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For release on delivery
3:00 a.m. EDT (9:00 a.m. local time)
May 12, 2023

The Evolving Nature of Banking, Bank Culture, and Bank Runs
Remarks by
Michelle W. Bowman
Member
Board of Governors of the Federal Reserve System
at
21st Annual Symposium on
Building the Financial System of the 21st Century:
An Agenda for Europe and the United States
Sponsored by Harvard Law School
Program on International Financial Systems

European Central Bank
Frankfurt, Germany

May 12, 2023

It is a pleasure to be with you here today.1 This symposium, focused on building the
financial system of the twenty-first century, is very timely. Given the recent banking system
stress many are welcoming a fresh look at whether the Dodd-Frank era changes to the financial
system and the approach to supervision and regulation have kept pace with the evolving nature
of banking, the evolving culture of banking, and how the risks of bank runs today have evolved
to be meaningfully different from what we’ve seen in the past. While my remarks will largely
focus on the United States, the lens through which regulators and policymakers should view
these issues has some broader applicability and is worthy of an ongoing discussion.
I will begin by offering a few thoughts on U.S. monetary policy. At our most recent
meeting last week, in light of the ongoing unacceptably high inflation, the Federal Open Market
Committee (FOMC) increased the target range for the federal funds rate by 25 basis points.
With this increase, the FOMC has raised the federal funds rate by 5 percentage points since
March of last year. These increases, combined with the runoff of our balance sheet, are having
the desired effect of tightening financial conditions. In my view, our policy stance is now
restrictive, but whether it is sufficiently restrictive to bring inflation down remains uncertain.
Some signs of slowing in aggregate demand, lower numbers of job openings and more modest
gross domestic product (GDP) growth indicate that we have moved into restrictive territory. But
inflation remains much too high, and measures of core inflation have remained persistently
elevated, with declining unemployment and ongoing wage growth. And, as senior loan officers
signaled beginning last summer, credit has continued to tighten.2 I expect this trend will
continue given increased bank funding costs and reduced levels of liquidity.

The views expressed here are my own and not necessarily those of my colleagues on the Federal Open Market
Committee or the Board of Governors.
2
See Senior Loan Officer Opinion Survey on Bank Lending Practices at
https://www.federalreserve.gov/data/sloos.htm.
1

-2While the U.S. banking and financial system remains sound and resilient, the recent
failures of three U.S. banks with unique risk profiles have added to the uncertainty surrounding
the economic outlook. This uncertainty is further complicated by stock price movements among
regional banks.
Should inflation remain high and the labor market remain tight, additional monetary
policy tightening will likely be appropriate to attain a sufficiently restrictive stance of monetary
policy to lower inflation over time. I also expect that our policy rate will need to remain
sufficiently restrictive for some time to bring inflation down and create conditions that will
support a sustainably strong labor market. Of course, the economic outlook is uncertain and our
policy actions are not on a preset course. I will consider the incoming economic and financial
data during the intermeeting period and its implications for the economic outlook in determining
my view of the appropriate stance of monetary policy. I will look for signs of consistent
evidence that inflation is on a downward path when considering future rate increases and at what
point we will have achieved a sufficiently restrictive stance for the policy rate. In my view, the
most recent CPI and employment reports have not provided consistent evidence that inflation is
on a downward path, and I will continue to closely monitor the incoming data as I consider the
appropriate stance of monetary policy going into our June meeting.
My remarks today will address the recent bank failures in the United States and how the
evolution of the banking industry has influenced and amplified bank deposit run risk. I will then
discuss supervision, regulation, bank management culture, and technology, and how each of
these changes the dynamics of our approach to building a stronger and more resilient financial
system. Finally, I will close with my views on the importance of approaching the future in a
deliberate, evidence focused, and thoughtful manner.

