80_FR_36477 80 FR 36356 - Minority Depository Institution Preservation Program

80 FR 36356 - Minority Depository Institution Preservation Program

NATIONAL CREDIT UNION ADMINISTRATION

Federal Register Volume 80, Issue 121 (June 24, 2015)

Page Range36356-36363
FR Document2015-15515

The NCUA Board is issuing a final Interpretive Ruling and Policy Statement to establish a Minority Depository Institution Preservation Program for federally insured credit unions.

Federal Register, Volume 80 Issue 121 (Wednesday, June 24, 2015)
[Federal Register Volume 80, Number 121 (Wednesday, June 24, 2015)]
[Notices]
[Pages 36356-36363]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-15515]


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NATIONAL CREDIT UNION ADMINISTRATION

RIN 3133-AE16


Minority Depository Institution Preservation Program

AGENCY: National Credit Union Administration (NCUA).

ACTION: Final Interpretive Ruling and Policy Statement 13-1.

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SUMMARY: The NCUA Board is issuing a final Interpretive Ruling and 
Policy Statement to establish a Minority Depository Institution 
Preservation Program for federally insured credit unions.

DATES: This final Interpretive Ruling and Policy Statement is effective 
July 24, 2015.

FOR FURTHER INFORMATION CONTACT: Wendy A. Angus, Acting Director, 
Office of Minority and Women Inclusion, at (703) 518-1650; or Cynthia 
Vaughn, Diversity Outreach Program Analyst, Office of Minority and 
Women Inclusion, at (703) 518-1650.

SUPPLEMENTARY INFORMATION: 

I. Background

    In 1989, Congress enacted the Financial Institutions Reform, 
Recovery and Enforcement Act (FIRREA) \1\ in response to the failure of 
the Federal Savings and Loan Insurance Corporation (FSLIC), which 
insured the deposits of insolvent savings & loan institutions. Section 
308 of FIRREA established goals for preserving and promoting minority 
depository institutions.\2\ When enacted, FIRREA Sec.  308 applied only 
to the Office of Thrift Supervision (OTS) and Federal Deposit Insurance 
Corporation (FDIC), successor to FSLIC.\3\ Those agencies developed 
various initiatives, such as training, technical assistance and 
educational programs, aimed at preserving federally insured banks and 
savings institutions that meet FIRREA's definition of a minority 
depository institution (MDI).\4\
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    \1\ Public Law 101-73, 103 Stat. 183 (Aug. 9, 1989).
    \2\ Id. Title III, Sec.  308, 103 Stat. 353 note re ``Preserving 
Minority Ownership of Minority Financial Institutions,'' 12 U.S.C. 
1463 note.
    \3\ Id. Sec.  1463 note (a). OCC and the Fed also initiated MDI 
programs to comply with the spirit of FIRREA Sec.  308, even though 
neither was originally required to do so. OTS became part of OCC on 
July 21, 2011. OCC now administers the OTS MDI Program.
    \4\ 12 U.S.C. 1463 note (b).
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    In 2010, Congress enacted the Dodd Frank Wall Street Reform and 
Consumer Protection Act (Dodd Frank Act).\5\ Section 367(4)(A) of the 
Dodd Frank Act amended FIRREA Sec.  308 to require the National Credit 
Union Administration (NCUA), the Office of the Comptroller of the 
Currency (OCC) and the Board of Governors of the Federal Reserve System 
(Fed) to take steps to preserve existing MDIs and encourage the 
establishment of new ones.\6\ In addition, Dodd Frank Act Sec.  
367(4)(B) requires these agencies, along with FDIC, to each submit an 
annual report to Congress describing actions it has taken to carry out 
FIRREA Sec.  308.\7\
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    \5\ Public Law 111-203, 124 Stat. 1376 (July 21, 2010); 12 
U.S.C. 5301 et seq.
    \6\ 12 U.S.C. 1463 note (a).
    \7\ Id. Sec.  1463 note (c).
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    In 2013, the NCUA Board proposed an Interpretive Ruling and Policy 
Statement 13-1 (proposed IRPS) to establish a Minority Depository 
Institution Preservation Program (Program) to encourage the 
preservation of MDIs.\8\ As proposed, the MDI program would be 
administered by NCUA's Office of Minority and Women Inclusion (OMWI) 
and would consist of outreach efforts, various forms of technical 
assistance and educational opportunities to benefit eligible credit 
unions.
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    \8\ 78 FR 46374 (July 31, 2013).

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[[Page 36357]]

    NCUA received a total of nine comments on the proposed IRPS--eight 
from credit union trade associations and one from a community advocacy 
group. Seven commenters expressly supported the proposal; none opposed 
it.

II. Summary of Comments on Proposed IRPS

1. ``Minority Depository Institution'' Definition

    Three commenters recommended defining MDIs by minority 
representation solely among current or potential members, without 
considering minority representation among credit union management 
officials. Two commenters believe extending the definition beyond 
minority representation among the membership would exceed the statutory 
mandate, and questioned whether including management officials within 
the scope of minority representation is necessary or would undermine 
the Program's goals. Another commenter opposed extending the minority 
representation requirement to management officials, contending that, if 
it were to encompass credit union staff, it would be burdensome for 
nearly one-half of the nation's federally insured credit unions that 
operate with five or fewer employees. This commenter also opposed 
requiring minority representation among members of the board of 
directors, supervisory and credit committee members because they are 
volunteers elected from and by the membership, and who should have the 
education, experience, and knowledge to manage a credit union 
regardless of minority status.
    In contrast, a commenter applauded NCUA for measuring minority 
representation among these officials to ensure that credit union 
leadership reflects the diversity of the communities and members an MDI 
serves. In addition, the same commenter wanted to limit the MDI 
definition to current members only, contending that having potential 
members who reside in an area having a mostly minority population is no 
assurance that an MDI would actually serve and invest in consumers of 
color within that community. Finally, the commenter suggested that 
minority representation should also encompass persons that identify as 
multi-racial/multi-ethnic, estimated at 9 million Americans by the U.S. 
Census Bureau.
    In the final Interpretive Ruling and Policy Statement 13-1 (final 
IRPS), the NCUA Board retains the proposed MDI definition with three 
significant modifications to ensure complete conformity with the 
statutory MDI definition of a mutual institution. Under that 
definition, a credit union qualifies as an MDI when ``the majority of 
the Board of Directors, account holders, and the community which it 
services is predominantly minority.'' \9\ (Hereinafter, when minority 
representation is required to be ``predominant'' or to consist of a 
``majority,'' i.e., greater than 50 percent in either case, it will be 
referred to as ``>50%'').
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    \9\ 12 U.S.C. 1463 note (b)(1)(C).
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    First, the proposed MDI definition combined both current and 
``eligible potential'' credit union members to assess minority 
representation among a credit union's ``account holders.'' Recognizing 
that a potential member does not hold a credit union account nor enjoy 
the rights and benefits of membership, the final IRPS limits to current 
members the assessment of >50% minority representation among credit 
union ``account holders.''
    Second, as several commenters contended, the proposed MDI 
definition assessed minority representation not only among a credit 
union's board of directors (BOD) as required, but more generally among 
its ``current management officials,'' consisting of members of the 
supervisory and credit committees and of the senior executive 
staff.\10\ Despite the NCUA Board's wish to emphasize the importance of 
minority representation within the leadership ranks of MDIs, the final 
IRPS limits to the BOD exclusively the assessment of >50% minority 
representation, consistent with the letter of the applicable statutory 
definition.
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    \10\ E.g., Chief executive officer, assistant chief executive 
officer, chief financial officer and branch managers. 78 FR 46374, 
46375 (July 31, 2013)
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    Third, the final IRPS clarifies that the MDI criterion requiring 
the community of a would-be MDI to be ``predominantly minority'' is not 
an alternative criterion for credit unions unable to meet the MDI 
criteria requiring >50% minority representation within its membership 
and on its BOD; it is an additional MDI criterion in and of itself.\11\ 
To assess whether the community of a would-be MDI is ``predominantly 
minority,'' the final IRPS designates a credit union's community 
according to its charter. To make this assessment, the final IRPS also 
permits credit unions to rely on the same methods and supporting data 
the proposed IRPS prescribed for use by credit unions to self-certify 
as an MDI (e.g., U.S. Census and Home Mortgage Disclosure Act 
data).\12\
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    \11\ 12 U.S.C. 1463 note (b)(1)(C). In contrast to NCUA, the 
fact that FDIC oversees publicly-owned, privately-owned and mutual 
institutions may account for its policy permitting an institution 
that is unable to meet the 51 percent minority ownership criterion 
to instead rely on two of the mutual MDI >50% criteria, yielding a 
hybrid definition: ``In addition to the institutions that meet the 
[51 percent] ownership test, for purposes of this Policy Statement, 
institutions will be considered [MDIs] if a majority of the [BOD] is 
minority and the community that the institution serves is 
predominantly minority.'' 67 FR 18 618, 18620 (April 16, 2002). See 
also 67 FR 77, 79 (January 2, 2002).
    \12\ 78 FR at 46376 and n. 14. In many cases the methods and 
data that establish >50% minority representation among a credit 
union's membership also will establish >50% minority representation 
within the community it services. The Board acknowledges this 
redundancy as necessary to conform this third criterion to the 
letter of the statutory MDI definition.
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    In addition to the above modifications, the MDI definition in the 
final IRPS counts a person of multiple ethnicities who falls into at 
least one of the four minority categories designated by law,\13\ (or is 
multi-racial as defined in Table 1) as a single minority individual for 
purposes of minority representation.
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    \13\ 12 U.S.C. 1463 note (b)(2).
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2. Documentation To Support MDI Designation

    In order to receive the MDI designation, one commenter advocated 
requiring the majority of a credit union's members' deposits and/or 
loan products to be held by racial minorities. While striving to 
maximize flexibility and the options to determine and support an MDI 
designation, the NCUA Board is concerned that it would be too 
burdensome and restrictive to identify the race and/or ethnicity of all 
members with deposits and/or loan products. The final IRPS therefore 
does not adopt this suggestion as an MDI criterion.
    One commenter recommended that NCUA clarify which U.S. Census 
demographic data to rely upon to measure minority representation among 
members for purposes of MDI determination. The final IRPS clarifies 
that U.S. Census data includes the American Fact Finder's most recent 
census population data (e.g., 2010) for a particular geographic area, 
such as within members' zip codes or census tracts; and that minority 
composition \14\ by census tracts, according to U.S. Census population 
data, can be found on the U.S. Census Bureau and the Federal Financial 
Institutions Examination Council (FFIEC) Web sites.
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    \14\ The minority composition represents the percentage of 
minorities divided by the entire referred population (e.g., total 
membership or within a geographic area such as a census tract or a 
Metropolitan Statistical Area).
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    One commenter suggested providing a portal on NCUA's Web site for 
credit unions to access the sources of data relevant to self-certifying 
as an MDI,

[[Page 36358]]

such as links to U.S. Census and Home Mortgage Disclosure Act (HMDA) 
data. NCUA currently provides links to access U.S. Census and FFIEC 
data on OMWI's Web page. To identify the ethnicity of its mortgage 
applicants, a credit union may rely on the home mortgage data it 
submits to comply with HMDA.
    One commenter opposed the notion of collecting data by any method 
that relies on members voluntarily identifying themselves as a 
minority, for two reasons. First, the practice may conflict with anti-
discrimination laws; and second, maintaining the collected ethnicity 
data may expose credit unions to criticism that the practice is 
intrusive, and to the risk of legal action. The final IRPS permits 
collection of volunteered ethnicity data as an option, but not a 
requirement, for credit unions to determine and to support self-
certification of MDI eligibility. Organizations that already collect 
volunteered ethnicity data from customers and members must take care to 
maintain the confidentiality of the collected data. Credit unions that 
elect this option to support self-certification should maintain the 
collected data separately from members' personal account files, and 
without personal identifiers (e.g., name, account or social security 
number, etc.).
    One commenter disagreed with the proposed requirement to annually 
review and update credit unions' MDI status, suggesting that NCUA 
require credit unions to follow a data review schedule that is 
consistent with the data each credit union relied upon to document its 
MDI certification. For example, when MDI eligibility is based on U.S. 
Census population data, the review and update would occur every 10 
years. Due to frequent changes in a credit union's field of membership, 
and the composition of its board of directors due to annual elections, 
the final IRPS retains an annual schedule for the review and update of 
MDI self-certifications.

3. MDI Program Costs, Resources & Funding

    Three commenters asked NCUA to perform a cost/benefit analysis of 
the new Program, detailing the new resources or processes that will be 
essential to realize NCUA's commitment to preserve MDIs, and how the 
Program will be funded. Another commenter sought further explanation of 
Program mechanics, funding details, the number of staff dedicated to 
Program implementation, the geographic distribution of Program 
beneficiaries, and the frequency of OMWI staff interaction with 
participating MDIs.
    The NCUA Board anticipates no additional costs or new resources 
attributable to the Program, due to reliance on existing agency 
programs and resources offered through NCUA's Office of Small Credit 
Union Initiatives (OSCUI), regional offices, and Office of Consumer 
Protection (OCP), thus avoiding overlaps with existing supervision, 
chartering, training, technical assistance, and educational programs. 
About 92 percent of MDIs already are eligible for OSCUI services that 
assist and educate credit unions designated either as low-income or as 
small. Examiners provide additional guidance to MDIs in between 
examinations to assist them in resolving substantial examination or 
viability concerns. OCP provides guidance to assist and educate MDIs 
and interested minority groups in chartering and in field of membership 
expansions. One OMWI staff member is responsible for managing the 
Program. OMWI's initial interaction and communications with MDIs will 
include OMWI's participation at events attended by MDIs, and OMWI's 
assistance provided upon request from MDIs.

