80_FR_33127 80 FR 33016 - Final Interagency Policy Statement Establishing Joint Standards for Assessing the Diversity Policies and Practices of Entities Regulated by the Agencies

80 FR 33016 - Final Interagency Policy Statement Establishing Joint Standards for Assessing the Diversity Policies and Practices of Entities Regulated by the Agencies

DEPARTMENT OF THE TREASURY
Office of the Comptroller of the Currency
BOARD OF GOVERNORS OF THE FEDERAL RESERVE SYSTEM
FEDERAL DEPOSIT INSURANCE CORPORATION
NATIONAL CREDIT UNION ADMINISTRATION
BUREAU OF CONSUMER FINANCIAL PROTECTION
SECURITIES AND EXCHANGE COMMISSION

Federal Register Volume 80, Issue 111 (June 10, 2015)

Page Range33016-33025
FR Document2015-14126

The OCC, Board, FDIC, NCUA, CFPB, and SEC are issuing a final interagency policy statement establishing joint standards for assessing the diversity policies and practices of the entities they regulate, as required by the Dodd-Frank Wall Street Reform and Consumer Protection Act of 2010.

Federal Register, Volume 80 Issue 111 (Wednesday, June 10, 2015)
[Federal Register Volume 80, Number 111 (Wednesday, June 10, 2015)]
[Notices]
[Pages 33016-33025]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-14126]


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DEPARTMENT OF THE TREASURY

Office of the Comptroller of the Currency

[Docket ID OCC-2013-0014]

BOARD OF GOVERNORS OF THE FEDERAL RESERVE SYSTEM

[Docket No. OP-1465]

FEDERAL DEPOSIT INSURANCE CORPORATION

NATIONAL CREDIT UNION ADMINISTRATION

BUREAU OF CONSUMER FINANCIAL PROTECTION

SECURITIES AND EXCHANGE COMMISSION

[Release No. 34-75050; File No. S7-10-15]


Final Interagency Policy Statement Establishing Joint Standards 
for Assessing the Diversity Policies and Practices of Entities 
Regulated by the Agencies

AGENCIES:  Office of the Comptroller of the Currency (OCC); Board of 
Governors of the Federal Reserve System (Board); Federal Deposit 
Insurance Corporation (FDIC); National Credit Union Administration 
(NCUA); Bureau of Consumer Financial Protection (CFPB); and Securities 
and Exchange Commission (SEC).

ACTION: Notice of final interagency policy statement; request for 
comments on proposed collection of information.

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SUMMARY: The OCC, Board, FDIC, NCUA, CFPB, and SEC are issuing a final 
interagency policy statement establishing joint standards for assessing 
the diversity policies and practices of the entities they regulate, as 
required by the Dodd-Frank Wall Street Reform and Consumer Protection 
Act of 2010.

DATES: The final interagency policy statement is effective on June 10, 
2015. The agencies are soliciting comments only on the collection of 
information. Comments must be submitted on or before August 10, 2015. 
The effective date of the collection of information will be announced 
in the Federal Register following Office of Management and Budget (OMB) 
approval.

FOR FURTHER INFORMATION CONTACT:
    OCC: Joyce Cofield, Executive Director, Office of Minority and 
Women Inclusion, at (202) 649-6460 or Karen McSweeney, Counsel, Law 
Department, at (202) 649-6295, TDD/TTY (202) 649-5597, Office of the 
Comptroller of the Currency, 400 7th Street SW., Washington, DC 20219.
    BOARD: Sheila Clark, Director, Office of Diversity and Inclusion, 
at (202) 452-2883, Katherine Wheatley, Associate General Counsel, Legal 
Division, at (202) 452-3779, or Alye Foster, Senior Special Counsel, 
Legal Division, at (202) 452-5289.
    FDIC: Segundo Pereira, Director, Office of Minority and Women 
Inclusion, (703) 562-6090; Melodee Brooks, Senior Deputy Director, 
Office of Minority and Women Inclusion, (703) 562-6090; or Robert Lee, 
Counsel, Legal Division, (703) 562-2020, Federal Deposit Insurance 
Corporation, 550 17th Street NW., Washington, DC 20429-0002.
    NCUA: Wendy A. Angus, Acting Director, Office of Minority and Women 
Inclusion at (703) 518-1650, Cynthia Vaughn, Diversity Outreach Program 
Analyst, Office of Minority and Women Inclusion, at (703) 518-1650, or 
Regina Metz, Staff Attorney, Office of General Counsel, at (703) 518-
6540, National Credit Union Administration, 1775 Duke Street, 
Alexandria, VA 22314.
    CFPB: Stuart Ishimaru, Director, Office of Minority and Women 
Inclusion, at (202) 435-9012, or Stephen VanMeter, Deputy General 
Counsel, Legal Division at (202) 435-7319, Bureau of Consumer Financial 
Protection, 1700 G Street NW., Washington, DC 20552.
    SEC: Pamela A. Gibbs, Director, Office of Minority and Women 
Inclusion, (202) 551-6046, or Audrey B. Little, Senior Counsel, Office 
of Minority and Women Inclusion, (202) 551-6086, Securities and 
Exchange Commission, 100 F Street NE., Washington, DC 20549.

SUPPLEMENTARY INFORMATION: 

I. Background

    Section 342 of the Dodd-Frank Wall Street Reform and Consumer 
Protection Act of 2010 (Dodd-Frank Act or Act) required the OCC, Board, 
FDIC, NCUA, CFPB, and SEC (each, an Agency and collectively, the 
Agencies) to each establish an Office of Minority and Women Inclusion 
(OMWI) to be responsible for all matters of the Agency relating to 
diversity in management, employment, and business activities.\1\ The 
Act also instructed each OMWI Director to develop standards for 
assessing the diversity policies and practices of entities regulated by 
the Agency. To facilitate the use of these standards by regulated 
entities that are subject to the regulations of more than one Agency, 
the Agencies worked together to develop joint standards and issue this 
Final Interagency Policy Statement (Policy Statement).
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    \1\ Section 342 of the Act is codified at 12 U.S.C. 5452. The 
Department of Treasury, the Federal Housing Finance Agency, and the 
Federal Reserve Banks also have established an OMWI, but only the 
federal financial agencies with regulated entities have joined in 
issuing this Policy Statement.
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    Prior to drafting these standards, the OMWI Directors held a series 
of roundtable discussions and teleconferences with representatives of a 
variety of regulated entities, including depository institutions, 
holding companies, and industry trade groups, to solicit their views on 
appropriate standards and to learn about the successes and challenges 
of existing diversity policies and programs. In addition, the OMWI 
Directors met with financial professionals, consumer advocates, and 
community representatives to gain a greater understanding of the issues 
confronting minorities and women in obtaining employment and business 
opportunities within the financial services industry. The information 
and feedback provided during these outreach sessions guided the 
development of these standards.

II. Proposed Policy Statement

    On October 25, 2013, the Agencies published a Notice in the Federal 
Register requesting comment on a ``Proposed Interagency Policy 
Statement Establishing Joint Standards for Assessing the Diversity 
Policies and Practices of Entities Regulated by the Agencies'' 
(Proposal).\2\ The comment period on the Proposal was scheduled to 
close on December 24, 2013, but in response to requests from members of 
the public, the Agencies extended it to February 7, 2014.\3\
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    \2\ 78 FR 64052.
    \3\ 78 FR 77792.
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    The Proposal set out standards for assessing an entity's diversity 
policies and practices in the following areas: Organizational 
Commitment to Diversity and Inclusion; Workforce Profile and Employment 
Practices; Procurement and Business Practices--Supplier Diversity; and 
Practices to Promote Transparency of Organizational Diversity and 
Inclusion. These proposed standards reflected the leading policies and 
practices for advancing workforce and supplier diversity.
    The Proposal also explained the Agencies' approach to assessments,

[[Page 33017]]

noting that the assessment envisioned by the Agencies would not be a 
part of the examination or supervisory process. Instead, the Proposal 
provided that a ``model assessment'' would include a self-assessment by 
an entity of its diversity policies and practices using the proposed 
standards; voluntary disclosure of the self-assessment to the 
appropriate Agency; and publication by the entity of its diversity 
efforts, in order to increase the public's awareness and understanding. 
The Proposal also stated that the Agencies may periodically review this 
public information to monitor diversity and inclusion practices and 
reach out to regulated entities to discuss diversity and inclusion.
    In drafting the proposed standards, the Agencies recognized that 
each entity has unique characteristics, such as its governance 
structure, workforce size, total assets, contract volume, geographic 
location, and community characteristics. To reflect this, throughout 
the Proposal, the Agencies stated that the standards may be tailored 
and used in a manner reflective of an individual entity's size and 
other characteristics. In developing the Proposal, the Agencies were 
also mindful of section 342(b)(4) of the Act, which states that the 
directive to develop standards may not be construed to mandate any 
requirement on or otherwise affect the lending policies and practices 
of any regulated entity, or to require any specific action based on the 
findings of the assessment.

III. Comment Summary and the Agencies' Response

    The Agencies collectively received more than 200 comments on the 
Proposal, although some commenters submitted either multiple comments 
or identical or substantially similar comments to multiple Agencies. 
The comments reflected the views of interested parties, including 
financial institutions, public interest organizations, trade 
associations and organizations, government officials, and other members 
of the public. In general, the commenters supported the concept of 
diversity and inclusion, particularly in the workforce. A number of 
commenters applauded the Agencies for jointly developing standards, 
while others commended the Proposal's flexible approach. Other 
commenters, however, expressed concern about the Proposal. Some urged 
the Agencies to withdraw the proposed standards, while others suggested 
specific changes to address certain issues.
    The Agencies carefully considered all of these comments in 
formulating the final Policy Statement. The discussion below addresses 
significant issues that commenters raised and explains the changes to 
the Policy Statement.

A. General Comments

1. Legal Effect
    The Agencies received several comments that interpreted the 
Proposal to impose new legal requirements on regulated entities or to 
mandate specific actions. Some commenters argued that these 
requirements and mandates exceeded the Agencies' statutory authority 
and were unlawful. For example, several commenters interpreted 
references to ``metrics'' in the Proposal to require or strongly 
encourage quotas in hiring and contracting. Others expressed concern 
that the new requirements would impose a significant compliance burden, 
particularly on small entities. For example, some commenters 
interpreted the standards to require entities to develop methods for 
assessing supplier diversity, and they argued that this was unduly 
burdensome for small entities.
    Other commenters stated that the Proposal used ``prescriptive'' 
language, from which they inferred that some level of compliance with 
the standards would be expected from regulated entities. These 
commenters urged the Agencies to draft the final standards as 
``recommendations'' and clarify that the final Policy Statement is a 
guidance document. Another commenter requested that the Agencies frame 
the final Policy Statement as a ``best practices'' guide with which 
regulated entities were not required to comply.
    In contrast, some commenters stated that the inclusion of new 
requirements or mandates in the standards was consistent with the plain 
language of section 342(b)(2)(C). For example, some commenters argued 
that the Agencies should require the regulated entities to provide them 
with information about their diversity policies and practices, 
including assessment information. Others stated that the congressional 
intent of section 342 was to promote diversity and inclusion to the 
maximum extent possible and noted that the Proposal sets only minimum 
standards.
    In light of these comments, it is clear that Agencies need to 
provide additional guidance about the intended legal effect of the 
final Policy Statement. To this end, the Agencies have added the 
following language: ``This document is a general statement of policy 
under the Administrative Procedure Act, 5 U.S.C. 553. It does not 
create new legal obligations. Use of the Standards by a regulated 
entity is voluntary.'' The Agencies believe that this will clarify the 
confusion noted above.
2. Meaning of ``Diversity''
    Several commenters raised questions about the meaning of 
``diversity,'' which the Proposal did not define. A few commenters 
requested the Agencies define the term to avoid differing 
interpretations, with one commenter stating that the standards would 
not be useful in the absence of a definition. Several commenters 
suggested definitions, ranging from a definition limited to minorities 
and women to an expanded definition that would include individuals with 
disabilities, veterans, and lesbian/gay/bisexual/transgender (LGBT) 
individuals. Another commenter recommended also defining ``inclusion,'' 
to make clear that the goal of diversity is not met by simply hiring a 
diverse group.
    The Agencies agree that the term ``diversity'' should be defined. 
They also believe it should both reflect the general focus in section 
342 on minorities and women and provide flexibility to regulated 
entities that define the term more broadly. Accordingly, the final 
Policy Statement provides that ``diversity'' refers to ``minorities . . 
. and women.'' For purposes of this definition, ``minority'' is defined 
as Black Americans, Native Americans, Hispanic Americans, and Asian 
Americans, which is consistent with the definition of ``minority'' in 
section 342(g)(3) of the Act.
    The final Policy Statement also states that this definition of 
diversity ``does not preclude an entity from using a broader definition 
with regard to these standards.'' This language is intended to be 
sufficiently flexible to encompass other groups if an entity wants to 
define the term more broadly. For example, a broader definition may 
include the categories referenced by the Equal Employment Opportunity 
Commission (EEOC) in its Employer Information Report EEO-1 (EEO-1 
Report),\4\ as well

[[Page 33018]]

as individuals with disabilities, veterans, and LGBT individuals.
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    \4\ Private employers with 100 or more employees and federal 
contractors and first-tier subcontractors with 50 or more employees 
that have a contract or subcontract of $50,000 or more, or serve as 
depository of Government funds in any amount, are required by Title 
VII of the Civil Rights Act of 1964 to collect data on employment 
diversity and file an EEO-1 Report with the EEOC.
    The EEO-1 Report defines race and ethnicity categories as 
Hispanic or Latino; White (Not Hispanic or Latino); Black or African 
American (Not Hispanic or Latino); Native Hawaiian or Other Pacific 
Islander (Not Hispanic or Latino); Asian (Not Hispanic or Latino); 
American Indian or Alaska Native (Not Hispanic or Latino); and Two 
or More Races (Not Hispanic or Latino). http://www.eeoc.gov/employers/eeo1survey/2007instructions.cfm.
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    The Agencies also agree that the concept of inclusion is important 
to include in these standards because current leading practices 
advocate an inclusive culture as essential in the support of diversity 
and inclusion programs. Therefore, the final Policy Statement defines 
``inclusion'' to mean a process to create and maintain a positive work 
environment that values individual similarities and differences, so 
that all can reach their potential and maximize their contributions to 
an organization.''
3. Applicability to Small Entities
    Although the Proposal encouraged the use of the standards ``in a 
manner reflective of the individual entity's size and other 
characteristics,'' the Agencies received questions and comments about 
how the standards apply or are relevant to small entities. Some 
commenters stated that the Proposal offered a ``one-size fits all 
approach'' and should be replaced with standards that reflect the 
unique structure of small entities. Another commenter noted that many 
small regulated entities do not have boards of directors, Web sites, or 
other attributes referenced in the Proposal. According to this 
commenter, even with the Proposal's caveat that the standards may be 
tailored for small entities, these organizations would be at a 
disadvantage when measuring their policies and practices in light of 
the proposed standards. Others suggested that the Policy Statement 
expressly carve out entities below a certain size, such as those with 
fewer than 100 employees or those that do not file EEO-1 Reports.
    These comments demonstrate that the Agencies need to clarify how 
the standards are relevant to and may be used by small entities. 
Therefore, the final Policy Statement states, ``The Agencies recognize 
that each entity is unique with respect to characteristics such as its 
size, location, and structure. When drafting these standards, the 
Agencies focused primarily on institutions with more than 100 
employees. The Agencies know that institutions that are small or 
located in remote areas face different challenges and have different 
options available to them compared to entities that are larger or 
located in more urban areas. The Agencies encourage each entity to use 
these standards in a manner appropriate to its unique 
characteristics.''
4. Extraterritorial Application
    A few commenters requested that the Agencies clarify whether the 
standards apply to a regulated entity's foreign operations. These 
commenters observed that many regulated entities operate 
internationally and that the concept of diversity varies from country 
to country. They advocated that regulated entities be allowed the 
flexibility to include or exclude foreign operations when conducting an 
assessment. In response, the final Policy Statement clarifies that the 
final standards address an entity's U.S. operations. This does not, 
however, preclude a multinational entity from also using these 
standards to undertake a broader assessment of its organization.

