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For release on delivery
10:00 a.m. EDT
September 25, 2019

Statement by
Lael Brainard
Member
Board of Governors of the Federal Reserve System
before the
House Financial Services Subcommittee on Consumer Protection and Financial Institutions
U.S. House of Representatives
September 25, 2019

Thank you, Chairman Meeks, Ranking Member Luetkemeyer, and members of the
subcommittee. I appreciate the opportunity to be here today to discuss financial stability.
The Federal Reserve’s Role in Promoting Financial Stability
Safeguarding financial stability is integral to achieving the Federal Reserve’s objectives
of full employment and price stability. We need only look back a decade to see the dramatic
damage from financial vulnerabilities that increased unchecked: millions of Americans lost their
livelihoods and their homes, businesses failed, and the government had to provide extraordinary
support. We learned from this experience that we must be especially vigilant to fortify the
resilience of our financial system in good times when vulnerabilities may be building.
Following the financial crisis, the Congress assigned important responsibilities for
safeguarding the stability of the financial system to domestic regulators. The Dodd-Frank Wall
Street Reform and Consumer Protection Act created the Financial Stability Oversight Council
(FSOC) to identify, coordinate and respond to emerging threats to the financial system. The
Federal Reserve was assigned responsibility for enhanced supervision of systemic firms, and we
have placed great emphasis on strengthening our approach to promoting financial stability.
Safeguarding financial stability is a shared responsibility, requiring cooperation across U.S.
regulatory agencies, as well as with foreign regulators and central banks. Chair Powell
represents the Federal Reserve in the FSOC, where we participate alongside other domestic
regulators and the Treasury, and I am pleased to be joined today by Dino Falaschetti of the
Office of Financial Research. We also participate in a variety of international forums, including
the Financial Stability Board, which Vice Chair Randal Quarles chairs, and where I serve as the
Federal Reserve representative.

-2The Board instituted a new organizational framework to carry out our responsibilities on
financial stability. We created the Division of Financial Stability to strengthen our crossdisciplinary approach to the analysis of potential risks to the financial system and to support
macroprudential supervision of large financial institutions. I serve as chair of the Committee on
Financial Stability, which was created to guide staff work and make recommendations to the
Board. 1 We develop a financial stability assessment four times per year that is discussed by the
Board and the Federal Open Market Committee.
We have also taken steps to ensure transparency and accountability. Last year, I was
pleased that the Board accepted my recommendation to publish a public Financial Stability
Report twice a year. 2 The report provides an account of our assessment of vulnerabilities as well
as a summary of market participants’ views on potential risks to the financial system. Through
this public communication, we hope to gain feedback from the broader financial stability
community and the public on threats to the financial system.
How the Federal Reserve Approaches Financial Stability
Our approach to financial stability recognizes that the financial system and the broader
economy are intertwined. The buildup of financial imbalances in good economic times has the
potential to amplify shocks in a downturn and push the economy away from full employment
and price stability. When financial vulnerabilities build, adverse developments can lead to
disruptions in credit and other financial services, potentially amplifying declines in employment
and economic activity. Our goal is to promote a resilient financial system that is able to continue

1

Federal Reserve Board https://www.federalreserve.gov/aboutthefed/bios/board/default.htm.
Board of Governors of the Federal Reserve, Financial Stability Report (Washington: Board of Governors),
https://www.federalreserve.gov/publications/financial-stability-report.htm.
2

-3meeting the demands of households and businesses for financial services when faced with
adverse events.
Accordingly, we have developed a systematic forward-looking approach to assessing
financial vulnerabilities that could amplify negative shocks, transmitting damage more broadly.
The historical record here and abroad points to several key areas of vulnerability. Vulnerabilities
can build when there is excessive or poorly underwritten borrowing across many households,
such that incomes are not keeping up with debt payments. Similarly, elevated levels of corporate
debt can create problems not only for the borrowers, but also for lenders, when the business
cycle turns, and debt servicing obligations or refinancing prove challenging, leading businesses
to pull back on investment and employment. Vulnerabilities historically have often been
associated with conditions where asset prices are higher than what economic fundamentals
support, often because of elevated risk appetite, potentially leading to much larger-than-expected
losses should a sharp correction occur. Separately, we track leverage in the financial system for
signs that banks and other financial intermediaries potentially have inadequate buffers of capital
to absorb adverse shocks, increasing the risk of their distress and possible spillovers to the
financial system. We also monitor funding risk in the financial system. Where banks or
nonbank financial intermediaries fund long-term lending through potentially flighty short-term
borrowing, it may pose the risk of a loss of confidence, precipitating a withdrawal of short-term
funding and strains on institutions as they try to meet withdrawals.
To illustrate, I will provide my brief assessment in each of these areas. In contrast to the
years preceding the crisis, when household borrowing was growing at a pace far above that of
gross domestic product (GDP), it has since come down and is now growing more slowly than the
economy overall. Moreover, while much of the increase before the crisis reflected borrowing

