81_FR_5688 81 FR 5666 - Small Business Investment Company Program-Impact SBICs

81 FR 5666 - Small Business Investment Company Program-Impact SBICs

SMALL BUSINESS ADMINISTRATION

Federal Register Volume 81, Issue 22 (February 3, 2016)

Page Range5666-5676
FR Document2016-01986

In this proposed rule, the U.S. Small Business Administration (SBA) is defining a new class of small business investment companies (SBICs) that will seek to generate positive and measurable social impact in addition to financial return. With the creation of this class of ``Impact SBICs,'' SBA is seeking to expand the pool of investment capital available primarily to underserved communities and innovative sectors as well as support the development of America's growing impact investing industry. This proposed rule sets forth regulations applicable to Impact SBICs with respect to licensing, leverage eligibility, fees, reporting and compliance requirements.

Federal Register, Volume 81 Issue 22 (Wednesday, February 3, 2016)
[Federal Register Volume 81, Number 22 (Wednesday, February 3, 2016)]
[Proposed Rules]
[Pages 5666-5676]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-01986]


=======================================================================
-----------------------------------------------------------------------

SMALL BUSINESS ADMINISTRATION

13 CFR Part 107

RIN 3245-AG66


Small Business Investment Company Program--Impact SBICs

AGENCY: U.S. Small Business Administration.

ACTION: Notice of proposed rulemaking.

-----------------------------------------------------------------------

SUMMARY: In this proposed rule, the U.S. Small Business Administration 
(SBA) is defining a new class of small business investment companies 
(SBICs) that will seek to generate positive and measurable social 
impact in addition to financial return. With the creation of this class 
of ``Impact SBICs,'' SBA is seeking to expand the pool of investment 
capital available primarily to underserved communities and innovative 
sectors as well as support the development of America's growing impact 
investing industry. This proposed rule sets forth regulations 
applicable to Impact SBICs with respect to licensing, leverage 
eligibility, fees, reporting and compliance requirements.

DATES: Comments on the proposed rule must be received on or before 
March 4, 2016.

ADDRESSES: You may submit comments, identified by RIN 3245-AG66, by any 
of the following methods:
    Federal eRulemaking Portal: http://www.regulations.gov. Follow the 
instructions for submitting comments.
    Mail, Hand Delivery/Courier: Mark Walsh, Associate Administrator 
for the Office of Investment and Innovation, U.S. Small Business 
Administration, 409 Third Street SW., Washington, DC 20416.
    SBA will post comments on http://www.regulations.gov. If you wish 
to submit confidential business information (CBI) as defined in the 
User Notice at http://www.regulations.gov, please submit the 
information to Nate T. Yohannes, Office of Investment and Innovation, 
409 Third Street SW., Washington, DC 20416. Highlight the information 
that you consider to be CBI

[[Page 5667]]

and explain why you believe this information should be held 
confidential. SBA will review the information and make the final 
determination of whether or not it will publish the information.

FOR FURTHER INFORMATION CONTACT: Nate T. Yohannes, Office of Investment 
and Innovation, (202) 205-6714.

SUPPLEMENTARY INFORMATION:

I. Background Information

    ``Impact investing'' is a term used to describe an investment 
approach that combines the pursuit of financial return with the goal of 
generating measurable social, environmental or economic impact. The 
term ``social impact investing'' is often used synonymously with the 
term impact investing, and refers, collectively, to all types of impact 
investing, including social, environmental and economic. Impact 
investors are active throughout the capital markets, and though their 
strategies may vary, according to the Global Impact Investing Network, 
a non-profit organization dedicated to increasing the scale and 
effectiveness of impact investing, impact investors share three 
defining traits. First, impact investors invest with the explicit 
intention of generating a positive social impact. This is in contrast 
to other types of investors who attempt to avoid generating negative 
social impacts or who are entirely indifferent to the social outcomes 
resulting from their investments. Second, though their return 
requirements vary, impact investors are not grant providers and always 
expect a return on their invested capital. Finally, impact investors 
share a commitment to measure the effect of their investments on the 
employees, customers and communities of the companies in which they 
invest. See, The Global Impact Investing Network, About Impact 
Investing, http://www.thegiin.org/cgi-bin/iowa/resources/about/index.html.
    Impact investing currently constitutes a small segment of global 
investment activity. Each year, J.P. Morgan and the Global Impact 
Investing Network (``GIIN'') publish an annual survey of leading impact 
investors. In their May 2015 findings, available at http://www.thegiin.org/cgi-bin/iowa/resources/research/662.html, 146 survey 
respondents reported managing a collective total of $60 billion in 
impact investments. Compared with the $64 trillion in global assets 
under management, a figure drawn from PricewaterhouseCoopers' (``PwC'') 
2014 report Asset Management 2020: A Brave New World, available at 
http://www.pwc.com/gx/en/asset-management/publications/asset-management-2020-a-brave-new-world.jhtml, impact investments comprise a 
small fraction of invested capital worldwide.
    However, the size of the impact industry belies both its growth 
potential and that of the broader sustainable finance sector. This is a 
sector focused on ``creating economic and social value through 
financial models, products and markets that are sustainable over 
time.'' See, Center for Responsible Business, Haas School of Business, 
University of California Berkeley, Sustainable Finance, http://responsiblebusiness.haas.berkeley.edu/programs/sustainablefinance.html. 
The Forum for Sustainable and Responsible Investment estimates that 
U.S.-domiciled assets managed using sustainable, responsible or impact 
investing strategies increased by a compound annual rate of 33% between 
2012 and 2014. If that trend continues, sustainable finance will 
continue to outpace overall market growth. According to the 2014 PwC 
report, global AUM will grow at a compound annual growth rate of just 
nearly 6 percent in coming years.
    SBA's formal efforts in the impact investing space began on April 
7, 2011, when it announced the launch of the SBIC program's Impact 
Investing Initiative (the ``Initiative''), building upon SBA's belief 
that targeting capital investments into segments of the U.S. economy 
where capital formation gaps exist, such as small businesses located in 
low-to-moderate income (``LMI'') and other underserved areas, has the 
potential to effect meaningful and sustained economic development 
impact in those areas. The Initiative made available $1 billion in 
debenture leverage, over the course of 5 years, to SBICs that committed 
to deploy at least 50 percent of their total invested capital in 
``impact investments.'' Under the Initiative, investments in small 
businesses located in LMI areas, economically-distressed areas and 
rural areas generally qualified as impact investments, as did 
investments in small businesses active in the education and clean 
energy sectors.
    Since 2011, SBA has made several changes to the Initiative in an 
effort to enhance its effectiveness. Most recently, in September 2014, 
SBA expanded the scope of the Initiative and renamed it the ``Impact 
Investment Fund'' to reflect SBA's commitment to extend its impact 
investing efforts beyond the Initiative's initial 5-year term.
    This rule follows from that commitment and seeks to recognize, 
within the SBIC program's regulations, the important role impact 
investors can play in helping the SBIC program achieve its goal of 
providing capital and long-term loan funds for the growth, expansion 
and modernization of small businesses.

