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For release on delivery
10:45 a.m. EDT
April 7, 2011

Community Bankers and Supervisors: Seeking Balance

Remarks by

Sarah Bloom Raskin

Member

Board of Governors of the Federal Reserve System

at the

Federal Reserve Bank of New York Community Bankers Conference

New York, New York

April 7, 2011

Thank you for the opportunity to join you this morning. Let me begin by saying that it’s
a pleasure for me to be among community bankers. I used to be the banking commissioner in
Maryland and will always be grateful to the community bankers there who were crucial to
informing my views on effective bank regulation. At the height of the mortgage crisis, those
same community bankers partnered with regulators like me to survey the wreckage and to
stabilize our communities as best we could. Together, we confronted and weathered that searing
experience and learned many lessons along the way. I’m here today to share with you some of
those lessons.
Although decisive action by policymakers has been successful in containing the crisis, we
should not presume that the experience of the crisis is over. To be sure, the frantic days of
rushed mergers of major financial institutions; emergency applications of nonbanks to become
bank holding companies; and large-scale, targeted Federal Reserve programs to stabilize markets
and restore the flow of credit are behind us. If we were doctors, we’d say that we had
successfully treated the worst symptoms of the illness.
But as we’ve learned from the other crises that are buffeting our world today, both natural
and man-made, rescue and containment are only the first steps. Now we must address the
aftershocks of the subprime mortgage meltdown: dislocation, joblessness, and loss of
confidence.
From a regulatory and supervisory perspective, we will certainly be dealing with the
long-term consequences of the crisis for years to come. And, as we head toward an increasingly
healthy, but still highly complex and concentrated, post-crisis financial system, we must strive to
find the appropriate balance of responsibility between banks and supervisors. I’m hoping to
open the dialogue about that today.

-2A significant backdrop to the post-crisis financial architecture is the expansive federal
legislation that is known as the Dodd-Frank Wall Street Reform and Consumer Protection Act
(Dodd-Frank). Broadly speaking, Dodd-Frank gives us a roadmap for updating the regulatory
framework of our financial system post-crisis, but it does not give us turn-by-turn directions for
how to incorporate the new requirements into our supervisory processes. To that end, the
Federal Reserve and other federal regulators are devoting considerable time to implementing the
requirements of the Dodd-Frank Act. Translating all of the new legislative requirements into
rules and regulations, and then into an effective supervisory and examination program, is a
massive undertaking, but it is essential to moving beyond the stabilization phase of crisis
recovery and into that phase where we address the underlying fault lines in our financial
institution landscape.
As we work through Dodd-Frank implementation, we will need to ask: What constitutes
effective supervision in the post-crisis world? I expect that the answer will be the subject of
debate for months and possibly years.
The process of identifying the factors most important to constructing an effective
supervisory and examination program has already begun. For America’s community banks, the
vast majority of which did not contribute to the subprime crisis, the contours of this program will
be of critical importance.
As we have learned all too well, a financial system dominated by a handful of large
institutions is unlikely to be resilient in the face of a crisis. My view is that a diffuse financial
system--one with a diverse range of institutions of varying size and complexity--is preferable to a
system that is highly concentrated.

-3In fact, the need for diversification is one of the great lessons of the crisis. Indeed, we
found that, irrespective of size, those banks most likely to weather the crisis were those with
diverse loan portfolios, management information systems capable of monitoring concentrations,
reasonably diversified funding sources and liquidity management processes, and forward-looking
analyses that considered how loan portfolios might perform and affect bank conditions under
periods of stress. We need many, many more banks with these characteristics because these are
the banks that absorbed the shocks of the crisis, remained relatively healthy, and, most
significantly, now have the potential to thrive as robust sources of credit in their communities
after the crisis.
As I see it, we need to create within the Dodd-Frank regulatory architecture a supervisory
and examination program that encourages diversification and forward-looking strategies as a
means to ensuring a healthy financial system and a steady flow of loans to creditworthy
borrowers.
Am I saying that it is the responsibility of examiners, in essence, to guarantee that the
banking system becomes more resilient and incapable of failure? No. A regulatory system that
guarantees against bank failures is not in my mind desirable, even if such a system could be
established in a cost-effective manner.
To illustrate, I’ll borrow a concept from the field of statistics. When drawing conclusions
based on test results, statisticians and scientists often factor in the possibility of erroneous results,
or “false negatives” and “false positives.” Some economists have extended this concept to
assessing the effectiveness of regulation.
Imagine that you visit your doctor for an annual checkup and have your cholesterol level
tested. When the results come back from the lab, they show that all is well. But what if your