B. Comments on the Joint Standards

1. Organizational Commitment to Diversity and Inclusion
    The first set of standards in the Proposal addressed the role and 
importance of an entity's senior leadership in promoting diversity and 
inclusion across an organization. These standards described the 
policies and practices that demonstrate the commitment of an entity's 
senior leadership to diversity and inclusion in both employment and 
contracting, as well as to fostering a corporate culture that embraces 
diversity and inclusion.
    Commenters were generally supportive of including standards to 
assess an organization's commitment, with several referencing the 
importance of diversity and inclusion in their own organizations. Some 
commenters noted that an organization's commitment to diversity and 
inclusion can provide a competitive advantage. Another stated that, 
while an institution's commitment to diversity is important, each 
regulated entity should be allowed to demonstrate this commitment in 
its own way and cautioned against assuming that extensive and 
formalized policies demonstrate an organization's commitment to 
diversity. This commenter noted, as an example, that it would be more 
appropriate for community banks to apply their efforts to community 
outreach rather than to creating documentation to show compliance.
    Several commenters recommended changes to these standards. One 
commenter suggested adding language stating that diversity and 
inclusion are best served when an entity assigns senior leadership to 
these initiatives and provides this leadership with the appropriate 
resources. Another commenter suggested that the standards specify the 
appropriate credentials for the personnel responsible for an entity's 
diversity efforts, such as experience, a proven track record, and the 
ability to help others understand and embrace diversity efforts.
    The Agencies are encouraged that the commenters generally 
acknowledge how essential organizational commitment is to advancing 
diversity and inclusion. The Agencies also agree that the senior 
official responsible for an entity's diversity and inclusion efforts 
preferably should have relevant knowledge and experience, and they have 
revised this standard to reflect this change. Otherwise, the final 
standards on Organizational Commitment to Diversity and Inclusion are 
consistent with the Proposal.
2. Workforce Profile and Employment Practices
    The Proposal provided examples of how an entity could promote the 
fair inclusion of minorities and women in its workforce and noted that 
many entities evaluate their business objectives using analytical tools 
to track and measure workforce inclusiveness. It set out standards to 
assess an entity's workforce profile and employment practices, which 
included using the data prepared in connection with EEO-1 Reports and 
Affirmative Action Plans (AAPs),\5\ as well as other metrics. The 
standards also addressed whether an entity holds its management 
accountable for these efforts and creates diverse applicant pools for 
workforce opportunities when hiring from both within and outside of an 
organization.
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    \5\ AAPs are required of certain government contractors and 
monitored by the Office of Federal Contract Compliance Programs.
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    Several commenters expressed concern about using the EEO-1 Report 
data for this purpose, pointing out that it provides a purely numerical 
view of workforce diversity and gives little insight into the impact of 
diversity efforts. One commenter suggested that EEO-1 Report data 
should constitute, at most, a small element of a more holistic view of 
an entity's diversity practices. This commenter recommended that the 
Agencies revise the standards to focus on an entity's diversity efforts 
and to take into account: industry-specific considerations; the 
relevant labor market; and ongoing efforts to facilitate, promote and 
increase diversity. Other commenters observed that EEO-1 Report data 
does not address concepts of diversity that are broader than gender, 
race, and ethnicity or the extent of diversity within an entity's 
management and senior management ranks.
    Still other commenters were concerned that references in the 
Proposal to ``metrics,'' as a tool for

[[Page 33019]]

evaluating and assessing workforce diversity and inclusion efforts, 
could be interpreted to encourage or require the unlawful use of 
quotas, classifications, or preferences. These commenters recommended 
that the Agencies revise the standards to clarify that the purpose of 
metrics is not to force certain outcomes and that the standards are not 
intended to encourage or require an entity to undertake an assessment 
based on numerical goals, metrics, or percentages.
    Commenters also addressed the specific standard that would hold an 
entity's management accountable for diversity and inclusion efforts. 
One commenter stated that it is not clear who this standard is intended 
to cover and what constitutes accountability. Another commenter argued 
that this standard is overbroad and implies that regulated entities are 
required to include diversity and inclusion measurements in the 
performance evaluations of all management personnel. This commenter 
also expressed concern that this requirement could lead to unlawful 
employment decisions focused on achieving quotas and suggested that 
only the senior-level official(s) responsible for overseeing and 
directing diversity efforts, not all management personnel, should be 
held accountable. Another group of commenters observed, however, that 
accountability may be achieved most effectively by linking an entity's 
diversity and inclusion efforts to its leaders' performance assessments 
and compensation.
    In the final Policy Statement, the Agencies have retained the 
reference to EEO-1 Report and AAP data. The Agencies recognize that the 
information generated from these sources is limited, particularly for 
entities with large workforces and those that broadly define diversity. 
However, this information may provide a baseline that a company may 
find useful. To address commenters who expressed concern that the data 
coming from these particular sources is limited or narrow, the Agencies 
have added a statement to encourage entities to use other analytical 
tools that they may find helpful. Finally, due to a change in how the 
Agencies organized the final standards, the discussion about EEO-1 
data, AAP data, and other analytical tools is located in the 
introduction to this set of standards and not in the standards 
themselves.
    With respect to references to ``metrics,'' the Agencies continue to 
believe that quantitative data is valuable for evaluating diversity and 
inclusion but know that qualitative data and information also can 
provide useful material for this purpose. In order to clarify that both 
types of resources are important, the Agencies have revised the final 
standards to reflect the importance of both quantitative and 
qualitative measurements.
    With respect to the concern expressed by some commenters that the 
proposed standards could be interpreted to encourage or require the 
unlawful use of quotas, classifications, or preferences for personnel 
actions, the Agencies note that they did not intend to require or 
encourage unlawful usage. That said, the collection and use of data on 
race, gender, and ethnicity for self-evaluation is not unlawful. To 
address this confusion, however, the Agencies added to the Policy 
Statement a new standard providing that the ``entity implements 
policies and practices related to workforce diversity and inclusion in 
a manner that complies with all applicable laws.'' The final Policy 
Statement also includes another new standard, which provides that the 
``entity ensures equal employment opportunities for all employees and 
applicants for employment and does not engage in unlawful employment 
discrimination based on gender, race, or ethnicity.'' The Agencies 
believe that together, these new standards will address confusion about 
whether the standards encourage or require the unlawful use of quotas, 
classifications, or preferences.
    Finally, the Agencies retained the proposed standard that 
referenced management accountability but have clarified that this 
standard applies to all levels of management. The Agencies believe that 
management accountability at all levels is an important factor to 
consider when evaluating workforce diversity and employment practices. 
In addition, the final standards provide an example of one manner of 
addressing management accountability for diversity and inclusion 
efforts.
3. Procurement and Business Practices--Supplier Diversity
    The third set of standards included in the Proposal addressed the 
leading practices related to supplier diversity. These included a 
supplier diversity policy that provides a fair opportunity for 
minority-owned and women-owned businesses to compete for procurement of 
business goods and services; methods to evaluate and assess supplier 
diversity (which may include metrics and analytics); and practices that 
promote a diverse supplier pool.
    The Agencies received many comments on this set of standards. 
Several commenters argued that the scope of 342(b)(2)(C) is limited to 
diversity in employment practices and, therefore, the Agencies exceeded 
their statutory authority by proposing supplier diversity standards. 
Others argued that these standards would unlawfully compel the use of 
private funds to promote diversity. Another group of commenters 
supported these standards and noted that entities with a commitment to 
diversity and inclusion often have supplier diversity programs. These 
commenters stated that supplier diversity can contribute to an entity's 
efficiency and innovation, reflect its customer base, promote growth 
and development, and support job creation and economic development. 
Additional commenters urged the Agencies to include stronger or 
additional standards on this topic. For example, some encouraged the 
Agencies to set targets for the percentage of an entity's procurement 
dollars that should be spent with diverse vendors and to establish 
other quantifiable measures to ensure the full and fair inclusion of 
diverse suppliers.
    After careful consideration of these comments, the Agencies have 
elected not to make any substantive changes to the standards for 
policies and practices related to supplier diversity. The Agencies 
believe that consideration of an entity's supplier diversity policies 
and practices is within the scope of section 342(b)(2)(C) and is 
appropriate for a comprehensive self-assessment. The Agencies do not 
believe, however, that it is appropriate for them to dictate 
quantifiable targets for supplier diversity and have not included 
targets in the final Policy Statement.
4. Practices To Promote Transparency
    As explained in the Proposal, transparency of an entity's diversity 
and inclusion program promotes the objectives of section 342. 
Transparency and publicity are important because they give members of 
the public information to assess an entity's diversity policies and 
practices. Accordingly, the Proposal included standards setting out the 
leading practices in this area, which include the entity making 
information about its diversity and inclusion strategic plans, 
commitment, and progress available to the public.
    Several commenters supported the goal of transparency, arguing that 
it is critical to the fair and efficient manner in which our financial 
markets operate. They also believe that transparency provides valuable 
information to an entity's management, employees, prospective 
employees, customers, and investors, as well as to the general

[[Page 33020]]

public. In contrast, other commenters expressed concern that these 
standards would be interpreted to encourage or require the release of 
proprietary, privileged or confidential information and compromise an 
entity's competitive position. This concern, they argued, would create 
a disincentive for an entity to conduct a self-assessment. Another 
commenter argued that these standards are unnecessary because regulated 
entities can achieve diversity and inclusion without disclosing this 
information, while others noted that many entities already publish 
information about their diversity and inclusion efforts.
    The Agencies believe that the goals of section 342 can be best 
achieved when an entity is transparent with respect to its diversity 
and inclusion efforts and progress. They believe that the proposed 
standards accomplished this goal in the appropriate manner and have 
included them in the final Policy Statement with no material changes.
5. Entities' Self-Assessment
    The Proposal included a section entitled ``Proposed Approach to 
Assessment,'' in which the Agencies explained that in a ``model 
assessment,'' a regulated entity would use the standards to undertake a 
self-assessment, disclose the self-assessment and other relevant 
information to the appropriate Agency, and share with the public its 
efforts to comply with the standards. The Agencies received many 
comments on this section.
    a. Implementation Comments
    A number of commenters requested more information on the frequency 
of self-assessments. To address this, the final Policy Statement 
provides that an entity with successful diversity policies and 
practices conducts a self-assessment annually and monitors and 
evaluates its performance under its diversity policies and practices on 
an ongoing basis. An annual review and ongoing monitoring are 
consistent with both leading practices and other types of business 
assessments.
    Other commenters asked for clarification on where a regulated 
entity should submit its assessment data and recommended that the 
Agencies designate a ``lead'' agency for this purpose. In the final 
Policy Statement, the Agencies clarify that entities that choose to 
share their self-assessment information with their regulator may 
provide it to the OMWI Director of the entity's primary federal 
financial regulator.\6\ The primary federal financial regulator will 
share information with other Agencies when appropriate to support 
coordination of efforts and to avoid duplication.
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    \6\ In the case of institutions identified in 12 U.S.C. 1813(q), 
the primary federal financial regulator is the `appropriate federal 
banking agency' identified in that section. For credit unions, the 
primary federal financial regulator is the NCUA. For brokers, 
dealers, transfer agents, investment advisers, municipal advisors, 
investment companies, self-regulatory organizations (including 
national securities exchanges, registered securities associations, 
registered clearing agencies, and the Municipal Securities 
Rulemaking Board), nationally recognized statistical rating 
organizations, securities information processors, security-based 
swap dealers, major security-based swap participants, security-based 
swap execution facilities, and securities-based swap data 
repositories, the primary federal financial regulator is the SEC. 
For any other entity that meets the definition of `covered person' 
under 12 U.S.C. 5481(6), the primary federal financial regulator is 
the CFPB.
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    Finally, to assist entities in viewing the final Policy Statement 
as an integrated whole, the model assessment concepts introduced in 
this section of the Proposal are now a fifth set of standards entitled 
``Entities' Self-Assessment.''
    b. Self-Assessments
    The Agencies received many comments on the Proposal's description 
of a model assessment as a ``self-assessment.'' Some commenters viewed 
a self-assessment as a reasonable interpretation of statutory intent, 
while others asserted that it was the only permissible interpretation. 
Others expressed concern with the concept of an entity conducting its 
own assessment and questioned whether this approach either would 
undermine regulatory oversight or was inconsistent with the statute. 
Some commenters suggested that the Agencies were required by statute to 
conduct the assessments.
    In the final Policy Statement, the Agencies have retained the self-
assessment approach to assessments. While it is clear to the Agencies 
that the statute contemplates that assessments will take place, they 
interpret the statutory language as ambiguous with respect to who 
should conduct the assessments or the form that assessments should 
take. The Agencies also believe that the entities are in the best 
position to assess their own diversity policies and practices and that 
these self-assessments can provide entities with an opportunity to 
focus on areas of strength and weakness in their own policies and 
programs.
    c. Disclosure of Assessment Information to the Agencies
    The Agencies received many comments about the Proposal's 
``disclosure'' component of a model assessment. Some commenters argued 
that by encouraging disclosure, the Agencies would discourage candid 
self-assessments. Another group of commenters was concerned about 
protecting the confidentiality of disclosed information and recommended 
including a safe harbor in the final standards to protect the disclosed 
information from release.
    Other commenters interpreted the statute to mandate disclosure and 
rejected the idea of a voluntary disclosure. One of these commenters 
argued that ``voluntary disclosure'' conflicted with congressional 
intent, as evidenced by the section 342(b)(4) statement that nothing in 
the directive to develop standards may be construed to require any 
specific action based on the findings of the assessment. This commenter 
argued that the phrase ``findings of the assessment'' in the statutory 
language indicates that the Agencies will obtain assessment information 
from the regulated entities and, therefore, the disclosure cannot be 
voluntary.
    One commenter expressed concern that the permissiveness of 
voluntary disclosures would invite the regulated entities to disregard 
the Agencies and treat their oversight as optional and irrelevant. This 
commenter expressed concern that very few regulated entities would 
share their assessment information with the Agencies unless they were 
required to do so. Another commenter noted that financial institutions 
have been required to disclose information on lending practices, 
including lending by ethnic group, since 1975 pursuant to the Home 
Mortgage Disclosure Act and that this requirement has provided 
transparency without endangering the institutions.
    With respect to the final Policy Statement, the Agencies view a 
voluntary scheme as more consistent with the framework set out by the 
statute, and therefore, the final Policy Statement provides for 
voluntary disclosure. Nevertheless, the final Policy Statement reflects 
leading practices with respect to transparency by encouraging the 
entities to disclose assessment information to the Agencies. Entities 
submitting information may designate such information as confidential 
commercial information as appropriate, and the Agencies will follow the 
Freedom of Information Act in the event of requests for particular 
submissions.
    d. Entities' Disclosure of Assessment Information to the Public
    Finally, the Agencies received comments about the Proposal's 
provision encouraging entities to disclose to the public information 
about their efforts to comply with the standards. Some commenters 
supported

[[Page 33021]]

this public disclosure, asserting that it was necessary to increase 
public accountability. Others argued that an entity that elects to 
publish information about its diversity progress may not undertake an 
honest self-assessment of this progress. Other commenters stated that 
public disclosures which focus on metrics may have the unintended 
consequence of encouraging numerical targets, rather than diversity and 
inclusion. These commenters also stated that publicly disclosing 
certain information could expose an entity to potential liability or 
reveal trade secrets.
    In the final Policy Statement, the Agencies have retained the 
concept of an entity publicly displaying information regarding its 
efforts with respect to the standards. As noted above, disclosure 
reflects leading practices with respect to transparency. In addition, 
the final Policy Statement, consistent with the Proposal, also does not 
specify the types of information that regulated entities might consider 
making publicly available. The Agencies believe the regulated entities 
should have discretion to decide the type of information and the level 
of detail to share publicly.
6. Use of Assessment Information by Agencies
    In describing the model assessment, the Proposal stated that the 
Agencies would monitor the information submitted to them as a resource 
in carrying out their diversity and inclusion responsibilities. It also 
stated that the Agencies may periodically review entities' public 
information to monitor diversity and inclusion practices. The Agencies 
may contact entities and other interested parties to discuss diversity 
and inclusion practices and methods of assessment. The Agencies did not 
receive any specific or material comments on these statements.
    In the final Policy Statement, these concepts are retained. The 
final Policy Statement states that the Agencies may publish information 
disclosed to them provided they do not identify a particular entity or 
individual or disclose confidential business information in an effort 
to balance concerns about confidentiality of information with the 
importance of sharing information.
Paperwork Reduction Act of 1995
    The Paperwork Reduction Act of 1995 (PRA) \7\ generally provides 
that a federal agency may not conduct or sponsor a collection of 
information unless the Office of Management and Budget (OMB) has 
approved the collection and the agency has obtained a valid OMB control 
number. Furthermore, no person may be subject to a collection of 
information unless the collection displays a valid OMB control number. 
These provisions apply to any collection of information, regardless of 
whether the responses to the collection are voluntary or mandatory.
---------------------------------------------------------------------------

    \7\ 44 U.S.C. 3501 et seq.
---------------------------------------------------------------------------

    PRA requires an agency to provide the public and other agencies 
with an opportunity to comment on any proposed information collection. 
This helps to ensure that: the public understands the agency's 
collection and instructions; respondents provide the requested data in 
the desired format; reporting burden (time and financial resources) is 
minimized; interested parties understand the collection instruments; 
and the agency can properly assess the impact of its information 
collection on respondents.
    This Policy Statement Establishing Joint Standards for Assessing 
the Diversity Policies and Practices of Entities Regulated by the 
Agencies contains a collection of information within the meaning of the 
PRA. The Agencies intend to submit this new collection of information 
to OMB for review and approval in accordance with the PRA and its 
implementing regulations. For collections of information not contained 
in a proposed rule, the PRA requires federal agencies to publish a 
notice in the Federal Register concerning each proposed collection of 
information and to allow 60 days for public comment. To comply with 
this requirement, the Agencies are publishing this notice in 
conjunction with the issuance of this final Policy Statement.

