View original document

The full text on this page is automatically extracted from the file linked above and may contain errors and inconsistencies.

At the Bond Market Association's Regional Bond Traders and Sales Managers
Roundtable, Irving, Texas
September 30, 2004

Developments in Financial Markets and Financial Management
I am very pleased to join you for this meeting of the Bond Market Association. Tonight, I
would like to talk about my views on the economy, and then draw to your attention some
emerging regulatory issues that affect your businesses. First, I would like to briefly share
with you my assessment of the economic outlook and discuss in more detail how households
and businesses appear poised for an expected rise in interest rates. Second, I want to discuss
some issues related to the accounting and auditing of securities.
I also need to add that in terms of the economic outlook, I am expressing my own opinions,
which are not necessarily those of my colleagues on the Board of Governors or on the
Federal Open Market Committee.
The Economic Outlook
As you know, real gross domestic product grew at an annual rate of 3.3 percent in the
second quarter, building on larger increases since the middle of 2003. After having
moderated a bit in late spring, partly in response to a substantial rise in energy prices, output
growth appears to have regained some traction. Both consumer spending and housing starts
jumped in July and held steady in August. Business outlays for capital equipment also appear
to be on an upward trend, continuing to rebound from their weakness of the past several
years. And with financial conditions still accommodative, I expect that economic activity
will continue to expand at a solid pace for the remainder of the year.
At the same time, it appears that inflation and inflation expectations have eased. The core
consumer price index, which excludes food and energy, edged up only 0.1 percent in each of
the past three months through August. This pace is substantially below the pace of earlier
this year, when inflation was likely boosted by some transitory factors, such as the
pass-through of large increases in energy and import prices, and some payback from the
unusually modest increases in 2003. I expect underlying inflation to remain low, and, in my
view, under these circumstances the Federal Reserve can remove its policy accommodation
at a measured pace, consistent with its commitment to maintain price stability as a necessary
condition for maximum sustainable economic growth.
Household Financial Conditions
Continued vigorous expansion depends importantly on consumer spending, so let me spend a
few minutes on the financial condition of the household sector. Some commentators have
expressed concern about the rapid growth in household debt in recent years. They fear that
households have become overextended and will need to rein in their spending to keep their
debt burdens under control. My view is considerably more sanguine. Although there are
pockets of financial stress among households, the sector as a whole appears to be in good

shape.
It is true that households have taken on quite a bit of debt over the past several years.
According to the latest available data, total household debt grew at an annual rate of about
10 percent between the end of 1999 and the second quarter of 2004; in comparison,
after-tax household income increased at a rate of about 5 percent. But looking below the
aggregate data, we must understand that the rapid growth in household debt reflects largely a
surge in mortgage borrowing, which has been fueled by historically low mortgage interest
rates and strong growth in house prices.
Indeed, many homeowners have taken advantage of low interest rates to refinance their
mortgages, some having done so several times over the past couple of years. Survey data
suggest that homeowners took out cash in more than one-half of these "refis," often to pay
down loans having higher interest rates. On net, the resulting drop in the average interest
rate on household borrowings, combined with the lengthening maturity of their total debt,
has damped the monthly payments made by homeowners on their growing stock of
outstanding debt.
The Federal Reserve publishes two data series that quantify the burden of household
obligations. The first series, the debt-service ratio, measures the required payments on
mortgage and consumer debt as a share of after-tax personal income. The second series, the
financial-obligations ratio, is a broader version of the debt-service ratio that includes
required household payments on rent, auto leases, homeowners insurance, and property
taxes. Both ratios rose during the 1990s, and both reached a peak in late 2001. Since then,
however, they have receded slightly on net, an indication that households, in the aggregate,
have been keeping an eye on repayment burdens. Moreover, delinquency rates for a wide
range of household loans have continued to drift down this year and lie below recent highs in
2001.
To be sure, mortgage rates and other consumer loan rates have come off the lows reached
early this year, and concerns have been heightened about interest payment burdens for
households. Although some households will be pressured by the higher rates, I believe the
concerns can be overstated. First, most household debt--mortgage and consumer debt
combined--carries a fixed interest rate, which slows the adjustment of interest costs to rising
rates. Second, although interest rates on some variable-rate loans will rise quickly, the
adjustment for a large number of variable-rate loans could be a good deal slower. For
example, many adjustable-rate mortgages start off with a fixed rate for several years,
providing households with some protection from rising rates.
This relatively upbeat assessment of household credit quality seems to be shared by lenders
and by investors in securities backed by consumer debt. According to the Federal Reserve's
survey of senior loan officers, the number of banks tightening their standards on consumer
loans has fallen over the past year. Moreover, credit spreads on securities backed by auto
loans and credit card receivables have narrowed in recent months. These indicators do not
point to much concern about household loan performance.
Thus far, I have focused on the liability side of the household balance sheet. There have
been favorable developments on the asset side as well. Equity prices rallied strongly last
year and have held their ground this year, reversing a good portion of the losses sustained
over the previous three years. In addition, home prices have appreciated sharply since 1997.
All told, the ratio of household net worth to disposable income--a useful summary of the

