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At the 106th Annual Convention of the North Carolina Bankers Association, White
Sulphur Springs, West Virginia
May 21, 2002

Community and Regional Banks: Increasing Complexity and
Risk-Management Needs
Good morning. I am pleased to join you today. Though I am not here to discuss financial and
economic literacy, I would be remiss if I did not commend the North Carolina Bankers
Association for sponsoring Camp Challenge, your summer camping and financial literacy
program.
A forum like this provides an opportunity to discuss the evolving nature of community and
regional banking, the traditional strengths of such banks, which many of you represent, and
the challenges you face, day to day, in managing them in an era of rapid change. More and
more, it seems clear that future success will depend on your continuing to use some of
banking's traditional advantages as well as on your ensuring that key aspects of risk
management effectively address the new complexities of your business. In short, community
bankers must remain cognizant of the traditional means by which they have controlled and
managed risks, continuing to do well what has been effective in the past, and invest both
resources and effort in understanding and managing new features of the regional and
community banking landscape.
Role of Regional and Community Banks in Our Economy
It's useful for a moment to consider the importance of community and regional banking in
this country. Although a small number of the largest banks in the country control the
majority of the nation's deposits and banking assets, regional and community banks remain
vital to our economy. Time and time again, we have seen the larger banking organizations
concentrating resources in a given market segment, reducing their efforts in others, even
sometimes pulling out of communities that don't easily fit into their plans. As a result, in
many parts of the country, regional and community banks are the dominant financial
institutions actively serving the local trade area. But even where they are not the dominant
players in a market, smaller banking organizations are traditionally very effective
competitors. One enabling factor, to be sure, is that regional and community banks are quick
to embrace the benefits brought about by technological change. However, a truly key
competitive advantage, which smaller banks continually seek to leverage, is their personal
contact with their customers. Successful community bankers affirmatively seek to be seen as
neighbors and supporters of their depositors and borrowers. It is in large measure through
such contact and personal knowledge of customers and community that successful bankers,
small or large, maintain a significant presence in the market and demonstrate commitment to
their communities. Indeed, time after time we have seen that community banks have gained
market share when large banks entered their market by acquisition; anecdotal evidence
indicates that the gains have gone to existing community bankers and de novo entrants, both
faring well in competition with their large out-of-market rival.

Moreover, regional and community banks are bankers to many small businesses. More than
99 percent of all employers in this country are classified as "small businesses." Small
businesses as a group employ fully one-half of all private-sector workers and provide the
lion's share of net new jobs in the economy. With small businesses as primary commercial
customers, regional and community banks have long been, and will continue to be, an
element of strength in our economy. Consequently, the safe and sound operation of regional
and community banks must be ensured. At the same time, these banking organizations must
be encouraged to be innovative in meeting the needs of their customers.
The competitive advantages of smaller institutions are not without accompanying benefits
for the management of traditional risks in the banking business. The management of credit
risk, historically the most significant exposure of banks, is the obvious case in point.
Personal knowledge of customers--their character, opportunities, competence, resources,
and capacity for repayment--not only is the competitive "leg up" in establishing a sound and
mutually profitable credit relationship, it also helps a successful community banker in setting
the baseline for serving the customer (and the bank) by gauging the appropriate extent and
the terms of that relationship. Misfortune will occur sometimes, and business conditions will
periodically weaken, as those events have occurred routinely in the past. But no one in the
community--customer or bank--is served by the extension of credit that would be judged
unsound in the light of the customer's capacity to perform when that credit was granted.
Increasing Complexity of Regional and Community Banks
Traditionally, smaller banking organizations have been regarded as subject primarily to credit
risk, although interest, funding, and operational risks have also been major areas of concern.
Increasingly, however, liquidity and market risks have grown in significance as regional and
community banks have gained greater access to less traditional sources of funds. Competing
alternatives to core deposits in the 1990s led many regional and community banks, even the
smallest institutions, to rely increasingly on intermediary sources, such as deposit brokers,
the Internet, and other automated service providers, to raise funding to support asset growth
and meet loan demand. Deposits gathered from such sources, even those not explicitly
"brokered," can be less stable than traditional core deposits, since the depositors typically
lack any other customer relationship with the institution and could shift funds to a different
bank or investment in search of a higher return. In addition, many regional and community
banks today rely more heavily than in the past on wholesale borrowings from financial
intermediaries, including other commercial banks and securities firms, to supply portions of
their funding mix.
Indeed, regional and community banks have relied increasingly on the liability side of the
balance sheet for funds management. Most observers, for example, have been unaware of
how successful community and regional bankers have been at directly raising uninsured
deposits in their local markets when loan demands have exceeded core deposit growth. In
the latter half of the past decade, the uninsured deposits at these banks grew more rapidly
than those at larger banks. To be sure, large time deposits cost more than insured deposits,
but community banks have maintained their profits and returns on equity.
The creativity that community banks have shown in supplementing their core deposits-deposits that have grown less rapidly as attractive substitutes became available for their
customers--has once again surprised those that believe smaller banks can no longer compete
in modern financial markets. Such ingenuity in funding supplements their creativity in
maintaining and increasing their loan base in the competition with their larger rivals.

