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For release on delivery
6:05 p.m. EST
February 6, 2019

Inviting Participation: The Public’s Role in Stress Testing’s Next Chapter

Remarks by
Randal K. Quarles
Vice Chairman for Supervision
Board of Governors of the Federal Reserve System
to the
Council for Economic Education
New York, New York
February 6, 2019

Thank you, Nan, for that kind introduction, and thank you to President Mester of the
Federal Reserve Bank of Cleveland for inviting me to speak this evening. I am honored to be
here and to support the mission that you and the Council for Economic Education have worked
so hard to advance--that every student in America gets a strong, early start on their financial
education.
That mission is critical in its own right, but it also reflects the deeply held value of
participation--of giving young people the chance to shape not just their own futures, but also the
futures of their communities and their country. Because so much of the language of finance is
couched in terms of metrics and rationality, we often forget that finance is something we never
do alone. It is, by definition, a collaboration, which helps us work together to achieve common
goals.
The Federal Reserve is no exception. Tonight, I want to briefly discuss the role that
participation plays in the Federal Reserve’s work and outline one effort to solicit broad
participation--an upcoming conference on stress tests, intended to make those tests more open,
transparent, and effective.
Public institutions exist under a grant of trust from the people they serve, to pursue a
specific policy goal. When the public holds an institution accountable for that grant, the
institution becomes stronger. The Federal Reserve System we know today emerged through
decades of legislation, public consultation, and debate--from the original Federal Reserve Act,
which created the Federal Reserve System, to the Banking Act of 1935,1 which established the
modern Federal Open Market Committee (FOMC), to the Treasury-Federal Reserve Accord of

1

Pub.L. No. 305 (1935).

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1951, which ensured the separation of monetary and fiscal policy.2 These changes made our
economy and our country stronger, because they improved the Federal Reserve’s ability to
accomplish the mission Congress assigned it.
Throughout this evolution, a key principle has been that accountability allows the Federal
Reserve to be independent--that we are subject to challenge, to counterargument, and to the
emergence of new evidence and ideas. For our work to remain legitimate, the public must be able
to see, understand, and engage with our efforts; to reaffirm their support when we have earned it;
and to offer informed guidance on when to change course.
Accountability is only one reason the Federal Reserve relies on public outreach and
participation. We also rely on participation for our effectiveness, because the best ideas in
finance and economics can, and often do, come from a wide variety of sources. Agencies like the
Federal Reserve are a collection of expertise--informed by experience and positioned to turn a
broad range of information into policy. But we are not, and cannot be, a monopoly on insight or
wisdom.
The Federal Reserve recognizes these limits, and the need to invite new ideas, through a
variety of initiatives. We seek out a qualified, diverse workforce, and foster an inclusive
workplace.3 We meet frequently with a range of advisory councils, drawing on expertise in
banking, modeling, and consumer and community finance.4 We have increased transparency
around our policy process and issued new reports on financial stability and banking supervision

2

Board of Governors of the Federal Reserve System, “Treasury and Federal Reserve Statements,” Federal Reserve
Bulletin 37 (March 1951): 237, https://fraser.stlouisfed.org/title/62/item/21195/toc/70773.
3
See Board of Governors of the Federal Reserve System, Diversity and Inclusion Strategic Plan 2016–19
(Washington: Board of Governors, December 2016), https://www.federalreserve.gov/publications/2016-diversityinclusion-plan.htm.
4
See Board of Governors of the Federal Reserve System, “Advisory Councils” (January 25, 2019),
https://www.federalreserve.gov/aboutthefed/advisorydefault.htm.

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and regulation, with new details about our work.5 And across the Federal Reserve System, our
staff publishes a wide range of economic and policy research and plays an active role in
academic discourse.
Monetary policy itself shows the value of participation and transparency. U.S. monetary
policy is the sole responsibility of the Federal Reserve. Yet some of the most important
innovations in the field have come from outside the Reserve System. Since 1935, we have
decided monetary policy by committee, a structure that has served us well because it is designed
to capture different views of a wide and varied national economy. And over the past several
decades, the FOMC has greatly increased its own transparency--from postmeeting
announcements, to announcing an objective for inflation, to a published survey of economic
projections, to postmeeting press conferences (which will now take place after every FOMC
meeting).6 As many of you know, over the course of 2019, we will be reviewing our monetary
policy strategy, tools, and communication practices, and we will hold a research conference on
the subject with outside speakers, as well as “Fed Listens” events at a number of Reserve Banks,
to hear from a broad range of constituencies. But these improvements are more than a simple
matter of disclosure. They are an invitation to participate, and a way to provide the public with
the means and opportunity to inform our work.