-3The Evolving Context of Banking and Bank Failures
Those who are involved in the business of banking will not find this shocking, but it is a
fundamental fact that banking involves risk. It is inherent in, and foundational to, the business of
banking: banks take demand deposits—a short-term liability—and make term loans—creating a
long-term asset. Absent this intentional risk-taking, banks could not play their indispensable role
of credit provision in the economy. There are many other risks, with the specific risks that banks
face today as varied as the wide range of bank business models. The most fundamental banking
risks include credit, concentration, interest rate, liquidity, cybersecurity, more recently
operational risk and, of course, the risk of contagion.
Banking simply cannot work in its current and historical form without risk, so unless the
goal is to change the nature of banking, the task of policymakers and regulators is not to
eliminate risk from the banking system, but rather to ensure that risk is appropriately and
effectively managed. Fundamentally, this is the basis for the bank regulatory frameworks that
exist around the world. In countries with well-functioning and appropriately regulated banking
systems, banks serve an indispensable role in credit provision and economic stability. The goal
is to create and maintain a system that supports prudent banking practices, and results in the
implementation of appropriate risk management. No efficient banking system can eliminate all
bank failures. But well-designed and well-maintained systems can limit bank failures and
mitigate the harm caused by any that occur.
In practice, the “maintenance” of the bank regulatory and supervisory framework has
often been challenging, in part because maintenance requires vigilance in responding to evolving
circumstances and risks. Lapses in this effort are revealed when something breaks, which could
include fragilities resulting from the emergence of unidentified risks and financial stability

-4threats; banking practices that expose shortcomings in the supervisory framework; or
policymakers, regulators, and/or examiners who have lost sight of the fundamental goal of
encouraging prudent banking practices and appropriate risk management.
The need for maintenance of the U.S. bank regulatory and supervisory framework has
come into stark relief with the failures of two large banks in March, followed by a third at the
beginning of May. The future and current policy choices made in responding to these failures
will have important consequences for the U.S. banking system. Including the extent to which
bank regulation will continue to drive banking activities from regulated banks and into shadow
banks. While shoring up the resiliency of the banking sector is important, it is also important
that we consider the consequences of any regulatory change.
Before discussing the direction of policy, I think it’s imperative that we pause and
consider where we are and what has changed.
The Failure of Silicon Valley Bank
As financial services have evolved to meet the demands and expectations of sophisticated
and wealthy businesses and individuals, risks inherent in the very nature of these services—
instant accessibility and transferability of funds—created the potential for instability at an
extensive and accelerated scale. For Silicon Valley Bank in particular, while the run was ignited
by traditional concerns, it was much faster than previous bank runs, was fueled by the most
modern communication methods and social media, and was enabled through new technology that
allows customers to move money on a scale and at a velocity not previously accessible directly
to customers.
On Thursday, March 9, SVB experienced a deposit outflow of more than $40 billion, and
more than $100 billion was anticipated in queue for outflow on Friday, March 10. Let’s consider

-5this in comparison to past bank failures and the pace and size of deposit outflows. Prior to SVB,
the largest bank failure in U.S. history was the failure of Washington Mutual, which experienced
two periods of large deposit outflows, the first lasted 23 days with outflows of $9.1 billion, and
the second $18.7 billion over 16 days.3 In other bank failures resulting from deposit runs,
deposits flowed out of the bank in significantly smaller volumes and over much longer time
horizons than SVB experienced on March 9 and 10. 4
The recent bank runs have many familiar elements. SVB relied on funding from
extremely large deposits of technology and health care sector firms, which were mostly
uninsured (more than 95 percent) and held in transaction accounts. In traditional banking,
uninsured depositors have historically been exposed to credit risk on their bank deposits, which
provides some incentive for them to impose market discipline on the bank, such as by
discouraging excessive risk-taking. As we were very recently reminded, a disproportionate
percentage of uninsured depositors can also present risk, since they may have strong incentives
to withdraw their funds at the slightest sign of actual or perceived bank stress. These dynamics
and incentives are certainly not new but have featured prominently in past bank runs. 5
The most significant shift has been one of speed. This is where modern technology has
played a significant role, both in facilitating the transfer of funds and in the access to, and
expedited flow of, information among depositors.

See Jonathan D. Rose, “Old-Fashioned Deposit Runs,” Finance and Economics Discussion Series 2015-111,
table 1 (Washington: Board of Governors of the Federal Reserve System, November 2015),
https://www.federalreserve.gov/econresdata/feds/2015/files/2015111pap.pdf.
3

See Board of Governors of the Federal Reserve System, “Financial Stability Report,” box 3.1. (Washington:
Board of Governors, May 2023), https://www.federalreserve.gov/publications/files/financial-stability-report20230508.pdf.
4

5

See Rose, “Old-Fashioned Deposit Runs.”