A. Overview of the Collection of Information

1. Description of the Collection of Information and Proposed Use
    The title for the proposed collection of information is:
     Joint Standards for Assessing Diversity Policies and 
Practices
    The Joint Standards entitled ``Practices to Promote Transparency of 
Organizational Diversity and Inclusion'' contemplate that the regulated 
entity is transparent about its diversity and inclusion activities by 
making certain information available to the public annually on its Web 
site or in other appropriate communications, in a manner reflective of 
the entity's size and other characteristics. The information noted in 
this standard is: The entity's diversity and inclusion strategic plan; 
its policy on its commitment to diversity and inclusion; progress 
toward achieving diversity and inclusion in its workforce and 
procurement activities (which may include the entity's current 
workforce and supplier demographic profiles); and employment and 
procurement opportunities available at the entity that promote 
diversity.
    In addition, the Joint Standards entitled ``Self-Assessment'' 
envision that the regulated entity uses the Joint Standards to conduct 
a voluntary self-assessment of its diversity policies and practices at 
least annually, provides to its primary federal financial regulator 
information pertaining to the entity's self-assessment of diversity 
policies and practices, and publishes information pertaining to its 
efforts with respect to the standards. The information provided to the 
Agencies would be used to monitor progress and trends among regulated 
entities with regard to diversity and inclusion in employment and 
contracting activities, and to identify and publicize promising 
diversity policies and practices.
2. Description of Likely Respondents and Estimate of Annual Burden
    The collections of information contemplated by the Joint Standards 
would impose no new recordkeeping burdens as regulated entities would 
only publish or provide information pertaining to diversity policies 
and practices that they maintain during the normal course of business. 
The Agencies estimate that it would take a regulated entity 
approximately 12 burden hours on average to annually publish 
information pertaining to diversity policies and practices on the 
entity's Web site or in other appropriate communications, and retrieve 
and submit information pertaining to the entity's self-assessment of 
its diversity policies and practices to the primary federal financial 
regulator. The Agencies estimate the total burden for all regulated 
entities as follows:
    Information Collection: Joint Standards for Assessing Diversity 
Policies and Practices.
    Estimated Number of Respondents: \8\.
---------------------------------------------------------------------------

    \8\ The burden estimates are based on the average number of 
responses anticipated by each Agency.
---------------------------------------------------------------------------

    OCC: 215.
    Board: 488.
    FDIC: 398.
    NCUA: 367.
    CFPB: 750.
    SEC: 1,250.
    Frequency of Collection: Annual.
    Average Response Time per Respondent: 12 hours.
    Estimated Total Annual Burden Hours:

[[Page 33022]]

    OCC: 2,580 hours.
    Board: 5,856 hours.
    FDIC: 4,776 hours.
    NCUA: 4,404 hours.
    CFPB: 9,000 hours.
    SEC: 15,000 hours.
    Obligation to respond: Voluntary.

B. Solicitation of Public Comments

    The Agencies specifically invite comment on: (a) Whether the 
collections of information are necessary for the proper performance of 
the Agencies' functions, including whether the information will have 
practical utility; (b) The accuracy of the Agencies' estimate of the 
information collection burden, including the validity of the methods 
and the assumptions used; (c) Ways to enhance the quality, utility, and 
clarity of the information proposed to be collected; (d) Ways to 
minimize the information collection burden on respondents, including 
through the use of automated collection techniques or other forms of 
information technology; and (e) Estimates of capital or start-up costs 
and costs of operation, maintenance, and purchase of services to 
provide information.
    The Agencies will summarize the comments submitted in response to 
this notice and/or include them in the request for OMB approval. All 
comments will be a matter of public record.
    Commenters may submit their comments to the Agencies at:
    OCC: Because paper mail in the Washington, DC area and at the OCC 
is subject to delay, commenters are encouraged to submit comments by 
email, if possible. Comments may be sent to: Legislative and Regulatory 
Activities Division, Office of the Comptroller of the Currency, 
Attention: 1557-NEW, 400 7th Street SW., Suite 3E-218, Mail Stop 9W-11, 
Washington, DC 20219. In addition, comments may be sent by fax to (571) 
465-4326 or by electronic mail to [email protected]. You may 
personally inspect and photocopy comments at the OCC, 400 7th Street 
SW., Washington, DC 20219. For security reasons, the OCC requires that 
visitors make an appointment to inspect comments. You may do so by 
calling (202) 649-6700. Upon arrival, visitors will be required to 
present valid government-issued photo identification and to submit to 
security screening in order to inspect and photocopy comments.
    Board: You may submit comments, identified by OMWI Policy 
Statement, by any of the following methods:
     Agency Web site: http://www.federalreserve.gov. Follow the 
instructions for submitting comments at http://www.federalreserve.gov/apps/foia/proposedregs.aspx.
     Federal eRulemaking Portal: http://www.regulations.gov. 
Follow the instructions for submitting comments.
     Email: [email protected]. Include OMB 
number in the subject line of the message.
     FAX: (202) 452-3819 or (202) 452-3102.
     Mail: Robert deV. Frierson, Secretary, Board of Governors 
of the Federal Reserve System, 20th Street and Constitution Avenue NW., 
Washington, DC 20551.
    All public comments are available from the Board's Web site at 
http://www.federalreserve.gov/apps/foia/proposedregs.aspx as submitted, 
unless modified for technical reasons. Accordingly, your comments will 
not be edited to remove any identifying or contact information. Public 
comments may also be viewed electronically or in paper form in Room MP-
500 of the Board's Martin Building (20th and C Streets, NW.) between 
9:00 a.m. and 5:00 p.m. on weekdays.
    FDIC: You may submit comments on this information collection, which 
should refer to ``Policy Statement Establishing Joint Standards for 
Assessing the Diversity,'' by any of the following methods:
    Agency Web site: http://www.fdic.gov/regulations/laws/federal/. 
Follow the instructions for submitting comments on the FDIC Web site.
    Email: [email protected]. Include ``Policy Statement Establishing 
Joint Standards for Assessing the Diversity'' in the subject line of 
the message.
    Mail: Gary A. Kuiper, Counsel, MB-3074, or John Popeo, Counsel, MB-
3007, Federal Deposit Insurance Corporation, 550 17th Street NW., 
Washington, DC 20429.
    NCUA: Interested persons are invited to submit written comments on 
the information collection to Jessica Khouri, National Credit Union 
Administration, 1775 Duke Street, Alexandria, Virginia 22314-3428, Fax 
No. 703-837-2861, Email: [email protected].
    CFPB: You may submit comments, identified by the title of the 
information collection, OMB Control Number (see below), and docket 
number (see above), by any of the following methods:
     Electronic: http://www.regulations.gov. Follow the 
instructions for submitting comments.
     Mail: Consumer Financial Protection Bureau (Attention: PRA 
Office), 1700 G Street NW., Washington, DC 20552.
     Hand Delivery/Courier: Consumer Financial Protection 
Bureau (Attention: PRA Office), 1275 First Street NE., Washington, DC 
20002.
    SEC: Please direct your written comments to Pamela Dyson, Chief 
Information Officer, Securities and Exchange Commission, c/o Remi 
Pavlik-Simon, 100 F Street NE., Washington, DC 20549, or send an email 
to [email protected], and include ``SEC File 270-664 OMWI Policy 
Statement'' in the subject line of the message.

Interagency Policy Statement Establishing Joint Standards for Assessing 
the Diversity Policies and Practices of Entities Regulated by the 
Agencies

I. Introduction

    Section 342(b)(2)(C) of the Dodd-Frank Wall Street Reform and 
Consumer Protection Act of 2010 (Dodd-Frank Act) requires the Directors 
of the Offices of Minority and Women Inclusion (OMWI) to develop 
standards for assessing the diversity policies and practices of the 
entities regulated by the Office of the Comptroller of the Currency, 
Board of Governors of the Federal Reserve System, Federal Deposit 
Insurance Corporation, National Credit Union Administration, Bureau of 
Consumer Financial Protection, and Securities and Exchange Commission 
(Agencies). To promote consistency, the Agencies worked together to 
develop joint standards (Standards) for assessing diversity policies 
and practices. This Interagency Policy Statement (Policy Statement) 
announces those Standards.
    This document is a general statement of policy under the 
Administrative Procedure Act, 5 U.S.C. 553. It does not create new 
legal obligations. Use of the Standards by a regulated entity is 
voluntary. The Agencies will not use their examination or supervisory 
processes in connection with these Standards.
    For purposes of this Policy Statement, the Agencies define 
``diversity'' to refer to minorities, as defined in section 342(g)(3) 
of the Dodd-Frank Act (that is, Black Americans, Native Americans, 
Hispanic Americans, and Asian Americans), and women. This definition of 
diversity does not preclude an entity from using a broader definition 
with regard to these standards. In addition, as used in this Policy 
Statement, the Agencies define ``inclusion'' to mean a process to 
create and maintain a positive work environment that values individual 
similarities and differences, so that all can reach their potential and 
maximize their contributions to an organization. The Standards set 
forth below may be used to assess policies and practices that impact 
the inclusion

[[Page 33023]]

of minorities and women in the regulated entity's workforce and the 
existence of minority-owned and women-owned businesses among a 
regulated entity's suppliers of products and services.

II. Joint Standards

    The Agencies designed these Standards to provide a framework for an 
entity to create and strengthen its diversity policies and practices, 
including its organizational commitment to diversity, workforce and 
employment practices, procurement and business practices, and practices 
to promote transparency of organizational diversity and inclusion. The 
Agencies recognize that each entity is unique with respect to 
characteristics such as its size, location, and structure. When 
drafting these standards, the Agencies focused primarily on 
institutions with more than 100 employees. The Agencies know that 
institutions that are small or located in remote areas face different 
challenges and have different options available to them compared to 
entities that are larger or located in more urban areas. The Agencies 
encourage each entity to use these Standards in a manner appropriate to 
its unique characteristics. Finally, the Agencies intend that the 
Standards will address an entity's U.S. operations.

(1) Organizational Commitment to Diversity and Inclusion

    The leadership of an organization with successful diversity 
policies and practices demonstrates its commitment to diversity and 
inclusion. Leadership comes from the governing body, such as a board of 
directors, as well as senior officials and those managing the 
organization on a day-to-day basis. These Standards inform how an 
entity promotes diversity and inclusion in both employment and 
contracting and how it fosters a corporate culture that embraces 
diversity and inclusion.
Standards
    In a manner reflective of the individual entity's size and other 
characteristics,
     The entity includes diversity and inclusion considerations 
in both employment and contracting as an important part of its 
strategic plan for recruiting, hiring, retention, and promotion.
     The entity has a diversity and inclusion policy that is 
approved and supported by senior leadership, including senior 
management and the board of directors.
     The entity provides regular progress reports to the board 
and senior management.
     The entity regularly conducts training and provides 
educational opportunities on equal employment opportunity and on 
diversity and inclusion.
     The entity has a senior level official, preferably with 
knowledge of and experience in diversity and inclusion policies and 
practices, who oversees and directs the entity's diversity and 
inclusion efforts. For example, this official may be an executive-level 
Diversity Officer (or equivalent position) with dedicated resources to 
support diversity strategies and initiatives.
     The entity takes proactive steps to promote a diverse pool 
of candidates, including women and minorities, in its hiring, 
recruiting, retention, and promotion, as well as in its selection of 
board members, senior management, and other senior leadership 
positions.

(2) Workforce Profile and Employment Practices

    Many entities promote the fair inclusion of minorities and women in 
their workforce by publicizing employment opportunities, creating 
relationships with minority and women professional organizations and 
educational institutions, creating a culture that values the 
contribution of all employees, and encouraging a focus on these 
objectives when evaluating the performance of managers. Entities with 
successful diversity and inclusion programs also regularly evaluate 
their programs and identify areas to be improved.
    Entities use various analytical tools to evaluate a wide range of 
business objectives, including metrics to track and measure the 
inclusiveness of their workforce (e.g., race, ethnicity, and gender). 
Entities that are subject to the recordkeeping and reporting 
requirements of the Equal Employment Opportunity Commission (EEOC) and 
the Office of Federal Contract Compliance Programs currently collect 
and maintain data and supporting documentation that may assist in 
evaluating and assessing their policies and practices related to 
workforce diversity and inclusion. Specifically, entities that file 
EEO-1 Reports \9\ required under Title VII of the Civil Rights Act of 
1964 routinely track and analyze employment statistics by gender, race, 
ethnicity, and occupational group. Entities that develop and implement 
the affirmative action programs required under the regulations 
implementing Executive Order 11246 track and analyze employer-created 
job groups. Entities also are encouraged to use other analytical tools 
that they may find helpful.
---------------------------------------------------------------------------

    \9\ The Employer Information Report EEO-1 (EEO-1 Report) is 
required to be filed annually with the EEOC by (a) private employers 
with 100 or more employees and (b) federal contractors and first 
tier subcontractors with 50 or more employees that have a contract 
or subcontract of $50,000 or more or that serve as a depository of 
government funds in any amount.
---------------------------------------------------------------------------

Standards
    In a manner reflective of the individual entity's size and other 
characteristics,
     The entity implements policies and practices related to 
workforce diversity and inclusion in a manner that complies with all 
applicable laws.
     The entity ensures equal employment opportunities for all 
employees and applicants for employment and does not engage in unlawful 
employment discrimination based on gender, race, or ethnicity.
     The entity has policies and practices that create diverse 
applicant pools for both internal and external opportunities that may 
include:
    [cir] Outreach to minority and women organizations;
    [cir] Outreach to educational institutions serving significant 
minority and women student populations; and
    [cir] Participation in conferences, workshops, and other events to 
attract minorities and women and to inform them of employment and 
promotion opportunities.
     The entity utilizes both quantitative and qualitative 
measurements to assess its workforce diversity and inclusion efforts. 
These efforts may be reflected, for example, in applicant tracking, 
hiring, promotions, separations (voluntary and involuntary), career 
development, and retention across all levels and occupations of the 
entity, including the executive and managerial ranks.
     The entity holds management at all levels accountable for 
diversity and inclusion efforts, for example by ensuring that such 
efforts align with business strategies and individual performance 
plans.