5

Board of Governors of the Federal Reserve System, Financial Stability Report (Washington: Board of Governors,
November 2018), https://www.federalreserve.gov/publications/files/financial-stability-report-201811.pdf; Board of
Governors of the Federal Reserve System, Federal Reserve Supervision and Regulation Report (Washington: Board
of Governors, November 2018), https://www.federalreserve.gov/publications/2018-november-supervision-andregulation-report-preface.htm.
6
The FOMC’s “Statement on Longer-Run Goals and Monetary Policy Strategy,” first issued in January 2012 and
reaffirmed each January, specifies that the Committee judges that inflation at the rate of 2 percent, as measured by
the annual change in the price index for personal consumption expenditures, is most consistent over the longer run
with the Federal Reserve’s statutory mandate and that the Committee would be concerned if inflation were running
persistently above or below this objective.

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This year, we are taking similar steps to improve a cornerstone of our post-crisis rules.
Supervisory stress tests offer an independent and valuable lens on the health of the banking
system. They offer us a forward-looking measurement of bank capital, a view of common and
systemic risks across the banking sector, and a broader understanding of the health of the
financial system. The results are valuable for markets, analysts, and ultimately, the participating
firms.
Ten years have passed since the Federal Reserve conducted its first supervisory stress
tests. That initial experiment helped stabilize financial markets and shore up our banking system
at a critical and uncertain time. Our challenge now is to preserve the strength of the test, while
improving its efficiency, transparency, and integration into the post-crisis regulatory framework.
To that end, the stress tests have not remained static. Just in the past several days, the
Board acted to suspend stress tests this year for lower-risk firms--generally, those with total
assets between $100 billion and $250 billion.7 That move follows the passage of the Economic
Growth, Regulatory Relief, and Consumer Protection Act.8 The extended cycle provides
administrative burden relief for these institutions and recognizes the different risks that they
typically pose--especially compared to the largest and most complex firms, whose failure poses
the greatest risk to the real economy. Even with this change, the stress tests remain a core part of
our supervision of these firms. Our experience with this “interim” year will inform the move to a

7

Board of Governors of the Federal Reserve System, “Federal Reserve Board releases scenarios for 2019
Comprehensive Capital Analysis and Review (CCAR) and Dodd-Frank Act stress test exercises,” news release,
February 5, 2018, https://www.federalreserve.gov/newsevents/pressreleases/bcreg20190205b.htm.
8
See Board of Governors of the Federal Reserve System, Federal Deposit Insurance Corporation, and Office of the
Comptroller of the Currency, “Interagency Statement Regarding the Impact of the Economic Growth, Regulatory
Relief, and Consumer Protection Act (EGRRCPA),” news release, July 6, 2018,
https://www.federalreserve.gov/newsevents/pressreleases/files/bcreg20180706a1.pdf.

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permanently longer testing cycle--a change that would, of course, be subject to a full notice and
comment process.9
Improvements like these are necessary to ensure our supervisory framework evolves from
its post-crisis origins to an effective steady state. The question of how best to consolidate the
gains from the first 10 years of stress testing deserves the attention and effort of the country’s
best minds. We should welcome changes and novel ideas, even when they explore stress testing
in a new and unfamiliar light.
In July, as a forum for such ideas, we will host a public conference focused on the
transparency and effectiveness of stress testing. Called Stress Testing: A Discussion and Review,
the event will convene panel discussions, drawing on a mix of presenters with industry,
academic, and regulatory backgrounds. It will involve written papers, which will be compiled
and published to spur further research. We expect the insights from the conference to inform the
evolution of our stress-testing framework--and we hope to continue the conversation well after
the conference ends.
This input is as essential to our work as any public outreach we do. Stress testing
provides insight into a dynamic financial system, and our stress-testing process must be dynamic
as well. More broadly, the core of the Federal Reserve’s independence is a broad consensus

9

Changes proposed as part of the Economic Growth, Regulatory Relief, and Consumer Protection Act have been
proposed but not finalized. Similarly, changes as part of the proposed “stress capital buffer” have been proposed but
not finalized. Both proposals will inform the final rule governing the methodology for capital distributions. See
Board of Governors of the Federal Reserve System, “Federal Reserve Board Invites Public Comment on Framework
that Would More Closely Match Regulations for Large Banking Organizations with Their Risk Profiles,” news
release, October 31, 2018, https://www.federalreserve.gov/newsevents/pressreleases/bcreg20181031a.htm; Board of
Governors of the Federal Reserve System, “Federal Reserve Board Seeks Comment on Proposal to Simplify Its
Capital Rules for Large Banks while Preserving Strong Capital Levels that Would Maintain Their Ability to Lend
Under Stressful Conditions,” news release, April 10, 2018,
https://www.federalreserve.gov/newsevents/pressreleases/bcreg20180410a.htm.

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around the value and public worth of our mission. The Federal Reserve is the steward and trustee
of that mission, but the public is its owner. To serve the public, we must not just allow input, but
welcome it; not just permit debate, but foster it; not just allow participation, but treat it as
essential to our work.
Thank you.