-6Evolving Technology and Customer Expectations
Back-end money transfer systems have been gradually shifting to real-time payments,
which are immediately available to customers upon transfer, rather than being subject to a
waiting period while it is processed between financial institutions. Many bank websites provide
capabilities that appear to allow customers to initiate funds transfers in real time. Sophisticated
customers that hold uninsured deposits also have tools at their disposal—like the ability to
initiate wire transfers between financial institutions—that allow faster transfers of funds.
The capacity to initiate transfers, and even the changed perceptions of customers that they
can move their funds at any time of day or night, have caused important structural shifts. Large
depositors may have less incentive to act as a force for market discipline, even for banks where
they hold large uninsured deposits in their operational accounts. These depositors have a
cheaper and more efficient mechanism at their disposal to protect against credit risk—they can
pull their money out in banking’s new normal. These changes have exacerbated the potential
flight risks of uninsured deposits, while changing some of the incentives for depositors imposing
market discipline.
Bank Runs and the Rumor Mill
The speed and size of deposit withdrawals were a feature, not a cause, of the recent U.S.
bank failures. We live in a world where a wide array of communication tools—text messaging,
group chats, and social media postings—have enabled expedited, if not always more accurate,
dissemination of information.
The spread of information has always played an important role in bank confidence and
bank runs. When information is more readily and quickly accessible and shared among

-7shareholders, creditors, customers, and depositors, bank management needs to be attuned to how
it communicates, especially when remediating identified weaknesses.
The failure of SVB illustrates this dynamic. Uninsured depositors were connected by a
closely linked network of business relationships and contacts, and strong ties with venture capital
fund investors. The flow of information among these depositors—and the mechanisms that
pushed them to act collectively—seem apparent in retrospect, but the closely linked relationships
among this group exacerbated the risks involved in SVB’s public communication of its
remediation strategy.
But while the risk of uninsured depositors acting collectively was a significant
vulnerability, communications from management caused this group to begin to withdraw their
deposits on a massive scale and in a coordinated fashion. We know that there were many
supervisory issues at SVB over several years. At the time the bank failed, it had been selling
securities to improve liquidity and raising capital to address some of these fundamental
weaknesses in its funding and liquidity. Simply the act of announcing that the bank’s
management was taking steps to remediate these issues created panic—highlighting the risks
they were confronting—and the panic spread quickly.
Social media has also played a role in fueling stock price volatility, which can lead to
other risks to a bank. In October of last year, rumors circulated about Credit Suisse’s stock price
conflating stock price with capital and liquidity strength. Despite Credit Suisse management’s
efforts to intervene and calm markets, its stock experienced significant volatility, resulting in an
increase in the spreads on the firm’s credit default swaps and a decrease in the value of its bonds.
Credit Suisse had been dealing with significant issues for an extended period of time, but this
incident highlighted how quickly investor sentiment can change in the age of social media.

-8Bank Culture and Mindset
A more subtle way we are seeing banking evolve is most evident in the “culture” of
banking for those banks whose business models directly involve funders of startups,
transformative new technologies, or novel activities like digital and crypto assets. For many
banks, innovation has been a long-term priority because it enables them to offer customers new
products and services and remain competitive in the current financial services environment.6 But
regardless of the business model, the culture of a bank must also prioritize the values and rules
that make banks successful over time. This includes not only being responsive to the needs of
their customers and communities, but also maintaining a strong risk-management culture.
The expansion from traditional bank business models brings an influx of non-bankers
into bank management. Over the past several years, there have been a number of charter-strip
acquisitions, where a new management group transforms a traditional bank’s business model.
And we have seen consistent growth in banking-as-a-service partnerships—where the bank
partners with a nonbank company, often a fintech, to offer new products and services. Even
without these external influences, bankers who leverage innovation as a significant aspect of
their business model often have a mindset that is compatible with continued innovation and are
less sensitive to regulatory and supervisory communications. I view these trends as part of a
cultural shift within these banks.
Some innovators espouse an “ask for forgiveness, not permission” mentality when it
comes to regulation and compliance. This is a particularly dangerous mindset when it comes to
banking. Bank supervisors often rely on their interactions with bankers to communicate

See Michelle W. Bowman, “The Innovation Imperative: Modernizing Traditional Banking” Speech at the
Independent Community Bankers of America ICBA Live 2023 Conference, Honolulu, Hawaii (March 14, 2023),
https://www.federalreserve.gov/newsevents/speech/files/bowman20230314a.pdf.