II. Section by Section Analysis

    Sec.  107.50--Definitions. SBA proposes to add the defined terms 
``Fund-Identified Impact Investment,'' ``Impact Investment,'' ``Impact 
SBIC'' and ``SBA-Identified Impact Investment.''

``Fund-Identified Impact Investment,'' ``Impact Investment,'' and 
``SBA-Identified Impact Investment''

    The definition of ``Impact Investment'' included in this proposed 
rule consists of two categories, each of which is also a defined term 
in the proposed rule: (1) SBA-Identified Impact Investments, which are 
investments in geographic areas and sectors of national priority that 
SBA designates in notices published from time to time on SBA's SBIC 
program Web site (www.sba.gov/inv); and (2) Fund-Identified Impact 
Investments, which are investments that meet an SBIC's own definition 
of an ``Impact Investment'' and which an SBIC applicant must propose 
and SBA must approve during the licensing process, as described in 
proposed Sec.  107.331--Evaluation and selection of Impact SBICs.

``Impact SBIC''

    The regulatory definition of an Impact SBIC has several key points. 
First, an Impact SBIC must be organized as a limited partnership. 
Although the current regulations permit other forms of organization, 
the vast majority of existing SBICs are limited partnerships. SBA 
believes that having a degree of uniformity in organizational structure 
will facilitate a more timely and efficient licensing process for 
Impact SBICs.
    Second, the ``Impact SBIC'' designation would apply only to SBICs 
licensed under this rule as well as those licensees designated as 
Impact SBICs after the launch of the Initiative in 2011 and before the 
effective date of this rule.
    Third, an Impact SBIC must invest at least 50 percent of its 
financing dollars in small business concerns that meet the criteria set 
forth in the definition of Impact Investment in this rule (referred to 
hereafter as the ``50 percent requirement''). SBA believes the 50 
percent threshold indicates a significant focus, while still giving 
Impact SBICs flexibility in developing their portfolios. Per the 
proposed rule, follow-on investments in a portfolio company that 
qualified as an ``Impact Investment'' at the time of the SBIC's initial 
financing

[[Page 5668]]