(3) Procurement and Business Practices--Supplier Diversity

    Companies increasingly understand the competitive advantage of 
having a broad selection of available suppliers to choose from with 
respect to factors such as price, quality, attention to detail, and 
future relationship building. A number of entities have achieved 
success at

[[Page 33024]]

expanding available business options by increasing outreach to 
minority-owned and women-owned businesses.
    As in the employment context, entities often use metrics to 
identify the baseline of how much they spend procuring and contracting 
for goods and services, how much they spend with minority-owned and 
women-owned businesses, and the availability of relevant minority-owned 
and women-owned businesses, as well as changes over time. Similarly, 
entities may use outreach to inform minority-owned and women-owned 
businesses (and affinity groups representing these constituencies) of 
these opportunities and of the procurement process.
    In addition, entities' prime contractors often use subcontractors 
to fulfill the obligations of various contracts. The use of minority-
owned and women-owned businesses as subcontractors provides valuable 
opportunities for both the minority-owned and women-owned businesses 
and the prime contractor. Entities may encourage the use of minority-
owned and women-owned subcontractors by incorporating this objective in 
their business contracts.
Standards
    In a manner reflective of the individual entity's size and other 
characteristics,
     The entity has a supplier diversity policy that provides 
for a fair opportunity for minority-owned and women-owned businesses to 
compete for procurement of business goods and services. This includes 
contracts of all types, including contracts for the issuance or 
guarantee of any debt, equity, or security, the sale of assets, the 
management of the entity's assets, and the development of the entity's 
equity investments.
     The entity has methods to evaluate its supplier diversity, 
which may include metrics and analytics related to:
    [cir] Annual procurement spending;
    [cir] Percentage of contract dollars awarded to minority-owned and 
women-owned business contractors by race, ethnicity, and gender; and
    [cir] Percentage of contracts with minority-owned and women-owned 
business sub-contractors.
     The entity has practices to promote a diverse supplier 
pool, which may include:
    [cir] Outreach to minority-owned and women-owned contractors and 
representative organizations;
    [cir] Participation in conferences, workshops, and other events to 
attract minority-owned and women-owned firms and inform them of 
contracting opportunities; and
    [cir] An ongoing process to publicize its procurement 
opportunities.

(4) Practices To Promote Transparency of Organizational Diversity and 
Inclusion

    Transparency and publicity are important aspects of assessing 
diversity policies and practices. Greater awareness and transparency 
give the public information to assess those policies and practices. 
Entities publicize information about their diversity and inclusion 
efforts through normal business methods, which include displaying 
information on their Web sites, in their promotional materials, and in 
their annual reports to shareholders, if applicable. By making public 
an entity's commitment to diversity and inclusion, its plans for 
achieving diversity and inclusion, and the metrics it uses to measure 
success in both workplace and supplier diversity, an entity informs a 
broad constituency of investors, employees, potential employees, 
suppliers, customers, and the general community about its efforts. The 
publication of this information can make new markets accessible for 
minorities and women and illustrate the progress made toward an 
important business goal.
Standards
    In a manner reflective of the individual entity's size and other 
characteristics, the entity is transparent with respect to its 
diversity and inclusion activities by making the following information 
available to the public annually through its Web site or other 
appropriate communication methods:
     The entity's diversity and inclusion strategic plan;
     The entity's policy on its commitment to diversity and 
inclusion;
     The entity's progress toward achieving diversity and 
inclusion in its workforce and procurement activities (which may 
include the entity's current workforce and supplier demographic 
profiles); and
     Opportunities available at the entity that promote 
diversity, which may include:
    [cir] Current employment and procurement opportunities;
    [cir] Forecasts of potential employment and procurement 
opportunities; and
    [cir] The availability and use of mentorship and developmental 
programs for employees and contractors.

(5) Entities' Self-Assessment

    The Agencies interpret the term ``assessment'' to mean self-
assessment. Entities that have successful diversity policies and 
practices allocate time and resources to monitoring and evaluating 
performance under their diversity policies and practices on an ongoing 
basis. Entities are encouraged to disclose their diversity policies and 
practices, as well as information related to their assessments, to the 
Agencies and the public. Entities submitting information may designate 
such information as confidential commercial information as appropriate, 
and the Agencies will follow the Freedom of Information Act in the 
event of requests for particular submissions.
Standards
    In a manner reflective of the individual entity's size and other 
characteristics,
     The entity uses the Standards to conduct self-assessments 
of its diversity policies and practices annually.
     The entity monitors and evaluates its performance under 
its diversity policies and practices on an ongoing basis.
     The entity provides information pertaining to the self-
assessments of its diversity policies and practices to the OMWI 
Director of its primary federal financial regulator.
     The entity publishes information pertaining to its efforts 
with respect to the Standards.

III. Use of Assessment Information by Agencies

    The Agencies may use information submitted to them to monitor 
progress and trends in the financial services industry with regard to 
diversity and inclusion in employment and contracting activities and to 
identify and highlight those policies and practices that have been 
successful. The primary federal financial regulator will share 
information with other agencies when appropriate to support 
coordination of efforts and to avoid duplication. The OMWI Directors 
will also continue to reach out to regulated entities and other 
interested parties to discuss diversity and inclusion practices and 
methods of assessment. The Agencies may publish information disclosed 
to them, such as best practices, in any form that does not identify a 
particular entity or individual or disclose confidential business 
information.


[[Page 33025]]


    Dated: May 22, 2015.
Thomas J. Curry,
Comptroller of the Currency.
    By order of the Board of Governors of the Federal Reserve 
System, June 3, 2015.
Margaret McCloskey Shanks,
Deputy Secretary of the Board.
    Dated at Washington, DC, this 21st of May, 2015.
Federal Deposit Insurance Corporation.
Robert E. Feldman,
Executive Secretary.
    By the National Credit Union Administration Board on May 26, 
2015.
John H. Brolin,
Senior Staff Attorney.
    Dated: May 18, 2015.
Richard Cordray,
Director, Bureau of Consumer Financial Protection.
    By the Securities and Exchange Commission.

    Date: May 27, 2015.
Brent J. Fields,
Secretary.
[FR Doc. 2015-14126 Filed 6-9-15; 8:45 am]
BILLING CODE 4810-33-P; 6210-01-P; 6741-01-P; 7590-01-P; 4810-AM-P; 
8010-01-P



                                                    33016                        Federal Register / Vol. 80, No. 111 / Wednesday, June 10, 2015 / Notices

                                                      Issued in Washington, DC on June 3, 2015.             FOR FURTHER INFORMATION CONTACT:                       The Act also instructed each OMWI
                                                    William Chadwick, Jr.,                                     OCC: Joyce Cofield, Executive                       Director to develop standards for
                                                    Director, Office of Airline Information,                Director, Office of Minority and Women                 assessing the diversity policies and
                                                    Bureau of Transportation Statistics.                    Inclusion, at (202) 649–6460 or Karen                  practices of entities regulated by the
                                                    [FR Doc. 2015–14182 Filed 6–9–15; 8:45 am]              McSweeney, Counsel, Law Department,                    Agency. To facilitate the use of these
                                                    BILLING CODE 4910–9X–P                                  at (202) 649–6295, TDD/TTY (202) 649–                  standards by regulated entities that are
                                                                                                            5597, Office of the Comptroller of the                 subject to the regulations of more than
                                                                                                            Currency, 400 7th Street SW.,                          one Agency, the Agencies worked
                                                    DEPARTMENT OF THE TREASURY                              Washington, DC 20219.                                  together to develop joint standards and
                                                                                                               BOARD: Sheila Clark, Director, Office               issue this Final Interagency Policy
                                                    Office of the Comptroller of the                        of Diversity and Inclusion, at (202) 452–              Statement (Policy Statement).
                                                    Currency                                                2883, Katherine Wheatley, Associate                       Prior to drafting these standards, the
                                                                                                            General Counsel, Legal Division, at                    OMWI Directors held a series of
                                                    [Docket ID OCC–2013–0014]                               (202) 452–3779, or Alye Foster, Senior                 roundtable discussions and
                                                    BOARD OF GOVERNORS OF THE                               Special Counsel, Legal Division, at (202)              teleconferences with representatives of a
                                                    FEDERAL RESERVE SYSTEM                                  452–5289.                                              variety of regulated entities, including
                                                                                                               FDIC: Segundo Pereira, Director,                    depository institutions, holding
                                                    [Docket No. OP–1465]                                    Office of Minority and Women                           companies, and industry trade groups,
                                                                                                            Inclusion, (703) 562–6090; Melodee                     to solicit their views on appropriate
                                                    FEDERAL DEPOSIT INSURANCE                               Brooks, Senior Deputy Director, Office                 standards and to learn about the
                                                    CORPORATION                                             of Minority and Women Inclusion, (703)                 successes and challenges of existing
                                                                                                            562–6090; or Robert Lee, Counsel, Legal                diversity policies and programs. In
                                                    NATIONAL CREDIT UNION                                   Division, (703) 562–2020, Federal                      addition, the OMWI Directors met with
                                                    ADMINISTRATION                                          Deposit Insurance Corporation, 550 17th                financial professionals, consumer
                                                                                                            Street NW., Washington, DC 20429–                      advocates, and community
                                                    BUREAU OF CONSUMER FINANCIAL                            0002.                                                  representatives to gain a greater
                                                    PROTECTION                                                 NCUA: Wendy A. Angus, Acting                        understanding of the issues confronting
                                                                                                            Director, Office of Minority and Women                 minorities and women in obtaining
                                                    SECURITIES AND EXCHANGE                                 Inclusion at (703) 518–1650, Cynthia                   employment and business opportunities
                                                    COMMISSION                                              Vaughn, Diversity Outreach Program                     within the financial services industry.
                                                    [Release No. 34–75050; File No. S7–10–15]               Analyst, Office of Minority and Women                  The information and feedback provided
                                                                                                            Inclusion, at (703) 518–1650, or Regina                during these outreach sessions guided
                                                    Final Interagency Policy Statement                      Metz, Staff Attorney, Office of General                the development of these standards.
                                                    Establishing Joint Standards for                        Counsel, at (703) 518–6540, National
                                                    Assessing the Diversity Policies and                    Credit Union Administration, 1775                      II. Proposed Policy Statement
                                                    Practices of Entities Regulated by the                  Duke Street, Alexandria, VA 22314.                        On October 25, 2013, the Agencies
                                                    Agencies                                                   CFPB: Stuart Ishimaru, Director,                    published a Notice in the Federal
                                                                                                            Office of Minority and Women                           Register requesting comment on a
                                                    AGENCIES:  Office of the Comptroller of                 Inclusion, at (202) 435–9012, or Stephen
                                                    the Currency (OCC); Board of Governors                                                                         ‘‘Proposed Interagency Policy Statement
                                                                                                            VanMeter, Deputy General Counsel,                      Establishing Joint Standards for
                                                    of the Federal Reserve System (Board);                  Legal Division at (202) 435–7319,
                                                    Federal Deposit Insurance Corporation                                                                          Assessing the Diversity Policies and
                                                                                                            Bureau of Consumer Financial                           Practices of Entities Regulated by the
                                                    (FDIC); National Credit Union                           Protection, 1700 G Street NW.,
                                                    Administration (NCUA); Bureau of                                                                               Agencies’’ (Proposal).2 The comment
                                                                                                            Washington, DC 20552.                                  period on the Proposal was scheduled to
                                                    Consumer Financial Protection (CFPB);                      SEC: Pamela A. Gibbs, Director, Office
                                                    and Securities and Exchange                                                                                    close on December 24, 2013, but in
                                                                                                            of Minority and Women Inclusion, (202)                 response to requests from members of
                                                    Commission (SEC).                                       551–6046, or Audrey B. Little, Senior                  the public, the Agencies extended it to
                                                    ACTION: Notice of final interagency                     Counsel, Office of Minority and Women                  February 7, 2014.3
                                                    policy statement; request for comments                  Inclusion, (202) 551–6086, Securities                     The Proposal set out standards for
                                                    on proposed collection of information.                  and Exchange Commission, 100 F Street                  assessing an entity’s diversity policies
                                                    SUMMARY:   The OCC, Board, FDIC,                        NE., Washington, DC 20549.                             and practices in the following areas:
                                                    NCUA, CFPB, and SEC are issuing a                       SUPPLEMENTARY INFORMATION:                             Organizational Commitment to Diversity
                                                    final interagency policy statement                                                                             and Inclusion; Workforce Profile and
                                                                                                            I. Background
                                                    establishing joint standards for assessing                                                                     Employment Practices; Procurement
                                                    the diversity policies and practices of                    Section 342 of the Dodd-Frank Wall                  and Business Practices—Supplier
                                                    the entities they regulate, as required by              Street Reform and Consumer Protection                  Diversity; and Practices to Promote
                                                    the Dodd-Frank Wall Street Reform and                   Act of 2010 (Dodd-Frank Act or Act)                    Transparency of Organizational
                                                    Consumer Protection Act of 2010.                        required the OCC, Board, FDIC, NCUA,                   Diversity and Inclusion. These proposed
                                                                                                            CFPB, and SEC (each, an Agency and                     standards reflected the leading policies
                                                    DATES: The final interagency policy
                                                                                                            collectively, the Agencies) to each                    and practices for advancing workforce
                                                    statement is effective on June 10, 2015.
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                                                                                                            establish an Office of Minority and                    and supplier diversity.
                                                    The agencies are soliciting comments
                                                                                                            Women Inclusion (OMWI) to be                              The Proposal also explained the
                                                    only on the collection of information.
                                                                                                            responsible for all matters of the Agency              Agencies’ approach to assessments,
                                                    Comments must be submitted on or
                                                                                                            relating to diversity in management,
                                                    before August 10, 2015. The effective
                                                                                                            employment, and business activities.1                  Banks also have established an OMWI, but only the
                                                    date of the collection of information will                                                                     federal financial agencies with regulated entities
                                                    be announced in the Federal Register                      1 Section 342 of the Act is codified at 12 U.S.C.    have joined in issuing this Policy Statement.
                                                    following Office of Management and                      5452. The Department of Treasury, the Federal            2 78 FR 64052.

                                                    Budget (OMB) approval.                                  Housing Finance Agency, and the Federal Reserve          3 78 FR 77792.




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                                                                                 Federal Register / Vol. 80, No. 111 / Wednesday, June 10, 2015 / Notices                                                     33017

