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For release on delivery
1:40 p.m. EDT
September 28, 2021

Creating a New Model for the Future of Supervision

Remarks by
Michelle W. Bowman
Member
Board of Governors of the Federal Reserve System
at the
Community Banking in the 21st Century Research and Policy Conference
St. Louis, Missouri
(virtual conference)

September 28, 2021

Good afternoon. I’m pleased to be able to join you again virtually for this year’s
Community Banking in the 21st Century research and policy conference. Although I think
we would all prefer to be together in person, in the shadow of the St. Louis Arch, I’m
optimistic that next year (which will be the 10th anniversary of the conference, by the
way) will give us the opportunity to finally gather in person after a two-year hiatus.
For nine years, this conference, which brings together researchers, regulators, and
community bankers, has enabled us to hear from top academics around the world who
conduct research to help us better understand the community bank business model. It’s
not an accident that this conference is sponsored by three agencies involved in the
supervision of banks—the Federal Reserve, the Conference of State Bank Supervisors,
and the FDIC—as the work of this conference has informed, and will continue to inform,
how we think about the supervision of our nation’s community banks.
Our conference sponsors entered this partnership with the belief that what we
learn here will deepen our understanding of the benefits of, and the challenges facing, the
community bank business model, which, in turn, helps to make us better bank
supervisors.
It’s natural then to ask: What have we learned from this conference that is
applicable today? What might we apply in the future to the supervision of community
banks?
To answer that question, or quite frankly, to answer many questions that pertain to
the regulation and supervision of banks, it’s instructive to first go back a bit in history. In
this case, I’d like to take you all the way back to. . .2019.
Seems like a lifetime ago.

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Way back then, we were concerned about liquidity. Banks were concerned about
a potential run-off of deposits as consumers found new, more technology-centric ways to
manage their money, often outside of the insured banking system. Although we also saw
a decline in technology costs that enabled banks of all sizes to offer a wider array of
digital products and services to their customers, the innovation taking place outside the
banking sector was often seen as outpacing the innovation in the banking sector.
Consumers seemed to increasingly weigh convenience over safety, as a number of
non-banks increased their market share. To a lesser degree, but still concerning, was that
of the convenience factor. It drove some small business borrowers to move away from
lenders with whom they had longstanding relationships. In some cases, those borrowers
were even willing to pay much more for credit for the sake of convenience.
Unfortunately, some borrowers learned the hard way that convenience does not always
outweigh a banking relationship—particularly when a business or community
experiences a significant hardship such as a natural disaster.
I regularly heard stories of how small businesses that borrowed from an online
lender were unable to reach anyone to discuss their situation during a crisis and
ultimately had their loans called because of missing a payment. In these situations, I also
heard stories of how the local community bank that understood the local situation and
wanted to see the business and the community survive, would step in, and refinance the
original loan to help the small business return to more normal operations.
I also heard about challenges with core processors and how legacy contracts and a
lack of competition for core processing services was stifling innovation. We saw several
fintechs become “mainstream” nationally, and we saw a proliferation of technology

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solutions targeted at helping community banks become nimbler in adding new products
and services.
From a supervisory perspective, the Federal Reserve actively explored ways to
reduce regulatory burden and provide greater transparency into the work of bank
supervisors. Using research presented in prior years at this conference, we applied
findings showing the disproportionate regulatory burden borne by our smallest
institutions and looked across our processes to find ways to tailor our supervisory model
to more accurately reflect the risk posed by these smaller financial institutions.
And then came March 2020 and the arrival of the COVID-19 pandemic in the
U.S.
Despite the many choices consumers have for managing their money and
purchases outside of the traditional banking system, we witnessed a systematic flight to
the safety of FDIC-insured deposits in state or nationally chartered banks.
Specifically, total deposits at all FDIC-insured institutions increased by 22
percent when comparing deposit data from 2019 to 2020. 1 Small business lending also
increased significantly. From the end of 2019 to the end of the second quarter of 2020
alone, small loans to businesses at community banks, a proxy for small business lending,
increased by 39 percent. 2
The Impact of the PPP during the Pandemic
One driver for the increase in small business lending was, of course, the Small
Business Administration’s Paycheck Protection Program or PPP. The PPP was funded

FDIC Summary of Deposits (2019, 2020). Summary of Deposits is collected as of the second quarter each
year.
2
Consolidated Reports of Condition and Income (Call Reports).
1