would count towards the 50 percent requirement.
    An Impact SBIC may satisfy the 50 percent requirement exclusively 
through SBA-Identified Impact Investments or Fund-Identified Impact 
Investments, but may also satisfy the 50 percent requirement through a 
combination of these investments. Per proposed Sec.  107.331, SBA must 
approve all Fund-Identified Impact Investment definitions and 
strategies during the licensing process, regardless of whether such 
investments will be used to meet all or only a portion of the 50 
percent requirement.
    Sec.  107.301--Impact SBIC licensing fee discount. This section 
proposes a 60% reduction in the licensing fees Impact SBIC applicants 
must pay under Sec.  107.300. The discount is intended to incentivize 
the formation of Impact SBICs. Despite the fee reduction, SBA will 
devote neither less time nor fewer resources to the assessment of 
Impact SBIC applications than it devotes to the assessment of standard 
SBIC applications.
    However, Sec.  107.301 would provide that in the event an Impact 
SBIC applicant were to ultimately be approved for an SBIC license as 
anything other than an Impact SBIC, SBA would be entitled to recover 
the value of any discounts the applicant received prior to licensing. 
This provision was added to cover cases in which an applicant decides 
mid-process, with SBA permission, to seek a standard SBIC license 
instead of an Impact SBIC license. These types of changes sometimes 
occur during the fundraising process as fund managers adjust to the 
expectations of private capital providers. Although licensees 
designated as Impact SBICs under the Initiative would be eligible for 
fee discounts as of the effective date of this rule, SBA will not 
return any fees these licensees paid prior to that date.
    Finally, any Impact SBIC, whether licensed under the Initiative or 
under this rule, may submit a written request to SBA seeking to convert 
to a standard SBIC license. SBA would generally expect to grant such a 
request, provided that SBA recovers the value of any discounts the 
licensee received.
    Sec.  107.310--When and how to apply for licensing as an Early 
Stage SBIC. America's impact investment industry includes fund managers 
focused on making equity investments in early stage companies. In order 
to accommodate these fund managers, proposed Sec.  107.310 permits 
applicants to apply simultaneously for an Impact SBIC and Early Stage 
SBIC license. Further, such dual applicants will be permitted to submit 
their application at any time and will not be subject to the submission 
deadlines specified in Early Stage Notices SBA may publish in the 
Federal Register. However, those applicants licensed as both Early 
Stage and Impact SBICs will be subject to every regulation pertaining 
to either type of licensee.
    Sec.  107.330--Evaluation and selection of Impact SBIC license 
applicants making SBA-Identified Impact Investments. Impact SBIC 
license applicants proposing to meet their impact investment 
requirements exclusively through SBA-Identified Impact Investments will 
be evaluated and selected based on the standards outlined in Sec.  
107.305, which are used to assess all SBIC applicants. In addition, SBA 
will evaluate the managers' skills and experience in building and 
managing a portfolio of impact investments. However, an applicant's 
potential to generate social, environmental or economic impact will be 
considered relevant only to its eligibility to participate in the SBIC 
program as an Impact SBIC and will not serve as a substitute for any of 
the factors cited in Sec.  107.305.
    Sec.  107.331--Evaluation and selection of Impact SBIC license 
applicants making Fund-Identified Impact Investments.
    Under proposed Sec.  107.331, Impact SBIC license applicants 
seeking approval to make Fund-Identified Impact Investments will be 
subject first and foremost to the evaluation process and qualification 
standards outlined in Sec.  107.305, which are used to assess all SBIC 
applicants. An applicant's potential to generate social, environmental 
or economic impact will be considered relevant only to its eligibility 
to participate in the SBIC program as an Impact SBIC and will not serve 
as a substitute for any of the factors cited in Sec.  107.305.
    Using SBA Form 2181 (Applicant Narrative), applicants will be 
expected to provide definition(s) of the Fund-Identified Impact 
Investments they intend to make for the purposes of complying with the 
requirement that 50 percent of the total dollar amount of their 
financings be deployed in Impact Investments. Applicants will also be 
required to describe, using qualitative and quantitative analysis, the 
expected social, environmental or economic impact of their proposed 
Fund-Identified Impact Investments.
    SBA will review any Fund-Identified Impact Investment 
definition(s), along with an applicant's overall investment strategy, 
in order to determine whether the proposed definitions and strategy are 
consistent with SBA's mission, as well as the letter and spirit of the 
SBIC program's regulations. For instance, a Fund-Identified Impact 
Investment definition that targets financial intermediaries would not 
be approved if SBA determines it risks running afoul of the regulatory 
prohibition on financing ``relenders'' or ``reinvestors.''
    SBA will next determine whether the applicant's proposed Fund-
Identified Impact Investments are likely to yield a positive impact 
when all the potential social, environmental and economic effects of 
the investments are considered. SBA's evaluation may consider factors 
such as whether the strategy will include investments in Portfolio 
Concerns that increase services to low income communities, engage in 
environmentally sustainable business practices or manufacture 
environmentally sustainable products, or that operate in industries of 
national priority other than in the sectors identified by SBA as an 
SBA-Identified Impact Investment. The Agency acknowledges that reaching 
a definitive and objective conclusion regarding a strategy's overall 
impact may be challenging. Impact is often described in qualitative, 
rather than quantitative terms. In anticipation of that challenge, the 
proposed rule has been drafted to mitigate the risk that SBA would be 
put in the position of having to accept or reject a proposed definition 
based solely on a value judgment.
    Applicants will be expected to make reasonable arguments, supported 
by convincing evidence, that their proposed definitions can meet the 
impact requirements of this rule. In this regard, the process SBA will 
use to evaluate proposed Fund-Identified Impact Investment definitions 
differs little from the process used to assess fund manager 
qualifications. SBA will use its standard due diligence tools, 
including principal interviews and reference calls, to test the 
strength of an applicant's proposal and the validity of the evidence 
presented therein. Just as a standard SBIC applicant might be rejected 
for making unsubstantiated track record claims, so too could a Fund-
Identified Impact Investment definition be turned down if diligence 
suggests it lacks credibility.
    SBA takes a nuanced approach to its licensing decisions and does 
not rely solely on easy-to-measure financial metrics. An applicant's 
past financial performance is always carefully weighed against less 
tangible factors such as the level of cohesion among the proposed 
management team members; the alignment of incentives between the fund 
manager and private investors; and

[[Page 5669]]

the quality of the proposed investment strategy, among other variables.
    SBA expects to receive few, if any, Fund-Identified Impact 
Investment definition proposals that are intended solely to obtain the 
fee reduction benefits of an Impact SBIC license. The fee reductions in 
the proposed rule are not material compared to the amount of capital 
raised by an SBIC applicant, and Impact SBIC licensees are subject to 
enhanced regulatory reporting requirements. Moreover, fund managers 
that have expressed interest in SBA's impact investing efforts have, 
to-date, all proposed strategies with clear benefits and no obvious 
risk of yielding negative effects. The following are examples of the 
types of impact investments being made in the market today and which 
SBA anticipates Impact SBICs applying under this section may target:

 Healthcare companies that offer affordable, high-quality 
services to low-income consumers
 Education companies that provide evidence-based, supplemental 
learning services designed to enhance student achievement
 Energy efficiency and sustainability consulting firms
 Agricultural businesses that employ humane and environmentally 
sustainable farming practices
 Businesses that collect and reprocess industrial waste for 
alternative use
 Alternative credit scoring firms that enhance access to 
financial services for low-income consumers

    In addition to approving an applicant's proposed definition of a 
Fund-Identified Impact Investment, SBA must be satisfied with the 
applicant's impact measurement and assessment plan, which an applicant 
must submit in accordance with proposed Sec.  107.331(b). Under this 
section, the applicant must outline its plan to comply with proposed 
Sec.  107.665, which requires Impact SBICs making Fund-Identified 
Impact Investments to obtain an assessment of their impact (1) from an 
independent, third-party assessment provider, (2) using an SBA-approved 
impact measurement standard, a list of which SBA will publish on its 
Web site from time to time, and (3) using an assessment process that is 
both transparent and comprehensive.
    Impact measurement is a defining characteristic of impact 
investors. Without it, impact fund managers and their capital providers 
face a much bigger challenge in determining whether their goal of 
generating positive social impact has been met. Unfortunately, 
determining whether a fund has reached its impact target is far more 
complicated than evaluating its financial performance. The process 
requires establishing a standard by which the targeted outcomes will be 
measured, then crafting an evaluation framework capable of weighing the 
resulting measurements to yield an overall assessment of impact.
    With regard to measurement, the proposed rule would require Impact 
SBICs licensed under this section to measure their impact using one of 
several pre-approved measurement standards. At the outset, SBA intends 
to approve the use of the three sets of standards listed below, 
although SBA may approve additional standards as they become more 
widely adopted by the impact investing industry:

