View original document

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

At the America's Community Bankers 2003 National Compliance and Attorney's
Conference and Marketplace, San Antonio, Texas
September 22, 2003

Increased Availability of Financial Products and the Need for Improved
Financial Literacy
I am pleased to be here today as you begin your meetings that relate to a wide range of retail
banking issues. The breadth and scope of the topics to be addressed at this conference
reflect the rate of change in the banking industry, as well as the ever-increasing role of the
consumer in this industry. Certainly, the world of financial services has transformed since I
began my banking career nearly forty years ago. Perhaps even more remarkable is the pace
at which these changes have occurred, with many taking place over the course of the past
decade. Technology, deregulation, and product innovation have redefined the way in which
financial institutions conduct every aspect of their business, from originating loans to
delivering products and services. Today, I would like to offer some compelling information
on the nature and scope of these changes, as well as their impact on the availability of
financial services to consumers. Finally, I will address how the current marketplace for
financial services has brought about shared responsibilities and increased opportunities for
the users, providers, advocates, and regulators of financial services.
Although my topic today is somewhat more broad than the general theme of this conference,
I believe it is appropriate for two reasons. First, your industry is in continual evolution and I
want to give this group the benefit of the implications of these changes from my vantage
point. Second, marketplace changes often generate either new regulations or suggestions for
new regulations. The collective response of your members to these changes may well help
determine the agenda topics for future meetings of this group.
Evolution of the Consumer Financial Services Industry
Many of the changes in the delivery and production of financial services are directly
attributable to advances in technology and telecommunications. Just as it has in nearly every
other area of the economy, technological progress has dramatically increased organizational
efficiency and enhanced consumer convenience in the financial services industry. Take, for
example, automated teller machines (ATMs), which emerged about twenty years ago as one
of the first means for electronic service delivery in banking. Today, ATMs are ubiquitous and
continue to gain acceptance by consumers. Data from the Federal Reserve's most recent
Survey of Consumer Finances (SCF) indicate that 57 percent of families with banking
relationships use ATMs to access their accounts, a proportion that increased by nearly 67
percent from 1995. Similarly, consumers have increased their usage of automated
clearinghouse services, with the number of families using electronic deposit and debit
services increasing by about 20 percentage points between 1995 and 2001. In addition,
consumer use of computers to conduct financial activities continues to grow in popularity:
The 2001 SCF data revealed that 19 percent of families accessed at least one of their
accounts via the Internet, which is five times more than the number of families responding to
this question on the 1995 SCF.

Technological advances in account access and processing mechanisms have had
considerable impact on the delivery of financial services. However, the development of
credit scoring technology has had the most significant effect on the evolution of the financial
services industry. The widespread use of computer models to evaluate and predict credit risk
has had a tremendous impact on institutions' ability to reduce underwriting costs and has
increased opportunities for identifying new customers. Because of the efficiencies and
consistency in risk profiling that credit scoring offers, creditors have continually sought to
apply this technology to new areas of lending. The use of credit scoring models has migrated
from its origins in unsecured consumer credit to its application in mortgage lending and,
more recently, small business credit and insurance underwriting. In addition, the use of credit
scoring technology has created other important efficiencies within the industry, most
notably, enabling lenders to more effectively price for risk and package loans for sale in the
secondary market. The use of credit scoring technology has made the credit approval
process increasingly impersonal. At the same time, however, credit approvals are
increasingly age- race- and gender-blind, which has contributed to what my predecessor
Federal Reserve Board member Lawrence Lindsey referred to as the "democratization" of
credit.
Coinciding with the technological advancements, significant policy changes have
contributed to greater efficiency and competition in the financial services market. Low
interest rates have increased the affordability of credit, and deregulation has significantly
broadened the number of credit-product providers. In fact, the number of sources for credit
now available to consumers is so broad that it is difficult to quantify. In a recent effort to
identify the number of institutions offering credit in today's marketplace, Federal Reserve
Board staff estimated that more than 75,000 lending institutions extend consumer credit,
ranging from banks and credit unions to mortgage companies and payday lenders.
Impact of Industry Changes on Consumers
The culmination of improvements in information processing technology, product innovation,
the relaxation of regulatory restrictions, and enhanced competition has helped lower costs
and increase accessibility to credit. The expansion of the consumer lending market has
created new opportunities for households to match their short-term spending needs with
their longer-term stream of income, helping them to achieve their broader financial and life
goals. Consumers who have traditionally had difficulty gaining access to credit from
mainstream financial institutions have particularly benfitted. Over the past two decades, the
proportion of households using credit has risen dramatically. Evidence from the Federal
Reserve's SCF shows that the proportion of all households with outstanding debt increased 5
percentage points between 1983 and 2001. During the same time, the median debt level of
households more than doubled, to about $40,000, with most of this volume increase relating
to mortgage debt.
The SCF findings indicate that one result of the ongoing financial-market changes has been
the democratization of credit. A review of the use of credit across income groups over the
past two decades shows the level of debt has increased sharply in all income groups, and the
median level of debt has doubled for each group. Notably, the strongest growth in the
proportion of families having any debt occurred in the lowest two quintiles of the income
distribution, with the proportion increasing by about 20 percent in each group.
Given such trends, some observers have expressed concern that recent increases in the use
of credit among lower-income and less financially sophisticated households could lead to