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by the U.S. Treasury Department through forgivable loans that enabled small businesses
to maintain payroll, retain employees who may have been laid off in response to the
social distancing protocols that went into effect in April 2020, or to cover other overhead
costs.
To support the PPP, the Federal Reserve provided a liquidity backstop to PPP
lenders through its Paycheck Protection Program Liquidity Facility or PPPLF. In
recognition of the evolution in the banking landscape that I referenced a few moments
ago, the PPPLF was designed to not only provide a liquidity backstop to banks and credit
unions, but also to serve non-bank fintechs, community development financial
institutions, and agricultural finance companies that participated in the PPP. Given the
important role minority-owned banks play in the allocation of credit in their
communities, the Federal Reserve also actively engaged minority depository institutions
to ensure they had the tools they needed to benefit from the Fed’s emergency liquidity
programs.
To be sure, the PPP and the PPPLF will provide significant research material for
years to come. I understand from reviewing the papers accepted into this year’s
proceedings that it has already driven the work of several economists you’ll be hearing
from over this two-day conference. In reviewing the data on these programs, however—
and here I must credit the Federal Reserve Bank of New York’s “Supervision
Transformational Trends” program—we see that a substantial majority of PPP loans,
nearly 73 percent, were made by insured depository institutions. These loans also
accounted for nearly 90 percent of the aggregated loan amount for all PPP loans.

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Getting a bit more granular, we can see that community banks made 32 percent of
all PPP loans while large banks made 35 percent of all PPP loans, with credit unions and
savings banks accounting for the rest of the loans made by banking institutions. Fintechs
accounted for approximately 13 percent of all PPP loans and more than half of those were
made as a result of a partner bank relationship.
A recent working paper from the National Bureau of Economic Research (NBER)
offers additional detail on the roles these different types of lenders played in allocating
credit through the PPP during the pandemic. 3 The authors found
•

Community banks originated the majority of PPP loans when the program first
launched, while large banks were the majority lender during the second phase of
the program. 4

•

Community banks provided more loans to middle income borrowers while large
banks provided more PPP loans to upper income borrowers.

•

Community banks and large banks made loans to lower and moderate-income
borrowers in approximately equal proportions.

•

Fintech firms, on the other hand, made more loans in zip codes with fewer bank
branches, lower incomes, and larger minority populations. 5

•

The authors also found that fintech lending, instead of taking market share from
traditional banks, mostly expanded the overall supply of credit and other financial
services.

Isil Erel and Jack Liebersohn, “Does FinTech Substitute for Banks? Evidence from the Paycheck
Protection Program,” NBER Working Paper 27659 (Cambridge: National Bureau of Economic Research,
December 2020), https://www.nber.org/papers/w27659.
4
It’s important to note that the NBER paper uses $20 billion as the asset size threshold between large banks
and small (community) banks. This is different than the $10 billion asset size threshold that was established
via the 2010 Dodd-Frank Wall Street Reform and Consumer Protection Act.
5
In this study, lending by Minority Depository Institutions and Community Development Financial
Institutions is included in the lending data for small (community) banks.
3

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From my perspective, these findings offer evidence of the continuing importance of
community banks to our economy during both “normal” times as well as during times of
extreme financial stress. Or, to paraphrase Mark Twain, “reports of the demise of
community banks are greatly exaggerated.”
The NBER paper also highlights how new entrants to banking can meet an unmet
need.
The experiences of banks and bank supervisors during the pandemic also offer
insights into how we should think about the Federal Reserve’s approach to supervision in
the future. For the remainder of my talk, I will offer my thoughts on a key principle that I
believe should guide our thinking: The future of community banking and the future of
banking supervision are deeply interconnected.
My earlier comments should not be interpreted as suggesting that there aren’t real
challenges facing the community bank business model. But I am suggesting that new
technologies, new entrants into banking, and changes in customer preferences that have
led to predictions about the end of the community banking business model simply have
not been substantiated.
If anything, this conference has highlighted that the diversity in business models
of small financial institutions is an essential part of our economy. There is strength in
being small that enables institutions to know their customers on a much deeper level.
Small financial institutions can quickly customize products and services to address their
customers’ needs and, in some cases, they can leverage the flexibility of their business
models to take advantage of new business opportunities. This flexibility allows banks to
maintain strong relationships with customers—particularly those customers who don’t fit

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a “typical” borrower profile. It also explains why community banks have a long history
of providing essential financial services to households, small businesses, and small farms
in communities across the country.
During the pandemic, I personally began speaking to the leaders of the more than
650 state member community banks in the Federal Reserve’s supervisory portfolio. The
conversations to date have provided important regional insights and perspectives that can
only be gleaned from leaders who know their markets and customers at a very deep level.
While I heard that lobby traffic was down and that lending opportunities were not as
robust as they once were, I mostly heard optimism. I heard that the value proposition of
the traditional community bank was on full display in many communities, urban and
rural. I heard that bank business customers needed bankers who truly knew them and
their businesses, and who could work with them to provide the customized support they
needed during that time of great uncertainty.
As banks changed to meet the challenges of the pandemic, we asked ourselves at
the Federal Reserve, do bank supervisors need to change?
By necessity, the immediate answer, of course, was “yes.” The Federal Reserve
did so by pausing all on-site exams and using technology that enabled us to remotely
supervise the safety and soundness of our institutions as well as monitor their compliance
with relevant consumer compliance laws and regulations. To be sure, we adjusted our
supervisory expectations accordingly based on the guidance we were providing banks.
We also greatly expanded our outreach and engagement with financial
institutions. We deployed the full range of communications tools that we’ve developed
over many years to provide banks with real-time information on supervisory expectations