                                                    noting that the assessment envisioned                   final Policy Statement. The discussion                 Agencies believe that this will clarify
                                                    by the Agencies would not be a part of                  below addresses significant issues that                the confusion noted above.
                                                    the examination or supervisory process.                 commenters raised and explains the
                                                                                                                                                                   2. Meaning of ‘‘Diversity’’
                                                    Instead, the Proposal provided that a                   changes to the Policy Statement.
                                                    ‘‘model assessment’’ would include a                                                                              Several commenters raised questions
                                                                                                            A. General Comments
                                                    self-assessment by an entity of its                                                                            about the meaning of ‘‘diversity,’’ which
                                                    diversity policies and practices using                  1. Legal Effect                                        the Proposal did not define. A few
                                                    the proposed standards; voluntary                          The Agencies received several                       commenters requested the Agencies
                                                    disclosure of the self-assessment to the                comments that interpreted the Proposal                 define the term to avoid differing
                                                    appropriate Agency; and publication by                  to impose new legal requirements on                    interpretations, with one commenter
                                                    the entity of its diversity efforts, in order           regulated entities or to mandate specific              stating that the standards would not be
                                                    to increase the public’s awareness and                                                                         useful in the absence of a definition.
                                                                                                            actions. Some commenters argued that
                                                    understanding. The Proposal also stated                                                                        Several commenters suggested
                                                                                                            these requirements and mandates
                                                    that the Agencies may periodically                                                                             definitions, ranging from a definition
                                                                                                            exceeded the Agencies’ statutory
                                                    review this public information to                                                                              limited to minorities and women to an
                                                                                                            authority and were unlawful. For
                                                    monitor diversity and inclusion                                                                                expanded definition that would include
                                                                                                            example, several commenters
                                                    practices and reach out to regulated                                                                           individuals with disabilities, veterans,
                                                                                                            interpreted references to ‘‘metrics’’ in
                                                    entities to discuss diversity and                                                                              and lesbian/gay/bisexual/transgender
                                                                                                            the Proposal to require or strongly
                                                    inclusion.                                                                                                     (LGBT) individuals. Another commenter
                                                       In drafting the proposed standards,                  encourage quotas in hiring and
                                                                                                            contracting. Others expressed concern                  recommended also defining
                                                    the Agencies recognized that each entity                                                                       ‘‘inclusion,’’ to make clear that the goal
                                                    has unique characteristics, such as its                 that the new requirements would
                                                                                                            impose a significant compliance burden,                of diversity is not met by simply hiring
                                                    governance structure, workforce size,                                                                          a diverse group.
                                                    total assets, contract volume, geographic               particularly on small entities. For
                                                                                                            example, some commenters interpreted                      The Agencies agree that the term
                                                    location, and community
                                                    characteristics. To reflect this,                       the standards to require entities to                   ‘‘diversity’’ should be defined. They
                                                    throughout the Proposal, the Agencies                   develop methods for assessing supplier                 also believe it should both reflect the
                                                    stated that the standards may be tailored               diversity, and they argued that this was               general focus in section 342 on
                                                    and used in a manner reflective of an                   unduly burdensome for small entities.                  minorities and women and provide
                                                    individual entity’s size and other                         Other commenters stated that the                    flexibility to regulated entities that
                                                    characteristics. In developing the                      Proposal used ‘‘prescriptive’’ language,               define the term more broadly.
                                                    Proposal, the Agencies were also                        from which they inferred that some                     Accordingly, the final Policy Statement
                                                    mindful of section 342(b)(4) of the Act,                level of compliance with the standards                 provides that ‘‘diversity’’ refers to
                                                    which states that the directive to                      would be expected from regulated                       ‘‘minorities . . . and women.’’ For
                                                    develop standards may not be construed                  entities. These commenters urged the                   purposes of this definition, ‘‘minority’’
                                                    to mandate any requirement on or                        Agencies to draft the final standards as               is defined as Black Americans, Native
                                                    otherwise affect the lending policies and               ‘‘recommendations’’ and clarify that the               Americans, Hispanic Americans, and
                                                    practices of any regulated entity, or to                final Policy Statement is a guidance                   Asian Americans, which is consistent
                                                    require any specific action based on the                document. Another commenter                            with the definition of ‘‘minority’’ in
                                                    findings of the assessment.                             requested that the Agencies frame the                  section 342(g)(3) of the Act.
                                                                                                            final Policy Statement as a ‘‘best                        The final Policy Statement also states
                                                    III. Comment Summary and the                            practices’’ guide with which regulated                 that this definition of diversity ‘‘does
                                                    Agencies’ Response                                      entities were not required to comply.                  not preclude an entity from using a
                                                       The Agencies collectively received                      In contrast, some commenters stated                 broader definition with regard to these
                                                    more than 200 comments on the                           that the inclusion of new requirements                 standards.’’ This language is intended to
                                                    Proposal, although some commenters                      or mandates in the standards was                       be sufficiently flexible to encompass
                                                    submitted either multiple comments or                   consistent with the plain language of                  other groups if an entity wants to define
                                                    identical or substantially similar                      section 342(b)(2)(C). For example, some                the term more broadly. For example, a
                                                    comments to multiple Agencies. The                      commenters argued that the Agencies                    broader definition may include the
                                                    comments reflected the views of                         should require the regulated entities to               categories referenced by the Equal
                                                    interested parties, including financial                 provide them with information about                    Employment Opportunity Commission
                                                    institutions, public interest                           their diversity policies and practices,                (EEOC) in its Employer Information
                                                    organizations, trade associations and                   including assessment information.                      Report EEO–1 (EEO–1 Report),4 as well
                                                    organizations, government officials, and                Others stated that the congressional
                                                    other members of the public. In general,                intent of section 342 was to promote                     4 Private employers with 100 or more employees

                                                    the commenters supported the concept                    diversity and inclusion to the maximum                 and federal contractors and first-tier subcontractors
                                                    of diversity and inclusion, particularly                extent possible and noted that the                     with 50 or more employees that have a contract or
                                                                                                                                                                   subcontract of $50,000 or more, or serve as
                                                    in the workforce. A number of                           Proposal sets only minimum standards.                  depository of Government funds in any amount, are
                                                    commenters applauded the Agencies for                      In light of these comments, it is clear             required by Title VII of the Civil Rights Act of 1964
                                                    jointly developing standards, while                     that Agencies need to provide                          to collect data on employment diversity and file an
                                                    others commended the Proposal’s                         additional guidance about the intended                 EEO–1 Report with the EEOC.
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                                                    flexible approach. Other commenters,                    legal effect of the final Policy Statement.              The EEO–1 Report defines race and ethnicity
                                                                                                                                                                   categories as Hispanic or Latino; White (Not
                                                    however, expressed concern about the                    To this end, the Agencies have added                   Hispanic or Latino); Black or African American (Not
                                                    Proposal. Some urged the Agencies to                    the following language: ‘‘This document                Hispanic or Latino); Native Hawaiian or Other
                                                    withdraw the proposed standards, while                  is a general statement of policy under                 Pacific Islander (Not Hispanic or Latino); Asian
                                                    others suggested specific changes to                    the Administrative Procedure Act, 5                    (Not Hispanic or Latino); American Indian or
                                                                                                                                                                   Alaska Native (Not Hispanic or Latino); and Two or
                                                    address certain issues.                                 U.S.C. 553. It does not create new legal               More Races (Not Hispanic or Latino). http://
                                                       The Agencies carefully considered all                obligations. Use of the Standards by a                 www.eeoc.gov/employers/eeo1survey/
                                                    of these comments in formulating the                    regulated entity is voluntary.’’ The                   2007instructions.cfm.



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                                                    33018                        Federal Register / Vol. 80, No. 111 / Wednesday, June 10, 2015 / Notices

                                                    as individuals with disabilities,                       apply to a regulated entity’s foreign                  help others understand and embrace
                                                    veterans, and LGBT individuals.                         operations. These commenters observed                  diversity efforts.
                                                      The Agencies also agree that the                      that many regulated entities operate                     The Agencies are encouraged that the
                                                    concept of inclusion is important to                    internationally and that the concept of                commenters generally acknowledge how
                                                    include in these standards because                      diversity varies from country to country.              essential organizational commitment is
                                                    current leading practices advocate an                   They advocated that regulated entities                 to advancing diversity and inclusion.
                                                    inclusive culture as essential in the                   be allowed the flexibility to include or               The Agencies also agree that the senior
                                                    support of diversity and inclusion                      exclude foreign operations when                        official responsible for an entity’s
                                                    programs. Therefore, the final Policy                   conducting an assessment. In response,                 diversity and inclusion efforts
                                                    Statement defines ‘‘inclusion’’ to mean                 the final Policy Statement clarifies that              preferably should have relevant
                                                    a process to create and maintain a                      the final standards address an entity’s                knowledge and experience, and they
                                                    positive work environment that values                   U.S. operations. This does not, however,               have revised this standard to reflect this
                                                    individual similarities and differences,                preclude a multinational entity from                   change. Otherwise, the final standards
                                                    so that all can reach their potential and               also using these standards to undertake                on Organizational Commitment to
                                                    maximize their contributions to an                      a broader assessment of its organization.              Diversity and Inclusion are consistent
                                                    organization.’’                                                                                                with the Proposal.
                                                                                                            B. Comments on the Joint Standards
                                                    3. Applicability to Small Entities                                                                             2. Workforce Profile and Employment
                                                                                                            1. Organizational Commitment to                        Practices
                                                       Although the Proposal encouraged the                 Diversity and Inclusion
                                                    use of the standards ‘‘in a manner                                                                                The Proposal provided examples of
                                                    reflective of the individual entity’s size                The first set of standards in the                    how an entity could promote the fair
                                                    and other characteristics,’’ the Agencies               Proposal addressed the role and                        inclusion of minorities and women in
                                                    received questions and comments about                   importance of an entity’s senior                       its workforce and noted that many
                                                    how the standards apply or are relevant                 leadership in promoting diversity and                  entities evaluate their business
                                                    to small entities. Some commenters                      inclusion across an organization. These                objectives using analytical tools to track
                                                    stated that the Proposal offered a ‘‘one-               standards described the policies and                   and measure workforce inclusiveness. It
                                                    size fits all approach’’ and should be                  practices that demonstrate the                         set out standards to assess an entity’s
                                                    replaced with standards that reflect the                commitment of an entity’s senior                       workforce profile and employment
                                                    unique structure of small entities.                     leadership to diversity and inclusion in               practices, which included using the data
                                                    Another commenter noted that many                       both employment and contracting, as                    prepared in connection with EEO–1
                                                    small regulated entities do not have                    well as to fostering a corporate culture               Reports and Affirmative Action Plans
                                                    boards of directors, Web sites, or other                that embraces diversity and inclusion.                 (AAPs),5 as well as other metrics. The
                                                    attributes referenced in the Proposal.                                                                         standards also addressed whether an
                                                                                                              Commenters were generally
                                                    According to this commenter, even with                                                                         entity holds its management
                                                                                                            supportive of including standards to
                                                    the Proposal’s caveat that the standards                                                                       accountable for these efforts and creates
                                                                                                            assess an organization’s commitment,
                                                    may be tailored for small entities, these                                                                      diverse applicant pools for workforce
                                                                                                            with several referencing the importance
                                                    organizations would be at a                                                                                    opportunities when hiring from both
                                                                                                            of diversity and inclusion in their own
                                                    disadvantage when measuring their                                                                              within and outside of an organization.
                                                                                                            organizations. Some commenters noted
                                                    policies and practices in light of the                                                                            Several commenters expressed
                                                                                                            that an organization’s commitment to
                                                    proposed standards. Others suggested                                                                           concern about using the EEO–1 Report
                                                                                                            diversity and inclusion can provide a
                                                    that the Policy Statement expressly                                                                            data for this purpose, pointing out that
                                                                                                            competitive advantage. Another stated
                                                    carve out entities below a certain size,                                                                       it provides a purely numerical view of
                                                                                                            that, while an institution’s commitment
                                                    such as those with fewer than 100                                                                              workforce diversity and gives little
                                                                                                            to diversity is important, each regulated
                                                    employees or those that do not file                                                                            insight into the impact of diversity
                                                                                                            entity should be allowed to demonstrate
                                                    EEO–1 Reports.                                                                                                 efforts. One commenter suggested that
                                                                                                            this commitment in its own way and
                                                       These comments demonstrate that the                                                                         EEO–1 Report data should constitute, at
                                                                                                            cautioned against assuming that
                                                    Agencies need to clarify how the                                                                               most, a small element of a more holistic
                                                                                                            extensive and formalized policies
                                                    standards are relevant to and may be                                                                           view of an entity’s diversity practices.
                                                                                                            demonstrate an organization’s
                                                    used by small entities. Therefore, the                                                                         This commenter recommended that the
                                                                                                            commitment to diversity. This
                                                    final Policy Statement states, ‘‘The                                                                           Agencies revise the standards to focus
                                                                                                            commenter noted, as an example, that it
                                                    Agencies recognize that each entity is                                                                         on an entity’s diversity efforts and to
                                                                                                            would be more appropriate for
                                                    unique with respect to characteristics                                                                         take into account: industry-specific
                                                                                                            community banks to apply their efforts
                                                    such as its size, location, and structure.                                                                     considerations; the relevant labor
                                                                                                            to community outreach rather than to
                                                    When drafting these standards, the                                                                             market; and ongoing efforts to facilitate,
                                                                                                            creating documentation to show
                                                    Agencies focused primarily on                                                                                  promote and increase diversity. Other
                                                                                                            compliance.
                                                    institutions with more than 100                                                                                commenters observed that EEO–1
                                                    employees. The Agencies know that                         Several commenters recommended
                                                                                                                                                                   Report data does not address concepts
                                                    institutions that are small or located in               changes to these standards. One
                                                                                                                                                                   of diversity that are broader than
                                                    remote areas face different challenges                  commenter suggested adding language
                                                                                                                                                                   gender, race, and ethnicity or the extent
                                                    and have different options available to                 stating that diversity and inclusion are
                                                                                                                                                                   of diversity within an entity’s
                                                                                                            best served when an entity assigns
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                                                    them compared to entities that are larger                                                                      management and senior management
                                                    or located in more urban areas. The                     senior leadership to these initiatives and
                                                                                                                                                                   ranks.
                                                    Agencies encourage each entity to use                   provides this leadership with the
                                                                                                                                                                      Still other commenters were
                                                    these standards in a manner appropriate                 appropriate resources. Another
                                                                                                                                                                   concerned that references in the
                                                    to its unique characteristics.’’                        commenter suggested that the standards
                                                                                                                                                                   Proposal to ‘‘metrics,’’ as a tool for
                                                                                                            specify the appropriate credentials for
                                                    4. Extraterritorial Application                         the personnel responsible for an entity’s                5 AAPs are required of certain government
                                                       A few commenters requested that the                  diversity efforts, such as experience, a               contractors and monitored by the Office of Federal
                                                    Agencies clarify whether the standards                  proven track record, and the ability to                Contract Compliance Programs.



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                                                                                 Federal Register / Vol. 80, No. 111 / Wednesday, June 10, 2015 / Notices                                            33019

                                                    evaluating and assessing workforce                      information also can provide useful                    scope of 342(b)(2)(C) is limited to
                                                    diversity and inclusion efforts, could be               material for this purpose. In order to                 diversity in employment practices and,
                                                    interpreted to encourage or require the                 clarify that both types of resources are               therefore, the Agencies exceeded their
                                                    unlawful use of quotas, classifications,                important, the Agencies have revised                   statutory authority by proposing
                                                    or preferences. These commenters                        the final standards to reflect the                     supplier diversity standards. Others
                                                    recommended that the Agencies revise                    importance of both quantitative and                    argued that these standards would
                                                    the standards to clarify that the purpose               qualitative measurements.                              unlawfully compel the use of private
                                                    of metrics is not to force certain                         With respect to the concern expressed               funds to promote diversity. Another
                                                    outcomes and that the standards are not                 by some commenters that the proposed                   group of commenters supported these
                                                    intended to encourage or require an                     standards could be interpreted to                      standards and noted that entities with a
                                                    entity to undertake an assessment based                 encourage or require the unlawful use of               commitment to diversity and inclusion
                                                    on numerical goals, metrics, or                         quotas, classifications, or preferences for            often have supplier diversity programs.
                                                    percentages.                                            personnel actions, the Agencies note                   These commenters stated that supplier
                                                       Commenters also addressed the                        that they did not intend to require or                 diversity can contribute to an entity’s
                                                    specific standard that would hold an                    encourage unlawful usage. That said,                   efficiency and innovation, reflect its
                                                    entity’s management accountable for                     the collection and use of data on race,                customer base, promote growth and
                                                    diversity and inclusion efforts. One                    gender, and ethnicity for self-evaluation              development, and support job creation
                                                    commenter stated that it is not clear                   is not unlawful. To address this                       and economic development. Additional
                                                    who this standard is intended to cover                  confusion, however, the Agencies added                 commenters urged the Agencies to
                                                    and what constitutes accountability.                    to the Policy Statement a new standard                 include stronger or additional standards
                                                    Another commenter argued that this                      providing that the ‘‘entity implements                 on this topic. For example, some
                                                    standard is overbroad and implies that                  policies and practices related to                      encouraged the Agencies to set targets
                                                    regulated entities are required to                      workforce diversity and inclusion in a                 for the percentage of an entity’s
                                                    include diversity and inclusion                         manner that complies with all                          procurement dollars that should be
                                                    measurements in the performance                         applicable laws.’’ The final Policy                    spent with diverse vendors and to
                                                    evaluations of all management                           Statement also includes another new                    establish other quantifiable measures to
                                                    personnel. This commenter also                          standard, which provides that the                      ensure the full and fair inclusion of
                                                    expressed concern that this requirement                 ‘‘entity ensures equal employment                      diverse suppliers.
                                                    could lead to unlawful employment                       opportunities for all employees and                       After careful consideration of these
                                                    decisions focused on achieving quotas                   applicants for employment and does not                 comments, the Agencies have elected
                                                    and suggested that only the senior-level                engage in unlawful employment                          not to make any substantive changes to
                                                    official(s) responsible for overseeing and              discrimination based on gender, race, or               the standards for policies and practices
                                                    directing diversity efforts, not all                    ethnicity.’’ The Agencies believe that                 related to supplier diversity. The
                                                    management personnel, should be held                    together, these new standards will                     Agencies believe that consideration of
                                                    accountable. Another group of                           address confusion about whether the                    an entity’s supplier diversity policies
                                                    commenters observed, however, that                      standards encourage or require the                     and practices is within the scope of
                                                    accountability may be achieved most                     unlawful use of quotas, classifications,               section 342(b)(2)(C) and is appropriate
                                                    effectively by linking an entity’s                      or preferences.                                        for a comprehensive self-assessment.
                                                    diversity and inclusion efforts to its                     Finally, the Agencies retained the                  The Agencies do not believe, however,
                                                    leaders’ performance assessments and                    proposed standard that referenced                      that it is appropriate for them to dictate
                                                    compensation.                                           management accountability but have                     quantifiable targets for supplier
                                                       In the final Policy Statement, the                   clarified that this standard applies to all            diversity and have not included targets
                                                    Agencies have retained the reference to                 levels of management. The Agencies                     in the final Policy Statement.
                                                    EEO–1 Report and AAP data. The                          believe that management accountability
                                                    Agencies recognize that the information                                                                        4. Practices To Promote Transparency
                                                                                                            at all levels is an important factor to
                                                    generated from these sources is limited,                consider when evaluating workforce                        As explained in the Proposal,
                                                    particularly for entities with large                    diversity and employment practices. In                 transparency of an entity’s diversity and
                                                    workforces and those that broadly                       addition, the final standards provide an               inclusion program promotes the
                                                    define diversity. However, this                         example of one manner of addressing                    objectives of section 342. Transparency
                                                    information may provide a baseline that                 management accountability for diversity                and publicity are important because
                                                    a company may find useful. To address                   and inclusion efforts.                                 they give members of the public
                                                    commenters who expressed concern                                                                               information to assess an entity’s
                                                    that the data coming from these                         3. Procurement and Business                            diversity policies and practices.
                                                    particular sources is limited or narrow,                Practices—Supplier Diversity                           Accordingly, the Proposal included
                                                    the Agencies have added a statement to                     The third set of standards included in              standards setting out the leading
                                                    encourage entities to use other                         the Proposal addressed the leading                     practices in this area, which include the
                                                    analytical tools that they may find                     practices related to supplier diversity.               entity making information about its
                                                    helpful. Finally, due to a change in how                These included a supplier diversity                    diversity and inclusion strategic plans,
                                                    the Agencies organized the final                        policy that provides a fair opportunity                commitment, and progress available to
                                                    standards, the discussion about EEO–1                   for minority-owned and women-owned                     the public.
                                                    data, AAP data, and other analytical                    businesses to compete for procurement                     Several commenters supported the
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                                                    tools is located in the introduction to                 of business goods and services; methods                goal of transparency, arguing that it is
                                                    this set of standards and not in the                    to evaluate and assess supplier diversity              critical to the fair and efficient manner
                                                    standards themselves.                                   (which may include metrics and                         in which our financial markets operate.
                                                       With respect to references to                        analytics); and practices that promote a               They also believe that transparency
                                                    ‘‘metrics,’’ the Agencies continue to                   diverse supplier pool.                                 provides valuable information to an
                                                    believe that quantitative data is valuable                 The Agencies received many                          entity’s management, employees,
                                                    for evaluating diversity and inclusion                  comments on this set of standards.                     prospective employees, customers, and
                                                    but know that qualitative data and                      Several commenters argued that the                     investors, as well as to the general