--The Impact Reporting and Investment Standards (``IRIS''), an impact 
evaluation framework created by GIIN;
--The G4 Sustainability Reporting Standards, produced by the Global 
Reporting Initiative (``GRI''); and
--The standards produced and maintained by the Sustainability 
Accounting Standards Board (``SASB'').

    The purpose of these standards is to establish a common language 
companies and investors can use to report the positive and negative 
impacts that result from their activities. These standards are part of 
a broader industry effort to bring to impact measurement what the 
Generally Accepted Accounting Standards (``GAAP'') provide for 
financial reporting. When comparing the GAAP-compliant financial 
statements of two different companies, an investor can be confident the 
same set of rules was used to report items such as revenue, inventory 
and operating cash flow in both statements. GAAP does not provide 
guidance on how to interpret the data, but it does ensure consistency 
in reporting.
    Impact measurement standards were developed to offer the same 
proposition. Consider the simple example of two Impact SBICs, both of 
which are pursuing similar strategies to create high-wage jobs in a 
particular region. In the absence of a measurement standard, the tasks 
of defining a ``job'' and calculating a ``wage'' are left to the funds 
themselves, which leaves room for methodological discrepancies. One 
fund may include the value of benefits in its calculation of wages, 
while the other restricts its definition to direct cash payments. An 
investor trying to determine which fund has been more effective in 
reaching its impact goal would have difficulty in this scenario. 
Measurement standards help reduce these definitional challenges. Were 
the two funds to use IRIS metrics, for instance, they could both rely 
on the IRIS definition of a ``full-time'' or ``permanent'' employee and 
use the method IRIS has established for calculating the wages of those 
employees.
    The impact investing industry has yet to coalesce around a single 
set of measurement standards and may never do so. However, the three 
standards SBA intends to approve were selected, in part, because of 
their prominence in the industry and the flexibility they provide for 
different types of impact strategies. Of the three, IRIS is likely the 
best-known and most widely used set of standards. GRI has a focus on 
sustainability, which may provide environmentally focused Impact SBICs 
additional flexibility. Finally, SASB's standards are designed 
primarily for public corporations and may facilitate reporting for 
Impact SBICs with portfolio companies that are already public or intend 
to go public.
    With clear options available for the measurement of impact, Impact 
SBICs can turn to the second component of SBA's proposed evaluation 
system, which deals with the assessment of impact. As noted above, 
impact measurement standards only provide guidance on how to report 
impact data. They are silent on how to interpret that data. Returning 
to the example above, the two fund managers may report IRIS-compliant 
employee and wage data to their investors, but an assessment framework 
is needed to determine what constitutes a ``strong'' level of 
employment growth, what threshold determines a wage is ``high'', or how 
to weigh the growth in wages against the growth in employment when 
evaluating the funds' overall impact.
    As with financial performance, each individual investor is 
empowered to reach his or her own conclusions about what constitutes 
``success'' with regard to impact. While numbers, such as an internal 
rate of return, cannot be easily manipulated by a fund manager, 
investors could receive biased reports on impact returns if a fund 
manager were to selectively choose metrics and the weighting associated 
with those metrics. The use of independent and transparent assessment 
systems not only helps reduce the risk of selective reporting, but it 
also promotes the use of best practices across the industry.
    For these reasons, SBA considers the assessment component of its 
proposed impact evaluation system critical to the credibility of the 
program. Impact SBIC

[[Page 5670]]