6

-9supervisory concerns. This enables supervisors to provide feedback to bank management before
these issues escalate and are cited in examination reports and as Matters Requiring Attention
(MRAs), Matters Requiring Immediate Attention (MRIAs), or enforcement actions. But bank
management must be receptive to these supervisory messages and should take proactive
measures to address the issues identified. This kind of proactive approach may not be the most
natural reaction for those who have been successful in a less-regulated tech or start-up
environment.
The Policy Response
Given the recent banking sector stress, it is clear that we need to review the bank
regulatory and supervisory framework to determine whether updates are needed. As we consider
potential changes to improve supervision and regulation, we should start from a baseline
understanding of the available tools and determine whether those tools have been utilized and
implemented effectively. Before regulators seek new tools, it is necessary to understand the
need—how would the use of those new tools address deficiencies in the existing regulatory
toolkit? Imposing additional requirements on regulated institutions without understanding this
need results in additional costs and can have unintended consequences like encouraging bank
consolidation and constraining credit availability to critical business activities or geographies. In
addition to these unintended consequences, we also need to carefully consider the broader
implications of regulatory change for financial stability.
The policy response to a crisis should be multifaceted, as changes to different elements of
supervision and regulation in combination may be the most efficient and effective response. We
should have no illusions that “getting it right”—finding the right combination of regulatory and

- 10 supervisory changes—is a simple task. This fine tuning is a core element of maintaining an
effective system, constantly re-evaluating whether our tools are effective and used appropriately.
There are a few specific areas where I see a need to revisit our approach, specifically in
supervision, regulation, and technology.
Supervision
Starting with supervision, effective bank supervision requires both transparency in
expectations, and an assertive supervisory approach when firms fail to meet these expectations.
In the past, I have spoken about the virtue of transparency in supervision.7 Transparency
in supervisory expectations builds legitimacy, promotes a compliance culture, and is critical to
ensuring that we preserve due process. Transparency between a bank and its examiners can be a
profoundly effective tool by allowing bankers to air issues early with their examiners. This type
of communication promotes understanding—of the bank and its operation by examination staff,
and of regulatory expectations by the bank’s management and board of directors. Amorphous
standards or standards that change without prior notice frustrate this goal.
If regulators are clear in our expectations with banks, and banks fail to meet those
expectations, regulators are well-positioned to take strong action and demand remediation of
supervisory issues. When a bank fails to promptly address identified issues, the bank and the
banking system run the risk that those issues can become far more damaging over time. There is
a significant cost to delay.
While the specific timelines for remediation of supervisory issues vary significantly
across firms, the Board has published statistics on the number of and general nature of

See Michelle W. Bowman, “Independence, Predictability, and Tailoring in Banking Regulation and Supervision,”
Speech to the American Bankers Association Community Banking Conference, Orlando, Florida (February 13,
2023), https://www.federalreserve.gov/newsevents/speech/files/bowman20230213a.pdf.

7

- 11 supervisory findings, and how those have evolved over time.8 Remediation of technology
infrastructure, data, and operational resilience issues often take longer to address than those in
other business areas or related to risk management.9 Some variability is reasonable as these
issues vary in complexity. And, to the extent that a bank is reliant on third parties, core
providers, or others to help remediate issues, providing sufficient remediation time can be
necessary and appropriate.
Providing time to remediate issues should not be a pretext for inaction or inattention to
important supervisory issues. Ultimately, one of the primary goals of supervision is to hold the
bank accountable for safety and soundness and consumer compliance. Accountability is critical
for both the bank and for supervisors. Where regulators have failed in supervision, we must hold
ourselves accountable.
Part of the solution to inaction may simply be to take a stronger approach when
examiners have identified deficiencies in need of remediation. But for some banks,
management’s responsiveness to supervision—traditionally an area that rewarded conservative
and prudent management—has changed, with a greater emphasis on innovation, especially those
that promise to transform the business of banking.
These shifts impact supervision, in that we need to reevaluate the effectiveness of formal
and informal enforcement mechanisms. If moral suasion as an informal tool is less effective, and
bank management and boards are less attuned to hear and respond to supervisory messages, we
need to reconsider our supervisory toolkit. This may mean taking more formal remediation

See Board of Governors of the Federal Reserve System, “Supervision and Regulation Report” (Washington:
Board of Governors, November 2022), https://www.federalreserve.gov/publications/files/202211-supervision-andregulation-report.pdf.