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as well as the emergency lending programs that were put in place to forestall any
systematic deterioration in the health of our financial system.
As evidenced by the continued strength of bank balance sheets and the general
absence of bank failures during the pandemic, I think we can confidently say that the
actions of banks, bank supervisors, and policymakers during the pandemic allowed us to
avoid the challenges that plagued our banking system during 2008 financial crisis. The
pandemic heightened our awareness of this important linkage between banking and
supervision.
Had we not tailored our supervisory approach during the pandemic, I believe the
impact on our banks, our economy, and on consumers would have been much more
severe.
From the beginning, we worked closely with our federal and state counterparts—
many of whom are represented at this conference—to develop a sense of joint action and
to agree to work together in a holistic way.
I knew from my experience as both a community banker and a state bank
regulator, that we needed to avoid overreacting and instead approach supervision in a
more measured way that allowed banks the flexibility to work with their customers. We
needed to empower banks to manage those key relationships in their loan portfolios in a
way that was beneficial to their customers without exposing the banks to risk.
What we saw, as a result of this approach, is that the industry made responsible
decisions that kept credit flowing throughout the pandemic and enabled businesses across
the U.S. to continue operating.

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But the question remains: how should supervisors, and banking supervision itself,
apply what we learned going forward? During the pandemic, we changed our
supervisory approaches based on necessity, but now we need to look ahead and make
sure that we’re adjusting our supervisory model in ways that allow banks greater
flexibility to innovate to compete in today’s quickly evolving banking environment—
without sacrificing important consumer protections or the health and safety of our
banking system.
The Future of Supervision
To start, we must acknowledge the interconnectedness of the future of banking
and the future of bank supervision. Supervision has to evolve because the banking
industry is evolving. Available technology, analytical capabilities, and customer and
workforce preferences are driving this evolution in how financial sector products and
services are delivered. We recognize that our workforce, processes, and technology
must align with these changes to ensure that an effective, transparent, and timely
supervision program is maintained.
Therefore, the Federal Reserve is embarking on an initiative to investigate the
implications of these changes for the Federal Reserve’s Supervision function. 6
The goal of this initiative is to ensure our supervisory approaches accommodate a
much broader range of activities while ensuring we don’t create an unlevel playing field
with unfair advantages, or unfair disadvantages, for some types of firms versus others.

The scope includes execution of safety and soundness and consumer compliance supervision, risk
identification, and analytical activities. The scope excludes other System Supervision activities, such as
training, applications, enforcement, and policymaking.

6

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This will include investigating technology and innovative business practices that increase
our agility and efficiency.
Innovation is a way of life for banks, it should be for supervisors as well.
But we must do this in a way that also preserves what we know works and what
we learned can work during the pandemic.
Before sharing my views on the underlying principles that need to guide our
thinking on our future supervisory approaches, I’ll first offer some thoughts on a few
aspects of Federal Reserve supervision that I believe must be preserved even as we think
expansively about the future:
1. The first being the Federal Reserve’s Supervisory structure. Although the
Fed’s supervision and regulation of banks is the responsibility of the Board of
Governors, the day-to-day supervision of banks is delegated to the Reserve
Banks. This distributed system ensures we have most of our examination
workforce living and working in the same communities served by our community
banks. This structure, perhaps more importantly, gives our examiners deep
insights into thousands of local economies across the U.S. and helps us
understand the local industries that are vital to the long-term health and success of
these communities. This local knowledge is what enables our examiners to tailor
our supervision of institutions based not only on the complexity of the bank but
based on the unique characteristics of the industries they support.
2. The second is the Federal Reserve’s direct outreach and engagement with
banks and financial institutions. Since the 2008 financial crisis, the Federal
Reserve has built an extensive communications infrastructure—through national