-4that proved unsustainable, more recent borrowing has been concentrated among households with
strong credit profiles. That said, the increase in student debt in recent years deserves attention,
although not primarily through the prism of financial stability.
The regulated financial sector is more resilient, owing to far-reaching reforms as well as
favorable conditions. Insurers appear generally well capitalized, and broker-dealers, including
those not affiliated with large bank holding companies, have reduced their leverage in recent
years. In contrast, there has been some evidence of rising use of leverage by hedge funds over
the past couple of years. Large banks increased both the size and quality of their capital buffers
following the crisis, although the risk-weighted capital ratio at the largest banks has moved down
somewhat as payouts have exceeded earnings over the past couple of years.
Financial reform has reduced funding risks associated with banks and money market
funds. Large banks subject to liquidity regulation are less reliant on unstable short-term
wholesale funding and have thicker liquidity buffers. Money market reforms have also reduced
funding risks.
A range of asset prices remain high relative to historical benchmarks, even with the
recent financial market volatility. In particular, yields on high-yield corporate bonds relative to
Treasury securities remain somewhat narrow on a historical basis despite recent increases.
Similarly, although they have moved up in recent months, spreads on leveraged loans remain in
the bottom half of their range since the financial crisis, which is notable given the evidence of
weakening protections. Finally, capitalization rates on commercial real estate properties, which
measure annual income relative to prices for recently transacted properties, have been low
relative to Treasury yields. In addition to generating losses for investors, declines in valuations

-5could make it more challenging for firms to obtain or extend financing—especially among risky,
indebted firms—which in turn could be amplified by the high levels of risky corporate debt.
Finally, business borrowing has risen more rapidly than GDP for much of the current
expansion and now sits near its historical peak. The run-up in corporate debt has brought the
ratio of debt to assets close to its highest level in two decades on an overall basis, and this is also
true for speculative-grade and unrated firms. And whereas previously, mostly high-earning firms
with relatively low leverage were taking on additional debt, analysis of detailed balance sheet
information indicates that firms with high leverage, high interest expense ratios, and low
earnings and cash holdings have been increasing their debt loads the most. Historically, high
leverage has been linked to elevated financial distress and retrenchment by businesses in
economic downturns.
Regarding corporate bonds outstanding, recent years have witnessed little change in the
relative shares of investment-grade bonds and high-yield bonds. Credit quality has deteriorated
within the investment-grade segment, where the share of bonds rated at the lowest investmentgrade level has reached near-record levels. As of mid-2019, just over half of investment-grade
corporate bonds outstanding were at the lowest end of the investment-grade segment. In
comparison, the share of high-yield bonds outstanding that are rated “deep junk” has stayed flat
at about one-third over the past few years, well below the financial crisis peak of 50 percent.
In an economic downturn, widespread downgrades of these low-rated investment-grade
bonds to speculative-grade ratings could induce some investors to sell them rapidly—for
instance, because lower-rated bonds have higher regulatory capital requirements or because bond
funds have limits on the share of non-investment-grade bonds they hold. This concern may be
higher now than in the past, since total assets under management in bond mutual funds have