4. MDI Program Benefits

    One commenter favored an expansion of financial support to enable 
the Program to provide direct financial support to MDIs. Financial 
support to eligible MDIs will be offered through the existing grant and 
loan programs funded by NCUA's Community Development Revolving Loan 
Fund (CDRLF).
    Two commenters encouraged NCUA to provide technical assistance to 
MDIs to avoid insolvency. One suggested two ways to strengthen the net 
worth of MDIs in response to unusual losses related to economic 
conditions outside the credit union's control: (1) Develop criteria and 
goals for access to assistance under section 208 of the Federal Credit 
Union Act (Sec.  208 assistance); \15\ and (2) make CDRLF funding a 
source of secondary capital for low-income designated credit unions, 
especially MDIs.
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    \15\ 12 U.S.C. 1788(a). See also 12 U.S.C. 1790d(o)(2)(B).
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    The NCUA Board emphasizes that the agency's role in preserving MDIs 
and providing technical support not only is to help MDIs survive, but 
to help them thrive as ongoing concerns. Section 208 assistance is 
available to all credit unions under at least one of three conditions: 
(1) To assist in the voluntary liquidation of a solvent credit union; 
(2) to avert the liquidation of a credit union that NCUA determines is 
in danger of insolvency; or (3) when NCUA determines it is needed to 
reduce the risk, or avert the threat, of a loss to the National Credit 
Union Share Insurance Fund.\16\
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    \16\ 12 U.S.C. 1788(a)(1)-(2).
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    NCUA typically provides Sec.  208 assistance to facilitate a sound 
merger or consolidation of an insured credit union in order to avert 
the liquidation of a credit union. Other than to avert the liquidation 
of a credit union that NCUA determines on a case-by-case basis is in 
danger of insolvency, regardless whether it is an MDI, Sec.  208 
assistance is not used solely to improve a credit union's capital 
position. The NCUA Board reserves the use of Sec.  208 assistance for 
credit unions under the above three conditions. However, the agency 
plans to enhance its guidance to examiners to sensitize them about the 
availability of Sec.  208 assistance for MDIs, as well as about the 
``General Preference Guidelines'' for mergers, addressed below. In 
contrast, the purpose of CDRLF grants and loans is to support enhanced 
service to underserved communities, including those served by MDIs. 
Unlike Sec.  208 assistance, CDRLF grants and loans generally are not 
provided solely for the purpose of improving capital to avoid 
insolvency.
    One commenter suggested making technical assistance and educational 
programs available on a variety of topics critical to preserving MDIs, 
including aid in achieving satisfactory levels of operations and 
regulatory performance. OSCUI currently provides technical guidance and 
educational programs to assist MDIs, as well as small credit unions, in 
achieving these objectives regardless of low-income designation and 
asset size. These programs include NCUA-sponsored videos, webinars, 
consulting services, newsletters, and other publications, including a 
Credit Union Leadership Resource Manual.
    One commenter advocated adopting a plan that combines targeted 
resources with supervisory authority in an effort to resolve material 
safety and soundness concerns among troubled MDIs. NCUA has no plans to 
make MDI preservation a part of the examination and/or supervision 
processes, although examiners are encouraged to provide additional 
guidance to MDIs in resolving material safety and soundness concerns 
whenever feasible. Also, OSCUI will continue to provide MDIs with 
technical assistance and educational and consulting services to assist 
them in resolving these concerns, thus improving their viability. OMWI 
will aid MDIs by facilitating and monitoring the assistance they 
receive, will report to Congress annually on

[[Page 36359]]

these efforts to preserve MDIs and to create new MDIs, and will 
reevaluate and enhance the Program as it matures.

5. MDI Program Partnerships

    Two commenters suggested collaborating with interested stakeholders 
(e.g., trade associations) to increase the likelihood of preserving 
MDIs, as well as to participate with NCUA's OMWI as a resource partner. 
One of the two commenters advocated expanding the Program's outreach to 
include a webinar on the application process for would-be MDIs, 
workshop sessions at trade conferences, and a comprehensive marketing 
program to increase awareness. NCUA's Office of Consumer Protection 
(OCP) recently published the Federal Credit Union Charter Application 
Guide, which provides detailed step-by-step instructions for chartering 
a new federal credit union. Additionally, NCUA is building 
relationships and plans to collaborate with credit union trade 
associations, credit unions, and other organizations to provide 
mentoring and educational opportunities for MDIs, including workshops 
and webinars. Interested organizations and credit unions should contact 
OMWI and suggest ideas for possible partnerships.
    One commenter encouraged NCUA's OMWI to collaborate with the 
original FIRREA-designated agencies, and the two agencies that joined 
them, to implement their ideas and suggestions. To develop and enhance 
NCUA's Program, OMWI continues to consult with its counterparts at the 
FDIC, the OCC and the Fed, to review their MDI programs, and to attend 
their interagency MDI and Community Development Financial Institution 
Banks' Conferences. NCUA will continue to work with its counterparts, 
whenever feasible, to obtain additional ideas to enhance its Program.

6. General Preference Guidelines for MDI Mergers

    One commenter supported the FIRREA-prescribed ``General Preference 
Guidelines'' for mergers (Guidelines),\17\ which give MDIs preference 
as a merger partner, provided that other relevant factors are given 
appropriate weight and consideration (e.g., the acquiring MDI's 
capacity to offer the same and/or improved financial services and 
access to the acquired members).
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    \17\ 12 U.S.C. 1463 note (a)(2).
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    To implement the Program, another commenter encouraged NCUA to work 
closely with state regulators to apply the Guidelines seamlessly and 
fairly when comparing potential MDI versus non-MDI merger partners for 
a troubled state-chartered credit union; to make the Program respond 
expeditiously and effectively to a troubled institution; and to ensure 
that supervisory oversight remains the focus of the Program--all 
without delaying the resolution of a troubled institution through 
merger or acquisition.
    Under the final IRPS, NCUA regional offices will continue to 
process the mergers of troubled MDIs, working closely with state 
regulators to apply the Guidelines, and to ensure that the Guidelines 
do not conflict with safety and soundness considerations. In processing 
MDI mergers and purchase-and-assumption transactions, the need to 
respond expeditiously and effectively to troubled MDIs will continue to 
be the primary focus of NCUA's supervisory oversight. The Guidelines 
provide interested MDIs an opportunity to participate in the merger 
bidding process for an insolvent or troubled MDI, enabling the minority 
character of the MDI to be preserved.

7. Attention to Troubled MDIs

    One commenter recommended establishing a clear supervisory 
framework and strategy to establish a sufficient period of time to 
permit a more aggressive workout strategy for troubled MDIs. The 
commenter contended that such a framework and strategy would be an 
important preservation step between the identification of a troubled 
credit union and its dissolution. The commenter suggested addressing 
steps that may be taken through NCUA's supervisory examinations and 
oversight; and recommending an aggressive strategy for intervention 
using supervisory authorities combined with its targeted workout teams 
and resources.
    In addition, this commenter advocated adopting a system of triage 
for prioritizing attention to MDIs, based on financial health, to best 
support those that are financially sound in building and expanding 
their work, while intervening sooner with those on a less secure 
footing in order to preserve service to their communities. Furthermore, 
this commenter advocated adopting a plan to provide resources and 
support to struggling MDIs identified as in danger of failing either 
through agency enforcement action or an inability to address issues 
identified in a Document of Resolution (DOR) and/or Letter of 
Understanding and Agreement (LUA). The period between a DOR and an LUA 
may present a critical moment where additional help and support can be 
sought. This commenter suggested steps NCUA could implement to work an 
MDI out of distress or troubled status. The commenter suggested using 
NCUA's Vendor Registration process to identify an appropriate resource 
team to participate in workout situations and to put additional 
resources and technical assistance at its disposal in working to 
resolve sound operations in a troubled MDI. The commenter envisioned 
the resource team effecting a significant turnaround in 6-12 months 
with the intention of preserving and building the institution. If the 
situation is not viable, the commenter suggested the resource team 
would be able to assist in identifying appropriate merger partners 
interested in serving the minority community.
    NCUA cannot adopt the commenter's suggestions regarding attention 
to troubled MDIs because they would involve internal agency processes 
beyond the scope of this final IRPS. The final IPRS is a policy 
statement that generally prescribes actions to preserve MDIs, such as 
technical assistance, training, and educational opportunities to 
strengthen management and/or operations, as well as to assist in 
resolving examination and compliance concerns. The Program will not 
interfere with supervisory enforcement actions duly undertaken by the 
other offices within the agency.
    Also, due to confidentiality, NCUA cannot disclose information 
about troubled MDIs to resource teams involving third parties (e.g., 
trade associations or vendors). Credit union examination results 
constitute confidential information; public disclosure is prohibited by 
law. NCUA regulations specifically prohibit the release of such 
information by officers, employees or agents of NCUA or any federally 
insured credit union.\18\ Such disclosure risks harming the financial 
stability of credit unions or interfering in the relationship between 
NCUA and credit unions.
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    \18\ 12 CFR 792.11(a)(8),
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    The final IRPS addresses the posting of a list of MDIs on the 
agency's Web site (www.ncua.gov) and the use of a Vendor Registration 
Form to provide an opportunity for qualified minorities or minority-
owned firms to apply for the position of interim manager of an MDI 
placed in conservatorship. Other uses of the form may be considered. 
With the posting of an MDI list on the agency Web site, interested 
parties (e.g., trade associations or vendors) may monitor the financial 
trends of all MDIs to identify troubled MDIs and offer a program to 
restore them to financial soundness.

[[Page 36360]]

8. Commenters' Other Suggestions

    Rather than holding to a static number of MDIs to measure 
preservation, one commenter advocated chartering new MDIs in 
communities that would benefit from MDI service. NCUA's goals are to 
implement efforts not only to preserve existing MDIs, but to encourage 
the chartering of new MDIs, as FIRREA Sec.  308(a) (1)-(5) 
prescribes.\19\ NCUA's OCP and OSCUI will continue to work with groups 
seeking to charter new MDIs and with MDIs seeking a common bond 
conversion or a charter expansion, and they will assist them in the 
application process.
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    \19\ 12 U.S.C. 1463 note (a)(1)-(5).
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    One commenter advocated publicizing information to credit unions, 
leagues and state agencies about NCUA's efforts to preserve MDIs and 
about the Program's benefits. Information pertaining to MDI 
preservation efforts is provided in NCUA's annual reports to 
Congress.\20\ NCUA's MDI Reports to Congress for 2013 and 2014 are 
available on OMWI's Web page.\21\
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    \20\ Id. Sec.  1463 note (c).
    \21\ Available at: http://www.ncua.gov/Legal/RptsPlans/Pages/OMWI.aspx.
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    Another commenter suggested limiting the regulatory burden on 
credit unions as a step in support of the survival of MDIs. The NCUA 
Board agrees with this recommendation, and is aggressively working 
toward this goal. In January 2013, the NCUA Board reviewed the 
threshold it uses to identify which credit unions qualify as small 
entities and thus receive special consideration regarding regulatory 
burden and alternatives under the Regulatory Flexibility Act 
(``RFA'').\22\ Based on industry percentages carried forward from the 
last update in 2003, and corresponding risks to the Share Insurance 
Fund, the NCUA Board determined that credit unions with less than $50 
million in assets, up from the prior $10 million threshold, were small 
and non-complex for purposes of the RFA.\23\ These credit unions 
receive exemptions from certain NCUA rules, and heightened 
consideration of regulatory burden. Approximately 82 percent of the 655 
self-identified MDIs under the proposed definition had assets of less 
than $50 million as of March 31, 2015. In February of 2015, the NCUA 
Board proposed increasing the asset threshold to define small credit 
unions under the RFA to $100 million.\24\ The proposed rule is intended 
to provide regulatory relief for a greater percentage of credit unions 
(including MDIs) in future rulemakings. Approximately 89 percent of the 
655 self-identified MDIs under the proposed definition had assets of 
less than $100 million as of March 31, 2015.
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    \22\ 5 U.S.C. 601.
    \23\ 78 FR 4032 (January 18, 2013).
    \24\ 80 FR 11954 (March 15, 2015).
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    One commenter proposed that NCUA establish an advisory committee to 
assist in developing, designing, and testing strategies and approaches 
on how to best preserve MDIs. Rather than rely on a permanent advisory 
committee, NCUA may consider informal focus groups comprised of MDIs of 
all asset sizes and levels of complexity to accomplish the suggested 
goals.
    Revised as explained above, the final IRPS follows.