financial distress for these possibly more vulnerable households. However, data from the
SCF may alleviate some of these concerns. Over the 1992-2001 interval, households'
payment-to-income ratio, an expression of debt burden, increased by less than a percentage
point at the median. Although this ratio grew more strongly in the lowest-income bracket, by
4 percentage points, the most recent level for lower-income households is still not much
higher than that for all households.
Perhaps more revealing as an indicator of financial distress is the proportion of households
with very high debt burdens--that is, those households dedicating more than 40 percent of
their income to debt payment. This measure rose only slightly over the period for debtor
households overall, as well as for lower-income debtors. However, the proportion of
low-income debtor households with high payment burdens was more than two times higher
than that of all debtor households. A similar picture emerges from the examination of the
incidence of late payments. The SCF data show an increase of 1 percentage point in the
frequency of late payments made by all debtor households from 1992 to 2001. The rate of
late payments by low-income debtor households increased by 2.4 percentage points during
this time frame, and the rate of payments late by sixty days or more was nearly twice as high
for lower-income households. Although these financial struggles are very difficult for the
households involved, it is important to bear in mind that such late-payment performance is a
pressing problem for only a small proportion of overall debtors in any given year.
More important than just knowing the increased levels of debt that have resulted from the
democratization of credit is understanding how access to credit has increased households'
capacity for achieving asset accumulation. Home ownership, of course, is perhaps the best
illustration of how access to credit can create new wealth-building opportunities. The 2001
SCF data show that the percentage of families owning their primary residence increased by
1.5 percentage points since 1998. Similarly, gains in home ownership in the two lowest
income groups increased by 1.8 and 2.0 percentage points, respectively. The benefits that
the democratization of credit have conveyed can also be seen by looking at the growth in
consumers' holdings of nonmonetary assets, including homes, automobiles, and businesses.
Between 1983 and 2001, the percentage of all families holding these assets increased by 6.4
percentage points. More noteworthy is the proportion of families in the lowest income
category owning such assets--this group grew by 16.4 percentage points during this time,
more than 2.5 times the rate for all families.
Role of Consumers in Retail Banking Portfolios
Given the proliferation of consumer products and the democratization of credit, it comes as
no surprise that consumers account for an increasing share of assets and profits for
commercial banks, which experienced a three-decade high in return on assets in 2002.
Household borrowing was a significant contributor to banks' positive financial performance
last year, particularly in residential mortgage lending. For commercial banks, this asset class
grew by 20 percent in 2002, and home equity loans expanded by nearly 40 percent. Further,
consumer installment loans in commercial bank portfolios grew by 7.3 percent. Consumer
activity also contributed significantly to banks' profit margins in 2002. Fees generated by
mortgage lending was a factor in the 6.6 percent growth in non-interest income by banks last
year, while revenue generated from deposit accounts expanded at a double-digit rate for the
third consecutive year.
Data on the increasing level of consumer financial activity and its positive impact for both
households and banking institutions demonstrate the mutually beneficial relationship that
exists between consumers and retail banking institutions. Such information also underscores

