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At the SWIFT Sibos World Forum, Geneva, Switzerland
October 3, 2002

Business Continuity after September 11
Good afternoon ladies and gentlemen. I would like to thank the SWIFT organization for
inviting me to speak to you about disaster recovery and business continuity, one of the main
topics you have been discussing this week. It has now been a little more than one year since
the events of September 11. Since then, bankers and the regulatory authorities in various
financial centers have been intensively discussing new business-continuity challenges. This
forum is very important for two reasons. First, SWIFT itself is a critical service provider for
the largest financial institutions and markets. SWIFT’s efforts to provide leadership in
strengthening business continuity are both welcome and important. Second, the annual Sibos
meetings bring together financial industry leaders from around the world to discuss common
issues affecting funds transfer, securities clearing, and other payment and settlement
businesses. The people at this conference have both the responsibility and the experience to
address serious common issues involving disaster recovery and business continuity. This
afternoon I would like to share some thoughts with you about business-continuity challenges
and to discuss a white paper on this topic that regulators in the United States have recently
published for public consultation. I would also like to underscore the opportunities and
responsibilities that financial firms and their financial utilities have in this new environment.
Lessons from September 11 about business continuity in financial markets
One of the essential lessons of September 11 is that the human spirit is both noble and
resilient in the face of tragedy. Many acts of heroism have been recorded. I am sure that
many more have not been recorded. Unparalleled cooperation in the financial markets
supported both assistance to those in need and resumption of day-to-day operations. In the
end, although the financial markets quickly returned to normal operations, I hope that we
have learned from our experiences and are able, in a continuing spirit of cooperation, to
address the vulnerabilities of the financial industry that were revealed by those events.
It is critical that we vigorously address the possibility of terrorist attacks in areas where
major financial markets or operational centers are concentrated. In discussions with financial
institutions, someone typically asks, What are the specific threats or scenarios that we need
to guard against? The answer to this question is not easy because law-enforcement officials
and knowledgeable experts discuss a wide range of scenarios, including some with very
serious consequences. In addition, the next event may be the one that we have not foreseen.
We have therefore concluded that, for key planning purposes, financial institutions and
financial authorities should place more emphasis on the potential effects of regional
disruptions than on the potential sources of those disruptions.
At the national and international level, we must focus on the systemic risk that could result
from large-scale, regional disruptions in one or more financial centers. In a recent white
paper issued jointly by the Federal Reserve, the Comptroller of the Currency, the Securities

and Exchange Commission, and the New York State Banking Department, we identified
critical financial markets in the United States. These include the markets for federal funds,
foreign exchange, and commercial paper, as well as the markets for government, corporate,
and mortgage-backed securities. Additionally, most of these markets are closely integrated
with global financial markets with respect to institutional participation and liquidity
management as well as pricing and overall risk management.
From working with clearing organizations and private financial firms since September 11, we
know that they are taking steps to reassess their vulnerabilities to regional events. They have
strong incentives to strengthen their own resiliency. Their counterparties expect it. The
regulatory community has also been working hard to strengthen the foundations of critical
markets, for three reasons. First, because clearing and settlement functions are performed as
part of an interdependent network of activity, there is a concern that the incentives of one
organization to strengthen resilience may not fully reflect either the impact of its loss on
others or the benefits of its greater resilience for the entire market. Second, there is a
concern that in times of cost pressures organizations may be tempted to overly discount the
risk of future regional events. Third, there is a concern that competitive pressures will lead
some firms to delay improvements in resilience in the hope that others will shoulder the
responsibility. In other words, there is a concern that some private organizations may not
make sufficient and consistent investments in resilience for the sake of the industry as a
whole.
In addition, over the past thirty years the clearing and settlement infrastructure has become
increasingly concentrated in the United States and in some other countries as financial firms
have pursued the advantages of economies of scale and invested in technology to reduce
costs and streamline procedures. In Europe, this process accelerated following the
introduction of the euro. Not surprisingly, the overall consolidation of infrastructure has
been accompanied by increasing technical linkages and interdependence within and across
markets. In this type of environment, significant single points of failure within clearing and
settlement processes can have far-reaching effects throughout the financial markets.
To address these concerns, the regulatory community has adopted a strategy to help reduce
systemic risk from regional disruptions to the clearing and settlement infrastructure. This
strategy has three broad components: first, prevention; second, management; third, testing
and assurance. The objective is to reduce the probability that a regional event would bring
critical financial markets to a standstill and to ensure the smooth operation of critical
infrastructure, if possible. Another objective is to allow the most active firms, at a minimum,
to wind up transactions, manage the related financial risk, and to resume trading as soon as
commercially reasonable.
Sound practices
Our recent white paper sets out several sound practices to achieve these objectives. To help
prevent and contain the effects of a regional event, financial utilities and critical firms should
regionally diversify their back offices and operational sites that support clearing and
settlement for critical markets. In particular, primary operations and backup operations need
to be significantly more diverse in order to meet the greater regional risks. The old model of
having primary and backup operations centers in close proximity so that they can be served
by a common labor pool does not address the possibility of a significant threat to an entire
region and labor pool.
To help manage a regional event, the white paper sets out as a sound practice that financial