III. Final Interpretive Ruling and Policy Statement 13-1 (Final IRPS)

1. Why is the NCUA Board issuing this final IRPS?

    The NCUA Board is issuing this final IRPS to establish a Minority 
Depository Institution Preservation Program (Program) to achieve the 
goals of preserving and encouraging Minority Depository Institutions 
(MDIs), as section 308 of the Financial Institutions Reform, Recovery 
and Enforcement Act (FIRREA Sec.  308) directs.\25\ Recognizing the 
important role of MDIs in minority communities, the NCUA Board 
envisions a program of proactive steps and outreach efforts to promote 
and preserve minority ownership in the credit union system. To achieve 
these goals, the final IRPS prescribes the Program eligibility criteria 
and Program elements.
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    \25\ Public Law 101-73, 103 Stat. 183 (Aug. 9, 1989).
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2. What are the goals and objectives of the MDI Program?

    The Program embraces goals and objectives that relate to NCUA's 
mission and goal to ensure a safe, sound, and sustainable credit union 
system as envisioned in NCUA's current strategic plan.
    The Program also reflects the preservation goals of FIRREA Sec.  
308,\26\ namely:
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    \26\ 12 U.S.C. 1463 note (a) & (c).
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     To preserve the present number of MDIs;
     To preserve the minority character of MDIs that are 
involuntarily merged, or are acquired, by following the prescribed 
``general preference guidelines'' to identify a merger or acquisition 
partner; \27\
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    \27\ In priority, the General Preference Guidelines for 
identifying an involuntary merger/acquisition partner are: (a) Same 
type of MDI in the same city; (b) Same type of MDI in the same 
state; (c) Same type of MDI nationwide; (d) Any type of MDI in the 
same city; (e) Any type of MDI in the same state; (f) Any type of 
MDI nationwide; and (g) Any other bidders (for merger/acquisition 
partners). 12 U.S.C. 1463 note (a)(2). Rules concerning field of 
membership, least cost to NCUSIF, and safety and soundness still 
apply to all mergers. Regional office staff will continue to process 
mergers and work with management and state regulators. OMWI will 
monitor MDI mergers and report about them to Congress annually.
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     To provide technical assistance to prevent insolvency of 
MDIs that are not now insolvent;
     To promote and encourage the creation of new MDIs; and
     To provide for training, technical assistance, and 
educational programs.

3. Who is eligible to participate in the MDI Program?

    A credit union that meets the definition of an MDI is eligible to 
participate in the Program. The Program adopts the MDI definition set 
forth in FIRREA Sec.  308 that applies to a mutual institution.\28\ 
Accordingly, this final IRPS defines an MDI as a federally insured 
credit union in which a majority of its current members, a majority of 
its board of directors (BOD), and a majority of the community it 
services, as designated in its charter, falls within any of the 
eligible minority groups described below. (Hereinafter, when minority 
representation is required to be ``predominant'' or to consist of a 
``majority,'' i.e., greater than 50 percent in either case, it will be 
referred to as ``>50%''.)
---------------------------------------------------------------------------

    \28\ 12 U.S.C. 1463 note (b)(1)(C).
---------------------------------------------------------------------------

    NCUA relies on FIRREA Sec.  308's ``minority'' definition to 
identify an eligible minority exclusively as any Black American, Asian 
American, Hispanic American, or Native American.\29\ Also, for the 
purpose of minority representation under the MDI definition, anyone of 
multiple ethnicities who falls into more than one of the minority 
categories depicted below is a single minority individual.
---------------------------------------------------------------------------

    \29\ Id. Sec.  1463 note (b)(2). Compare 12 U.S.C. 5452(g)(3) 
incorporating 12 U.S.C. 1811 note(c)(3).

[[Page 36361]]



                 Table 1--Minority Category Definitions
------------------------------------------------------------------------
                                                    Equal Employment
              Minority category                  Opportunity Commission
                                                         (EEOC)
------------------------------------------------------------------------
Black American...............................  Black or African American
                                                (Not Hispanic or
                                                Latino)--A person having
                                                origins in any of the
                                                black racial groups of
                                                Africa.
Native American..............................  American Indian or Alaska
                                                Native (Not Hispanic or
                                                Latino)--A person having
                                                origins in any of the
                                                original peoples of
                                                North and South America
                                                (including Central
                                                America), and who
                                                maintain tribal
                                                affiliation or community
                                                attachment.
Hispanic American............................  Hispanic or Latino--A
                                                person of Cuban,
                                                Mexican, Puerto Rican,
                                                South or Central
                                                American, or other
                                                Spanish culture or
                                                origin regardless of
                                                race.
Asian American...............................  Asian (Not Hispanic or
                                                Latino)--A person having
                                                origins in any of the
                                                original peoples of the
                                                Far East, Southeast
                                                Asia, or the Indian
                                                Subcontinent, including,
                                                for example, Cambodia,
                                                China, India, Japan,
                                                Korea, Malaysia,
                                                Pakistan, the Philippine
                                                Islands, Thailand, and
                                                Vietnam; or
                                               Native Hawaiian or Other
                                                Pacific Islander (Not
                                                Hispanic or Latino)--A
                                                person having origins in
                                                any of the peoples of
                                                Hawaii, Guam, Samoa, or
                                                other Pacific Islands.
Multi-Racial American........................  Two or More Races \30\
                                                (Not Hispanic or
                                                Latino)--A person who
                                                identifies with more
                                                than one of the above
                                                races.
------------------------------------------------------------------------

4. How will the MDI Program function?

    NCUA's Office of Minority and Women Inclusion (OMWI) administers 
the Program. A federally insured credit union can self-certify as an 
MDI by affirmatively answering the following questions within NCUA's 
Credit Union Online Profile (CU Online System), accessible from the 
NCUA Web site,\31\ or when submitting a Call Report: (1) Are more than 
50 percent of your credit union's current and eligible potential 
members Black American, Native American, Hispanic American or Asian 
American?; \32\ and (2) Is more than 50 percent of your credit union's 
current board of directors Black American, Native American, Hispanic 
American or Asian American?
---------------------------------------------------------------------------

    \30\ U.S. Equal Employment Opportunity Commission's EEO-1 
Report-Race/Ethnicity Categories.
    \31\ www.ncua.gov.
    \32\ The community serviced by a multiple common bond credit 
union consists of both its current members and the eligible non-
members within the select groups designated by its charter. For 
example, the current members and eligible non-members may all reside 
in one city, county, or MSA. The community serviced by a community 
credit union consists of both its current members and the eligible 
non-members who reside within the well-defined local community 
designated by its charter.
---------------------------------------------------------------------------

    If both questions are answered ``yes'', the credit union may self-
certify via NCUA's Credit Union Online Profile system that it meets the 
>50% minority criteria, as the case may be. A credit union defined as a 
small entity under the Regulatory Flexibility Act (RFA) may self-
certify >50% representation among its current members, and within the 
community it services (current and potential members combined), based 
solely on knowledge of those members. A credit union not defined as a 
small entity under the RFA may rely on one of the following methods, as 
applicable, to determine the minority composition of its current 
membership exclusively, and of the community it services, consisting of 
the combined current and potential membership:
    (A) Ascertain the minority representation using demographic data 
from the U.S. Census Bureau (using the U.S. Census Bureau or FFIEC Web 
site) based on the area(s) where the combined current and potential 
membership resides, such as a township, borough, city, county, or 
Metropolitan Statistical Area (MSA). If the U.S. Census data (e.g., 
census tracts, zip codes, townships, boroughs, cities, counties, etc.) 
shows that the area's population is comprised mostly of eligible 
minorities, the credit union may assume that its current membership and 
the community it services both have the same minority composition as 
the U.S. Census data indicates.
    (B) Use Home Mortgage Disclosure Act (HMDA) data to calculate the 
reported number of minority mortgage applicants divided by the total 
number of mortgage applicants within the credit union's membership. 
HMDA data can be obtained from the FFIEC Web site. If the share of 
minority representation among applicants is >50%, the minority 
membership and the predominantly community criteria may be met. If a 
credit union grants a majority of its mortgage loans to minorities, it 
is most likely the majority of the community the credit union services 
(its current and potential members) will consist of minorities.
    (C) Elect to collect data from members who voluntarily choose to 
self-identify as an eligible minority and use the data to determine 
minority representation among the credit union's membership. The credit 
union may wish to consider using an unbiased third party to conduct 
such a collection process. For example, data can be collected through a 
survey of members assessing the services they desire, or by mailed 
electoral ballots for official positions. Once collected, it is 
essential to maintain the confidentiality of the data; it should not be 
retained in the members' file or with any personal identifiers (e.g., 
name, account or social security numbers, etc.) If a majority of its 
current members are minorities, it is most likely the majority of the 
community the credit union services (its current and potential members) 
will consist of minorities.
    (D) Use any other reasonable form of data, such as membership 
address list analyses, or an employer's demographic analysis of 
employees.
    A credit union defined as a small entity under the RFA that self-
identifies as an MDI should maintain some form of the documentation 
that it relied upon to determine that, as explained above, it meets the 
minimum minority representation among its membership. This 
documentation may consist of demographic data obtained from the U.S. 
Census Bureau,\33\ from a credit union's HMDA report, or from any other 
reasonable source and form of data (e.g., member survey, sponsor's 
employee demographic or members' zip code analysis).
---------------------------------------------------------------------------

    \33\ www.census.gov or www.FFIEC.gov.
---------------------------------------------------------------------------

    Regardless of asset size and the method a credit union uses to 
self-certify as an MDI, the validity of the self-certification (and the 
supporting data) is subject to verification by NCUA based on minority 
representation where the credit union's members reside.
    If NCUA questions a credit union's certification or the data 
supporting it (e.g., members' addresses) is found to be at odds with a 
credit union's self-certification of >50% minority representation among 
either its current membership, the community it services (consisting of 
current and potential

[[Page 36362]]

members) or its board of directors, NCUA's OWMI will:
    (1) Notify the credit union in writing about its reasons for 
invalidating the certification.
    (2) Provide the credit union an opportunity to submit documentation 
and/or a rationale to support its MDI self-identification within 60 
days of receiving OMWI's notification.
    (3) Review the documentation and/or rationale the credit union 
submits and inform the credit union whether, as a result, it meets the 
>50% minority criterion.
    (4) Deny the MDI designation if the credit union either provides no 
documentation and/or rationale, or provides documentation and/or 
rationale that, in NCUA's discretion, is insufficient to support a 
certification based upon >50% minority representation under all 
criteria.
    NCUA will periodically review and determine whether an MDI 
continues to meet the MDI definition. A credit union may no longer meet 
the MDI definition as a result of FOM expansions (e.g., mergers, 
purchase and assumptions, new groups added to the FOM, or charter 
conversions) and changes resulting from board of directors elections. 
NCUA, at its discretion, may continue to treat a credit union as an MDI 
under this final IRPS in the event its board of directors no longer 
meets the minority criteria, provided there is >50% minority 
representation among both the credit union's current members and the 
community it serves.
    Once it qualifies as an MDI, a credit union should annually assess 
whether it continues to meet the MDI definition (e.g., December 31st 
Call Report cycle), and update its status on NCUA's Credit Union Online 
Profile system as necessary.
    Participation in the MDI Program is voluntary. An MDI may 
discontinue its participation at any time by updating its status on 
NCUA's Credit Union Online system. In that event, the credit union 
would no longer be eligible to participate in any MDI Program 
initiatives (e.g., MDI merger/acquisition preference consideration or 
MDI partnerships).

5. What are the elements of the MDI Program?

    NCUA seeks to provide MDI Program participants a variety of 
initiatives to assist in preserving the economic viability of their 
institutions. The initiatives include technical assistance and 
educational opportunities for MDIs through NCUA's Office of Small 
Credit Union Initiatives (OSCUI).\34\ This technical assistance may 
include participation in:
---------------------------------------------------------------------------

    \34\ OSCUI's services are generally offered to credit unions 
that have less than $50 million in assets or are low-income 
designated. By statute, grants and loans from the CDRLF are 
available only to low-income designated credit unions. The webinars 
and training programs are open to all credit unions. The MDI Program 
expands consulting services to all MDIs.
---------------------------------------------------------------------------

    (1) OSCUI's Consulting Program;
    (2) NCUA-sponsored training, webinars, etc.; and
    (3) Grant or loan programs of NCUA's Community Development 
Revolving Loan Fund (CDRLF).
    The technical assistance may also include examiner guidance in 
resolving examination concerns; in locating new sponsors, mentors, or 
merger partners; in expanding the field of membership; and in setting 
up new programs and services. Additionally, the NCUA Board will 
consider providing Section 208 assistance to avert the liquidation of a 
credit union that it determines on a case-by-case basis is in danger of 
insolvency, regardless whether the credit union is an MDI.\35\
---------------------------------------------------------------------------

    \35\ 12 U.S.C. 1788(a)(1)-(2).
---------------------------------------------------------------------------