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                                                    33020                         Federal Register / Vol. 80, No. 111 / Wednesday, June 10, 2015 / Notices

                                                    public. In contrast, other commenters                     regulator will share information with                     assessments. Another group of
                                                    expressed concern that these standards                    other Agencies when appropriate to                        commenters was concerned about
                                                    would be interpreted to encourage or                      support coordination of efforts and to                    protecting the confidentiality of
                                                    require the release of proprietary,                       avoid duplication.                                        disclosed information and
                                                    privileged or confidential information                       Finally, to assist entities in viewing                 recommended including a safe harbor in
                                                    and compromise an entity’s competitive                    the final Policy Statement as an                          the final standards to protect the
                                                    position. This concern, they argued,                      integrated whole, the model assessment                    disclosed information from release.
                                                    would create a disincentive for an entity                 concepts introduced in this section of                       Other commenters interpreted the
                                                    to conduct a self-assessment. Another                     the Proposal are now a fifth set of                       statute to mandate disclosure and
                                                    commenter argued that these standards                     standards entitled ‘‘Entities’ Self-                      rejected the idea of a voluntary
                                                    are unnecessary because regulated                         Assessment.’’                                             disclosure. One of these commenters
                                                    entities can achieve diversity and                           b. Self-Assessments                                    argued that ‘‘voluntary disclosure’’
                                                    inclusion without disclosing this                            The Agencies received many                             conflicted with congressional intent, as
                                                    information, while others noted that                      comments on the Proposal’s description                    evidenced by the section 342(b)(4)
                                                    many entities already publish                             of a model assessment as a ‘‘self-                        statement that nothing in the directive
                                                    information about their diversity and                     assessment.’’ Some commenters viewed                      to develop standards may be construed
                                                    inclusion efforts.                                        a self-assessment as a reasonable                         to require any specific action based on
                                                       The Agencies believe that the goals of                 interpretation of statutory intent, while                 the findings of the assessment. This
                                                    section 342 can be best achieved when                     others asserted that it was the only                      commenter argued that the phrase
                                                    an entity is transparent with respect to                  permissible interpretation. Others                        ‘‘findings of the assessment’’ in the
                                                    its diversity and inclusion efforts and                   expressed concern with the concept of                     statutory language indicates that the
                                                    progress. They believe that the proposed                  an entity conducting its own assessment                   Agencies will obtain assessment
                                                    standards accomplished this goal in the                   and questioned whether this approach                      information from the regulated entities
                                                    appropriate manner and have included                      either would undermine regulatory                         and, therefore, the disclosure cannot be
                                                    them in the final Policy Statement with                   oversight or was inconsistent with the                    voluntary.
                                                    no material changes.                                      statute. Some commenters suggested                           One commenter expressed concern
                                                                                                              that the Agencies were required by                        that the permissiveness of voluntary
                                                    5. Entities’ Self-Assessment                              statute to conduct the assessments.                       disclosures would invite the regulated
                                                       The Proposal included a section                           In the final Policy Statement, the                     entities to disregard the Agencies and
                                                    entitled ‘‘Proposed Approach to                           Agencies have retained the self-                          treat their oversight as optional and
                                                    Assessment,’’ in which the Agencies                       assessment approach to assessments.                       irrelevant. This commenter expressed
                                                    explained that in a ‘‘model assessment,’’                 While it is clear to the Agencies that the                concern that very few regulated entities
                                                    a regulated entity would use the                          statute contemplates that assessments                     would share their assessment
                                                    standards to undertake a self-                            will take place, they interpret the                       information with the Agencies unless
                                                    assessment, disclose the self-assessment                  statutory language as ambiguous with                      they were required to do so. Another
                                                    and other relevant information to the                     respect to who should conduct the                         commenter noted that financial
                                                    appropriate Agency, and share with the                    assessments or the form that                              institutions have been required to
                                                    public its efforts to comply with the                     assessments should take. The Agencies                     disclose information on lending
                                                    standards. The Agencies received many                     also believe that the entities are in the                 practices, including lending by ethnic
                                                    comments on this section.                                 best position to assess their own                         group, since 1975 pursuant to the Home
                                                       a. Implementation Comments                             diversity policies and practices and that                 Mortgage Disclosure Act and that this
                                                       A number of commenters requested                       these self-assessments can provide                        requirement has provided transparency
                                                    more information on the frequency of                      entities with an opportunity to focus on                  without endangering the institutions.
                                                    self-assessments. To address this, the                    areas of strength and weakness in their                      With respect to the final Policy
                                                    final Policy Statement provides that an                   own policies and programs.                                Statement, the Agencies view a
                                                    entity with successful diversity policies                    c. Disclosure of Assessment                            voluntary scheme as more consistent
                                                    and practices conducts a self-assessment                  Information to the Agencies                               with the framework set out by the
                                                    annually and monitors and evaluates its                      The Agencies received many                             statute, and therefore, the final Policy
                                                    performance under its diversity policies                  comments about the Proposal’s                             Statement provides for voluntary
                                                    and practices on an ongoing basis. An                     ‘‘disclosure’’ component of a model                       disclosure. Nevertheless, the final
                                                    annual review and ongoing monitoring                      assessment. Some commenters argued                        Policy Statement reflects leading
                                                    are consistent with both leading                          that by encouraging disclosure, the                       practices with respect to transparency
                                                    practices and other types of business                     Agencies would discourage candid self-                    by encouraging the entities to disclose
                                                    assessments.                                                                                                        assessment information to the Agencies.
                                                       Other commenters asked for                             the ‘appropriate federal banking agency’ identified       Entities submitting information may
                                                    clarification on where a regulated entity                 in that section. For credit unions, the primary           designate such information as
                                                    should submit its assessment data and                     federal financial regulator is the NCUA. For brokers,     confidential commercial information as
                                                                                                              dealers, transfer agents, investment advisers,
                                                    recommended that the Agencies                             municipal advisors, investment companies, self-
                                                                                                                                                                        appropriate, and the Agencies will
                                                    designate a ‘‘lead’’ agency for this                      regulatory organizations (including national              follow the Freedom of Information Act
                                                    purpose. In the final Policy Statement,                   securities exchanges, registered securities               in the event of requests for particular
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                                                    the Agencies clarify that entities that                   associations, registered clearing agencies, and the       submissions.
                                                                                                              Municipal Securities Rulemaking Board), nationally           d. Entities’ Disclosure of Assessment
                                                    choose to share their self-assessment                     recognized statistical rating organizations, securities
                                                    information with their regulator may                      information processors, security-based swap               Information to the Public
                                                    provide it to the OMWI Director of the                    dealers, major security-based swap participants,             Finally, the Agencies received
                                                    entity’s primary federal financial                        security-based swap execution facilities, and             comments about the Proposal’s
                                                                                                              securities-based swap data repositories, the primary      provision encouraging entities to
                                                    regulator.6 The primary federal financial                 federal financial regulator is the SEC. For any other
                                                                                                              entity that meets the definition of ‘covered person’
                                                                                                                                                                        disclose to the public information about
                                                      6 In the case of institutions identified in 12 U.S.C.   under 12 U.S.C. 5481(6), the primary federal              their efforts to comply with the
                                                    1813(q), the primary federal financial regulator is       financial regulator is the CFPB.                          standards. Some commenters supported


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                                                                                   Federal Register / Vol. 80, No. 111 / Wednesday, June 10, 2015 / Notices                                                   33021

                                                    this public disclosure, asserting that it                 Office of Management and Budget                        its policy on its commitment to
                                                    was necessary to increase public                          (OMB) has approved the collection and                  diversity and inclusion; progress toward
                                                    accountability. Others argued that an                     the agency has obtained a valid OMB                    achieving diversity and inclusion in its
                                                    entity that elects to publish information                 control number. Furthermore, no person                 workforce and procurement activities
                                                    about its diversity progress may not                      may be subject to a collection of                      (which may include the entity’s current
                                                    undertake an honest self-assessment of                    information unless the collection                      workforce and supplier demographic
                                                    this progress. Other commenters stated                    displays a valid OMB control number.                   profiles); and employment and
                                                    that public disclosures which focus on                    These provisions apply to any collection               procurement opportunities available at
                                                    metrics may have the unintended                           of information, regardless of whether                  the entity that promote diversity.
                                                    consequence of encouraging numerical                      the responses to the collection are                       In addition, the Joint Standards
                                                    targets, rather than diversity and                        voluntary or mandatory.                                entitled ‘‘Self-Assessment’’ envision
                                                    inclusion. These commenters also stated                     PRA requires an agency to provide the                that the regulated entity uses the Joint
                                                    that publicly disclosing certain                          public and other agencies with an                      Standards to conduct a voluntary self-
                                                    information could expose an entity to                     opportunity to comment on any                          assessment of its diversity policies and
                                                    potential liability or reveal trade secrets.              proposed information collection. This                  practices at least annually, provides to
                                                      In the final Policy Statement, the                      helps to ensure that: the public                       its primary federal financial regulator
                                                    Agencies have retained the concept of                     understands the agency’s collection and                information pertaining to the entity’s
                                                    an entity publicly displaying                             instructions; respondents provide the                  self-assessment of diversity policies and
                                                    information regarding its efforts with                    requested data in the desired format;                  practices, and publishes information
                                                    respect to the standards. As noted                        reporting burden (time and financial                   pertaining to its efforts with respect to
                                                    above, disclosure reflects leading                        resources) is minimized; interested                    the standards. The information provided
                                                    practices with respect to transparency.                   parties understand the collection                      to the Agencies would be used to
                                                    In addition, the final Policy Statement,                  instruments; and the agency can                        monitor progress and trends among
                                                    consistent with the Proposal, also does                   properly assess the impact of its                      regulated entities with regard to
                                                    not specify the types of information that                 information collection on respondents.                 diversity and inclusion in employment
                                                    regulated entities might consider                           This Policy Statement Establishing                   and contracting activities, and to
                                                    making publicly available. The Agencies                   Joint Standards for Assessing the                      identify and publicize promising
                                                    believe the regulated entities should                     Diversity Policies and Practices of                    diversity policies and practices.
                                                    have discretion to decide the type of                     Entities Regulated by the Agencies                     2. Description of Likely Respondents
                                                    information and the level of detail to                    contains a collection of information                   and Estimate of Annual Burden
                                                    share publicly.                                           within the meaning of the PRA. The
                                                                                                                                                                        The collections of information
                                                    6. Use of Assessment Information by                       Agencies intend to submit this new
                                                                                                                                                                     contemplated by the Joint Standards
                                                    Agencies                                                  collection of information to OMB for
                                                                                                                                                                     would impose no new recordkeeping
                                                                                                              review and approval in accordance with
                                                       In describing the model assessment,                                                                           burdens as regulated entities would
                                                                                                              the PRA and its implementing
                                                    the Proposal stated that the Agencies                                                                            only publish or provide information
                                                                                                              regulations. For collections of
                                                    would monitor the information                                                                                    pertaining to diversity policies and
                                                                                                              information not contained in a proposed
                                                    submitted to them as a resource in                                                                               practices that they maintain during the
                                                                                                              rule, the PRA requires federal agencies
                                                    carrying out their diversity and                                                                                 normal course of business. The
                                                                                                              to publish a notice in the Federal                     Agencies estimate that it would take a
                                                    inclusion responsibilities. It also stated                Register concerning each proposed
                                                    that the Agencies may periodically                                                                               regulated entity approximately 12
                                                                                                              collection of information and to allow                 burden hours on average to annually
                                                    review entities’ public information to                    60 days for public comment. To comply
                                                    monitor diversity and inclusion                                                                                  publish information pertaining to
                                                                                                              with this requirement, the Agencies are                diversity policies and practices on the
                                                    practices. The Agencies may contact                       publishing this notice in conjunction
                                                    entities and other interested parties to                                                                         entity’s Web site or in other appropriate
                                                                                                              with the issuance of this final Policy                 communications, and retrieve and
                                                    discuss diversity and inclusion                           Statement.
                                                    practices and methods of assessment.                                                                             submit information pertaining to the
                                                    The Agencies did not receive any                          A. Overview of the Collection of                       entity’s self-assessment of its diversity
                                                    specific or material comments on these                    Information                                            policies and practices to the primary
                                                    statements.                                                                                                      federal financial regulator. The Agencies
                                                                                                              1. Description of the Collection of                    estimate the total burden for all
                                                       In the final Policy Statement, these
                                                                                                              Information and Proposed Use                           regulated entities as follows:
                                                    concepts are retained. The final Policy
                                                    Statement states that the Agencies may                       The title for the proposed collection                  Information Collection: Joint
                                                    publish information disclosed to them                     of information is:                                     Standards for Assessing Diversity
                                                    provided they do not identify a                              • Joint Standards for Assessing                     Policies and Practices.
                                                    particular entity or individual or                        Diversity Policies and Practices                          Estimated Number of Respondents: 8.
                                                    disclose confidential business                               The Joint Standards entitled                           OCC: 215.
                                                    information in an effort to balance                       ‘‘Practices to Promote Transparency of                    Board: 488.
                                                                                                              Organizational Diversity and Inclusion’’                  FDIC: 398.
                                                    concerns about confidentiality of                                                                                   NCUA: 367.
                                                    information with the importance of                        contemplate that the regulated entity is
                                                                                                              transparent about its diversity and                       CFPB: 750.
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                                                    sharing information.                                                                                                SEC: 1,250.
                                                                                                              inclusion activities by making certain                    Frequency of Collection: Annual.
                                                    Paperwork Reduction Act of 1995                           information available to the public                       Average Response Time per
                                                      The Paperwork Reduction Act of 1995                     annually on its Web site or in other                   Respondent: 12 hours.
                                                    (PRA) 7 generally provides that a federal                 appropriate communications, in a                          Estimated Total Annual Burden
                                                    agency may not conduct or sponsor a                       manner reflective of the entity’s size and             Hours:
                                                    collection of information unless the                      other characteristics. The information
                                                                                                              noted in this standard is: The entity’s                  8 The burden estimates are based on the average
                                                      7 44   U.S.C. 3501 et seq.                              diversity and inclusion strategic plan;                number of responses anticipated by each Agency.