utilities should plan to recover and fully resume operations on an intraday basis. The paper
notes that an emerging sound practice is for these utilities to plan to recover and to resume
operations within two hours or less. Of course, actual recovery times will depend on
circumstances. However, the objective of rapid intraday recovery provides an important
focal point for planning and testing by both utilities and their financial institution customers.
I should note that the Federal Reserve’s own current recovery objectives for Fedwire are
much more aggressive than two hours.
The paper recognizes clearly that financial firms’ ability to recover their overall operations is
critically dependent on their financial utilities. This means, in general, that the utilities will
have to recover and resume operations more quickly than their participants in order to
enable those participants and the overall market to recover in an orderly way. Many
financial institutions are shareholders and board members as well as participants in privatesector utilities. It will be very important for the management of these utilities and their
shareholder-participants to work closely to ensure that the recovery and resumption
strategies of both the utilities and the participants meet sound practices and are consistent
with one another.
The white paper also proposes that firms that play significant roles in critical financial
markets should plan to recover their operations sufficiently so that they can clear and settle
trades that have already been executed, as well as complete funds-transfer and other critical
operations, on the same business day that an event occurs. The paper notes that an emerging
sound practice in the industry would call on these significant players to plan to recover in
four hours or less, again depending somewhat on circumstances.
To help prepare for a regional event, the white paper encourages greater contingency and
assurance testing. As we learned from Y2K and again from September 11, testing is one of
the vital elements of contingency planning. Our white paper recommends that financial
utilities and firms that play significant roles in critical markets routinely use or test their
recovery and resumption arrangements for the required connectivity, functionality, and
capacity.
In particular, greater testing between the backup facilities of financial utilities and the
backup facilities of their critical members would help the clearing and settlement
infrastructure perform more smoothly in the event of a regional disruption. Much more
coordinated testing among utilities and firms serving different markets would also help in the
management of problems involving cross-market clearing and settlement linkages.
Obviously, in preparing for Y2K we engaged in very large-scale testing. In the current
context we understand that there may ultimately be diminishing returns from repeated
testing and that we must learn from our experiences in preparing for Y2K. The industry
again is working together to help define reasonable and meaningful tests and to cooperate by
participating in them. In the United States, the Federal Reserve and Clearing House
Interbank Payments System (CHIPS) have already coordinated their test schedules. The
Federal Reserve Bank of New York’s Payment Risk Committee, the Securities Industry
Association, and the Banking Industry Technology Secretariat are working together to
address testing and similar issues. As I have said before, this spirit of cooperation in
addressing critical, cross-industry problems of business continuity and testing is welcome.
SWIFT played a very important role in preparations for Y2K and since September 11 has
been working to share ideas and coordinate testing with other organizations. I hope the
results of your meetings this week will provide additional ideas and the ongoing support