    NCUA may aid in coordinating partnerships between MDIs and other 
organizations (e.g., other MDIs, and/or trade associations) as a means 
of providing technical or operational assistance to MDIs. This 
assistance may include training for officials and staff, expertise in 
technical areas (e.g., marketing, FOM expansion guidance, bidding on 
merger proposals), equipment, and assistance for specific projects or 
to achieve specific goals.
    NCUA will publish a list of federally insured MDIs on its Web site 
(www.ncua.gov) to enable organizations (e.g., banks, other MDIs, trade 
associations or other third parties) to identify MDIs that would 
benefit from partnering, mentoring, additional resources, and/or 
business relationships. Banks can obtain Community Reinvestment Act 
(CRA) credit for investing in MDIs. For example, if a bank were to have 
an unused building, the bank could lease that space to an MDI at no 
charge or at a low cost, and receive a corresponding CRA credit.
    NCUA will monitor MDIs and will report to Congress annually on the 
number and overall financial condition of MDIs, along with actions 
taken by the agency to preserve and strengthen them and to encourage 
the chartering of new ones.
    NCUA will use FIRREA's prescribed General Preference Guidelines 
(see Sec.  II.6. above) to attempt to preserve the minority character 
of failing MDIs that are involuntarily merged or acquired. In the event 
of an involuntary merger/acquisition of a troubled MDI,\36\ NCUA will 
invite bids from MDIs that are qualified to partner with a failing MDI, 
along with non-MDI credit unions. OMWI also will assist in locating an 
MDI partner for MDIs wishing to voluntarily merge their operations. To 
be considered as an acquirer, an MDI is strongly encouraged to document 
its desire to acquire another MDI by registering itself on NCUA's 
Merger Registry via the CU Online System.
---------------------------------------------------------------------------

    \36\ A merger is involuntary whenever the credit union is 
insolvent. 12 U.S.C. 1787(a) (1). A credit union is insolvent when 
the total amount of the credit union's shares exceeds the present 
cash value of its assets after providing for liabilities unless: (i) 
It is determined by the NCUA Board that the facts that caused the 
deficient share-asset ratio no longer exist; and (ii) The likelihood 
of further depreciation of the share asset ratio is not probable; 
and (iii) The return of the share-asset ratio to its normal limits 
within a reasonable time for the credit union concerned is probable; 
and (iv) The probability of a further potential loss to the 
insurance fund is negligible. 12 CFR 700.2(e)(1)
---------------------------------------------------------------------------

    Additionally, any organization or person seeking to be a candidate 
for managing the conservatorship of an MDI should complete an NCUA 
Vendor Registration Form (NCUA 1772) \37\ and OSCUI's Credit Union 
Service Provider (CUSP) Database Registration Form.\38\ OMWI can 
provide NCUA regional offices with a list of diverse candidates who 
have requested consideration for the position of interim Chief 
Executive Officer/Manager of a conserved MDI, upon request.
---------------------------------------------------------------------------

    \37\ The Vendor Registration Form can be accessed, completed and 
submitted on NCUA's Web site via the following link: http://www.ncua.gov/about/Documents/Procurement/VendorRegistration.pdf.
    \38\ The CUSP Registration Form and Instructions can be accessed 
on NCUA's Web site at: http://www.ncua.gov/Resources/OSCUI/Pages/CUSP.aspx.
---------------------------------------------------------------------------

    Finally, the Office of Consumer Protection and OSCUI will be 
available to provide assistance, and guidance in the application 
process, to groups that may be interested in chartering a new MDI, and 
to MDIs wishing to apply to change their charter or field of 
membership. For detailed step-by-step instructions on chartering a 
federal credit union, please refer to the Federal Credit Union Charter 
Application Guide.\39\
---------------------------------------------------------------------------

    \39\ www.FCU-Charter-Application-Guide.
---------------------------------------------------------------------------

IV. Regulatory Procedures

Regulatory Flexibility Act

    The Regulatory Flexibility Act (RFA) requires NCUA to prepare an 
analysis to describe any significant economic impact the IRPS may have 
on a substantial number of small entities.

[[Page 36363]]

The final IRPS permits a credit union defined as small under the RFA to 
self-certify that it meets the MDI definition based solely on its 
knowledge of its current membership and the community it services 
(e.g., potential membership identified in its charter), without any 
supporting documentation. The Program will have a significantly 
beneficial economic impact on small entities because it offers eligible 
credit unions, including small entities, various forms of technical 
assistance and educational opportunities at no cost. NCUA therefore 
certifies that the final IRPS will not have a significant adverse 
economic impact on a substantial number of small credit unions. 
Accordingly, no regulatory flexibility analysis is required.

Paperwork Reduction Act

    The Paperwork Reduction Act of 1995 (PRA) applies to rulemakings in 
which an agency creates a new paperwork burden on regulated entities or 
modifies an existing burden. For purposes of the PRA, a paperwork 
burden may take the form of either a reporting or a recordkeeping 
requirement, each referred to as an information collection. The 2013 
proposed IRPS identified a new information collection consisting of the 
procedure for a credit union to document its self-certification of 
eligibility to participate in the Program.\40\
---------------------------------------------------------------------------

    \40\ 78 FR 46374 (July 31, 2013)
---------------------------------------------------------------------------

    The proposed IRPS invited interested persons to submit comments on 
the prescribed information collection requirement to the Office of 
Management and Budget (OMB), with a copy to NCUA, at the address 
provided in the preamble to the proposed IRPS. NCUA received the 
following comments on the information collection requirement prescribed 
in the proposed IRPS, encouraging the agency to:
     Remove the minority representation requirement among 
management officials in the MDI definition;
     restrict the collection of data by any method that allows 
members to voluntarily identify themselves as a minority;
     require the majority of a credit union's members' deposits 
and/or loan products to be held by racial minorities;
     conform the annual review and update of the minority self-
certification to the updating frequency of the data supporting a self-
certification (e.g., every ten years if using U.S. Census data); and
     provide a portal on NCUA's Web site for credit unions to 
access the sources of data relevant to self-certifying as an MDI, such 
as links to U.S. Census and HDMA data.
    Section II of this final IRPS addresses these comments. In 
response, NCUA has narrowed the scope of the minority representation 
requirement among a credit union's management to its board of 
directors, thus reducing the paperwork burden of assessing minority 
representation among senior management officials. Also, NCUA has 
displayed on the agency's Web site links to sources of data for self-
certifying as an MDI; thus reducing the burden on potential MDIs to 
locate the Web sites for assessing source information to document their 
self-certification. NCUA will apply to OMB for approval of the final 
IRPS.

Executive Order 13132

    Executive Order 13132 encourages independent regulatory agencies to 
consider the impact of their actions on state and local interests. 
NCUA, an independent regulatory agency as defined in 44 U.S.C. 3502(5), 
voluntarily complies with the Executive Order to adhere to fundamental 
federalism principles. This final IRPS will not have a substantial 
direct effect on the states, on the relationship between the national 
government and the states, or on the distribution of power and 
responsibilities among the various levels of government. NCUA has 
determined that this final IRPS does not constitute a policy that has 
federalism implications for purposes of the executive order.

Treasury and General Government Appropriations Act, 1999

    NCUA has determined that this final IRPS will not affect family 
well-being within the meaning of Section 654 of the Treasury and 
General Government Appropriations Act, 1999, Public Law 105-277, 112 
Stat. 2681 (1998).

Agency Regulatory Goal

    The Board's goal is to promulgate clear and understandable 
regulations that impose minimal regulatory burden. We request your 
comments on whether this final IRPS is understandable and minimally 
intrusive if implemented as proposed.

    By the National Credit Union Administration Board on June 18, 
2015.
Gerard S. Poliquin,
Secretary of the Board.
[FR Doc. 2015-15515 Filed 6-23-15; 8:45 am]
 BILLING CODE 7535-01-P



                                              36356                        Federal Register / Vol. 80, No. 121 / Wednesday, June 24, 2015 / Notices

                                              by target groups to the ETA. An                           • Enhance the quality, utility, and                  I. Background
                                              employer uses Form ETA–9061 or ETA–                     clarity of the information to be                          In 1989, Congress enacted the
                                              9062 together with Form IRS–8850 to                     collected; and                                         Financial Institutions Reform, Recovery
                                              request certification for new hires. A                    • Minimize the burden of the                         and Enforcement Act (FIRREA) 1 in
                                              SWA uses information from the two                       collection of information on those who                 response to the failure of the Federal
                                              forms to verify target group eligibility                are to respond, including through the                  Savings and Loan Insurance Corporation
                                              and process the employer’s requests. A                  use of appropriate automated,                          (FSLIC), which insured the deposits of
                                              SWA uses Form ETA–9063 to issue a                       electronic, mechanical, or other                       insolvent savings & loan institutions.
                                              final certification to an eligible                      technological collection techniques or                 Section 308 of FIRREA established goals
                                              employer or its representative and ETA                  other forms of information technology,                 for preserving and promoting minority
                                              Form 9065 in an internal quarterly                      e.g., permitting electronic submission of              depository institutions.2 When enacted,
                                              administrative audit.                                   responses.                                             FIRREA § 308 applied only to the Office
                                                 This information collection is subject                 Agency: DOL–ETA.                                     of Thrift Supervision (OTS) and Federal
                                              to the PRA. A Federal agency generally                    Title of Collection: Work Opportunity                Deposit Insurance Corporation (FDIC),
                                              cannot conduct or sponsor a collection                  Tax Credit and Welfare-to-Work Tax                     successor to FSLIC.3 Those agencies
                                              of information, and the public is                       Credit.                                                developed various initiatives, such as
                                              generally not required to respond to an                   OMB Control Number: 1205–0371.                       training, technical assistance and
                                              information collection, unless it is                      Affected Public: Individuals or                      educational programs, aimed at
                                              approved by the OMB under the PRA                       Households; State, Local, and Tribal                   preserving federally insured banks and
                                              and displays a currently valid OMB                      Governments; and Private Sector—                       savings institutions that meet FIRREA’s
                                              Control Number. In addition,                            businesses or other for profits, farms,                definition of a minority depository
                                              notwithstanding any other provisions of                 and not-for-profit institutions.                       institution (MDI).4
                                              law, no person shall generally be subject                 Total Estimated Number of                               In 2010, Congress enacted the Dodd
                                              to penalty for failing to comply with a                 Respondents: 990,052.                                  Frank Wall Street Reform and Consumer
                                              collection of information that does not                   Total Estimated Number of                            Protection Act (Dodd Frank Act).5
                                              display a valid Control Number. See 5                   Responses: 2,420,624.                                  Section 367(4)(A) of the Dodd Frank Act
                                              CFR 1320.5(a) and 1320.6. The DOL                         Total Estimated Annual Time Burden:                  amended FIRREA § 308 to require the
                                              obtains OMB approval for this                           847,445 hours.                                         National Credit Union Administration
                                              information collection under Control                      Total Estimated Annual Other Costs                   (NCUA), the Office of the Comptroller of
                                              Number 1205–0371.                                       Burden: $0.                                            the Currency (OCC) and the Board of
                                                 OMB authorization for an ICR cannot                    Dated: June 17, 2015.                                Governors of the Federal Reserve
                                              be for more than three (3) years without                Michel Smyth,                                          System (Fed) to take steps to preserve
                                              renewal, and the current approval for                   Departmental Clearance Officer.                        existing MDIs and encourage the
                                              this collection is scheduled to expire on                                                                      establishment of new ones.6 In addition,
                                                                                                      [FR Doc. 2015–15469 Filed 6–23–15; 8:45 am]
                                              June 30, 2015. The DOL seeks to extend                                                                         Dodd Frank Act § 367(4)(B) requires
                                                                                                      BILLING CODE 4510–FP–P
                                              PRA authorization for this information                                                                         these agencies, along with FDIC, to each
                                              collection for three (3) more years,                                                                           submit an annual report to Congress
                                              without any change to existing                                                                                 describing actions it has taken to carry
                                              requirements. The DOL notes that                        NATIONAL CREDIT UNION                                  out FIRREA § 308.7
                                              existing information collection                         ADMINISTRATION                                            In 2013, the NCUA Board proposed an
                                              requirements submitted to the OMB                                                                              Interpretive Ruling and Policy
                                              receive a month-to-month extension                      RIN 3133–AE16                                          Statement 13–1 (proposed IRPS) to
                                              while they undergo review. For                                                                                 establish a Minority Depository
                                              additional substantive information                      Minority Depository Institution
                                                                                                                                                             Institution Preservation Program
                                              about this ICR, see the related notice                  Preservation Program
                                                                                                                                                             (Program) to encourage the preservation
                                              published in the Federal Register on                    AGENCY:  National Credit Union                         of MDIs.8 As proposed, the MDI
                                              March 2, 2015 (80 FR 11231).                            Administration (NCUA).                                 program would be administered by
                                                 Interested parties are encouraged to                                                                        NCUA’s Office of Minority and Women
                                                                                                      ACTION: Final Interpretive Ruling and
                                              send comments to the OMB, Office of                                                                            Inclusion (OMWI) and would consist of
                                              Information and Regulatory Affairs at                   Policy Statement 13–1.
                                                                                                                                                             outreach efforts, various forms of
                                              the address shown in the ADDRESSES                      SUMMARY:   The NCUA Board is issuing a                 technical assistance and educational
                                              section by July 30, 2015. In order to help              final Interpretive Ruling and Policy                   opportunities to benefit eligible credit
                                              ensure appropriate consideration,                       Statement to establish a Minority                      unions.
                                              comments should mention OMB Control                     Depository Institution Preservation
                                              Number 1205–0371. The OMB is                            Program for federally insured credit                     1 Public   Law 101–73, 103 Stat. 183 (Aug. 9, 1989).
                                              particularly interested in comments                     unions.                                                  2 Id.  Title III, § 308, 103 Stat. 353 note re
                                              that:                                                                                                          ‘‘Preserving Minority Ownership of Minority
                                                 • Evaluate whether the proposed                      DATES: This final Interpretive Ruling                  Financial Institutions,’’ 12 U.S.C. 1463 note.
                                              collection of information is necessary                  and Policy Statement is effective July                    3 Id. § 1463 note (a). OCC and the Fed also


                                              for the proper performance of the                       24, 2015.                                              initiated MDI programs to comply with the spirit of
                                                                                                                                                             FIRREA § 308, even though neither was originally
                                              functions of the agency, including                      FOR FURTHER INFORMATION CONTACT:                       required to do so. OTS became part of OCC on July
                                                                                                      Wendy A. Angus, Acting Director,
tkelley on DSK3SPTVN1PROD with NOTICES




                                              whether the information will have                                                                              21, 2011. OCC now administers the OTS MDI
                                              practical utility;                                      Office of Minority and Women                           Program.
                                                                                                                                                                4 12 U.S.C. 1463 note (b).
                                                 • Evaluate the accuracy of the                       Inclusion, at (703) 518–1650; or Cynthia
                                                                                                                                                                5 Public Law 111–203, 124 Stat. 1376 (July 21,
                                              agency’s estimate of the burden of the                  Vaughn, Diversity Outreach Program
                                                                                                                                                             2010); 12 U.S.C. 5301 et seq.
                                              proposed collection of information,                     Analyst, Office of Minority and Women                     6 12 U.S.C. 1463 note (a).