sector's financial position--has climbed in the past couple of years and currently stands at a
high level relative to the past decade.
Financial Conditions of Businesses
Businesses are also in good financial shape, reflecting a dramatic improvement in recent
years. Indeed, starting last year, many firms found themselves in the unusual position of
being able to finance a pickup in spending entirely out of rapidly rising cash flow, and those
that turned to external markets generally found the financing environment to be quite
accommodative.
This improvement in financial conditions reflects a number of factors, namely low interest
rates, a widespread restructuring of corporate liabilities, and significant cost-cutting and
productivity gains that boosted profitability. In my view, even with an expected rise in
interest rates and some moderation in profit growth, the financial condition of the business
sector should remain strong and able to support continued expansion. I will address each
factor in turn.
First, firms are continuing to benefit from the accommodative stance of monetary policy.
Even with the increase by the FOMC last week in the target funds rate to 1.75 percent,
short-term borrowing costs remain low. For longer-term debt, the combination of low yields
on benchmark Treasury securities and sharply-reduced risk spreads from a couple of years
ago has kept borrowing costs quite attractive. The reduced risk spreads reflect the improved
financial positions and more positive investor sentiment, perhaps as accounting and
corporate governance scandals have receded.
Second, in response to low long-term rates and to investors' concerns arising from some
high-profile, unanticipated meltdowns, firms have greatly strengthened their balance sheets.
Many firms have refinanced high-cost debt, a move that has reduced the average interest
rate on the debt of nonfinancial corporations by about 1 percentage point, on net, since the
end of 2000. Businesses have also substituted long-term debt for short-maturity debt to
improve their balance sheet liquidity and to reduce the risk of rolling over funds. In addition,
many firms--especially in the most troubled industries--have retired debt through equity
offerings and asset sales, while others have used their growing profits to retire debt. As a
result, the growth of nonfinancial corporate debt in the past two-and-a-half years was limited
to its slowest pace since the early 1990s.
These repairs to balance sheets have also reduced the exposure of many firms to rising
interest rates, especially in the near term. In particular, the replacement of short-term debt
by long-term bonds means that less debt will have to be rolled over in the near term at higher
rates. In addition, because much of the long-term debt has a fixed rate, interest payments
typically are unaffected over the life of the bond. Moreover, research by Board staff
suggests that firms which are more likely to rely on floating-rate debt, and for that reason
might be more vulnerable to rising rates, have tended to use derivatives in recent years to
hedge their exposure to interest rate risk.1 Thus, for many firms, the effect of rising interest
rates will be mitigated and stretched out over time.
In addition, a lesson we can take from the episode of policy tightening in 1994 is that rising
interest rates have little detrimental effect on the financial health of the corporate sector
when the rate increases occur in the context of an expanding economy. Specifically,
corporate credit quality improved on balance after 1994 with the pickup in economic
activity and corporate profits.