-4cholesterol actually was high and an error in the test resulted in a clean bill of health? That
would be a false negative, and I’m sure you can see the problems it would pose. You might not
change your diet and exercise habits, and your doctor probably wouldn’t refer you for further
testing or give you that firm lecture that they like to give about the importance of taking better
care of yourself. Instead, your rising cholesterol levels would go undetected and untreated until
your next checkup, or even worse, until you suffer a heart attack.
In the context of bank supervision, a false negative occurs when an examiner does not
identify and address a deteriorating or failing bank in a timely manner. History has shown that
the costs of these false negatives can balloon during times of broad economic and financial
stress, which results in a significant drag on the economy and weakens banks’ ability to lend.
There were clearly too many of these false negatives in the recent crisis, particularly among the
largest financial firms, both here and abroad.
In addition to the billions of dollars of direct costs to the Deposit Insurance Fund as a
result of bank failures, the deep recession of 2007 to 2009 most likely would have been mitigated
had the risk of exposure to real estate at many banks been recognized earlier. Many of the
reform efforts that regulators and the Congress have undertaken--reforms that are clearly needed-are aimed at improving regulators’ ability to identify and address troubled institutions earlier,
and to limit the impact of failures when they do happen.
Now, returning to the medical analogy, imagine that your test results show that your
cholesterol level is worryingly high, only in this case you are actually the picture of health. This
is a false positive, and it poses problems of its own. While there may be some ancillary benefits
to improving your diet and exercise habits, the inaccurate test result likely would cause you

-5undue angst and, in an abundance of caution, subject you to a series of expensive, and ultimately
unnecessary, follow-up measures.
A false positive in banking supervision occurs when examiners inaccurately identify a
sound bank as having significant problems. When this happens, we may then take the step of
accelerating onsite examinations even though the bank remains in satisfactory condition. To be
clear, we err on the side of accepting some false positives because, as we saw during the crisis,
the costs of missing too many problems are so high. Having said that, we recognize that false
positives are not free: They impose a real cost on examiners in the form of resource use and also
on banks in terms of imposing the burden of an onsite review.
In one way, effective supervision is striking a balance between false negatives and false
positives, recognizing the costs of each. As we look forward, I think policymakers will need to
find a similar balance between the responsibilities of examiners and the responsibilities of banks
to ensure compliance with laws and regulations and to maintain a safe and sound banking
system. Make no mistake, the crisis made clear that more effective regulations and more
consequential examiner reviews of banks are needed. But, at the same time, banks have a
fundamental--arguably the fundamental--role to play in improving financial system resilience.
So, how do the responsibilities of banks and examiners meet to maximize safety and
soundness? When I imagine the model of a healthy bank--no matter its size or complexity--I
picture a series of concentric circles. The inner circles are composed of the systems and
functions that keep the bank healthy and allow it to meet the credit needs of its community while
remaining financially sound and compliant with its legal and regulatory obligations. Inner circle
systems and functions help the bank identify, monitor, and remedy the various problems that
arise in its ordinary course of business. These would include, among other things, internal audit,

-6executive management committees, governance by a board of directors, policies and procedures,
and critical reporting relationships.
The outer circle, then, is effective supervision. This layering of circles implies that there
are multiple internal and external checks on behavior that make timely identification and
resolution of problems more likely.
We could probably spend the day arguing about the proper order of the outward
progression of these circles, but I think we can all agree that at the core of a healthy bank is an
effective corporate governance structure. A bank’s board of directors should understand the
bank’s exposure to risk, and its members should be willing and able to critically question senior
management about important matters affecting those risks. In my experience, specific technical
financial expertise--which may be somewhat more difficult to find in smaller communities--is
not nearly as important in this regard as board members’ ability to exercise sound and effective
judgment regarding different risks confronting the bank and to take seriously their responsibility
for the long-term interests of the bank. The board of directors, along with a strong senior
management team, can contribute substantially to the safe and sound operation of the bank by
setting the “tone at the top” regarding activities and behaviors that are either encouraged or
frowned upon.
Well-informed managers and staff constitute another inner circle. Customer-facing
employees who know their business and know their customer base can play a critical role in
catching problems at inception. And institutional knowledge of this kind is an area of relative
strength for community banks.
Successful business lines are profitable because they are run by those who understand
and can manage risk. Risk is best understood, I believe, by those who are engaged in the day-to-