                                              including the validity of the                           Inclusion, at (703) 518–1650.                             7 Id. § 1463 note (c).

                                              methodology and assumptions used;                       SUPPLEMENTARY INFORMATION:                                8 78 FR 46374 (July 31, 2013).




                                         VerDate Sep<11>2014   16:43 Jun 23, 2015   Jkt 235001   PO 00000   Frm 00041   Fmt 4703   Sfmt 4703   E:\FR\FM\24JNN1.SGM     24JNN1


                                                                           Federal Register / Vol. 80, No. 121 / Wednesday, June 24, 2015 / Notices                                                      36357

                                                 NCUA received a total of nine                        definition of a mutual institution. Under                 IRPS designates a credit union’s
                                              comments on the proposed IRPS—eight                     that definition, a credit union qualifies                 community according to its charter. To
                                              from credit union trade associations and                as an MDI when ‘‘the majority of the                      make this assessment, the final IRPS
                                              one from a community advocacy group.                    Board of Directors, account holders, and                  also permits credit unions to rely on the
                                              Seven commenters expressly supported                    the community which it services is                        same methods and supporting data the
                                              the proposal; none opposed it.                          predominantly minority.’’ 9 (Hereinafter,                 proposed IRPS prescribed for use by
                                                                                                      when minority representation is                           credit unions to self-certify as an MDI
                                              II. Summary of Comments on Proposed                     required to be ‘‘predominant’’ or to                      (e.g., U.S. Census and Home Mortgage
                                              IRPS                                                    consist of a ‘‘majority,’’ i.e., greater than             Disclosure Act data).12
                                              1. ‘‘Minority Depository Institution’’                  50 percent in either case, it will be                        In addition to the above
                                              Definition                                              referred to as ‘‘>50%’’).                                 modifications, the MDI definition in the
                                                                                                         First, the proposed MDI definition                     final IRPS counts a person of multiple
                                                 Three commenters recommended
                                                                                                      combined both current and ‘‘eligible                      ethnicities who falls into at least one of
                                              defining MDIs by minority
                                                                                                      potential’’ credit union members to                       the four minority categories designated
                                              representation solely among current or
                                                                                                      assess minority representation among a                    by law,13 (or is multi-racial as defined
                                              potential members, without considering
                                                                                                      credit union’s ‘‘account holders.’’                       in Table 1) as a single minority
                                              minority representation among credit
                                                                                                      Recognizing that a potential member                       individual for purposes of minority
                                              union management officials. Two
                                                                                                      does not hold a credit union account                      representation.
                                              commenters believe extending the
                                                                                                      nor enjoy the rights and benefits of
                                              definition beyond minority                                                                                        2. Documentation To Support MDI
                                                                                                      membership, the final IRPS limits to
                                              representation among the membership                                                                               Designation
                                                                                                      current members the assessment of
                                              would exceed the statutory mandate,                                                                                  In order to receive the MDI
                                                                                                      >50% minority representation among
                                              and questioned whether including                                                                                  designation, one commenter advocated
                                                                                                      credit union ‘‘account holders.’’
                                              management officials within the scope                      Second, as several commenters                          requiring the majority of a credit union’s
                                              of minority representation is necessary                 contended, the proposed MDI definition                    members’ deposits and/or loan products
                                              or would undermine the Program’s                        assessed minority representation not                      to be held by racial minorities. While
                                              goals. Another commenter opposed                        only among a credit union’s board of                      striving to maximize flexibility and the
                                              extending the minority representation                   directors (BOD) as required, but more                     options to determine and support an
                                              requirement to management officials,                    generally among its ‘‘current                             MDI designation, the NCUA Board is
                                              contending that, if it were to encompass                management officials,’’ consisting of                     concerned that it would be too
                                              credit union staff, it would be                         members of the supervisory and credit                     burdensome and restrictive to identify
                                              burdensome for nearly one-half of the                   committees and of the senior executive                    the race and/or ethnicity of all members
                                              nation’s federally insured credit unions                staff.10 Despite the NCUA Board’s wish                    with deposits and/or loan products. The
                                              that operate with five or fewer                         to emphasize the importance of                            final IRPS therefore does not adopt this
                                              employees. This commenter also                          minority representation within the                        suggestion as an MDI criterion.
                                              opposed requiring minority                              leadership ranks of MDIs, the final IRPS                     One commenter recommended that
                                              representation among members of the                     limits to the BOD exclusively the                         NCUA clarify which U.S. Census
                                              board of directors, supervisory and                     assessment of >50% minority                               demographic data to rely upon to
                                              credit committee members because they                   representation, consistent with the letter                measure minority representation among
                                              are volunteers elected from and by the                  of the applicable statutory definition.                   members for purposes of MDI
                                              membership, and who should have the                        Third, the final IRPS clarifies that the               determination. The final IRPS clarifies
                                              education, experience, and knowledge                    MDI criterion requiring the community                     that U.S. Census data includes the
                                              to manage a credit union regardless of                  of a would-be MDI to be                                   American Fact Finder’s most recent
                                              minority status.                                        ‘‘predominantly minority’’ is not an                      census population data (e.g., 2010) for a
                                                 In contrast, a commenter applauded                   alternative criterion for credit unions                   particular geographic area, such as
                                              NCUA for measuring minority                             unable to meet the MDI criteria                           within members’ zip codes or census
                                              representation among these officials to                 requiring >50% minority representation                    tracts; and that minority composition 14
                                              ensure that credit union leadership                     within its membership and on its BOD;                     by census tracts, according to U.S.
                                              reflects the diversity of the communities               it is an additional MDI criterion in and                  Census population data, can be found
                                              and members an MDI serves. In                           of itself.11 To assess whether the                        on the U.S. Census Bureau and the
                                              addition, the same commenter wanted                     community of a would-be MDI is                            Federal Financial Institutions
                                              to limit the MDI definition to current                  ‘‘predominantly minority,’’ the final                     Examination Council (FFIEC) Web sites.
                                              members only, contending that having                                                                                 One commenter suggested providing a
                                              potential members who reside in an area                   9 12  U.S.C. 1463 note (b)(1)(C).                       portal on NCUA’s Web site for credit
                                              having a mostly minority population is                    10 E.g.,Chief executive officer, assistant chief        unions to access the sources of data
                                              no assurance that an MDI would                          executive officer, chief financial officer and branch
                                                                                                                                                                relevant to self-certifying as an MDI,
                                              actually serve and invest in consumers                  managers. 78 FR 46374, 46375 (July 31, 2013)
                                                                                                         11 12 U.S.C. 1463 note (b)(1)(C). In contrast to
                                              of color within that community. Finally,                                                                            12 78 FR at 46376 and n. 14. In many cases the
                                                                                                      NCUA, the fact that FDIC oversees publicly-owned,
                                              the commenter suggested that minority                   privately-owned and mutual institutions may               methods and data that establish >50% minority
                                              representation should also encompass                    account for its policy permitting an institution that     representation among a credit union’s membership
                                              persons that identify as multi-racial/                  is unable to meet the 51 percent minority                 also will establish >50% minority representation
                                                                                                      ownership criterion to instead rely on two of the         within the community it services. The Board
                                              multi-ethnic, estimated at 9 million                                                                              acknowledges this redundancy as necessary to
                                                                                                      mutual MDI >50% criteria, yielding a hybrid
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                                              Americans by the U.S. Census Bureau.                    definition: ‘‘In addition to the institutions that meet   conform this third criterion to the letter of the
                                                 In the final Interpretive Ruling and                 the [51 percent] ownership test, for purposes of this     statutory MDI definition.
                                              Policy Statement 13–1 (final IRPS), the                 Policy Statement, institutions will be considered           13 12 U.S.C. 1463 note (b)(2).

                                              NCUA Board retains the proposed MDI                     [MDIs] if a majority of the [BOD] is minority and           14 The minority composition represents the

                                                                                                      the community that the institution serves is              percentage of minorities divided by the entire
                                              definition with three significant                       predominantly minority.’’ 67 FR 18 618, 18620             referred population (e.g., total membership or
                                              modifications to ensure complete                        (April 16, 2002). See also 67 FR 77, 79 (January 2,       within a geographic area such as a census tract or
                                              conformity with the statutory MDI                       2002).                                                    a Metropolitan Statistical Area).



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                                              36358                        Federal Register / Vol. 80, No. 121 / Wednesday, June 24, 2015 / Notices

                                              such as links to U.S. Census and Home                      The NCUA Board anticipates no                       determines it is needed to reduce the
                                              Mortgage Disclosure Act (HMDA) data.                    additional costs or new resources                      risk, or avert the threat, of a loss to the
                                              NCUA currently provides links to access                 attributable to the Program, due to                    National Credit Union Share Insurance
                                              U.S. Census and FFIEC data on OMWI’s                    reliance on existing agency programs                   Fund.16
                                              Web page. To identify the ethnicity of                  and resources offered through NCUA’s                      NCUA typically provides § 208
                                              its mortgage applicants, a credit union                 Office of Small Credit Union Initiatives               assistance to facilitate a sound merger or
                                              may rely on the home mortgage data it                   (OSCUI), regional offices, and Office of               consolidation of an insured credit union
                                              submits to comply with HMDA.                            Consumer Protection (OCP), thus                        in order to avert the liquidation of a
                                                 One commenter opposed the notion of                  avoiding overlaps with existing                        credit union. Other than to avert the
                                              collecting data by any method that relies               supervision, chartering, training,                     liquidation of a credit union that NCUA
                                              on members voluntarily identifying                      technical assistance, and educational                  determines on a case-by-case basis is in
                                              themselves as a minority, for two                       programs. About 92 percent of MDIs                     danger of insolvency, regardless
                                              reasons. First, the practice may conflict               already are eligible for OSCUI services                whether it is an MDI, § 208 assistance is
                                              with anti-discrimination laws; and                      that assist and educate credit unions                  not used solely to improve a credit
                                              second, maintaining the collected                       designated either as low-income or as                  union’s capital position. The NCUA
                                              ethnicity data may expose credit unions                 small. Examiners provide additional                    Board reserves the use of § 208
                                              to criticism that the practice is intrusive,            guidance to MDIs in between                            assistance for credit unions under the
                                              and to the risk of legal action. The final              examinations to assist them in resolving               above three conditions. However, the
                                              IRPS permits collection of volunteered                  substantial examination or viability                   agency plans to enhance its guidance to
                                              ethnicity data as an option, but not a                  concerns. OCP provides guidance to                     examiners to sensitize them about the
                                              requirement, for credit unions to                       assist and educate MDIs and interested                 availability of § 208 assistance for MDIs,
                                              determine and to support self-                          minority groups in chartering and in                   as well as about the ‘‘General Preference
                                              certification of MDI eligibility.                       field of membership expansions. One                    Guidelines’’ for mergers, addressed
                                              Organizations that already collect                      OMWI staff member is responsible for                   below. In contrast, the purpose of
                                              volunteered ethnicity data from                         managing the Program. OMWI’s initial                   CDRLF grants and loans is to support
                                              customers and members must take care                    interaction and communications with                    enhanced service to underserved
                                              to maintain the confidentiality of the                  MDIs will include OMWI’s participation                 communities, including those served by
                                              collected data. Credit unions that elect                at events attended by MDIs, and                        MDIs. Unlike § 208 assistance, CDRLF
                                              this option to support self-certification               OMWI’s assistance provided upon                        grants and loans generally are not
                                              should maintain the collected data                      request from MDIs.                                     provided solely for the purpose of
                                              separately from members’ personal                                                                              improving capital to avoid insolvency.
                                              account files, and without personal                     4. MDI Program Benefits                                   One commenter suggested making
                                              identifiers (e.g., name, account or social                 One commenter favored an expansion                  technical assistance and educational
                                              security number, etc.).                                 of financial support to enable the                     programs available on a variety of topics
                                                 One commenter disagreed with the                     Program to provide direct financial                    critical to preserving MDIs, including
                                              proposed requirement to annually                        support to MDIs. Financial support to                  aid in achieving satisfactory levels of
                                              review and update credit unions’ MDI                    eligible MDIs will be offered through the              operations and regulatory performance.
                                              status, suggesting that NCUA require                    existing grant and loan programs funded                OSCUI currently provides technical
                                              credit unions to follow a data review                   by NCUA’s Community Development                        guidance and educational programs to
                                              schedule that is consistent with the data               Revolving Loan Fund (CDRLF).                           assist MDIs, as well as small credit
                                              each credit union relied upon to                           Two commenters encouraged NCUA                      unions, in achieving these objectives
                                              document its MDI certification. For                     to provide technical assistance to MDIs                regardless of low-income designation
                                              example, when MDI eligibility is based                  to avoid insolvency. One suggested two                 and asset size. These programs include
                                              on U.S. Census population data, the                     ways to strengthen the net worth of                    NCUA-sponsored videos, webinars,
                                              review and update would occur every                     MDIs in response to unusual losses                     consulting services, newsletters, and
                                              10 years. Due to frequent changes in a                  related to economic conditions outside                 other publications, including a Credit
                                              credit union’s field of membership, and                 the credit union’s control: (1) Develop                Union Leadership Resource Manual.
                                              the composition of its board of directors               criteria and goals for access to assistance               One commenter advocated adopting a
                                              due to annual elections, the final IRPS                 under section 208 of the Federal Credit                plan that combines targeted resources
                                              retains an annual schedule for the                      Union Act (§ 208 assistance); 15 and (2)               with supervisory authority in an effort
                                              review and update of MDI self-                          make CDRLF funding a source of                         to resolve material safety and soundness
                                              certifications.                                         secondary capital for low-income                       concerns among troubled MDIs. NCUA
                                                                                                      designated credit unions, especially                   has no plans to make MDI preservation
                                              3. MDI Program Costs, Resources &                                                                              a part of the examination and/or
                                              Funding                                                 MDIs.
                                                                                                         The NCUA Board emphasizes that the                  supervision processes, although
                                                 Three commenters asked NCUA to                       agency’s role in preserving MDIs and                   examiners are encouraged to provide
                                              perform a cost/benefit analysis of the                  providing technical support not only is                additional guidance to MDIs in
                                              new Program, detailing the new                          to help MDIs survive, but to help them                 resolving material safety and soundness
                                              resources or processes that will be                     thrive as ongoing concerns. Section 208                concerns whenever feasible. Also,
                                              essential to realize NCUA’s commitment                  assistance is available to all credit                  OSCUI will continue to provide MDIs
                                              to preserve MDIs, and how the Program                   unions under at least one of three                     with technical assistance and
                                              will be funded. Another commenter                       conditions: (1) To assist in the voluntary             educational and consulting services to
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                                              sought further explanation of Program                   liquidation of a solvent credit union; (2)             assist them in resolving these concerns,
                                              mechanics, funding details, the number                  to avert the liquidation of a credit union             thus improving their viability. OMWI
                                              of staff dedicated to Program                           that NCUA determines is in danger of                   will aid MDIs by facilitating and
                                              implementation, the geographic                          insolvency; or (3) when NCUA                           monitoring the assistance they receive,
                                              distribution of Program beneficiaries,                                                                         will report to Congress annually on
                                              and the frequency of OMWI staff                           15 12 U.S.C. 1788(a). See also 12 U.S.C.