Third, the improvement in financial conditions among businesses owes partly to some
significant belt-tightening by many firms. Over the past few years, the drive to cut costs and
boost efficiency has generated rapid productivity gains. Fuller utilization of the capabilities
of capital already in place, ongoing improvements in inventory management, and
streamlined production processes requiring fewer workers, to name but a few examples of
efficiency enhancements, have boosted corporate profitability even when revenue growth
was tepid.
With the pick up in revenue growth in the second half of last year, companies were able to
leverage the productivity gains and produce a dramatic recovery in overall corporate
profitability. The profits of nonfinancial corporations as a share of sector output rose to
almost 11 percent in the second quarter of this year. This share lies above its long-run
average over the past few decades and well above the cyclical trough of 7 percent in 2001.
To be sure, the profit share likely will slip a bit from its high level as the expansion gains
steam and businesses are less able to keep a lid on their labor costs. Moreover, because
cyclical factors likely contributed to the recent dramatic advances in productivity, we should
expect productivity gains to moderate.
But these developments and the decline in profit share are to be expected and will not, in my
view, lead to a meaningful impairment of the financial health of companies. The
improvements that businesses have made to their financial strength and profitability have
been substantial and should help to support sustained, solid growth of the U.S. economy.
Accounting for Securities
Let me now turn to some supervisory issues that are currently being considered. The first is
the recent accounting guidance surrounding The Meaning of Other-Than-Temporary
Impairment and Its Application to Certain Investments, or EITF 03-01. As many of you are
aware, when the Emerging Issues Task Force came to its consensus earlier this year, it
appeared to follow practices generally in use. But early in August, one public accounting
firm interpreted the guidance very differently. Specifically, if a security was sold from the
available-for-sale investment portfolio at a loss, this new interpretation called into question
the facts and circumstances that should be used to determine if the remaining portfolio
should be viewed as "other than temporarily impaired," and thereby marked down to the
lower of cost or market through earnings (LOCOM).
At the Federal Reserve, we were concerned about this interpretation since most banks use
their available-for-sale portfolio to manage their net interest margin on longer-term,
fixed-rate deposits and funding. A LOCOM accounting model applied to such instruments is
not consistent with this important management function. We have always expected banks to
regularly review the fair values of all their securities. But the concept of "tainting" due to
realized losses from the available-for-sale portfolio had not been widely applied in such a
narrow way.
I commend the Financial Accounting Standards Board (FASB) for listening to questions
raised by preparers, auditors, and bank regulators and agreeing to defer the effective date for
the troublesome paragraph 16 from the third to the fourth quarter. It has also issued some
implementation guidance, and has a comment period that runs until October 25. I would
encourage you to read the new guidance, and to provide comments if you feel additional
clarification is needed. Pay particular attention to the facts and circumstances that should be
considered. Note that the guidance allows sales of available-for-sale securities at a loss for
the same reasons that you can sell held-to-maturity securities without tainting the remaining

portfolio, for example mergers and changes in regulatory capital. The guidance also permits
sales for unexpected and significant changes in liquidity needs or increases in interest rates.
In practice, EITF 03-01 should make all organizations with available-for-sale securities
review their procedures for identifying impairment. Clearly, investors should continue their
current practice of monitoring for credit downgrades and changes in prepayment speeds,
especially for mortgage-backed securities booked at a premium and interest-only strips. But
in addition, the trigger for recognizing impairment is no longer an intent to sell, but rather
whether the investor no longer intends to hold the security until fair value recovers to its
amortized cost.
Also note that the disclosure aspects of EITF 03-01 do apply in third quarter financial
statements. The major change is separate disclosure of securities whose fair value is below
carrying cost. Organizations now must disclose separately the amount of securities that have
been in a continuous unrealized loss position for more than one year, and in the narrative
discuss why the loss has not yet been recognized.
Fair Value and Regulatory Capital Issues
As you know, the Basel II effort to revise bank risk-based capital standards is now in its final
stages and moving toward implementation. Importantly, that effort has adopted an approach
to credit risk on instruments held in the banking book that differs from the current capital
rules applied to instruments held in the trading book under the 1998 Market Risk
Amendment (MRA) to the Basel Accord. Clearly, the fair valuing or "marking to market" of
trading portfolios and the implied holding period of such positions factor into such
differences. At the same time, however, we must remember that the MRA approach was
adopted at a time when bank trading portfolios looked very different from today. The
significant growth in the credit derivative market is just one example. Also, there appears to
be an increasing tendency for financial institutions to hold less-liquid instruments in trading
accounts over longer time horizons than has been traditionally associated with the concept
of a trading account. This suggests that the time may have arrived for supervisors to begin to
review the implications that financial market innovation and the changing nature of trading
accounts have for the current capital regime applied to these activities.
In an initial effort to fully identify the types and characteristics of instruments that are held
by banks in their trading accounts, and that are held at fair value by securities firms, a joint
subgroup of International Organization of Securities Commissions and the Basel Committee
on Banking Supervision is surveying the industry. This survey is also focused on gaining a
better perspective on the range of techniques financial institutions are developing to more
robustly measure the risk these instruments entail. The information acquired in this survey is
to be fully incorporated in supervisors' review of the current adequacy of the MRA. It is
important for me to note that this effort to review the MRA is still in its early stages. As yet,
it is uncertain whether this effort will result in minor revisions to the current MRA or
significant changes.
Challenges in Securities Accounting and Auditing
Both of these issues relating to practices around securities accounting should also be viewed
in light of broader issues that are challenging corporate management, independent
accountants, and regulators.
Fair value accounting for securities, whether in the income statement or in disclosures, relies
on key assumptions, modeling techniques and judgment. For example, modeling techniques
are commonly used in valuing mortgage-backed securities. The present value of the