applicants seeking a license under this section of the proposed rule 
must identify the assessment providers they expect to use to fulfill 
their reporting requirements and describe the systems those providers 
employ. Further, the applicant must provide evidence that each 
assessment provider is independent, that the criteria and weightings 
the providers use are publicly available and that each provider is 
capable of conducting a comprehensive assessment of the Impact SBIC's 
impact. A comprehensive assessment is one capable of evaluating the 
social, environmental and economic impacts of the applicant's proposed 
strategy.
    One assessment system SBA has already approved for use under its 
current Impact Investment Fund policy is the Global Impact Investment 
Ratings System (``GIIRS''), a product of the non-profit organization B 
Lab, which uses a standard set of IRIS impact metrics. GIIRS was 
created to bring to the impact investment industry the kind of 
consistent and comparable rating reports traditional finance has had 
for decades in the form of mutual fund ratings or credit ratings. With 
each investment fund they rate, B Lab staff collects a standard set of 
IRIS impact metrics from each company in the portfolio. That data is 
then run through the GIIRS assessment criteria, each of which is 
assigned a specific weight. The end result is a ratings report with an 
overall impact score and scores for each individual sub-component of 
the overall assessment. Since each rating uses the same set of core 
metrics, assessment criteria and weightings, one investment fund's 
score can be compared to that of another.
    With each new Impact SBIC licensed under this section, SBA will 
build a portfolio of investment strategies and impact reports that it 
hopes will help guide future applicants to the program. Both to 
facilitate that learning process and to ensure program transparency, 
Section 107.331(d) allows the Agency to publish information about the 
investment strategies and assessment systems the Impact SBICs licensed 
under this section have employed.
    However, the provisions of paragraph (d) will not release SBA from 
its responsibility to protect the confidential business information of 
its licensees. SBA intends only to publish general descriptions of the 
investment strategies it has approved and will not reveal any details 
that might compromise an applicant or licensee's confidential business 
information. Similarly, the Agency will make public the names of 
assessment providers it has approved and descriptions of the assessment 
systems those providers use, but will not reveal the results of any 
individual impact assessment.
    Sec.  107.502--Representations to the public. SBA is proposing to 
add new paragraphs (b) and (c) to this section, which would require 
Impact SBIC license applicants and Impact SBICs to identify themselves 
as impact investment funds when marketing their funds to prospective 
investors. This requirement is meant to ensure that investors are made 
aware that the Impact SBIC applicant intends to participate, or that a 
licensed Impact SBIC is participating, in the SBIC program as an Impact 
SBIC. Requiring Impact SBICs to identify themselves as such will also 
help deter applicants whose sole interest in obtaining an Impact SBIC 
license is to benefit from the associated fee discounts.
    Sec.  107.610--Required certifications for Loans and Investments. 
Proposed new paragraph (g) would provide for new certifications by 
Impact SBICs and the small businesses in which they make Impact 
Investments, certifying the basis for which each investment qualifies 
as an Impact Investment. As with most of the existing certifications in 
this section, the Impact certifications would be retained in the SBIC's 
files and be available for SBA's review.
    The paragraph would require different levels of certification 
depending on the type of Impact Investment. SBA-Identified Impact 
Investments will be based on certifications from both the Impact SBIC 
and its portfolio concerns; Fund-Identified Impact Investments will 
only require the certification of the Impact SBIC. Since SBA-Identified 
Impact Investments will be based on definitions in federal regulation 
and will generally depend on specific statistics collected at the 
company level, it is reasonable to expect the leaders of those 
businesses to certify the accuracy of their information. By contrast, 
Fund-Identified Impact Investments may be based on sector data or other 
information outside the control of the small business being financed. 
Therefore, for Impact SBICs making Fund-Identified Impact Investments, 
the regulation places the full certification burden on the Impact SBIC.
    As noted above, per the proposed rule, follow-on financings in 
Impact Investments would count towards the 50 percent requirement, and 
therefore, SBA will not require Impact SBICs to re-certify the 
investment as part of a follow-on financing. SBA believes that 
requiring Impact SBICs to re-certify their follow-on financings as 
Impact Investments might deter them from making long-term capital 
commitments out of concern that future financings might not count 
towards the ``50 percent requirement.'' Nonetheless, SBA is soliciting 
comments from the public on whether such follow-on investments should 
count towards the 50 percent requirement only if the Impact SBIC re-
certifies the investment as an Impact Investment at the time a follow-
on investment is made.
    Sec.  107.665--Measurement and reporting requirements for Impact 
SBICs making Fund-Identified Impact Investments. This proposed section 
would require Impact SBICs making Fund-Identified Impact Investments to 
obtain independent assessments of the social, environmental and 
economic impact of their investment strategy. Unless the licensee 
obtains SBA approval to do otherwise, these assessments must be 
prepared in manner consistent with the plan approved during the 
licensing process.
    Impact SBICs subject to this section will face penalties if they 
fail to obtain impact assessments, but SBA will neither penalize nor 
reward an Impact SBIC based solely on the results of those impact 
assessments. One purpose of permitting Impact SBICs to make Fund-
Identified Impact Investments is to encourage innovative approaches to 
social, environment and economic challenges. Penalizing licensees that 
fail to meet their impact goals, despite their best efforts, would be 
counterproductive. Instead, the Agency trusts that successful fund 
managers will earn their rewards in the market place, using the 
strength of their financial and social returns to attract private 
capital. SBA will also look favorably on subsequent Impact SBIC 
applicants with a record of strong social and financial performance. By 
contrast, Impact SBICs with poor impact assessments are more likely to 
face difficulty raising private capital and obtaining a subsequent 
Impact SBIC license.
    Sec.  107.693--Impact SBIC examination fee discount. This new 
proposed section would allow a 10% reduction in the examination ``base 
fee'' that would otherwise be applicable to Impact SBICs under existing 
Sec.  107.692. SBA will devote neither less time nor fewer resources to 
the examination of Impact SBIC licensees as a result of this discount. 
Under the proposed rule, licensees designated as Impact SBICs prior to 
the effective date of this rule will be eligible for fee discounts on a 
going-forward basis, but SBA will not return fees already paid.
    Sec.  107.1120--General eligibility requirements for Leverage. 
Proposed

[[Page 5671]]