                                              interaction with participating MDIs.                    1790d(o)(2)(B).                                         16 12   U.S.C. 1788(a)(1)–(2).



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                                                                              Federal Register / Vol. 80, No. 121 / Wednesday, June 24, 2015 / Notices                                              36359

                                              these efforts to preserve MDIs and to                      MDI merger partners for a troubled                     implement to work an MDI out of
                                              create new MDIs, and will reevaluate                       state-chartered credit union; to make the              distress or troubled status. The
                                              and enhance the Program as it matures.                     Program respond expeditiously and                      commenter suggested using NCUA’s
                                                                                                         effectively to a troubled institution; and             Vendor Registration process to identify
                                              5. MDI Program Partnerships
                                                                                                         to ensure that supervisory oversight                   an appropriate resource team to
                                                 Two commenters suggested                                remains the focus of the Program—all                   participate in workout situations and to
                                              collaborating with interested                              without delaying the resolution of a                   put additional resources and technical
                                              stakeholders (e.g., trade associations) to                 troubled institution through merger or                 assistance at its disposal in working to
                                              increase the likelihood of preserving                      acquisition.                                           resolve sound operations in a troubled
                                              MDIs, as well as to participate with                          Under the final IRPS, NCUA regional                 MDI. The commenter envisioned the
                                              NCUA’s OMWI as a resource partner.                         offices will continue to process the                   resource team effecting a significant
                                              One of the two commenters advocated                        mergers of troubled MDIs, working                      turnaround in 6–12 months with the
                                              expanding the Program’s outreach to                        closely with state regulators to apply the             intention of preserving and building the
                                              include a webinar on the application                       Guidelines, and to ensure that the                     institution. If the situation is not viable,
                                              process for would-be MDIs, workshop                        Guidelines do not conflict with safety                 the commenter suggested the resource
                                              sessions at trade conferences, and a                       and soundness considerations. In                       team would be able to assist in
                                              comprehensive marketing program to                         processing MDI mergers and purchase-                   identifying appropriate merger partners
                                              increase awareness. NCUA’s Office of                       and-assumption transactions, the need                  interested in serving the minority
                                              Consumer Protection (OCP) recently                         to respond expeditiously and effectively               community.
                                              published the Federal Credit Union                         to troubled MDIs will continue to be the                  NCUA cannot adopt the commenter’s
                                              Charter Application Guide, which                           primary focus of NCUA’s supervisory                    suggestions regarding attention to
                                              provides detailed step-by-step                             oversight. The Guidelines provide                      troubled MDIs because they would
                                              instructions for chartering a new federal                  interested MDIs an opportunity to                      involve internal agency processes
                                              credit union. Additionally, NCUA is                        participate in the merger bidding                      beyond the scope of this final IRPS. The
                                              building relationships and plans to                        process for an insolvent or troubled                   final IPRS is a policy statement that
                                              collaborate with credit union trade                        MDI, enabling the minority character of                generally prescribes actions to preserve
                                              associations, credit unions, and other                     the MDI to be preserved.                               MDIs, such as technical assistance,
                                              organizations to provide mentoring and                                                                            training, and educational opportunities
                                                                                                         7. Attention to Troubled MDIs
                                              educational opportunities for MDIs,                                                                               to strengthen management and/or
                                              including workshops and webinars.                             One commenter recommended                           operations, as well as to assist in
                                              Interested organizations and credit                        establishing a clear supervisory                       resolving examination and compliance
                                              unions should contact OMWI and                             framework and strategy to establish a                  concerns. The Program will not interfere
                                              suggest ideas for possible partnerships.                   sufficient period of time to permit a                  with supervisory enforcement actions
                                                 One commenter encouraged NCUA’s                         more aggressive workout strategy for                   duly undertaken by the other offices
                                              OMWI to collaborate with the original                      troubled MDIs. The commenter                           within the agency.
                                              FIRREA-designated agencies, and the                        contended that such a framework and                       Also, due to confidentiality, NCUA
                                              two agencies that joined them, to                          strategy would be an important                         cannot disclose information about
                                              implement their ideas and suggestions.                     preservation step between the                          troubled MDIs to resource teams
                                              To develop and enhance NCUA’s                              identification of a troubled credit union              involving third parties (e.g., trade
                                              Program, OMWI continues to consult                         and its dissolution. The commenter                     associations or vendors). Credit union
                                              with its counterparts at the FDIC, the                     suggested addressing steps that may be                 examination results constitute
                                              OCC and the Fed, to review their MDI                       taken through NCUA’s supervisory                       confidential information; public
                                              programs, and to attend their                              examinations and oversight; and                        disclosure is prohibited by law. NCUA
                                              interagency MDI and Community                              recommending an aggressive strategy for                regulations specifically prohibit the
                                              Development Financial Institution                          intervention using supervisory                         release of such information by officers,
                                              Banks’ Conferences. NCUA will                              authorities combined with its targeted                 employees or agents of NCUA or any
                                              continue to work with its counterparts,                    workout teams and resources.                           federally insured credit union.18 Such
                                              whenever feasible, to obtain additional                       In addition, this commenter                         disclosure risks harming the financial
                                              ideas to enhance its Program.                              advocated adopting a system of triage                  stability of credit unions or interfering
                                                                                                         for prioritizing attention to MDIs, based              in the relationship between NCUA and
                                              6. General Preference Guidelines for                       on financial health, to best support                   credit unions.
                                              MDI Mergers                                                those that are financially sound in                       The final IRPS addresses the posting
                                                 One commenter supported the                             building and expanding their work,                     of a list of MDIs on the agency’s Web
                                              FIRREA-prescribed ‘‘General Preference                     while intervening sooner with those on                 site (www.ncua.gov) and the use of a
                                              Guidelines’’ for mergers (Guidelines),17                   a less secure footing in order to preserve             Vendor Registration Form to provide an
                                              which give MDIs preference as a merger                     service to their communities.                          opportunity for qualified minorities or
                                              partner, provided that other relevant                      Furthermore, this commenter advocated                  minority-owned firms to apply for the
                                              factors are given appropriate weight and                   adopting a plan to provide resources                   position of interim manager of an MDI
                                              consideration (e.g., the acquiring MDI’s                   and support to struggling MDIs                         placed in conservatorship. Other uses of
                                              capacity to offer the same and/or                          identified as in danger of failing either              the form may be considered. With the
                                              improved financial services and access                     through agency enforcement action or                   posting of an MDI list on the agency
                                              to the acquired members).                                  an inability to address issues identified              Web site, interested parties (e.g., trade
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                                                 To implement the Program, another                       in a Document of Resolution (DOR) and/                 associations or vendors) may monitor
                                              commenter encouraged NCUA to work                          or Letter of Understanding and                         the financial trends of all MDIs to
                                              closely with state regulators to apply the                 Agreement (LUA). The period between                    identify troubled MDIs and offer a
                                              Guidelines seamlessly and fairly when                      a DOR and an LUA may present a                         program to restore them to financial
                                              comparing potential MDI versus non-                        critical moment where additional help                  soundness.
                                                                                                         and support can be sought. This
                                                17 12   U.S.C. 1463 note (a)(2).                         commenter suggested steps NCUA could                    18 12   CFR 792.11(a)(8),



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                                              36360                        Federal Register / Vol. 80, No. 121 / Wednesday, June 24, 2015 / Notices