-6more than doubled in the past decade, and these funds now hold about one-tenth of the corporate
bond market. The redemption behavior of investors in these funds during a market correction is
unclear.
Further down the credit quality ladder, there has been sizable growth in leveraged
lending, accompanied by a notable deterioration in underwriting standards. Net issuance of
leveraged loans to risky borrowers grew rapidly last year and boosted leveraged loans
outstanding to a level exceeding $1 trillion overall, although the pace of issuance has slowed
more recently as the interest rate environment has shifted. While leveraged loans have
traditionally had important investor protections, covenants for leveraged loans issued in the past
few years have weakened dramatically, and they often include features that increase opacity and
risk. A substantial share of the leveraged loans are packaged in collateralized loan obligations
(CLOs) whose issuance increased sharply in 2018 and has since moderated somewhat. Many
large banks originate leveraged loans with an intent to distribute, often to CLOs. While the
direct exposures of the banking system in the form of loan portfolios and warehousing exposures
can be monitored, there are also indirect exposures, including through bank investments in CLOs
and credit lines, which bear vigilance. By contrast, nonbank exposures are harder for us to track.
To date, the default rate on leveraged loans has been at the low end of its historical range, and
corporate credit conditions have been favorable, with low interest expenses and low expected
default rates. However, if spreads rise sharply or economic conditions deteriorate significantly,
we could see downgrades, refinancing challenges, rising delinquencies and defaults, and losses
to investors.
Recognizing that financial imbalances played a key role in each of the past three U.S.
downturns, policy should seek to moderate financial vulnerabilities when they are likely to

-7materially exacerbate an economic downturn, leading to deeper declines in output and higher
levels of unemployment. Both economic theory and econometric evidence point to the risk that
excesses in corporate debt markets could amplify adverse shocks and contribute to job losses.
Over-indebted businesses may face payment strains when earnings fall unexpectedly, and they
may respond by pulling back on employment and investment. The slowdown in activity lowers
investor demand for risky assets, thereby raising spreads and depressing valuations. As business
losses accumulate, and delinquencies and defaults rise, banks are less willing or able to lend.
This dynamic feeds on itself, potentially amplifying downside risks into more serious financial
stresses or a downturn.
Recognizing this feedback loop between financial imbalances and the macroeconomy, in
addition to strong through-the-cycle regulatory requirements, our toolkit includes a
countercyclical capital buffer (CCyB). The CCyB is intended to require the nation’s largest
banks to build capital when conditions are favorable to sustain resilience for times when there is
elevated risk of above-normal losses, which often follows periods of rapid asset price
appreciation or credit growth. CCyB requirements are intended to lean against rising risks at a
time when the degree of monetary tightening needed to achieve the same goal could be
inconsistent supporting full employment and target inflation. And they build resilience, unlike
monetary policy. Second, when conditions are favorable, the covered banks could build the
modest additional buffer simply by moderately reducing payouts. Third, the CCyB is a simple,
predictable, and slow-moving tool that applies equally across all large banks. It does not single
out shortfalls in particular banks or result in volatility in individual banks' stressed capital
requirements. Finally, the additional capital can be released when conditions deteriorate to
ensure the ability of large banks to lend into a downturn.

-8The criteria for implementing the CCyB described in the Board's framework of
September 2016 are calibrated so that the CCyB will be above its minimum value of zero about
one-third of the time, when financial vulnerabilities are assessed to be in the upper one-third of
their historical distribution. 3 The Board votes once a year on the level of the CCyB. The Board
voted to set the CCyB at zero earlier this year. 4 Many other jurisdictions have raised their CCyB
above zero. 5
Going forward, we will continue to monitor financial vulnerabilities closely, recognizing
the potential for such vulnerabilities to amplify any negative developments. We plan to share
our assessment with you in our next Financial Stability Report later in the year and look forward
to hearing from you about any issues that warrant further monitoring.
Thank you and I look forward to your questions.

3

Board of Governors of the Federal Reserve, “Framework for Implementing the U.S. Basel III Countercyclical
Capital Buffer,” September 8, 2016,
https://www.federalreserve.gov/newsevents/pressreleases/files/bcreg20160908b1.pdf.
4
Board of Governors of the Federal Reserve, “Federal Reserve Board Votes to Affirm the Countercyclical Capital
Buffer (CCyB) at the Current Level of 0 Percent,” press release, March 6, 2019,
https://www.federalreserve.gov/newsevents/pressreleases/bcreg20190306c.htm
5
See the Basel Committee on Banking Supervision, updated August 21, 2019,
https://www.bis.org/bcbs/ccyb/index.htm#table.