8

9

Board of Governors of the Federal Reserve System, Supervision and Regulation Report.

- 12 measures, with definitive timelines, and imposing meaningful consequences for firms that fail to
remediate issues in a timely way.
In addition to being transparent, supervision must be nimble and responsive because the
financial services landscape and bank risks evolve over time. The low interest rate environment
following the 2008 financial crisis shifted the supervisory focus away from interest rate risk to
other risks, just as the current rising rate environment required supervisors to return to interest
rate and emerging credit risk. 10
Supervision must also complement regulation. While regulation is a critical tool, it
operates with a significant lag for most developed banking systems. This is where supervision
can complement regulation to address emerging threats and risks by allowing supervisors to
pivot to those fundamental risks that may be most salient based on that bank’s business model
and evolving economic conditions.
Regulation
In response to the recent bank failures, it is tempting to engage in a wholesale revision of
the bank regulatory framework. Before changing rules, we need to take a critical look at actual
weaknesses, and acknowledge the strengths that should be preserved.
As a threshold matter, today’s regulatory system is fundamentally strong. But as the
Federal Reserve continues to carefully monitor developments and changes to the banking

Starting in the summer of 2022, the Federal Reserve took important steps to implement this shift in priorities for
the regional banking organization portfolio (which includes banking institutions with between $10 billion to $100
billion in assets), and community banking organization portfolio (which includes banking institutions with less than
$10 billion in assets). These efforts culminated in internal outreach to examiners and external outreach to banks in
both the RBO and CBO portfolios to promote awareness and proactive management of these risks in the fall of
2022. See, e.g., Ask the Fed, a Program of the Federal Reserve System, “A Discussion of Unrealized Losses at
Community Banks in a Rising Interest Rate Environment” (December 16, 2022); Community Bank Connections,
“2022 Year-End Message from Governor Bowman” (“… banks with unrealized securities losses need to carefully
consider the potential impact of holding securities with below-market interest rates, including, among other things,
the impact on their liquidity, capital, and earnings.”); and Ask the Fed, a Program of the Federal Reserve System,
“Risk Considerations in a Rising Rate Environment: Applying a Sound Supervisory Approach (April 11, 2023).

10

- 13 system, we must recognize that the regulatory framework has been transformed through a broad
range of changes in response to the 2008 financial crisis. These changes have led to a strong and
resilient banking system. Overall, our regulatory framework is also strong. This framework has
materially increased bank capital and liquidity and added a number of other requirements to
improve resiliency, including new stress testing and resolution planning requirements.
Following the 2008 crisis, the U.S. regulators implemented changes designed to improve
the quality and quantity of bank capital. This included the introduction of common equity tier 1
(CET1) as a measure of the highest quality form of regulatory capital, and the capital
conservation buffer. Today, large U.S. banks are also subject to additional capital requirements,
based on the tiering framework. For all banks with over $100 billion in assets, the requirements
include the stress capital buffer and a number of additional GSIB and large firm-specific
requirements. The U.S. capital requirements are described as “gold plating” the standards set in
the Basel III reforms.
This is today’s starting point, and it is strong. With the commitment of U.S. regulators to
implement Basel III capital reforms, there will soon be additional changes to the capital
framework. 11 I would like to better understand the U.S. approach to these reforms before
passing judgement, but if changes are implemented in a way that takes costs and benefits into
consideration and preserves capital neutrality, in my view, these reforms could improve the
capital framework.
Prior to 2008, there were also no standardized, quantitative liquidity requirements for
U.S. banks and their holding companies. Today, there are two: the Liquidity Coverage Ratio,