                                              8. Commenters’ Other Suggestions                        asset threshold to define small credit                    • To preserve the present number of
                                                 Rather than holding to a static number               unions under the RFA to $100 million.24                 MDIs;
                                              of MDIs to measure preservation, one                    The proposed rule is intended to                          • To preserve the minority character
                                              commenter advocated chartering new                      provide regulatory relief for a greater                 of MDIs that are involuntarily merged,
                                              MDIs in communities that would benefit                  percentage of credit unions (including                  or are acquired, by following the
                                              from MDI service. NCUA’s goals are to                   MDIs) in future rulemakings.                            prescribed ‘‘general preference
                                              implement efforts not only to preserve                  Approximately 89 percent of the 655                     guidelines’’ to identify a merger or
                                              existing MDIs, but to encourage the                     self-identified MDIs under the proposed                 acquisition partner; 27
                                              chartering of new MDIs, as FIRREA                       definition had assets of less than $100                   • To provide technical assistance to
                                              § 308(a) (1)–(5) prescribes.19 NCUA’s                   million as of March 31, 2015.                           prevent insolvency of MDIs that are not
                                              OCP and OSCUI will continue to work                       One commenter proposed that NCUA                      now insolvent;
                                              with groups seeking to charter new                      establish an advisory committee to                        • To promote and encourage the
                                              MDIs and with MDIs seeking a common                     assist in developing, designing, and                    creation of new MDIs; and
                                              bond conversion or a charter expansion,                 testing strategies and approaches on                      • To provide for training, technical
                                              and they will assist them in the                        how to best preserve MDIs. Rather than                  assistance, and educational programs.
                                              application process.                                    rely on a permanent advisory                            3. Who is eligible to participate in the
                                                 One commenter advocated                              committee, NCUA may consider                            MDI Program?
                                              publicizing information to credit                       informal focus groups comprised of
                                              unions, leagues and state agencies about                MDIs of all asset sizes and levels of                      A credit union that meets the
                                              NCUA’s efforts to preserve MDIs and                     complexity to accomplish the suggested                  definition of an MDI is eligible to
                                              about the Program’s benefits.                           goals.                                                  participate in the Program. The Program
                                              Information pertaining to MDI                             Revised as explained above, the final                 adopts the MDI definition set forth in
                                              preservation efforts is provided in                     IRPS follows.                                           FIRREA § 308 that applies to a mutual
                                              NCUA’s annual reports to Congress.20                                                                            institution.28 Accordingly, this final
                                                                                                      III. Final Interpretive Ruling and Policy               IRPS defines an MDI as a federally
                                              NCUA’s MDI Reports to Congress for                      Statement 13–1 (Final IRPS)
                                              2013 and 2014 are available on OMWI’s                                                                           insured credit union in which a
                                              Web page.21                                             1. Why is the NCUA Board issuing this                   majority of its current members, a
                                                 Another commenter suggested                          final IRPS?                                             majority of its board of directors (BOD),
                                              limiting the regulatory burden on credit                                                                        and a majority of the community it
                                                                                                        The NCUA Board is issuing this final                  services, as designated in its charter,
                                              unions as a step in support of the
                                                                                                      IRPS to establish a Minority Depository                 falls within any of the eligible minority
                                              survival of MDIs. The NCUA Board
                                                                                                      Institution Preservation Program                        groups described below. (Hereinafter,
                                              agrees with this recommendation, and is
                                                                                                      (Program) to achieve the goals of                       when minority representation is
                                              aggressively working toward this goal.
                                                                                                      preserving and encouraging Minority                     required to be ‘‘predominant’’ or to
                                              In January 2013, the NCUA Board
                                                                                                      Depository Institutions (MDIs), as                      consist of a ‘‘majority,’’ i.e., greater than
                                              reviewed the threshold it uses to
                                                                                                      section 308 of the Financial Institutions               50 percent in either case, it will be
                                              identify which credit unions qualify as
                                                                                                      Reform, Recovery and Enforcement Act                    referred to as ‘‘>50%’’.)
                                              small entities and thus receive special
                                                                                                      (FIRREA § 308) directs.25 Recognizing                      NCUA relies on FIRREA § 308’s
                                              consideration regarding regulatory
                                                                                                      the important role of MDIs in minority                  ‘‘minority’’ definition to identify an
                                              burden and alternatives under the
                                                                                                      communities, the NCUA Board                             eligible minority exclusively as any
                                              Regulatory Flexibility Act (‘‘RFA’’).22
                                                                                                      envisions a program of proactive steps                  Black American, Asian American,
                                              Based on industry percentages carried
                                                                                                      and outreach efforts to promote and                     Hispanic American, or Native
                                              forward from the last update in 2003,
                                                                                                      preserve minority ownership in the                      American.29 Also, for the purpose of
                                              and corresponding risks to the Share
                                                                                                      credit union system. To achieve these                   minority representation under the MDI
                                              Insurance Fund, the NCUA Board
                                                                                                      goals, the final IRPS prescribes the                    definition, anyone of multiple
                                              determined that credit unions with less
                                                                                                      Program eligibility criteria and Program                ethnicities who falls into more than one
                                              than $50 million in assets, up from the
                                                                                                      elements.                                               of the minority categories depicted
                                              prior $10 million threshold, were small
                                              and non-complex for purposes of the                     2. What are the goals and objectives of                 below is a single minority individual.
                                              RFA.23 These credit unions receive                      the MDI Program?                                           27 In priority, the General Preference Guidelines
                                              exemptions from certain NCUA rules,                                                                             for identifying an involuntary merger/acquisition
                                                                                                        The Program embraces goals and
                                              and heightened consideration of                                                                                 partner are: (a) Same type of MDI in the same city;
                                                                                                      objectives that relate to NCUA’s mission
                                              regulatory burden. Approximately 82                                                                             (b) Same type of MDI in the same state; (c) Same
                                                                                                      and goal to ensure a safe, sound, and                   type of MDI nationwide; (d) Any type of MDI in the
                                              percent of the 655 self-identified MDIs
                                                                                                      sustainable credit union system as                      same city; (e) Any type of MDI in the same state;
                                              under the proposed definition had                                                                               (f) Any type of MDI nationwide; and (g) Any other
                                                                                                      envisioned in NCUA’s current strategic
                                              assets of less than $50 million as of                                                                           bidders (for merger/acquisition partners). 12 U.S.C.
                                                                                                      plan.
                                              March 31, 2015. In February of 2015, the                                                                        1463 note (a)(2). Rules concerning field of
                                              NCUA Board proposed increasing the                        The Program also reflects the                         membership, least cost to NCUSIF, and safety and
                                                                                                      preservation goals of FIRREA § 308,26                   soundness still apply to all mergers. Regional office
                                                                                                      namely:                                                 staff will continue to process mergers and work
                                                19 12 U.S.C. 1463 note (a)(1)–(5).                                                                            with management and state regulators. OMWI will
                                                20 Id.§ 1463 note (c).                                                                                        monitor MDI mergers and report about them to
                                                21 Available at: http://www.ncua.gov/Legal/             24 80   FR 11954 (March 15, 2015).                    Congress annually.
                                              RptsPlans/Pages/OMWI.aspx.
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                                                                                                        25 Public   Law 101–73, 103 Stat. 183 (Aug. 9,           28 12 U.S.C. 1463 note (b)(1)(C).
                                                22 5 U.S.C. 601.                                      1989).                                                     29 Id. § 1463 note (b)(2). Compare 12 U.S.C.
                                                23 78 FR 4032 (January 18, 2013).                       26 12 U.S.C. 1463 note (a) & (c).                     5452(g)(3) incorporating 12 U.S.C. 1811 note(c)(3).




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                                                                              Federal Register / Vol. 80, No. 121 / Wednesday, June 24, 2015 / Notices                                                  36361

                                                                                                     TABLE 1—MINORITY CATEGORY DEFINITIONS
                                                                                                                              Equal Employment Opportunity Commission
                                                        Minority category                                                                    (EEOC)

                                              Black American ...........................   Black or African American (Not Hispanic or Latino)—A person having origins in any of the black racial groups
                                                                                             of Africa.
                                              Native American ..........................   American Indian or Alaska Native (Not Hispanic or Latino)—A person having origins in any of the original
                                                                                             peoples of North and South America (including Central America), and who maintain tribal affiliation or com-
                                                                                             munity attachment.
                                              Hispanic American ......................     Hispanic or Latino—A person of Cuban, Mexican, Puerto Rican, South or Central American, or other Spanish
                                                                                             culture or origin regardless of race.
                                              Asian American ...........................   Asian (Not Hispanic or Latino)—A person having origins in any of the original peoples of the Far East, South-
                                                                                             east Asia, or the Indian Subcontinent, including, for example, Cambodia, China, India, Japan, Korea, Ma-
                                                                                             laysia, Pakistan, the Philippine Islands, Thailand, and Vietnam; or
                                                                                           Native Hawaiian or Other Pacific Islander (Not Hispanic or Latino)—A person having origins in any of the
                                                                                             peoples of Hawaii, Guam, Samoa, or other Pacific Islands.
                                              Multi-Racial American .................      Two or More Races 30 (Not Hispanic or Latino)—A person who identifies with more than one of the above
                                                                                             races.



                                              4. How will the MDI Program function?                     of its current membership exclusively,                 services they desire, or by mailed
                                                 NCUA’s Office of Minority and                          and of the community it services,                      electoral ballots for official positions.
                                              Women Inclusion (OMWI) administers                        consisting of the combined current and                 Once collected, it is essential to
                                              the Program. A federally insured credit                   potential membership:                                  maintain the confidentiality of the data;
                                                                                                           (A) Ascertain the minority                          it should not be retained in the
                                              union can self-certify as an MDI by
                                                                                                        representation using demographic data                  members’ file or with any personal
                                              affirmatively answering the following
                                                                                                        from the U.S. Census Bureau (using the                 identifiers (e.g., name, account or social
                                              questions within NCUA’s Credit Union
                                                                                                        U.S. Census Bureau or FFIEC Web site)                  security numbers, etc.) If a majority of
                                              Online Profile (CU Online System),
                                                                                                        based on the area(s) where the                         its current members are minorities, it is
                                              accessible from the NCUA Web site,31 or
                                                                                                        combined current and potential                         most likely the majority of the
                                              when submitting a Call Report: (1) Are
                                                                                                        membership resides, such as a                          community the credit union services (its
                                              more than 50 percent of your credit
                                                                                                        township, borough, city, county, or                    current and potential members) will
                                              union’s current and eligible potential
                                                                                                        Metropolitan Statistical Area (MSA). If                consist of minorities.
                                              members Black American, Native
                                                                                                        the U.S. Census data (e.g., census tracts,                (D) Use any other reasonable form of
                                              American, Hispanic American or Asian
                                                                                                        zip codes, townships, boroughs, cities,                data, such as membership address list
                                              American?; 32 and (2) Is more than 50
                                                                                                        counties, etc.) shows that the area’s                  analyses, or an employer’s demographic
                                              percent of your credit union’s current
                                                                                                        population is comprised mostly of                      analysis of employees.
                                              board of directors Black American,
                                                                                                        eligible minorities, the credit union may                 A credit union defined as a small
                                              Native American, Hispanic American or
                                                                                                        assume that its current membership and                 entity under the RFA that self-identifies
                                              Asian American?
                                                                                                        the community it services both have the                as an MDI should maintain some form
                                                 If both questions are answered ‘‘yes’’,
                                                                                                        same minority composition as the U.S.                  of the documentation that it relied upon
                                              the credit union may self-certify via
                                                                                                        Census data indicates.                                 to determine that, as explained above, it
                                              NCUA’s Credit Union Online Profile                           (B) Use Home Mortgage Disclosure                    meets the minimum minority
                                              system that it meets the >50% minority                    Act (HMDA) data to calculate the                       representation among its membership.
                                              criteria, as the case may be. A credit                    reported number of minority mortgage                   This documentation may consist of
                                              union defined as a small entity under                     applicants divided by the total number                 demographic data obtained from the
                                              the Regulatory Flexibility Act (RFA)                      of mortgage applicants within the credit               U.S. Census Bureau,33 from a credit
                                              may self-certify >50% representation                      union’s membership. HMDA data can be                   union’s HMDA report, or from any other
                                              among its current members, and within                     obtained from the FFIEC Web site. If the               reasonable source and form of data (e.g.,
                                              the community it services (current and                    share of minority representation among                 member survey, sponsor’s employee
                                              potential members combined), based                        applicants is >50%, the minority                       demographic or members’ zip code
                                              solely on knowledge of those members.                     membership and the predominantly                       analysis).
                                              A credit union not defined as a small                     community criteria may be met. If a                       Regardless of asset size and the
                                              entity under the RFA may rely on one                      credit union grants a majority of its                  method a credit union uses to self-
                                              of the following methods, as applicable,                  mortgage loans to minorities, it is most               certify as an MDI, the validity of the
                                              to determine the minority composition                     likely the majority of the community the               self-certification (and the supporting
                                                30 U.S. Equal Employment Opportunity
                                                                                                        credit union services (its current and                 data) is subject to verification by NCUA
                                              Commission’s EEO–1 Report-Race/Ethnicity                  potential members) will consist of                     based on minority representation where
                                              Categories.                                               minorities.                                            the credit union’s members reside.
                                                31 www.ncua.gov.                                           (C) Elect to collect data from members                 If NCUA questions a credit union’s
                                                32 The community serviced by a multiple                 who voluntarily choose to self-identify                certification or the data supporting it
                                              common bond credit union consists of both its             as an eligible minority and use the data               (e.g., members’ addresses) is found to be
                                              current members and the eligible non-members
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                                              within the select groups designated by its charter.
                                                                                                        to determine minority representation                   at odds with a credit union’s self-
                                              For example, the current members and eligible non-        among the credit union’s membership.                   certification of >50% minority
                                              members may all reside in one city, county, or            The credit union may wish to consider                  representation among either its current
                                              MSA. The community serviced by a community                using an unbiased third party to                       membership, the community it services
                                              credit union consists of both its current members
                                              and the eligible non-members who reside within
                                                                                                        conduct such a collection process. For                 (consisting of current and potential
                                              the well-defined local community designated by its        example, data can be collected through
                                              charter.                                                  a survey of members assessing the                       33 www.census.gov   or www.FFIEC.gov.