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                                                    33022                        Federal Register / Vol. 80, No. 111 / Wednesday, June 10, 2015 / Notices

                                                       OCC: 2,580 hours.                                    http://www.federalreserve.gov/apps/                    PRA Office), 1275 First Street NE.,
                                                       Board: 5,856 hours.                                  foia/proposedregs.aspx.                                Washington, DC 20002.
                                                       FDIC: 4,776 hours.                                      • Federal eRulemaking Portal: http://                 SEC: Please direct your written
                                                       NCUA: 4,404 hours.                                   www.regulations.gov. Follow the                        comments to Pamela Dyson, Chief
                                                       CFPB: 9,000 hours.                                   instructions for submitting comments.                  Information Officer, Securities and
                                                       SEC: 15,000 hours.                                      • Email: regs.comments@                             Exchange Commission, c/o Remi Pavlik-
                                                       Obligation to respond: Voluntary.                    federalreserve.gov. Include OMB                        Simon, 100 F Street NE., Washington,
                                                    B. Solicitation of Public Comments                      number in the subject line of the                      DC 20549, or send an email to PRA_
                                                                                                            message.                                               Mailbox@sec.gov, and include ‘‘SEC File
                                                      The Agencies specifically invite                         • FAX: (202) 452–3819 or (202) 452–                 270–664 OMWI Policy Statement’’ in
                                                    comment on: (a) Whether the collections                 3102.                                                  the subject line of the message.
                                                    of information are necessary for the                       • Mail: Robert deV. Frierson,
                                                    proper performance of the Agencies’                     Secretary, Board of Governors of the                   Interagency Policy Statement
                                                    functions, including whether the                        Federal Reserve System, 20th Street and                Establishing Joint Standards for
                                                    information will have practical utility;                Constitution Avenue NW., Washington,                   Assessing the Diversity Policies and
                                                    (b) The accuracy of the Agencies’                       DC 20551.                                              Practices of Entities Regulated by the
                                                    estimate of the information collection                     All public comments are available                   Agencies
                                                    burden, including the validity of the                   from the Board’s Web site at http://                   I. Introduction
                                                    methods and the assumptions used; (c)                   www.federalreserve.gov/apps/foia/
                                                    Ways to enhance the quality, utility, and                                                                         Section 342(b)(2)(C) of the Dodd-
                                                                                                            proposedregs.aspx as submitted, unless
                                                    clarity of the information proposed to be                                                                      Frank Wall Street Reform and Consumer
                                                                                                            modified for technical reasons.
                                                    collected; (d) Ways to minimize the                                                                            Protection Act of 2010 (Dodd-Frank Act)
                                                                                                            Accordingly, your comments will not be
                                                    information collection burden on                                                                               requires the Directors of the Offices of
                                                                                                            edited to remove any identifying or
                                                    respondents, including through the use                                                                         Minority and Women Inclusion (OMWI)
                                                                                                            contact information. Public comments
                                                    of automated collection techniques or                                                                          to develop standards for assessing the
                                                                                                            may also be viewed electronically or in
                                                    other forms of information technology;                                                                         diversity policies and practices of the
                                                                                                            paper form in Room MP–500 of the
                                                    and (e) Estimates of capital or start-up                                                                       entities regulated by the Office of the
                                                                                                            Board’s Martin Building (20th and C
                                                    costs and costs of operation,                                                                                  Comptroller of the Currency, Board of
                                                                                                            Streets, NW.) between 9:00 a.m. and
                                                    maintenance, and purchase of services                                                                          Governors of the Federal Reserve
                                                                                                            5:00 p.m. on weekdays.
                                                    to provide information.                                    FDIC: You may submit comments on                    System, Federal Deposit Insurance
                                                      The Agencies will summarize the                       this information collection, which                     Corporation, National Credit Union
                                                    comments submitted in response to this                  should refer to ‘‘Policy Statement                     Administration, Bureau of Consumer
                                                    notice and/or include them in the                       Establishing Joint Standards for                       Financial Protection, and Securities and
                                                    request for OMB approval. All                           Assessing the Diversity,’’ by any of the               Exchange Commission (Agencies). To
                                                    comments will be a matter of public                     following methods:                                     promote consistency, the Agencies
                                                    record.                                                    Agency Web site: http://                            worked together to develop joint
                                                      Commenters may submit their                           www.fdic.gov/regulations/laws/federal/.                standards (Standards) for assessing
                                                    comments to the Agencies at:                            Follow the instructions for submitting                 diversity policies and practices. This
                                                      OCC: Because paper mail in the                        comments on the FDIC Web site.                         Interagency Policy Statement (Policy
                                                    Washington, DC area and at the OCC is                      Email: comments@FDIC.gov. Include                   Statement) announces those Standards.
                                                    subject to delay, commenters are                        ‘‘Policy Statement Establishing Joint                     This document is a general statement
                                                    encouraged to submit comments by                        Standards for Assessing the Diversity’’                of policy under the Administrative
                                                    email, if possible. Comments may be                     in the subject line of the message.                    Procedure Act, 5 U.S.C. 553. It does not
                                                    sent to: Legislative and Regulatory                        Mail: Gary A. Kuiper, Counsel, MB–                  create new legal obligations. Use of the
                                                    Activities Division, Office of the                      3074, or John Popeo, Counsel, MB–                      Standards by a regulated entity is
                                                    Comptroller of the Currency, Attention:                 3007, Federal Deposit Insurance                        voluntary. The Agencies will not use
                                                    1557–NEW, 400 7th Street SW., Suite                     Corporation, 550 17th Street NW.,                      their examination or supervisory
                                                    3E–218, Mail Stop 9W–11, Washington,                    Washington, DC 20429.                                  processes in connection with these
                                                    DC 20219. In addition, comments may                        NCUA: Interested persons are invited                Standards.
                                                    be sent by fax to (571) 465–4326 or by                  to submit written comments on the                         For purposes of this Policy Statement,
                                                    electronic mail to regs.comments@                       information collection to Jessica Khouri,              the Agencies define ‘‘diversity’’ to refer
                                                    occ.treas.gov. You may personally                       National Credit Union Administration,                  to minorities, as defined in section
                                                    inspect and photocopy comments at the                   1775 Duke Street, Alexandria, Virginia                 342(g)(3) of the Dodd-Frank Act (that is,
                                                    OCC, 400 7th Street SW., Washington,                    22314–3428, Fax No. 703–837–2861,                      Black Americans, Native Americans,
                                                    DC 20219. For security reasons, the OCC                 Email: OCIOPRA@ncua.gov.                               Hispanic Americans, and Asian
                                                    requires that visitors make an                             CFPB: You may submit comments,                      Americans), and women. This definition
                                                    appointment to inspect comments. You                    identified by the title of the information             of diversity does not preclude an entity
                                                    may do so by calling (202) 649–6700.                    collection, OMB Control Number (see                    from using a broader definition with
                                                    Upon arrival, visitors will be required to              below), and docket number (see above),                 regard to these standards. In addition, as
                                                    present valid government-issued photo                   by any of the following methods:                       used in this Policy Statement, the
                                                                                                               • Electronic: http://                               Agencies define ‘‘inclusion’’ to mean a
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                                                    identification and to submit to security
                                                    screening in order to inspect and                       www.regulations.gov. Follow the                        process to create and maintain a
                                                    photocopy comments.                                     instructions for submitting comments.                  positive work environment that values
                                                      Board: You may submit comments,                          • Mail: Consumer Financial                          individual similarities and differences,
                                                    identified by OMWI Policy Statement,                    Protection Bureau (Attention: PRA                      so that all can reach their potential and
                                                    by any of the following methods:                        Office), 1700 G Street NW., Washington,                maximize their contributions to an
                                                      • Agency Web site: http://                            DC 20552.                                              organization. The Standards set forth
                                                    www.federalreserve.gov. Follow the                         • Hand Delivery/Courier: Consumer                   below may be used to assess policies
                                                    instructions for submitting comments at                 Financial Protection Bureau (Attention:                and practices that impact the inclusion


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                                                                                 Federal Register / Vol. 80, No. 111 / Wednesday, June 10, 2015 / Notices                                             33023

                                                    of minorities and women in the                             • The entity provides regular progress              required under Title VII of the Civil
                                                    regulated entity’s workforce and the                    reports to the board and senior                        Rights Act of 1964 routinely track and
                                                    existence of minority-owned and                         management.                                            analyze employment statistics by
                                                    women-owned businesses among a                             • The entity regularly conducts                     gender, race, ethnicity, and
                                                    regulated entity’s suppliers of products                training and provides educational                      occupational group. Entities that
                                                    and services.                                           opportunities on equal employment                      develop and implement the affirmative
                                                                                                            opportunity and on diversity and                       action programs required under the
                                                    II. Joint Standards                                     inclusion.                                             regulations implementing Executive
                                                       The Agencies designed these                             • The entity has a senior level                     Order 11246 track and analyze
                                                    Standards to provide a framework for an                 official, preferably with knowledge of                 employer-created job groups. Entities
                                                    entity to create and strengthen its                     and experience in diversity and                        also are encouraged to use other
                                                    diversity policies and practices,                       inclusion policies and practices, who                  analytical tools that they may find
                                                    including its organizational                            oversees and directs the entity’s                      helpful.
                                                    commitment to diversity, workforce and                  diversity and inclusion efforts. For
                                                                                                            example, this official may be an                       Standards
                                                    employment practices, procurement and
                                                    business practices, and practices to                    executive-level Diversity Officer (or                     In a manner reflective of the
                                                    promote transparency of organizational                  equivalent position) with dedicated                    individual entity’s size and other
                                                    diversity and inclusion. The Agencies                   resources to support diversity strategies              characteristics,
                                                    recognize that each entity is unique                    and initiatives.                                          • The entity implements policies and
                                                    with respect to characteristics such as                    • The entity takes proactive steps to               practices related to workforce diversity
                                                    its size, location, and structure. When                 promote a diverse pool of candidates,                  and inclusion in a manner that complies
                                                    drafting these standards, the Agencies                  including women and minorities, in its                 with all applicable laws.
                                                                                                            hiring, recruiting, retention, and                        • The entity ensures equal
                                                    focused primarily on institutions with
                                                                                                            promotion, as well as in its selection of              employment opportunities for all
                                                    more than 100 employees. The Agencies
                                                                                                            board members, senior management,                      employees and applicants for
                                                    know that institutions that are small or
                                                                                                            and other senior leadership positions.                 employment and does not engage in
                                                    located in remote areas face different
                                                                                                                                                                   unlawful employment discrimination
                                                    challenges and have different options                   (2) Workforce Profile and Employment                   based on gender, race, or ethnicity.
                                                    available to them compared to entities                  Practices                                                 • The entity has policies and
                                                    that are larger or located in more urban
                                                                                                               Many entities promote the fair                      practices that create diverse applicant
                                                    areas. The Agencies encourage each
                                                                                                            inclusion of minorities and women in                   pools for both internal and external
                                                    entity to use these Standards in a
                                                                                                            their workforce by publicizing                         opportunities that may include:
                                                    manner appropriate to its unique                                                                                  Æ Outreach to minority and women
                                                                                                            employment opportunities, creating
                                                    characteristics. Finally, the Agencies                                                                         organizations;
                                                                                                            relationships with minority and women
                                                    intend that the Standards will address                                                                            Æ Outreach to educational
                                                                                                            professional organizations and
                                                    an entity’s U.S. operations.                                                                                   institutions serving significant minority
                                                                                                            educational institutions, creating a
                                                    (1) Organizational Commitment to                        culture that values the contribution of                and women student populations; and
                                                    Diversity and Inclusion                                 all employees, and encouraging a focus                    Æ Participation in conferences,
                                                                                                            on these objectives when evaluating the                workshops, and other events to attract
                                                      The leadership of an organization                     performance of managers. Entities with                 minorities and women and to inform
                                                    with successful diversity policies and                  successful diversity and inclusion                     them of employment and promotion
                                                    practices demonstrates its commitment                   programs also regularly evaluate their                 opportunities.
                                                    to diversity and inclusion. Leadership                  programs and identify areas to be                         • The entity utilizes both quantitative
                                                    comes from the governing body, such as                  improved.                                              and qualitative measurements to assess
                                                    a board of directors, as well as senior                    Entities use various analytical tools to            its workforce diversity and inclusion
                                                    officials and those managing the                        evaluate a wide range of business                      efforts. These efforts may be reflected,
                                                    organization on a day-to-day basis.                     objectives, including metrics to track                 for example, in applicant tracking,
                                                    These Standards inform how an entity                    and measure the inclusiveness of their                 hiring, promotions, separations
                                                    promotes diversity and inclusion in                     workforce (e.g., race, ethnicity, and                  (voluntary and involuntary), career
                                                    both employment and contracting and                     gender). Entities that are subject to the              development, and retention across all
                                                    how it fosters a corporate culture that                 recordkeeping and reporting                            levels and occupations of the entity,
                                                    embraces diversity and inclusion.                       requirements of the Equal Employment                   including the executive and managerial
                                                                                                            Opportunity Commission (EEOC) and                      ranks.
                                                    Standards
                                                                                                            the Office of Federal Contract                            • The entity holds management at all
                                                      In a manner reflective of the                         Compliance Programs currently collect                  levels accountable for diversity and
                                                    individual entity’s size and other                      and maintain data and supporting                       inclusion efforts, for example by
                                                    characteristics,                                        documentation that may assist in                       ensuring that such efforts align with
                                                                                                            evaluating and assessing their policies                business strategies and individual
                                                      • The entity includes diversity and
                                                                                                            and practices related to workforce                     performance plans.
                                                    inclusion considerations in both
                                                    employment and contracting as an                        diversity and inclusion. Specifically,                 (3) Procurement and Business
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                                                    important part of its strategic plan for                entities that file EEO–1 Reports 9                     Practices—Supplier Diversity
                                                    recruiting, hiring, retention, and                                                                               Companies increasingly understand
                                                                                                              9 The Employer Information Report EEO–1 (EEO–
                                                    promotion.                                                                                                     the competitive advantage of having a
                                                                                                            1 Report) is required to be filed annually with the
                                                      • The entity has a diversity and                      EEOC by (a) private employers with 100 or more         broad selection of available suppliers to
                                                    inclusion policy that is approved and                   employees and (b) federal contractors and first tier   choose from with respect to factors such
                                                                                                            subcontractors with 50 or more employees that have
                                                    supported by senior leadership,                         a contract or subcontract of $50,000 or more or that
                                                                                                                                                                   as price, quality, attention to detail, and
                                                    including senior management and the                     serve as a depository of government funds in any       future relationship building. A number
                                                    board of directors.                                     amount.                                                of entities have achieved success at


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                                                    33024                        Federal Register / Vol. 80, No. 111 / Wednesday, June 10, 2015 / Notices