See Board of Governors of the Federal Reserve System, Federal Deposit Insurance Corporation, and Office of the
Comptroller of the Currency, “Agencies Reaffirm Commitment to Basel III Standards” joint press release
(September 9, 2022), https://www.federalreserve.gov/newsevents/pressreleases/bcreg20220909a.htm.
11

- 14 which supports short-term resilience by requiring banks to have liquidity to cover net cash
outflows in a 30-day stress period; and the Net Stable Funding Ratio, which requires firms to
maintain stable funding over a one-year time horizon. There are also internal liquidity stress
testing and liquidity buffer requirements.
With this in mind, we should be careful and intentional about any significant changes to
the regulatory framework, including imposing new requirements that will materially increase
funding costs, like higher capital requirements or the requirement of firms to issue long-term
debt. Many of the issues related to the recent bank failures have been identified in bank
management and supervision. Therefore, a broad-based imposition of new capital requirements
on all banks with more than $50 billion in assets would be a far more costly solution than taking
the time to specifically identify and address known management and supervisory process issues.
Relying on the timeless adage to guide us: if it ain’t broke, don’t fix it.
I do not mean to suggest that regulation has worked perfectly and needs no improvement
or maintenance. I think where we find improvements are necessary, we should make them. But
we should also be working toward a defined goal and verifiable end state that incorporates the
principle of efficiency. And of course, regulation should be durable throughout the economic
cycle. Our regulatory framework is extremely complex with many overlapping and sometimes
contradictory requirements. Engaging in a piece by piece, regulation by regulation approach will
likely have a similar outcome.
Technology
We should also review and update the Fed services available to support banking system
resiliency. In payments, the Federal Reserve offers payments-related services including
Fedwire® to facilitate wire transfers. In the U.S., the Federal Reserve serves as the “lender of

- 15 last resort” to the banking system, providing loans at the discount window since the early part of
the twentieth century.
These tools are important but are not effective mechanisms to rescue troubled
institutions. Discount window lending is available only to institutions that meet certain
minimum eligibility standards, and that have collateral available to pledge. Its function is to
provide a solvent institution with a vital backup source of liquidity to meet unexpected customer
outflows. Similarly, the ability to process fast, efficient payments can also facilitate effective
market functioning, but its utility is limited.
In light of the extensive recent use of these tools and the lessons that can be learned, I
think it is time to review these tools—which operate during limited, fixed hours and rely to some
extent on dated technology—to determine whether they have kept up with the pace of change for
the future payments landscape and expectations of liquidity planning. These tools must be
nimble and flexible to support the banking system during times of stress. I think it is important
that we understand how well these tools functioned in early March as two U.S. banks
experienced stress and ultimately failed, and what can be improved regarding timeliness or
effectiveness of fulfilling the lender of last resort function.
The Path Forward
My views on the path forward are informed by serving as the bank commissioner for the
state of Kansas as its lead regulator and supervisor, my experience as a banker, and especially by
my service on the Board of Governors since 2018, during a time when the banking system has
experienced many unique stresses including those associated with the COVID pandemic. There
have already been some preliminary and expedited internal reports published on the failures of
SVB and Signature Bank, and I fully expect to see additional reports and analysis of these

- 16 failures, and the failure of First Republic, in the coming months.12 These preliminary reviews
are an important first step for the U.S. bank regulators working to identify root causes of these
bank failures and holding themselves accountable for supervisory mistakes. There are additional
steps that we can take.
First, I believe that the Federal Reserve should engage an independent third party to
prepare a report to supplement the limited internal review to fully understand the failure of SVB.
This would be a logical next step in holding ourselves accountable and would help to eliminate
the doubts that may naturally accompany any self-assessment prepared and reviewed by a single
member of the Board of Governors.13 This external independent report should also cover a
broader time period, including the events of the weekend following the failure of SVB, and a
broader range of topics beyond just the regulatory and supervisory framework that applied to
SVB, including operational issues, if any, with discount window lending, Fedwire services, and
with the transfer of collateral from the Federal Home Loan Banks.
Second, I believe we need to do a better job identifying the most salient issues and
moving quickly to remediate them. It is clearly evident that both supervisors and bank
management neglected key, long-standing risk factors that should be an area of focus in any
examination. These include concentration risk, liquidity risk, and interest rate risk. We have the
12
See Government Accountability Office, “Bank Regulation: Preliminary Review of Agency Actions Related to
March 2023 Bank Failures” GAO-23-106736 (Washington: Government Accountability Office, April 2023),
https://www.gao.gov/assets/gao-23-106736.pdf; Federal Deposit Insurance Corporation, “FDIC’s Supervision of
Signature Bank” (Washington: Federal Deposit Insurance Corporation, April 28, 2023),
https://www.fdic.gov/news/press-releases/2023/pr23033a.pdf; Michael Barr, Vice Chair for Supervision of the
Board of Governors of the Federal Reserve System, “Review of the Federal Reserve’s Supervision and Regulation
of Silicon Valley Bank” (April 28, 2023), https://www.federalreserve.gov/publications/files/svb-review20230428.pdf.