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                                              36362                        Federal Register / Vol. 80, No. 121 / Wednesday, June 24, 2015 / Notices

                                              members) or its board of directors,                     Union Initiatives (OSCUI).34 This                        minority character of failing MDIs that
                                              NCUA’s OWMI will:                                       technical assistance may include                         are involuntarily merged or acquired. In
                                                 (1) Notify the credit union in writing               participation in:                                        the event of an involuntary merger/
                                              about its reasons for invalidating the                     (1) OSCUI’s Consulting Program;                       acquisition of a troubled MDI,36 NCUA
                                              certification.                                             (2) NCUA-sponsored training,                          will invite bids from MDIs that are
                                                 (2) Provide the credit union an                      webinars, etc.; and                                      qualified to partner with a failing MDI,
                                              opportunity to submit documentation                        (3) Grant or loan programs of NCUA’s                  along with non-MDI credit unions.
                                              and/or a rationale to support its MDI                   Community Development Revolving                          OMWI also will assist in locating an
                                              self-identification within 60 days of                   Loan Fund (CDRLF).                                       MDI partner for MDIs wishing to
                                              receiving OMWI’s notification.                             The technical assistance may also                     voluntarily merge their operations. To
                                                                                                      include examiner guidance in resolving                   be considered as an acquirer, an MDI is
                                                 (3) Review the documentation and/or                  examination concerns; in locating new                    strongly encouraged to document its
                                              rationale the credit union submits and                  sponsors, mentors, or merger partners;                   desire to acquire another MDI by
                                              inform the credit union whether, as a                   in expanding the field of membership;                    registering itself on NCUA’s Merger
                                              result, it meets the >50% minority                      and in setting up new programs and                       Registry via the CU Online System.
                                              criterion.                                              services. Additionally, the NCUA Board                      Additionally, any organization or
                                                 (4) Deny the MDI designation if the                  will consider providing Section 208                      person seeking to be a candidate for
                                              credit union either provides no                         assistance to avert the liquidation of a                 managing the conservatorship of an MDI
                                              documentation and/or rationale, or                      credit union that it determines on a                     should complete an NCUA Vendor
                                              provides documentation and/or                           case-by-case basis is in danger of                       Registration Form (NCUA 1772) 37 and
                                              rationale that, in NCUA’s discretion, is                insolvency, regardless whether the                       OSCUI’s Credit Union Service Provider
                                              insufficient to support a certification                 credit union is an MDI.35                                (CUSP) Database Registration Form.38
                                              based upon >50% minority                                   NCUA may aid in coordinating                          OMWI can provide NCUA regional
                                              representation under all criteria.                      partnerships between MDIs and other                      offices with a list of diverse candidates
                                                 NCUA will periodically review and                    organizations (e.g., other MDIs, and/or                  who have requested consideration for
                                              determine whether an MDI continues to                   trade associations) as a means of                        the position of interim Chief Executive
                                              meet the MDI definition. A credit union                 providing technical or operational                       Officer/Manager of a conserved MDI,
                                              may no longer meet the MDI definition                   assistance to MDIs. This assistance may                  upon request.
                                              as a result of FOM expansions (e.g.,                    include training for officials and staff,                   Finally, the Office of Consumer
                                              mergers, purchase and assumptions,                      expertise in technical areas (e.g.,                      Protection and OSCUI will be available
                                              new groups added to the FOM, or                         marketing, FOM expansion guidance,                       to provide assistance, and guidance in
                                              charter conversions) and changes                        bidding on merger proposals),                            the application process, to groups that
                                              resulting from board of directors                       equipment, and assistance for specific                   may be interested in chartering a new
                                              elections. NCUA, at its discretion, may                 projects or to achieve specific goals.                   MDI, and to MDIs wishing to apply to
                                              continue to treat a credit union as an                     NCUA will publish a list of federally                 change their charter or field of
                                              MDI under this final IRPS in the event                  insured MDIs on its Web site                             membership. For detailed step-by-step
                                              its board of directors no longer meets                  (www.ncua.gov) to enable organizations                   instructions on chartering a federal
                                              the minority criteria, provided there is                (e.g., banks, other MDIs, trade                          credit union, please refer to the Federal
                                              >50% minority representation among                      associations or other third parties) to                  Credit Union Charter Application
                                              both the credit union’s current members                 identify MDIs that would benefit from                    Guide.39
                                              and the community it serves.                            partnering, mentoring, additional
                                                 Once it qualifies as an MDI, a credit                resources, and/or business                               IV. Regulatory Procedures
                                              union should annually assess whether it                 relationships. Banks can obtain                          Regulatory Flexibility Act
                                              continues to meet the MDI definition                    Community Reinvestment Act (CRA)
                                              (e.g., December 31st Call Report cycle),                credit for investing in MDIs. For                          The Regulatory Flexibility Act (RFA)
                                              and update its status on NCUA’s Credit                  example, if a bank were to have an                       requires NCUA to prepare an analysis to
                                              Union Online Profile system as                          unused building, the bank could lease                    describe any significant economic
                                              necessary.                                              that space to an MDI at no charge or at                  impact the IRPS may have on a
                                                                                                      a low cost, and receive a corresponding                  substantial number of small entities.
                                                 Participation in the MDI Program is
                                              voluntary. An MDI may discontinue its                   CRA credit.                                                 36 A merger is involuntary whenever the credit
                                              participation at any time by updating its                  NCUA will monitor MDIs and will                       union is insolvent. 12 U.S.C. 1787(a) (1). A credit
                                              status on NCUA’s Credit Union Online                    report to Congress annually on the                       union is insolvent when the total amount of the
                                              system. In that event, the credit union                 number and overall financial condition                   credit union’s shares exceeds the present cash value
                                                                                                      of MDIs, along with actions taken by the                 of its assets after providing for liabilities unless: (i)
                                              would no longer be eligible to                                                                                   It is determined by the NCUA Board that the facts
                                              participate in any MDI Program                          agency to preserve and strengthen them                   that caused the deficient share-asset ratio no longer
                                              initiatives (e.g., MDI merger/acquisition               and to encourage the chartering of new                   exist; and (ii) The likelihood of further depreciation
                                              preference consideration or MDI                         ones.                                                    of the share asset ratio is not probable; and (iii) The
                                                                                                         NCUA will use FIRREA’s prescribed                     return of the share-asset ratio to its normal limits
                                              partnerships).                                                                                                   within a reasonable time for the credit union
                                                                                                      General Preference Guidelines (see                       concerned is probable; and (iv) The probability of
                                              5. What are the elements of the MDI                     § II.6. above) to attempt to preserve the                a further potential loss to the insurance fund is
                                              Program?                                                                                                         negligible. 12 CFR 700.2(e)(1)
                                                                                                         34 OSCUI’s services are generally offered to credit      37 The Vendor Registration Form can be accessed,
                                                NCUA seeks to provide MDI Program
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                                                                                                      unions that have less than $50 million in assets or      completed and submitted on NCUA’s Web site via
                                              participants a variety of initiatives to                are low-income designated. By statute, grants and        the following link: http://www.ncua.gov/about/
                                              assist in preserving the economic                       loans from the CDRLF are available only to low-          Documents/Procurement/VendorRegistration.pdf.
                                              viability of their institutions. The                    income designated credit unions. The webinars and           38 The CUSP Registration Form and Instructions

                                              initiatives include technical assistance                training programs are open to all credit unions. The     can be accessed on NCUA’s Web site at: http://
                                                                                                      MDI Program expands consulting services to all           www.ncua.gov/Resources/OSCUI/Pages/
                                              and educational opportunities for MDIs                  MDIs.                                                    CUSP.aspx.
                                              through NCUA’s Office of Small Credit                      35 12 U.S.C. 1788(a)(1)–(2).                             39 www.FCU-Charter-Application-Guide.




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                                                                             Federal Register / Vol. 80, No. 121 / Wednesday, June 24, 2015 / Notices                                                  36363

                                              The final IRPS permits a credit union                     as an MDI, such as links to U.S. Census                NATIONAL SCIENCE FOUNDATION
                                              defined as small under the RFA to self-                   and HDMA data.
                                              certify that it meets the MDI definition                                                                         Committee Management; Notice of
                                                                                                           Section II of this final IRPS addresses
                                              based solely on its knowledge of its                                                                             Reestablishment
                                                                                                        these comments. In response, NCUA has
                                              current membership and the community
                                                                                                        narrowed the scope of the minority                       The Chief Operating Officer of the
                                              it services (e.g., potential membership
                                                                                                        representation requirement among a                     National Science Foundation has
                                              identified in its charter), without any
                                                                                                        credit union’s management to its board                 determined that the reestablishment of
                                              supporting documentation. The Program
                                                                                                        of directors, thus reducing the                        the Proposal Review Panel for
                                              will have a significantly beneficial
                                                                                                        paperwork burden of assessing minority                 International Science and Engineering is
                                              economic impact on small entities
                                                                                                        representation among senior                            necessary and in the public interest in
                                              because it offers eligible credit unions,
                                                                                                        management officials. Also, NCUA has                   connection with the performance of the
                                              including small entities, various forms
                                                                                                        displayed on the agency’s Web site links               duties imposed upon the National
                                              of technical assistance and educational
                                                                                                        to sources of data for self-certifying as              Science Foundation (NSF) by 42 U.S.C.
                                              opportunities at no cost. NCUA
                                                                                                        an MDI; thus reducing the burden on                    1861 et seq. This determination follows
                                              therefore certifies that the final IRPS
                                                                                                        potential MDIs to locate the Web sites                 consultation with the Committee
                                              will not have a significant adverse
                                                                                                        for assessing source information to                    Management Secretariat, General
                                              economic impact on a substantial
                                                                                                        document their self-certification. NCUA                Services Administration.
                                              number of small credit unions.
                                                                                                                                                                 Name OF Committee: Proposal
                                              Accordingly, no regulatory flexibility                    will apply to OMB for approval of the
                                                                                                                                                               Review Panel for International Science
                                              analysis is required.                                     final IRPS.                                            and Engineering (#10749)
                                              Paperwork Reduction Act                                   Executive Order 13132                                    1. Nature/Purpose: The International
                                                 The Paperwork Reduction Act of 1995                                                                           Science and Engineering proposal
                                              (PRA) applies to rulemakings in which                        Executive Order 13132 encourages                    review panel will advise the National
                                              an agency creates a new paperwork                         independent regulatory agencies to                     Science Foundation (NSF) on the merit
                                              burden on regulated entities or modifies                  consider the impact of their actions on                of proposals requesting financial
                                              an existing burden. For purposes of the                   state and local interests. NCUA, an                    support of research and research-related
                                              PRA, a paperwork burden may take the                      independent regulatory agency as                       activities. The Committee will review
                                              form of either a reporting or a                           defined in 44 U.S.C. 3502(5), voluntarily              proposals submitted to NSF under the
                                              recordkeeping requirement, each                           complies with the Executive Order to                   purview of the Office of International
                                              referred to as an information collection.                 adhere to fundamental federalism                       Science and Engineering Program
                                              The 2013 proposed IRPS identified a                       principles. This final IRPS will not have              (OISE).
                                              new information collection consisting of                  a substantial direct effect on the states,               Responsible NSF Official: Rebecca
                                              the procedure for a credit union to                       on the relationship between the national               Keiser, Head, Office of International
                                              document its self-certification of                        government and the states, or on the                   Science and Engineering, National
                                              eligibility to participate in the                         distribution of power and                              Science Foundation, 4201 Wilson
                                              Program.40                                                responsibilities among the various                     Boulevard, Stafford II, Suite 1155,
                                                 The proposed IRPS invited interested                                                                          Arlington, VA 22230. Telephone: 703/
                                                                                                        levels of government. NCUA has
                                              persons to submit comments on the                                                                                292–8710
                                                                                                        determined that this final IRPS does not
                                              prescribed information collection                         constitute a policy that has federalism                  Dated: June 18, 2015.
                                              requirement to the Office of                              implications for purposes of the                       Crystal Robinson,
                                              Management and Budget (OMB), with a                       executive order.                                       Committee Management Officer.
                                              copy to NCUA, at the address provided                                                                            [FR Doc. 2015–15421 Filed 6–23–15; 8:45 am]
                                              in the preamble to the proposed IRPS.                     Treasury and General Government
                                                                                                                                                               BILLING CODE 7555–01–P
                                              NCUA received the following comments                      Appropriations Act, 1999
                                              on the information collection
                                              requirement prescribed in the proposed                      NCUA has determined that this final
                                                                                                                                                               NATIONAL SCIENCE FOUNDATION
                                              IRPS, encouraging the agency to:                          IRPS will not affect family well-being
                                                 • Remove the minority representation                   within the meaning of Section 654 of                   Agency Information Collection
                                              requirement among management                              the Treasury and General Government                    Activities: Comment Request
                                              officials in the MDI definition;                          Appropriations Act, 1999, Public Law
                                                 • restrict the collection of data by any               105–277, 112 Stat. 2681 (1998).                        AGENCY:National Science Foundation.
                                              method that allows members to                                                                                          Submission for OMB review;
                                                                                                                                                               ACTION:
                                              voluntarily identify themselves as a                      Agency Regulatory Goal                                 comment request.
                                              minority;                                                   The Board’s goal is to promulgate
                                                 • require the majority of a credit                                                                            SUMMARY:   The National Science
                                                                                                        clear and understandable regulations                   Foundation (NSF) has submitted the
                                              union’s members’ deposits and/or loan
                                                                                                        that impose minimal regulatory burden.                 following information collection
                                              products to be held by racial minorities;
                                                 • conform the annual review and                        We request your comments on whether                    requirement to OMB for review and
                                              update of the minority self-certification                 this final IRPS is understandable and                  clearance under the Paperwork
                                              to the updating frequency of the data                     minimally intrusive if implemented as                  Reduction Act of 1995, Public Law 104–
                                              supporting a self-certification (e.g.,                    proposed.                                              13 (44 U.S.C. 3501 et seq.). This is the
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                                              every ten years if using U.S. Census                        By the National Credit Union                         second notice for public comment; the
                                              data); and                                                Administration Board on June 18, 2015.                 first was published in the Federal
                                                 • provide a portal on NCUA’s Web                       Gerard S. Poliquin,
                                                                                                                                                               Register at 79 FR 2014–18873 filed 11
                                              site for credit unions to access the                                                                             August 2014, and no comments were
                                                                                                        Secretary of the Board.                                received. Comments regarding whether
                                              sources of data relevant to self-certifying
                                                                                                        [FR Doc. 2015–15515 Filed 6–23–15; 8:45 am]            the collection of information is
                                                40 78   FR 46374 (July 31, 2013)                        BILLING CODE 7535–01–P                                 necessary for the proper performance of


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Document Created: 2015-12-15 14:09:22
Document Modified: 2015-12-15 14:09:22
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
ActionFinal Interpretive Ruling and Policy Statement 13-1.
DatesThis final Interpretive Ruling and Policy Statement is effective July 24, 2015.
ContactWendy A. Angus, Acting Director, Office of Minority and Women Inclusion, at (703) 518-1650; or Cynthia Vaughn, Diversity Outreach Program Analyst, Office of Minority and Women Inclusion, at (703) 518-1650.
FR Citation80 FR 36356 
RIN Number3133-AE16

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