estimated future net cash flows attempts to anticipate consumer behavior to adjust for
prepayments of mortgages due to forecasted interest rates. Changes in the assumptions used
in the modeling approach for any instrument or product will affect the resulting values. For
example, if property values are rising rather than falling, the buildup of equity in the home
can affect the borrowers desire to refinance the loan or use the equity to purchase a more
expensive home.
Thus, auditing model-based fair values for accounting purposes requires a high level of
specialized knowledge. The auditor must fully understand how modeling or other
sophisticated techniques are used to determine fair value, and whether the assumptions used
in the models are appropriate, and whether the data has integrity. Furthermore, "fair value"
is not always clearly defined or easily determined for some products or instruments. The lack
of observable market prices, differences in modeling assumptions, expectations of future
events and market conditions, as well as customer behavior make the task of assigning
appropriate valuations very difficult. Certainly, a non-complex instrument that is highly
liquid with an observable market price is easier to value with more precision than a highly
complex, illiquid instrument. In today's world, with the myriad of complex financial
instruments that exist and are constantly being created, developing verifiable and auditable
fair value estimates is a major concern. And because fair value models are forward looking,
the auditor has an additional challenge of determining the line between normal variability in
expectations that surrounds any forecast and earnings manipulation.
To its credit, the FASB has recently issued an exposure draft on fair value measurement. The
proposal was developed to provide a framework for fair value measurement objectives, and
it is just the initial phase of a long-term fair value project. The initial phase is generally
intended to apply to financial and nonfinancial assets and liabilities that are currently subject
to fair value measurement and disclosure. It is not intended to expand the use of fair value
measurements in financial statements at the present time.
In my view, the proposal is a good first step in enhancing fair value measurement guidance,
but I believe additional guidance is warranted. Reliability issues should be addressed more
comprehensively in the proposal. Most important, the FASB should develop further guidance
and conduct further research and testing to enhance the reliability of fair value
measurements before the use of fair value is significantly expanded in the primary financial
statements. Furthermore, the FASB should work with other organizations including the
Public Company Accounting Oversight Board (PCAOB), American Institute of Certified
Public Accountants (AICPA), and accounting firms to enable the development of robust
guidance that ensures fair value estimates can be verified and audited.
Conclusion
In summary, I expect that economic activity will continue to expand at a solid pace for the
remainder of the year. At the same time, it appears that inflation and inflation expectations
have eased. I encourage you to not only focus on economic conditions that affect the bond
market, but to also pay attention to emerging regulatory issues. The depth and diversity of
bond markets will continue to support economic expansion as long as investors can rely on
the integrity of information about issuers and characteristics of specific securities.
Footnotes
1. Covitz, Daniel and Steven A. Sharpe, "Which Firms use Interest Rate Derivatives to
Hedge? An Analysis of Debt Structure and Derivative Positions at Nonfinancial

Corporations," Working paper, July 2004. Return to text
Return to top
2004 Speeches
Home | News and events
Accessibility | Contact Us
Last update: September 30, 2004