that, in today's current market, the success of consumers and the performance of financial
institutions are directly correlated. As credit use by consumers continues to grow to
historically high levels, and as bank profits associated with consumer lending reach new
heights, concerns over the potential negative side effects of the democratization of credit are
likely to grow as well. Further, the financial stability of consumers and banks has
tremendous implications for the success of communities and markets. With such broad
consequences come widespread responsibilities for facilitating efficiency and effectiveness
in the retail financial services market. As such, I believe that there are four points of
responsibility for ensuring positive outcomes in consumers' financial experiences: (1) the
consumer, (2) financial service providers, (3) community groups, and (4) regulators.
Relationship between Innovation and Education
As history has shown, the rate of change and the pace of innovation will only continue to
increase within consumer retail markets. This is true of retail financial markets as well. The
net result of these changes is that an ever-increasing number of consumers will be able to
access an ever-increasing number of financial products. That scenario suggests both
increasing benefit and increasing risk for consumers of financial products. When they are
appropriately evaluated and used financial products allow an increasing number of people to
achieve financial goals previously considered out of reach. In contrast, inappropriate or
careless use of financial products can put a consumer in a deep financial hole from which it
can be both difficult and time consuming to recover.
The weight of the responsibility for supervising one's personal financial circumstances is
enormous and unrelenting. Consumers must be vigilant in revisiting their decisions,
reassessing priorities as their life circumstances change, and modifying their strategy
accordingly. Consumers should regard access to credit as one of their most valuable assets
and take care not to abuse or overuse it, so that credit will be available to them as they seek
to realize future financial and life goals.
The second point of responsibility in consumer markets resides with financial service
providers. With the myriad of products and services available, the financial service providers
offer the most sophisticated retail goods in the service sector. Consequently, both banks and
nonbanks bear a fundamental duty to provide consumers with information that accurately
represents the terms and conditions associated with their products and should take care to
avoid deceptive language in marketing materials. In addition, financial service providers
have an implicit obligation to serve customers in good faith by extending products that are
appropriate to their financial position. For example, granting a loan to an uncreditworthy
borrower has negative consequences for both the customer and the creditor. Today, many
consumers, including college students, are inundated with offers for credit, ranging from
direct mail solicitations to store sales promotions. Lenders must remain committed to due
diligence and underwriting standards that will result in reasonable levels of debt for a
consumer. In their efforts to bolster profits generated from fee-based products and services,
financial service providers should be mindful of associated consumer protection implications
when pricing their products. Many benefits can accrue to institutions that are attentive to
their customers, whether institutions seek to enter new markets, such as immigrant
populations in which language and cultural considerations present new challenges, or when
institutions seek to deepen their financial relationships with existing customers. In addition,
acting in good faith can reduce the likelihood of new regulatory requirements designed to
ensure fair practices.
The third point of responsibility in the oversight of the consumer financial services market