This ingenuity also increases the need for closer management of funding at the same time
that regional and community banks' investment portfolios have become more complex, with
holdings of instruments that are in some cases longer-dated or have more options, than
traditional bank investments. Even in terms of the capital base, the widespread use of trustpreferred securities has introduced additional complexity to regional and community bank
holding company balance sheets.
The expanded use and acceptance of asset-backed securities have also enabled regional and
community banks to take advantage of what we, only a few years ago, considered, to be
"large bank" opportunities to originate and sell large volumes of mortgages and other
consumer loans, either directly to purchasing intermediaries or indirectly through a
securitization vehicle. To be sure, the sale and securitization of assets give rise to varying
types and degrees of risk to the originating institution. Typically the risk of credit losses from
the underlying assets is divided variously among the parties to the transaction, including
investors, guarantors, and the originating institution itself. In many cases, the originating
institution retains significant credit exposure through the credit enhancements that it
provides. These enhancements constitute contractual obligations to protect investors who
have purchased the securities generated by the transaction from incurring credit losses.
These contractual recourse exposures, as you well know, are addressed in the agencies'
risk-based capital standards, including an interagency rule implemented in January of this
year that establishes a concentration limit and imposes a dollar-for-dollar capital charge on
certain residual interests. But it may be less well known that banks that engage in
securitization activities need to be wary of taking any action, such as providing post-sale
support to a securitization in excess of any contractual obligation, that would suggest it has
implicit recourse exposure to losses beyond the contractually stated amount. Banking
organizations that are deemed to be providing implicit recourse are required, in general
terms, to treat the entire outstanding amount of assets sold as though it remained on the
books for risk-based capital purposes.
Finally, numerous third-party vendors and service providers today offer regional and
community banks more and more products and financial services--delivered through
traditional channels as well as the Internet--so that banks, in turn, can meet the increasingly
sophisticated needs and demands of their customers. As a consequence, many smaller
banking organizations face additional complexities in their business and new or heightened
exposures attendant to the on- or off-balance-sheet assets and liabilities, and revenues and
operating costs, associated with these arrangements.
New funding sources and activities are critical in carrying on the traditional community
banking business and in profitably serving customers. But the Federal Reserve has
supervisory responsibilities, and I would be remiss if I did not note that the development of
these new sources is a mixed blessing. New funding sources, while enabling community
banks to meet loan demand, challenge the institutions to manage the potential volatility and
price sensitivity of these funds. The increased complexity of investment portfolios and
off-balance-sheet activity similarly subjects institutions to increased liquidity and market
risk. The issuance of trust preferred stock through pooled securities has enhanced the access
of smaller banking organizations to capital, though it leverages common equity of the parent
company and, in some cases, puts pressure on insured subsidiaries to support the increased
cash-flow requirements of these instruments. Reliance on large time deposits requires that
offering rates remain competitive with the market, creating interest-rate risk that must be