                                                    expanding available business options by                 firms and inform them of contracting                   (5) Entities’ Self-Assessment
                                                    increasing outreach to minority-owned                   opportunities; and
                                                    and women-owned businesses.                                                                                       The Agencies interpret the term
                                                                                                               Æ An ongoing process to publicize its
                                                      As in the employment context,                                                                                ‘‘assessment’’ to mean self-assessment.
                                                                                                            procurement opportunities.
                                                    entities often use metrics to identify the                                                                     Entities that have successful diversity
                                                    baseline of how much they spend                         (4) Practices To Promote Transparency                  policies and practices allocate time and
                                                    procuring and contracting for goods and                 of Organizational Diversity and                        resources to monitoring and evaluating
                                                    services, how much they spend with                      Inclusion                                              performance under their diversity
                                                    minority-owned and women-owned                             Transparency and publicity are                      policies and practices on an ongoing
                                                    businesses, and the availability of                     important aspects of assessing diversity               basis. Entities are encouraged to
                                                    relevant minority-owned and women-                      policies and practices. Greater                        disclose their diversity policies and
                                                    owned businesses, as well as changes                    awareness and transparency give the                    practices, as well as information related
                                                    over time. Similarly, entities may use                  public information to assess those                     to their assessments, to the Agencies
                                                    outreach to inform minority-owned and                   policies and practices. Entities publicize             and the public. Entities submitting
                                                    women-owned businesses (and affinity                    information about their diversity and                  information may designate such
                                                    groups representing these                               inclusion efforts through normal                       information as confidential commercial
                                                    constituencies) of these opportunities                  business methods, which include                        information as appropriate, and the
                                                    and of the procurement process.                         displaying information on their Web                    Agencies will follow the Freedom of
                                                      In addition, entities’ prime                          sites, in their promotional materials,                 Information Act in the event of requests
                                                    contractors often use subcontractors to                 and in their annual reports to                         for particular submissions.
                                                    fulfill the obligations of various                      shareholders, if applicable. By making
                                                    contracts. The use of minority-owned                                                                           Standards
                                                                                                            public an entity’s commitment to
                                                    and women-owned businesses as                           diversity and inclusion, its plans for                    In a manner reflective of the
                                                    subcontractors provides valuable                        achieving diversity and inclusion, and                 individual entity’s size and other
                                                    opportunities for both the minority-                    the metrics it uses to measure success in
                                                    owned and women-owned businesses                                                                               characteristics,
                                                                                                            both workplace and supplier diversity,
                                                    and the prime contractor. Entities may                  an entity informs a broad constituency                    • The entity uses the Standards to
                                                    encourage the use of minority-owned                     of investors, employees, potential                     conduct self-assessments of its diversity
                                                    and women-owned subcontractors by                       employees, suppliers, customers, and                   policies and practices annually.
                                                    incorporating this objective in their                   the general community about its efforts.                  • The entity monitors and evaluates
                                                    business contracts.                                     The publication of this information can                its performance under its diversity
                                                    Standards                                               make new markets accessible for                        policies and practices on an ongoing
                                                                                                            minorities and women and illustrate the                basis.
                                                       In a manner reflective of the                        progress made toward an important
                                                    individual entity’s size and other                                                                                • The entity provides information
                                                                                                            business goal.                                         pertaining to the self-assessments of its
                                                    characteristics,
                                                       • The entity has a supplier diversity                Standards                                              diversity policies and practices to the
                                                    policy that provides for a fair                                                                                OMWI Director of its primary federal
                                                                                                               In a manner reflective of the                       financial regulator.
                                                    opportunity for minority-owned and
                                                                                                            individual entity’s size and other
                                                    women-owned businesses to compete
                                                                                                            characteristics, the entity is transparent                • The entity publishes information
                                                    for procurement of business goods and                                                                          pertaining to its efforts with respect to
                                                                                                            with respect to its diversity and
                                                    services. This includes contracts of all                                                                       the Standards.
                                                                                                            inclusion activities by making the
                                                    types, including contracts for the
                                                                                                            following information available to the                 III. Use of Assessment Information by
                                                    issuance or guarantee of any debt,
                                                                                                            public annually through its Web site or                Agencies
                                                    equity, or security, the sale of assets, the
                                                                                                            other appropriate communication
                                                    management of the entity’s assets, and
                                                                                                            methods:                                                  The Agencies may use information
                                                    the development of the entity’s equity
                                                    investments.                                               • The entity’s diversity and inclusion              submitted to them to monitor progress
                                                       • The entity has methods to evaluate                 strategic plan;                                        and trends in the financial services
                                                    its supplier diversity, which may                          • The entity’s policy on its                        industry with regard to diversity and
                                                    include metrics and analytics related to:               commitment to diversity and inclusion;                 inclusion in employment and
                                                                                                                                                                   contracting activities and to identify and
                                                       Æ Annual procurement spending;                          • The entity’s progress toward
                                                       Æ Percentage of contract dollars                                                                            highlight those policies and practices
                                                                                                            achieving diversity and inclusion in its
                                                    awarded to minority-owned and                                                                                  that have been successful. The primary
                                                                                                            workforce and procurement activities
                                                    women-owned business contractors by                     (which may include the entity’s current                federal financial regulator will share
                                                    race, ethnicity, and gender; and                        workforce and supplier demographic                     information with other agencies when
                                                       Æ Percentage of contracts with                       profiles); and                                         appropriate to support coordination of
                                                    minority-owned and women-owned                                                                                 efforts and to avoid duplication. The
                                                                                                               • Opportunities available at the entity             OMWI Directors will also continue to
                                                    business sub-contractors.                               that promote diversity, which may
                                                       • The entity has practices to promote                                                                       reach out to regulated entities and other
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                                                                                                            include:
                                                    a diverse supplier pool, which may                                                                             interested parties to discuss diversity
                                                    include:                                                   Æ Current employment and                            and inclusion practices and methods of
                                                                                                            procurement opportunities;                             assessment. The Agencies may publish
                                                       Æ Outreach to minority-owned and
                                                    women-owned contractors and                                Æ Forecasts of potential employment                 information disclosed to them, such as
                                                    representative organizations;                           and procurement opportunities; and                     best practices, in any form that does not
                                                       Æ Participation in conferences,                         Æ The availability and use of                       identify a particular entity or individual
                                                    workshops, and other events to attract                  mentorship and developmental                           or disclose confidential business
                                                    minority-owned and women-owned                          programs for employees and contractors.                information.


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                                                                                 Federal Register / Vol. 80, No. 111 / Wednesday, June 10, 2015 / Notices                                           33025

                                                      Dated: May 22, 2015.                                  available from OFAC’s Web site                            10. ARION SHIPPING CO., LTD., 60
                                                    Thomas J. Curry,                                        (www.treas.gov/ofac). Certain general                  South Street, Valletta, Malta [CUBA].
                                                    Comptroller of the Currency.                            information pertaining to OFAC’s                          11. GOLDEN COMET NAVIGATION
                                                      By order of the Board of Governors of the             sanctions programs is available via                    CO. LTD., c/o EMPRESA DE
                                                    Federal Reserve System, June 3, 2015.                   facsimile through a 24-hour fax-on-                    NAVEGACION MAMBISA, Apartado
                                                    Margaret McCloskey Shanks,                              demand service, tel.: 202/622–0077.                    543, San Ignacio 104, Havana, Cuba
                                                    Deputy Secretary of the Board.                                                                                 [CUBA].
                                                                                                            Background                                                12. GRETE SHIPPING CO. S.A., c/o
                                                      Dated at Washington, DC, this 21st of May,              On June 4, 2015, the Associate
                                                    2015.
                                                                                                                                                                   EMPRESA DE NAVEGACION CARIBE,
                                                                                                            Director of OFAC removed from the                      Edificio Lonja del Comercio, Lamparilla
                                                    Federal Deposit Insurance Corporation.
                                                                                                            SDN List the individuals, entities, and                2, Caja Postal 1784, Havana 1, Cuba
                                                    Robert E. Feldman,
                                                                                                            vessel listed below, whose property and                [CUBA].
                                                    Executive Secretary.                                    interests in property were blocked                        13. KASPAR SHIPPING CO. S.A., c/o
                                                      By the National Credit Union                          pursuant to the Cuban Assets Control                   EMPRESA DE NAVEGACION CARIBE,
                                                    Administration Board on May 26, 2015.                   Regulations:                                           Edificio Lonja del Comercio, Lamparilla
                                                    John H. Brolin,                                                                                                2, Caja Postal 1784, Havana 1, Cuba
                                                    Senior Staff Attorney.
                                                                                                            Individuals
                                                                                                                                                                   [CUBA].
                                                      Dated: May 18, 2015.                                     1. ALOARDI, Carlo Giovanni, Milan,                     14. MARYOL ENTERPRISES INC., c/
                                                    Richard Cordray,                                        Italy (individual) [CUBA].                             o EMPRESA DE NAVEGACION
                                                                                                               2. CRUZ REYES, Antonio Pedro,                       MAMBISA, Apartado 543, San Ignacio
                                                    Director, Bureau of Consumer Financial
                                                    Protection.
                                                                                                            Milan, Italy (individual) [CUBA].                      104, Havana, Cuba [CUBA].
                                                                                                               3. HERNANDEZ CARBALLOSA,                               15. NAVIGABLE WATER
                                                      By the Securities and Exchange
                                                                                                            Alexis Eneilo, Milan, Italy (individual)               CORPORATION, c/o EMPRESA DE
                                                    Commission.
                                                                                                            [CUBA].                                                NAVEGACION CARIBE, Edificio Lonja
                                                      Date: May 27, 2015.                                      4. LOPEZ, Quirino Gutierrez, c/o
                                                    Brent J. Fields,                                                                                               del Comercio, Lamparilla 2, Caja Postal
                                                                                                            ANGLO CARIBBEAN SHIPPING CO.,
                                                    Secretary.
                                                                                                                                                                   1784, Havana 1, Cuba [CUBA].
                                                                                                            LTD., 7th Floor, Ibex House, the                          16. VALETTA SHIPPING
                                                    [FR Doc. 2015–14126 Filed 6–9–15; 8:45 am]              Minories, London EC3N 1DY, United
                                                                                                                                                                   CORPORATION, c/o EMPRESA DE
                                                    BILLING CODE 4810–33–P; 6210–01–P; 6741–01–P;           Kingdom (individual) [CUBA].
                                                                                                                                                                   NAVEGACION MAMBISA, Apartado
                                                    7590–01–P; 4810–AM–P; 8010–01–P                            5. ORS, Jose Antonio Rego, Tokyo,
                                                                                                            Japan (individual) [CUBA].                             543, San Ignacio 104, Havana, Cuba
                                                                                                                                                                   [CUBA].
                                                    DEPARTMENT OF THE TREASURY                              Entities                                                  17. ACE INDIC NAVIGATION CO.
                                                                                                              1. MARINE REGISTRATION                               LTD., c/o ANGLO-CARIBBEAN
                                                    Office of Foreign Assets Control                        COMPANY, Panama [CUBA].                                SHIPPING CO. LTD., 4th Floor, South
                                                                                                              2. CANIPEL S.A. (a.k.a. CANAPEL                      Phase 2, South Quay Plaza II, 183,
                                                    Unblocking of Specially Designated                      S.A.), c/o EMPRESA DE NAVEGACION                       March Wall, London, United Kingdom
                                                    Nationals and Blocked Persons                           MAMBISA, Apartado 543, San Ignacio                     [CUBA].
                                                    Pursuant to the Cuban Assets Control                    104, Havana, Cuba [CUBA].                                 18. ACECHILLY NAVIGATION CO.
                                                    Regulations                                               3. EAST ISLAND SHIPPING CO.                          LTD., c/o ANGLO-CARIBBEAN
                                                                                                            LTD., c/o EMPRESA DE NAVEGACION                        SHIPPING CO. LTD., 4th Floor, South
                                                    AGENCY:  Office of Foreign Assets
                                                                                                            MAMBISA, Apartado 543, San Ignacio                     Phase 2, South Quay Plaza II, 183,
                                                    Control, Treasury.
                                                                                                            104, Havana, Cuba [CUBA].                              March Wall, London, United Kingdom
                                                    ACTION: Notice.
                                                                                                              4. NORTH ISLAND SHIPPING CO.                         [CUBA].
                                                    SUMMARY:    The Department of the                       LTD., c/o UNION MARITIMA                                  19. AIRMORES SHIPPING CO. LTD.
                                                    Treasury’s Office of Foreign Assets                     PORTUARIA, 9-Piso, Apartado B,                         (a.k.a. AIMOROS SHIPPING CO. LTD.),
                                                    Control (OFAC) is publishing the name                   Esquina Cuarteles y Pena Pobre 60,                     c/o MELFI MARINE CORPORATION
                                                    of five individuals, 53 entities, and one               Havana Vieje, Havana, Cuba [CUBA].                     S.A., Oficina 7, Edificio Senorial, Calle
                                                    vessel whose property and interests in                    5. SOUTH ISLAND SHIPPING CO.                         50, Apartado 31, Panama City 5, Panama
                                                    property have been unblocked pursuant                   LTD., c/o EMPRESA DE NAVEGACION                        [CUBA].
                                                    to the Cuban Assets Control                             MAMBISA, Apartado 543, San Ignacio                        20. ANTILLANA SALVAGE CO.
                                                    Regulations, 31 CFR part 515.                           104, Havana, Cuba [CUBA].                              LTD., c/o EMPRESA ANTILLANA DE
                                                                                                              6. WEST ISLAND SHIPPING CO.                          SALVAMENTO, 4th Floor, Lonja del
                                                    DATES: The unblocking and removal
                                                                                                            LTD., c/o UNION MARITIMA                               Comercio, Havana Vieja, Havana, Cuba
                                                    from the list of Specially Designated
                                                                                                            PORTUARIA, 9-Piso, Apartado B,                         [CUBA].
                                                    Nationals and Blocked Persons (SDN
                                                                                                            Esquina Cuarteles y Pena Pobre 60,                        21. ATAMALLO SHIPPING CO. LTD.
                                                    List) of the individuals, entities, and
                                                                                                            Havana Vieja, Havana, Cuba [CUBA].                     (a.k.a. ANTAMALLO SHIPPING CO.
                                                    vessel identified in this notice is
                                                                                                              7. BRADFIELD MARITIME                                LTD.), c/o EMPRESA DE NAVEGACION
                                                    effective June 4, 2015.
                                                                                                            CORPORATION INC., c/o EMPRESA DE                       MAMBISA, Apartado 543, San Ignacio
                                                    FOR FURTHER INFORMATION CONTACT:                        NAVEGACION MAMBISA, Apartado                           104, Havana, Cuba [CUBA].
                                                    Assistant Director, Sanctions                           543, San Ignacio 104, Havana, Cuba                        22. BETTINA SHIPPING CO. LTD.,
                                                    Compliance & Evaluation, Department
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                                                                                                            [CUBA].                                                c/o EMPRESA DE NAVEGACION
                                                    of the Treasury, Office of Foreign Assets                 8. WADENA SHIPPING                                   MAMBISA, Apartado 543, San Ignacio
                                                    Control, Washington, DC 20220, Tel:                     CORPORATION, c/o EMPRESA DE                            104, Havana, Cuba [CUBA].
                                                    (202) 622–2490.                                         NAVEGACION MAMBISA, Apartado                              23. EPAMAC SHIPPING CO. LTD.,
                                                    SUPPLEMENTARY INFORMATION:                              543, San Ignacio 104, Havana, Cuba                     c/o EMPRESA DE NAVEGACION
                                                                                                            [CUBA].                                                MAMBISA, Apartado 543, San Ignacio
                                                    Electronic and Facsimile Availability                     9. ACEFROSTY SHIPPING CO., LTD.,                     104, Havana, Cuba [CUBA].
                                                      The SDN List and additional                           171 Old Bakery Street, Valletta, Malta                    24. FLIGHT DRAGON SHIPPING
                                                    information concerning OFAC are                         [CUBA].                                                LTD., c/o ANGLO–CARIBBEAN


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Document Created: 2015-12-15 15:17:42
Document Modified: 2015-12-15 15:17:42
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
ActionNotice of final interagency policy statement; request for comments on proposed collection of information.
DatesThe final interagency policy statement is effective on June 10, 2015. The agencies are soliciting comments only on the collection of information. Comments must be submitted on or before August 10, 2015. The effective date of the collection of information will be announced in the Federal Register following Office of Management and Budget (OMB) approval.
ContactOCC: Joyce Cofield, Executive Director, Office of Minority and Women Inclusion, at (202) 649-6460 or Karen McSweeney, Counsel, Law Department, at (202) 649-6295, TDD/TTY (202) 649-5597, Office of the Comptroller of the Currency, 400 7th Street SW., Washington, DC 20219.
FR Citation80 FR 33016 

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