-7day business of the bank. A bank in which every employee understands his or her responsibility
for managing risk is likely to be more sound than a bank in which risk management is always
seen as someone else’s responsibility.
While risk management starts at the business-line level, a well-run bank also has in place
an effective program for enterprise-wide risk management that is supported by strong internal
controls. I know that many smaller community banks may not have the resources to establish a
separate risk management function, but that is not necessarily a problem if senior management
and other key personnel establish a system of internal, independent checks and balances to
ensure that risks are regularly identified, controlled or otherwise managed, and monitored. These
systems include not only core functions such as credit administration, effective reporting of
information to senior management and the board, and policies and procedures that are
documented and implemented, but also processes that try to look ahead to potential risks on the
horizon.
Another of the inner circles is a strong internal audit function that reviews the bank’s
operations, risk management, and internal controls. In particular, an effective internal audit
function will: identify processes to be audited based on risk exposure, establish a schedule and
frequency for performing internal audits, ensure that there is accountability for fixing problems
identified in the audit, and escalate significant unresolved issues to the board of directors or its
audit committee.
This concentric circle model illustrates my belief that problem identification is first and
foremost the responsibility of the bank. A safe and sound banking system starts with banks that
take seriously the importance of sound governance, business judgment, risk management,
internal controls, and compliance. Banking supervision provides another level of protection, but

-8it was never intended to be a substitute for a bank’s own risk management processes, nor should
it be.1
And this brings us to the outer circle: banking supervision. First and foremost, examiners
need to understand and work within the scope of their role. For example, examiners should not
substitute their judgment for that of bank management. A bank’s board and senior management
are responsible for running the bank, and it is not appropriate for examiners to be overly engaged
in the routine business of a healthy bank. There will of course be times when examiners are
justified in questioning decisions or requiring action when a bank may be operating in an unsafe
and unsound manner or is not in compliance with law.
In that regard, we have heard from some community bankers that pressure from
examiners may affect a bank’s willingness to lend to creditworthy small businesses and
consumers. We have worked hard to ensure that our examiners are well-trained and employ a
balanced approach to reviewing banks’ credit policies and practices. We will continue to
monitor this closely.
I would also suggest that examiners are regulators and as such should not view banks as
their customers or clients. There are times when the interests of banks and regulators are
aligned, and there are many instances where our objectives diverge. This doesn’t mean that
examiners and banks will inevitably have a contentious relationship. Indeed, I think many
banks, particularly those that are well run, would characterize their relationship with examiners
as professional and constructive, and would agree that examination findings are not arbitrary and
in fact help them to improve their internal systems. That is as it should be. A regulator’s

1

Although not discussed here because I would like to focus my brief remarks on the balance of responsibilities
between banks and supervisors, market discipline--when appropriate transparency exists--can also play an important
role in creating incentives for banks to identify and mitigate risks.

-9relationship with a supervised bank must not get in the way of his or her willingness and ability
to make tough calls.
At the end of the day, some regulatory failures may be inevitable. Examiners are smart,
well-trained, diligent, and conscientious. They are committed to public service and take their
responsibilities seriously. But even the best examiners are no more prescient than the managers
of the banks they oversee and cannot be expected to head off every problem or detect every risk.
The risk management systems and functions that comprise those inner concentric circles must be
the primary mechanisms for heading off problems and detecting risks before they grow.
Unfortunately, there is no panacea to eliminating risk: Even the combination of
appropriately designed risk management tools and thorough supervision can not completely
eliminate the risk of low-probability, high-impact events.
While I realize this sounds somewhat pessimistic, in fact I am quite optimistic about
examiners’ ability to play a strong and effective role in a healthy banking system. In that regard,
let me return to the concentric circle model and describe what we should expect from bank
supervisors in the outermost circle.
One of the most important functions of supervisors in a healthy banking system is to set
high standards through the establishment of policies and through the design of a strong
supervisory program. Of course we should be vigilant about avoiding policies and practices that
add little value and impose great burdens on banks, and I can assure you that we take that
responsibility seriously, especially as it regards community banks. But we also should set the
bar high when it comes to our expectations for acceptable bank risk management and business
practices. We should be--and I believe we are--tough but fair.