new paragraph (l) would provide for a new certification by Impact SBICs 
seeking an SBA leverage commitment or draw. The Impact SBIC would be 
required to certify that it will invest at least 50 percent of the 
aggregate dollar amount of its financings in Impact Investments, in 
compliance with the Impact Investment and Impact SBIC definitions in 
Sec.  107.50. This prospective certification is consistent with the 
other certifications required by Sec.  107.1120. SBA intends to monitor 
Impact SBICs' performance in making Impact Investments to ensure that 
they are making investments that meet this requirement.
    Sec.  107.1810--Events of default and SBA's remedies for Licensee's 
noncompliance with terms of Debentures. SBA is proposing two changes in 
this section that would apply only to Impact SBICs. First, under 
proposed Sec.  107.1810(f)(13), it would be an event of default if an 
Impact SBIC fails to meet the requirement to invest at least 50 percent 
of its financing dollars in Impact Investments, as defined in proposed 
Sec.  107.50. If the Impact SBIC fails to cure to SBA's satisfaction, 
SBA could invoke the remedies in existing Sec.  107.1810(g), which 
includes the right to declare outstanding debenture leverage 
immediately due and payable. SBA would generally not expect to invoke 
such remedies if an Impact SBIC's failure to meet the 50 percent 
requirement appears to be temporary.
    Second, under proposed Sec.  107.1810(f)(14), it would be an event 
of default if an Impact SBIC licensed under an SBA-approved plan to 
make Fund-Identified Impact Investments fails to obtain an acceptable 
independent, third-party assessment to measure the social, 
environmental or economic impact of the fund's Impact Investment 
strategy within the time frames required by proposed Sec.  107.665. If 
the Impact SBIC fails to cure to SBA's satisfaction, SBA could invoke 
the remedies in existing Sec.  107.1810(g), which include the right to 
declare outstanding debenture leverage immediately due and payable.
    Sec.  107.1940--Impact SBIC licensee noncompliance with 
regulations. SBA proposes creating in this new section a series of 
actions the Agency may take with respect to Impact SBICs that fail to 
meet the 50 percent requirement and Fund-Identified Impact SBICs that 
fail to meet assessment requirements. Regardless of whether an Impact 
SBIC has outstanding leverage, if an event of default would have been 
triggered under proposed Sec.  107.1810(f)(13) or (14), SBA will have 
the authority, upon written notice, to take any or all of the following 
actions: (1) Convert the licensee's Impact SBIC license to a standard 
SBIC license (including, in SBA's discretion, requiring the licensee to 
notify its private investors of the conversion); and (2) require the 
licensee to return to SBA up to the full dollar amount of any licensing 
or examinations fee discounts it has received prior to the date of the 
written notice. However, SBA will be authorized to take these actions 
only after giving the licensee at least 15 days to resolve its non-
compliance and only after the licensee fails to resolve its non-
compliance within the time period given.
    SBA included these additional remedies to address two areas of 
concern. First, the events of default proposed under Sec.  107.1810(f) 
would only apply to Impact SBICs with outstanding leverage. As a 
result, Impact SBICs that are licensed as non-leveraged funds or those 
that pre-pay their leverage in full would not be subject to any 
remedies if they were to fall out of compliance with the 50 percent 
requirement or, as applicable, the assessment requirement. Second, the 
fee discounts proposed under this rule generally reward Impact SBIC 
applicants and licensees for future, rather than past behavior. For 
instance, an Impact SBIC will be eligible for a 60 percent discount on 
its licensing fee based on its proposal to deploy at least 50 percent 
of its capital in Impact Investments. Without the provisions proposed 
under this section, SBA would have limited authority to recover those 
benefits or otherwise take action against the fund if it fails to 
follow through on that commitment.

Compliance With Executive Orders 12866, 12988, 13132, 13563, the 
Paperwork Reduction Act (44 U.S.C. Ch. 35) and the Regulatory 
Flexibility Act (5 U.S.C. 601-612)

Executive Order 12866

    The Office of Management and Budget has determined that this rule 
is a ``significant'' regulatory action under Executive Order 12866. The 
Regulatory Impact Analysis is set forth below.
1. Need for Regulation
    The Small Business Investment Act of 1958, as amended, established 
the SBIC program to ``stimulate and supplement the flow of private 
equity capital and long-term loan funds'' to U.S.-based small 
businesses. 15 U.S.C. 661. As part of that effort, the Act contains 
several provisions aimed at promoting the flow of capital to several 
special categories of small business, including those located in low 
income geographic areas, those engaged in energy-saving activities and 
``smaller'' businesses.15 U.S.C. 683(b)(2)(C), 683(b)(2)(D), 683(d).
    Over the past several years, SBA's focus on achieving these 
economic development goals has yielded results, but progress has come 
at a slower pace than anticipated. Despite the recent growth in the 
number of SBIC-financed businesses located in LMI areas, which rose 
from 216 in fiscal year (``FY'') 2012 to 229 in FY 2014, the program 
has yet to return to the high level achieved in FY 2011, during which 
SBICs financed 351 businesses located in LMI areas. The LMI Debenture, 
a leverage instrument meant to help facilitate these types of 
investments, is rarely used. Similarly, there has yet to be a single 
draw of SBA's Energy Savings Debenture, which has been available since 
2012 to help finance small businesses involved in reducing the use of 
non-renewable energy sources.
    The proposed rule was crafted to enhance the SBIC program's 
effectiveness in channeling much-needed capital to these and other 
underserved segments of the U.S. economy. From an overall economic 
development perspective, SBA believes that capital investments made 
into small businesses located in LMI and other underserved areas have 
the potential to have the most meaningful and sustained impact due to 
the capital formation gaps in those areas.
2. Alternative Approaches to Regulation
    SBA considered several alternatives to the proposed regulation, 
each of which will be discussed below. First, SBA considered pursuing 
its impact investment objectives solely through existing policy 
initiatives. Based on extensive feedback received from SBIC fund 
managers, lower-middle market industry representatives, impact 
investment fund managers, impact policy thought leaders and others, SBA 
rejected this alternative. SBA's existing impact investing policies 
impose additional burdens without providing sufficient incentives to 
attract Impact SBIC fund managers to the program. Further, given that 
SBIC licensees have operational lives of ten years or more, the market 
will be reluctant to embrace SBA's impact investing efforts unless the 
Agency demonstrates a lasting commitment to the space by promulgating 
regulations.
    SBA faced a challenge in developing a definition of an ``Impact 
Investment'' that dealt appropriately with the subjectivity inherent in 
any non-financial measure of performance. Initially, SBA considered 
restricting the

