of credit to worthy borrowers.

The BBL report contains many recommendations in this area and,
as you may know from our many past testimonies, we support roost of
them.




8

Our country*s banking system can operate safely and soundly
only

if it

can provide competitive

customers at a reasonable profit.

services and credit

to

its

Outdated restrictions imposed

by the Glass-Steagall Act, the product and ownership limitations
Bank

Holding

Company Act,

and

the

geographic

barriers

imposed by the Bank Holding Company Act and the McFadden Act should
be eliminated.

Banking organizations should be free to offer a wide range of
products and service.

But, it is critical that those products and

services should not be funded with insured deposits or provided hv
financial— institutions with weak capital positions.
0

The Treasury,
regulatory agencies,

in conjunction with the FDIC and other bank
is going to propose financial restructuring

designed to make the system competitive and reduce the exposure of
the federal safety net.

Our financial system must be strengthened

if we are to have a prosperous and grow ing economy in the future,
Let me repeat

we are talking here about more than FDIC funding

and banking matters, we must assure that credit is available on a
sound basis —




without that, the economy will wither.

9

In closing, we would like to made one additional comment on
the BBL study and the information provided by the FDIC.
information
primarily

withheld

exam

was

reports,

certain

that

private-sector

could not be provided

existence of legal protection —

The only

information,
absent

the

including criminal sanctions —

that apply to those limited number of individuals now permitted
access to such information.

Since those legal safeguards were not in place with respect to the
authors*

requests,

certain limited categories of information had

to be denied.

Mr. Chairman, this concludes my testimony.
••
to answer questions at this time.




I would be pleased

i
r