resides with consumer and community groups. With close ties to their constituencies, these
groups are uniquely positioned to understand the needs for financial products and services
and to aid in the development of products to meet them. Their mission to increase
opportunities for economic success in their neighborhoods makes community groups
effective advocates to ensure that economic opportunities are extended to groups that are
often underrepresented and underserved. Over the past 30 years, these organizations have
been instrumental in helping lower-income families purchase homes, start businesses, and
accumulate savings to help them gain control of their personal finances. As credit becomes
more readily available in previously underserved markets, community groups should help
respond to the corresponding need for greater financial education.
The final point of responsibility lies with the agencies that regulate financial service
providers. Given their perspective and authority, regulators play an essential role in ensuring
that pertinent and accurate information is provided to consumers who are contracting for
financial services. In performing this role, the goal is also to help consumers understand the
fundamental aspects and implications of financial transactions, including their associated
costs and contractual terms. By defining standard terminology, regulators enable consumers
to comparison shop for their financial services. By establishing the boundaries of acceptable
practices and taking action against institutions that violate these standards, regulators help
protect consumers from unfair and unscrupulous policies. For financial institutions, agencies
offer guidance that assists them in developing policies and products that are safe and sound
and fair to consumers. With concern for the viability of financial institutions and the
well-being of consumers, regulators seek to create regulations, policies, and guidance that
achieve adequate protection for consumers without creating undue regulatory burden that
could restrict the provision of credit and other banking services.
Specific regulatory and supervisory actions taken in recent years demonstrate how these
tools are applied to address both consumer protection and safety-and-soundness issues. In
response to increased concerns about abusive lending practices in the home equity market
and the detrimental impact they have on consumers, the Federal Reserve amended
regulations implementing the Home Ownership Equity and Protection Act (HOEPA) and the
Home Mortgage Disclosure Act (HMDA). HOEPA's provisions are triggered by high rates or
fees, and changes in the regulation have increased the number of high-cost loans subject to
the law, required additional disclosures to consumers, and prohibited the use of certain
contract provisions. Recent HMDA amendments require the reporting of pricing data on
loans with rates that exceed a level defined by the Federal Reserve Board, as well as require
the identification of loans subject to HOEPA. The collection of these data will enable
regulators to gain new insight into trends in subprime lending and conduct research on the
implications of the cost of credit for various groups and communities.
In addition, interagency guidance was issued to banks on managing risks relating to subprime
and credit card lending. The guidance issued on subprime lending clarifies the characteristics
of a subprime loan program and what factors should be considered in determining adequate
capital levels to support subprime lending. A list of potentially predatory or abusive lending
practices that could be subject to criticism by examiners is also provided. In managing an
institution's risk profile for credit card lending, the agencies have stipulated that bank
management should adopt policies and procedures that consider the repayment capacity of
borrowers, direct the timely repayment of over-limit amounts, and require minimum
payments that will amortize the current balance over a reasonable period of time.
The four points of responsibility for consumers' financial experiences I've discussed bring

about a dynamic, productive tension within our banking system. While the tension among
these four groups can be contentious at times, effective collaborations often emerge that
result in positive outcomes for consumers, financial institutions, and markets. The topic of
financial education is one example of how cooperation and partnership among all of these
parties has increased the resources devoted to improving consumer financial literacy.
In recent years, the importance of financial education has received increasing attention from
policymakers and consumer interest organizations. High-profile consumer issues, such as
predatory lending and the record levels of personal bankruptcy filings, have illustrated the
devastating consequences that abusive and inappropriate contract terms, coupled with
insufficient financial acumen, can have on individuals and families. As a result, many
effective initiatives and collaborations by the stakeholders that I noted previously have been
established to help increase the availability of financial education resources. Results of a
recent survey conducted by the Consumer Bankers Association indicate that 98 percent of
the banks responding to the survey sponsor or support financial literacy programs that range
from mortgage and home ownership counseling to efforts to combat predatory lending and
assist unbanked populations. The National Community Reinvestment Coalition, a
community advocacy organization, has undertaken a financial literacy campaign in
partnership with banks to provide materials and training to community leaders, bankers, and
government agencies to further financial education for adults, youth, and businesses in
lower-income neighborhoods. Other nonprofit organizations, such as the Jump$tart Coalition
and the National Endowment for Financial Education, actively promote financial education
to youth through collaborations with schools. The Federal Deposit Insurance Corporation
developed a comprehensive financial education curriculum that it offers to organizations
seeking to provide training courses to their audiences. This past spring, the Federal Reserve
launched a national financial education awareness campaign in both English and Spanish
that includes a public service announcement, a brochure highlighting fundamental strategies
to improve financial behavior, and a web site to help consumers identify additional
education and information resources.
These activities represent only a small variety of the financial education efforts under way
throughout the country. Many other organizations and partnerships that have embraced their
responsibility to further financial education and are providing critical support to consumers.
All of these efforts make an important contribution to the ongoing evolution of the financial
services industry by creating informed and educated customers who can effectively choose
and demand products that further their economic and life goals.
As you begin your meetings, I urge you to think creatively about ways to leverage your role
by capitalizing on the responsibility of the other players in this industry and in your
communities. As we have seen happen in financial education efforts, tapping into the
commitment of each group--consumers, financial institutions, consumer groups, and
regulators--can result in new opportunities for all.
Return to top
2003 Speeches
Home | News and events
Accessibility | Contact Us
Last update: September 22, 2003