managed. Securitization activity, as noted above, can provide a hugely significant alternative
funding for, even to some smaller banking organizations, but it entails certain recourse
obligations and exposures and may involve additional liquidity, market, and reputational
risks. The use of third-party vendors and service providers, while expanding the menu of
fee-based products and services that can be offered by regional and community banks,
presents numerous challenges, particularly in terms of operational risks.
Risk Management
Banking is a highly leveraged and often relatively low-margin business. The loss from a
single significant credit relationship or a material breakdown in controls can offset the gain
on many other transactions. Losses stemming from a concentration of sources--related
borrowers or activities--can threaten the viability of the bank. Bank managers as well as
supervisors need to remember, therefore, that the benefits of the new developments
mentioned above--access to funding alternatives, potentially higher-margin investments and
activities--are counterbalanced in part by higher risks associated with increasing complexity.
Successful risk management today implies some additional cost and investment to ensure
that systems for measuring, monitoring, and controlling risk are fully capable of addressing
the new complexity of regional and community banks. A key advantage of smaller banking
organizations in managing credit risk--close knowledge of their customers' prospects and
capacity to service debt--is less relevant in addressing many of the new risks they face.
Many of these new risks are market-driven or entail complexities with which the bank has
little experience. Indeed, I urge community and regional bankers to recognize that the same
market realities that created the need to adopt new funding sources and activities also
require that these banks invest in appropriate new risk-management techniques. I realize that
these often look like pure cost increases, but I assure you that they go hand in hand with the
new activities and will ensure the continued ability of community and regional banks to
successfully adapt to changing markets.
Indeed, the traditional characteristics of many small and even regional institutions--including
local ownership and control by interested and involved individuals, a limited span of
relatively simple operations, and effective management-- still can be relied on to ensure that
new risks are properly identified and effectively managed.
The need for traditional prudential policies will not be obviated by new risk-management
techniques. Federal Reserve examiners will continue to look at four key components of
risk-management systems in evaluating the management of supervised institutions. These
components are:
the effective identification, monitoring, and reporting of risks,
the sufficiency of policies and limits for controlling those risks,
the adequacy of internal controls ensuring adherence to approved limits, and
active oversight of these processes by directors and senior managers.
These four elements, taken together, provide a widely applicable framework for assessing
risk management, though the detailed components of risk management can vary
considerably among institutions. For example, when a bank's exposures to credit, market,
and operations risk are routine, well understood, and limited in their dimensions, fairly
simple risk-management processes can suffice. More complex assets, liabilities, and business
activities, however, will demand more elaborate processes and internal controls. And
concentrated exposures of any kind, whether to credit or to funding risks, need to be
identified and made subject to well-considered and reasonable limits. Whatever the

complexity and design of the processes, however, the four core elements are interdependent.
As a consequence, each of the four components must be comprehensively addressed for the
entire system to be effective.
Effective risk-management processes are also a strong deterrent to fraud. Irrespective of the
level of risk inherent in bank activities, we must remember the fact that banks, particularly
those with less robust risk-management and internal controls, are highly susceptible to
customer or insider fraud and to mismanagement or, occasionally, insider abuse. More often
than not, it is the failure or absence of basic internal controls and risk-management processes
that permits such losses, or fails to bring them to light before serious damage results.
A sound and comprehensive internal control system is based on the core principle of
separation of duties and naturally includes a fully effective audit program.
But--importantly--it also encompasses ongoing procedures for the independent
reconcilement and certification of bank records to ensure that basic controls are functioning
effectively.
Conclusion
In closing, I emphasize the need for risk-management processes in community and regional
banks to advance sufficiently to meet the risk-management challenges of the banks' current
environment. Though often those challenges might be met by adapting sound practices long
pursued in the organization, for an increasing number of banks, new systems and procedures
may be needed to keep pace with the more-complex risks associated with an evolving or a
growing business. As bankers, bank supervisors, and policymakers, we should strive to work
together to ensure that those risk-management processes are sufficiently robust and that they
have been tested to ensure their effectiveness.
A final word may be in order after so much discussion of the need to adopt
more-sophisticated risk management at community banks. You have no doubt heard about
the changes in capital processes being discussed in Basel by the supervisors of the major
industrial countries. These changes are being proposed mainly for the large, complex,
internationally active banking organizations of the world, whose operations and business
needs have developed beyond the intended reach of the current capital requirements.
However, the capital and regulatory structures being developed in Basel will not affect the
rules under which most, if not all, of the banks in this room will operate. Indeed, for most
banks in this country, Basel II will have virtually no effect.
I want to thank the North Carolina Bankers' Association for the opportunity to speak to you
today.
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2002 Speeches

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