As noted in Vice Chair for Supervision Michael Barr’s review of the supervision and regulation of Silicon Valley
Bank, “[the] report was written with the benefit of hindsight on the particular facts and circumstances that proved
most relevant for SVB and SVBFG. The report was prepared in a compressed time frame from March 13, 2023,
through April 28, 2023, and further work over a longer period could draw additional or different conclusions.” Barr,
Review of the Federal Reserve’s Supervision and Regulation of Silicon Valley Bank.
13

- 17 tools to address these issues, but we need to ensure that examiners focus on these core risks and
are not distracted by novel activity or concepts.
Finally, we should consider whether there are necessary—and targeted—adjustments we
should make to banking regulation. This will likely include a broad range of topics, including
taking a close look at deposit insurance reform, the treatment of uninsured deposits, and a
reconsideration of current deposit insurance limits. 14 We should avoid using these bank failures
as a pretext to push for other, unrelated changes to banking regulation. Our focus should be on
remediating known, identified issues with bank supervision and issues that emerge from the
public autopsy of these events.
A debate about regulatory changes must also consider where we are today as compared to
prior to the 2008 financial crisis. The banking system is strong and resilient despite recent
banking stress. The Fed has refined regulatory standards over time at the direction of Congress,
most recently pursuant to the bipartisan Economic Growth, Regulatory Relief, and Consumer
Protection Act, 15 and through so-called “tailoring” regulations designed to better align regulation
with risk. Even with the implementation of these changes, banks today are better capitalized,
with more liquidity, and are subject to a new range of supervisory tools that did not exist prior to
2008. This paints a picture of a banking system that is not only strong today but is well prepared
to continue supporting the provision of credit and the broader economy.
Calls for radical reform of the bank regulatory framework—as opposed to targeted
changes to address identified root causes of banking system stress—are incompatible with the

14
See Federal Deposit Insurance Corporation, “Options for Deposit Insurance Reform” (Washington: Federal
Deposit Insurance Corporation, May 1, 2023), https://www.fdic.gov/analysis/options-deposit-insurancereforms/report/options-deposit-insurance-reform-full.pdf.

Economic Growth, Regulatory Relief, and Consumer Protection Act, Public Law No. 115-174, 132 Stat. 1296
(2018).

15

- 18 fundamental strength of the banking system. I am extremely concerned about calls for casting
aside tiering expectations for less complex institutions, given the clear statutory direction to
provide for appropriately calibrated requirements for these banks.
I have heard the drumbeat calling for broad, fundamental reforms for the past several
years, shifting away from tailoring and risk-based supervision. I believe this is the wrong
direction for any conversation about banking reform. The unique nature and business models of
the banks that recently failed, in my view, do not justify imposing new, overly complex
regulatory and supervisory expectations on a broad range of banks. If we allow this to occur, we
will end up with a system of significantly fewer banks serving significantly fewer customers.
Those who will likely bear the burden of this new banking system are those at the lower end of
the economic spectrum, both individuals and businesses.
The American economy relies on a broad and diverse range of businesses supported by a
broad and diverse range of banks. The elimination of regional banks from the US banking
system would be devastating to businesses and communities across America. Especially for
those regions whose communities are not sufficiently served by larger institutions.
I appreciate your time and engagement, and I look forward to discussing how the
participants view these issues, and what it might mean for the future of banking in your financial
systems.