[[Page 5672]]

definition of an Impact Investment to financings that meet requirements 
already outlined in federal regulations, such as Energy-Savings 
Investments, LMI Investments or investments in rural areas. These 
investments are aligned with federal policy priorities and are easy to 
define and monitor. The original Impact Investment Initiative policy 
launched in 2011 was structured in this manner and was slow to attract 
applicants. Given the nascence of the impact investing industry, which 
supports a diverse range of investment strategies, SBA determined a 
more accommodative approach would be more effective.
    The proposed rule has been drafted to allow Impact SBIC applicants 
to make SBA-Identified Impact Investments, which target federal 
priority areas, or make Fund-Identified Impact Investments that align 
with their own definitions of impact. This approach expands the reach 
of SBA's impact investing efforts beyond the limited sub-set of 
investments that meet existing regulatory criteria. The Agency also 
recognizes the complexities Fund-Identified Impact Investments may 
introduce to the SBIC licensing and monitoring process.
    SBA had to carefully consider the bases on which it would approve 
an Impact SBIC's proposed Fund-Identified Impact Investment definition. 
One option the Agency considered was to outline, as part of this 
regulation, a series of sector-specific eligibility requirements that 
Fund-Identified Impact Investments would have to satisfy. Working with 
colleagues at the U.S. Department of Education, SBA staff made an 
initial attempt at preparing guidelines for investments in the 
education sector but quickly discovered the impracticality of the 
approach. Even within a single sector, there exists such a tremendous 
diversity of economic activity that establishing requirements specific-
enough to be useful would require an inordinate commitment of time and 
resources.
    An alternative approach would be to remove SBA from the approval 
process altogether and give Impact SBIC applicants complete latitude to 
pursue Fund-Identified Impact Investments of their choice. Under this 
approach, SBA would evaluate Impact SBICs using its existing licensing 
process without any additional consideration of the impact-related 
aspects of the applicant's proposal. A key advantage of this approach 
is that it would allow SBA to fully cede the definitional challenge of 
impact to fund managers and their private investors. It would also 
ensure the program remains open to innovative impact strategies.
    SBA will always encourage applicants to propose innovative 
investment strategies, but the Agency must retain the ability to review 
and approve proposed Fund-Identified Impact Investment definitions. Not 
only must the Agency ensure that SBICs are making investments that are 
consistent with the letter and spirit of program regulations, but it 
must also consider the reputation of the SBIC program within the 
private investor community. The statute underlying the SBIC program, 
known as the Small Business Investment Act, makes clear that the 
program should be implemented in a manner that ``insure[s] the maximum 
participation of private financing sources.'' 15 U.S.C. 661. Were SBA 
to ignore an applicant's proposed Fund-Identified Impact Investment 
definitions, private impact investors might take the Agency's approach 
as a signal of indifference to market development.
    In fact, the approach SBA has taken reflects the Agency's interest 
in not only enhancing the impact of the SBIC program, but also 
promoting industry best practices. SBA is as concerned with the process 
used to make Fund-Identified Impact Investments as it is with the 
outcomes of those investments. Each Impact SBIC applicant will have the 
burden of demonstrating, with qualitative or quantitative analysis, 
that its investment strategy will, in aggregate, generate a measurable 
positive impact. SBA staff will supplement their evaluation of the 
applicant's analysis and its other application materials with the 
results obtained using the standard tools of due diligence, such as 
interviews with the management team, reference calls, consultations 
with industry experts, public record searches and other research.
    As long as a fund manager is qualified and its definition does not 
run afoul of the Agency's mission, statutes, regulations or policies, 
SBA intends to give applicants substantial leeway in defining their 
Fund-Identified Impact Investments. The measurement and assessment 
requirements of the proposed rule ensure that even those Impact SBICs 
that fail to meet their targeted social returns will contribute to 
market development. Measuring results, good and bad, contributes to the 
industry's understanding of the relationship between financial and 
social returns and helps investors identify the most talented managers.
    SBA confronted two key questions as it considered how to create a 
robust measurement and assessment process. First, what means should SBA 
use to assess the impact of Fund-Identified Impact Investments? Second, 
what consequences, if any, should Impact SBICs face based on the result 
of their impact assessments?
    With regard to the first question, SBA could have assumed the full 
burden of evaluating each Fund-Identified Impact Investment to 
determine its impact. This alternative was rejected because SBA staff 
lack sufficient time, resources and expertise to properly evaluate the 
full range of potential Fund-Identified Impact Investments. A second 
alternative was to leverage the expertise of Impact SBIC fund managers 
themselves and allow them to prepare their own assessments. While it 
may be appropriate to have Impact SBIC applicants argue the merits of 
their Fund-Identified Impact Investment definitions during the 
licensing process, SBA considered it imprudent to allow Impact SBICs to 
evaluate their own success.
    The proposed rule instead requires Impact SBICs to obtain 
independent, third-party impact evaluations based on industry-adopted 
standards. The use of independent third parties helps reduce the bias 
inherent in a fund's own impact evaluation and relieves SBA of the 
potentially significant burden of assessing a wide range of impact 
investment strategies.
    With regard to the second question, SBA has chosen not to penalize 
licensees based on the results of their impact assessments. As noted 
above, assessments provide private capital with greater transparency 
regarding an applicant's track record of generating impact. Given that 
most fund managers seek to follow their first investment vehicle with a 
second, the assessment process itself creates sufficient risk that 
investors will decline to invest in a second fund. Accordingly, SBA 
does not believe that an Impact SBIC should incur regulatory penalties 
based on the results of an impact assessment.
3. Potential Benefits and Costs
    The proposed rule offers two primary benefits to SBA and its 
stakeholders. First, it offers the potential to enhance the overall 
social, environmental and economic impact of the SBIC program. Existing 
SBICs already have tremendous impact on America's small business 
economy. In FY 2014, SBICs together invested nearly $5.5 billion in 
more than 1,000 small business concerns, helping them to grow and 
modernize their operations. The introduction of Impact SBICs will 
increase the portion of those annual financings that are