necessary to address the difficult issues involved in strengthening the industry’s level of
testing. SWIFT clearly can play an important role in promoting and facilitating testing. More
broadly, SWIFT can adopt and foster emerging best practices for business continuity.
Challenges in addressing the risks of regional disruptions
I would now like to identify three primary challenges in implementing a strategy to address
regional disruptions. These challenges involve people, business, and technology.
In developing strategies for regional disruption, we must recognize that the safety of
people--our colleagues, employees, and their families--is paramount. Different strategies of
regional diversification, along with efforts to strengthen security and crisis response within
regions, will help protect our people. One of the challenges that we face, however, is how to
increase individual safety without losing the efficiencies that we have gained from
concentrating staff and expertise at critical geographic locations.
The effect of regional diversification on business also presents challenges. Firms will both
incur costs and reap benefits with diversification, but it is often difficult to justify adding
costs to address contingencies. Firms inevitably have a number of strategic priorities and
projects that contend for resources. We also recognize that some firms are in different
positions than others in addressing regional issues. Some firms have a national or
international “footprint” that makes it somewhat easier to take important measures to
diversify operational centers and back-office operations. Others, because of historical
circumstances or regional specialization, have harder decisions to make. These issues are
always difficult.
Firms that play significant roles in critical markets, in particular, need to think very carefully
about the new situation we are facing, along with their importance to their customers,
counterparties, and the markets generally. At the highest levels of major firms, there is a real
need for leadership in dealing with an issue that goes beyond ordinary business decisions.
Our white paper asks a series of questions about how to identify critical firms that need to
adopt sound practices for regional diversification and seeks guidance on cost and similar
issues.
The third important challenge involves technology. Some key technologies for data storage
and communication do not accommodate regional diversification as readily as we all would
like. The challenge here will be to modify existing arrangements, solve technological
problems, and find new ways to facilitate diversification. I am sure that the firms attending
Sibos are very aware of these issues, and I trust that the market for these technologies will
see a flow of very creative solutions over the coming months.
I would like to add a note about telecommunications. We have known for some time that our
progress in automating the financial markets has made us highly dependent on
telecommunications. In our own discussions within the Federal Reserve and our discussions
with others, the issue of telecommunications circuit diversity is very important. I encourage
firms to take this issue seriously and to discuss it with individual telecommunications
providers, industry groups, and appropriate government officials.
Conclusion
In taking the next steps to strengthen the foundations of our critical financial markets, we
need to constantly remember how dependent we are on one another. We will not accomplish
our task if one or two organizations strengthen their resilience and others do not. Instead, we
need to work hard to adopt consistent strategies to meet regional risks that together address

prevention, management, and testing.
The importance of creating and maintaining a highly resilient financial services sector is
self-evident. Similarly, the challenges to achieving that goal are numerous, involving, as I
indicated, people, business, and technology. Given the importance and complexity of this
topic, senior management will need to become fully engaged.
At the international level, the openness of our financial systems means that the businesscontinuity practices in one country can affect critical markets in another. We will therefore
need to share information and sound practices that will help us address regional risks in
various countries. At this stage, this does not necessarily mean traditional regulatory
coordination. Rather, private firms and the financial authorities will need to work together
within their various communities and with each other to make our key business-continuity
practices more robust and more consistent.
We also need to recognize that new business-continuity strategies need to be practical. We
are looking forward to receiving the views of market participants and other knowledgeable
experts to help ensure that the final white paper ultimately sets out sound practices that are
well grounded and practical. As we work through these new challenges, however, we must
keep in mind that to do nothing would leave serious risks unaddressed.
I would like to close by noting the importance of our financial centers. These cities are a
source of work, play, and inspiration for millions of people. These cities need to be vibrant
and resilient, even as new challenges arise for security and stability. Our financial policies to
address new regional challenges should be designed to strengthen the resilience of these
great centers and their people, not to abandon them. The regional diversification of back
offices and operational sites is intended as a prudent strategy that will enable financial
centers and their markets to continue to serve as robust sources of economic progress.
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2002 Speeches

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Last update: October 3, 2002