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programs, such as Ask the Fed®, and though hundreds of local Reserve Bank
programs—to share important supervisory and regulatory information with banks.
The goal was simple: provide a mechanism that enables us to quickly share
information and perspectives with institutions outside of the exam process,
provide timely and accurate responses to questions, and give the banks the tools
they need to meet our supervisory expectations. I believe supervision works best
when supervisors clearly communicate their expectations with banks—there
shouldn’t be any “surprises” about our expectations during an exam. In my calls
with bankers, I’m reminded that one of the biggest sources of regulatory burden is
regulatory and supervisory uncertainty. By clearly communicating our
expectations, by engaging the industry directly to understand the impact of these
expectations and, when appropriate, providing banks with tools and resources to
meet those expectations, we reduce uncertainty for banks.
We continued to expand our communication approach this past July with the
launch of the Federal Reserve’s Scaled CECL Allowance for Losses Estimator or
SCALE tool. SCALE gives community banks a tangible tool to help with their
calculation of loan loss allowance under the Current Expected Credit Losses
methodology. Our effort to identify simple and practical ways to implement
CECL that would help reduce costs and complexity for smaller community banks
was supported by the Financial Accounting Standards Board. The launch of
SCALE represents a significant cultural shift in how we intend to supervise in the
future: when there is significant uncertainty around a new regulation, supervisory

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expectation, or practice, we will look beyond our traditional communications
tools to find innovative ways to reduce that uncertainty.
So, what will this new approach to supervision look like and what principles will
guide us?
•

First, we must maintain a firm commitment to preserving the stability, integrity,
functionality, and diversity of our banking system.

•

Second, we must maintain consumer protection as we innovate and ensure that
banks can safely offer financial products and services that consumers demand and
are uniquely tailored to their circumstances and goals.

•

Third, as we adjust our supervisory approach, we must avoid adding new burdens
on banks, particularly on those that maintain a more traditional business model.
We must be consistent in how we view similar activities at similar institutions, but
our approach must also allow for de novo banks and allow for greater innovation
at our nation’s banks. And we need to continue to provide examiners with the
ability to tailor their expectations based on the risks posed by individual
institutions. We must move even further beyond the “one size fits all”
supervisory model that defined our approach in the past.

•

Fourth, we must enhance transparency around our supervisory expectations for
safety and soundness and consumer compliance matters and be timelier in our
feedback to banks. We must fully leverage our distributed structure to delegate
decision making to our Reserve Banks, without diminishing the Board’s
important policymaking and oversight role over the supervision of banks.

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•

And fifth, we must ensure that we are always able to adjust our supervisory
expectations effectively and efficiently as conditions warrant to enable banks to
be more flexible in serving their communities and in providing credit to the areas
of our economy that most need it.
When I spoke at this conference in 2019, I discussed a number of very practical

problems that we needed to solve. These included understanding how technology,
competition, regulation, and other factors drive industry consolidation, quantifying the
benefits community banks provide to their communities, and defining the full economic
effects a community bank has on its community. 7
As we move forward with modernizing our supervisory approach, these questions
remain at the forefront of our thinking. But, based on our experiences of the past few
years, we also have a number of new questions that we’ll need to address if we are to be
successful.
For example, what do banks see as the most transformative technological
innovations that will drive changes to their business models? How do banking
institutions prefer to interact with their supervisors, and what do they think makes for a
successful relationship between the supervisor and the supervised?
The factors that are identified through this initiative as having the greatest
potential influence on future bank business models will vary based on several factors,
including size, complexity, geography, staff capacity, and business strategy, but, taken

Michelle W. Bowman, “Advancing Our Understanding of Community Banking” (speech at the
Community Banking Research and Policy Conference, St. Louis, MO, October 1, 2019),
https://www.federalreserve.gov/newsevents/speech/bowman20191001a.htm.

7

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together, they will give us important insights into how we, as bank supervisors, might
need to evolve our supervisory practices as the bank business model evolves.
And as we consider our own evolution in the face of these changes, we will need
to ask ourselves:
•

What changes to the Federal Reserve System Supervision function’s workforce,
processes and technology are necessary to execute our supervisory activities given
the factors affecting the industry?

•

How should the Federal Reserve structure its supervisory activities across its
portfolios of supervised firms?

•

Where are we aligned across the Supervision function in conducting our work?
Where might we be out of alignment?

•

Should innovations in technology, such as artificial intelligence, be used to better
accomplish supervision?

In the future, I look forward to sharing our progress on this initiative and providing
specific examples of how our supervisory practices are evolving alongside those of the
industry.
Times of crisis, such as the COVID-19 pandemic, provide us a unique opportunity
to see how our banking system operates under stress—and to see both the strengths of our
current system of supervision as well as opportunities for improvement.
The lessons we learned over the past 18 months, supported by research from this
conference and from other sources, offer important lessons on how we can appropriately
evolve our supervisory approaches.

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What we learn over the next two days from the researchers, policymakers, and
community bankers presenting during this year’s conference proceedings will factor into
our overall thinking as we embark on this journey to modernize our supervisory practices
and develop new supervisory approaches that can meet the needs of today, and the
challenges of tomorrow.