- 10 In addition to setting high expectations, examiners should strive for balance and
consistency throughout the business cycle--that is, we should be careful not to be too hands-off
when times are good and not to overreact when times are bad. If you’re driving a car on a
curving mountain road, accelerating too fast on the straight stretches leaves you with three
choices when the road bends: either you slam on the brakes, end up in a ditch on the side of the
road, or get lucky and make it through. It’s far safer to maintain a relatively steady speed,
accelerating and decelerating gently as necessary, than to swing between extremes. So it is with
examination. If examiners do not evaluate banks’ practices with sufficient rigor during the boom
years, then it may be necessary to take a more draconian approach during the bust years, when
problems are revealed.
It has emerged that a number of regulators and examiners became concerned about
concentrations in commercial real estate lending several years before the financial crisis. Despite
the red flags raised by this lending, it was difficult for examiners to challenge bank management
at a time when these loans were performing well and banks were generating record profits.
There was also strong pushback from the industry when the banking regulators began raising
alarms about the potential risks of excessive concentrations. Regulators finally issued guidance
on concentrations in commercial real estate in late 2006, but in retrospect I think it is fair to
wonder whether action should have been taken sooner.
That brings me to my next point, which is that examiners have a key role to play in
reviewing and assessing the quality of a bank’s internal controls, compliance, internal audit, et
cetera. A central element of the Federal Reserve’s supervisory programs is assessing the
effectiveness of these processes and functions. We should understand where a bank’s primary
risks arise and use enforcement tools as necessary to ensure that management is sufficiently

- 11 focused on these risks. Examiners should clearly communicate their findings to banks and
maintain a regular dialogue about their risks and their risk management processes. When
examiners find weaknesses in any of these areas, we expect that banks will address them in a
timely manner.
One thing I would note here is that if done properly, effective examination requires
looking behind the numbers. The crisis made clear that a bank that appears to be in sound
financial condition may actually have a ticking time bomb on its books. As I said before, it can
be difficult for an examiner to tell a profitable bank with strong financial indicators that there are
management weaknesses. But that is exactly what we should empower our examiners to do
because we know that the seeds of financial crisis are planted during the good times. When
conducting an examination, an examiner should be attuned to weaknesses in governance, risk
management, and internal controls that may not pose a current problem but that may expose the
bank to losses in the future. And ultimately, as you know, it is easier to fix a problem during the
good times.
Finally, one of the key roles that examiners play in a healthy financial system is to
provide context and perspective. This is natural given the number of banking organizations that
we examine and inspect, and I believe the Federal Reserve’s renewed financial stability mandate
under the Dodd-Frank Act will enhance our ability to assess not just individual banks, but also
the system as a whole. Examiners have a longstanding practice of assessing a bank’s
performance and practices relative to its peers. This should not be a purely mechanical exercise
where the examiner demands that a bank meet or exceed financial indicators for its peer group.
Instead, we should use these assessments to understand a bank’s performance relative to peers in
the context of its own unique facts and circumstances.

- 12 The expectations that I have described for both banks and examiners are not just
hypothetical. You may have heard much more about the banks that faltered under intense credit
and liquidity pressures, but the Federal Reserve has also been focused on the performance of
those community banks that have remained in sound condition throughout the crisis. Many of
the community banks supervised by the Federal Reserve that entered the crisis with a supervisory
rating of “1” or “2”--the highest ratings on the 1-to-5 scale used by bank supervisors--have
managed to keep these ratings. Most of these banks entered the crisis with moderate exposures
to commercial real estate, and continued to report strong earnings and net interest margins
throughout the crisis. They reported very limited reliance on noncore funding and strong capital
levels as they entered the crisis. They earned solid, though not spectacular, returns and they
reported steady performance. And, while this is less quantifiable, many of these banks have
effective boards of directors and strong and experienced management teams. It is important that
examiners keep this in mind as they evaluate and refine their supervisory processes in the wake
of the crisis.
Conclusion
I certainly don’t claim to have all the answers when it comes to delineating the
appropriate roles and responsibilities between management and examiners in a healthy bank, but
I hope my remarks today will at least start a conversation about how best to structure a
regulatory and supervisory framework for the banking system that effectively supports the real
economy and encourages sound and sustained lending to creditworthy borrowers. We know that
those community banks that weathered the storm during the crisis are already doing this in their
own communities and we can learn from their experience. In order to sustain the economic
recovery, we need strong, well-run community banks that operate in a framework of smart and

- 13 effective supervision. I commend you for the work that you are doing every day in your
communities, and I look forward to continuing the dialogue on our respective priorities and
concerns.