[[Page 5673]]

intentionally directed towards economically-distressed communities and 
companies taking innovative approaches to social problems.
    SBA also hopes the proposed rule will support the development of 
the impact investing industry more broadly. The rule has been drafted 
to incorporate impact investing best practices, especially with regard 
to the measurement and assessment of impact. As more and more SBA- and 
Fund-Identified Impact Investments are made, the SBIC program will have 
more data to contribute to the industry on the balance between 
financial and social performance.
    In terms of costs, Impact SBICs are anticipated to have an 
additional 3% higher loss rate than regular SBICs, due to the risks 
that may be associated with Impact Investments contemplated under the 
proposed rule. Although SBA is targeting $200 million in commitments 
per year in terms of licensing, the number of Impact SBICs that SBA may 
license or the amount of debenture leverage commitments that may be 
approved for Impact SBICs in any year is subject to the limitations set 
forth in annual appropriations acts or in other statutes or 
regulations. In addition, both newly licensed Impact SBICs and 
previously licensed Impact SBICs have the opportunity to receive new 
leverage commitments in any year. The SBIC program subsidy model for FY 
2017 has been formulated to reflect the provision proposed in this rule 
that Impact SBICs are allowed to be licensed as Early Stage SBICs. 
Early Stage SBICs are expected to have approximately a 10% higher loss 
rate than regular SBICs. The resulting fee of 34.7 basis points for FY 
2017 remains well within historical ranges for the SBIC Debenture 
annual fee.

Executive Order 12988

    This action meets applicable standards set forth in section 3(a) 
and 3(b)(2) of Executive Order 12988, Civil Justice Reform, to minimize 
litigation, eliminate ambiguity, and reduce burden. The action does not 
have retroactive or presumptive effect.

Executive Order 13132

    The proposed rule will not have substantial direct effects on the 
States, or the distribution of power and responsibilities among the 
various levels of government. Therefore, for the purposes of Executive 
Order 13132, Federalism, SBA determines that this proposed rule has no 
federalism implications warranting the preparation of a federalism 
assessment.

Executive Order 13563

    In drafting this proposed rule, SBA considered the input of impact 
investment industry experts on ways to facilitate the growth of 
private-sector led impact investing as a strategy to create jobs and 
strengthen communities. With the assistance of the White House Office 
of Social Innovation and Civic Participation, which included a White 
House hosted event in June 2014 (see, https://www.whitehouse.gov/blog/2014/06/25/executive-actions-accelerate-impact-investing-create-jobs-and-strengthen-communities), SBA held roundtable discussions with 
representatives from endowments, foundations, institutional asset 
managers, high net worth individuals, investment funds, standard SBICs, 
existing Impact SBICs, not-for-profit entities, banks, and other 
federal government agencies. The roundtables covered topics such as: 
(1) Increasing the flow of private capital toward sustainable business 
models; (2) supporting private sector investment in high-impact sectors 
and underserved communities; (3) making innovative impact enterprises 
investment-ready; (4) removing regulatory barriers that keep capital on 
the sidelines; and (5) growing the impact economy through policy 
interventions.

Paperwork Reduction Act, 44 U.S.C. Ch. 35

    SBA has determined that this rulemaking proposes additional 
reporting requirements as defined by the Paperwork Reduction Act. 
Specifically, as discussed above, all Impact SBICs utilizing a Fund-
Identified Impact strategy would be required to submit to SBA 
independent, third-party evaluations of the impacts of such 
investments. This proposed rule would also codify two other reporting 
requirements that are already imposed on Impact SBICs based on the 
terms and conditions of the Impact Investment Fund established by SBA 
on April 11, 2011, as amended on September 25, 2014, available at 
https://www.sba.gov/content/impact-investment-fund-overview. First, at 
the time of application, Impact SBIC applicants are currently required 
to outline in their proposed investment strategy whether a particular 
strategy is an ``Impact Investment.'' This requirement is not being 
changed by this rule; it is merely being codified in the regulations. 
Furthermore, this requirement is already approved as part of SBA Form 
2181, Appendix 2 (OMB Control Number 3245-0062). Second, as part of 
reporting on their portfolio financings, Impact SBICs are also 
currently required to identify whether a completed financing is an 
Impact Investment. Therefore, this requirement is also not being 
imposed for the first time by this rule but rather merely being 
codified in the regulations. To make it easier for SBICs to meet this 
requirement, SBA recently proposed adding two questions to the 
Portfolio Financing Report (an existing information collection approved 
under OMB Control Number 3245-0078), to enable Impact SBICS to 
specifically identify whether a particular investment qualifies as an 
SBA-Identified or Fund Identified investment. This particular change 
will be made in conjunction with other revisions to Form 1031 as a 
result of other amendments to the SBIC program in the proposed rule, 
Small Business Investment Companies; Passive Business Expansion & 
Technical Clarifications. (RIN: 3245-AG67) (80 FR 60077, October 5, 
2015). The description, number of respondents, and the purpose of the 
information collection that would be imposed by this rule is discussed 
below with an estimate of the annual reporting burden. Included in the 
estimate is the time for reviewing instructions, searching existing 
data sources, gathering and maintaining the data needed, and completing 
and reviewing the requirements for the collection of information.
A. Impact Evaluations
    Title: Independent, Third-Party Impact Evaluations.
    Summary: The proposed rule requires Impact SBICs licensed to make 
Fund-Identified Impact Investments to submit two impact evaluations to 
SBA. Each assessment must be completed by an independent third-party 
based on industry standards. One assessment is due within two years of 
licensing, while the second must be submitted between the 5th and 7th 
year after licensing. These independent evaluations are required only 
of Impact SBICs that make Fund-Identified Impact Investments. Impact 
SBICs that restrict themselves to SBA-Identified Impact Investments 
bear no additional reporting burden beyond what is required of all 
SBICs.
    Description and Number of Respondents: Only those Impact SBICs 
licensed to make Fund-Identified Impact Investments will be required to 
complete this requirement.
    Annual Estimated Number of Responses: SBA estimates that it may 
receive approximately 2 responses each year based on an annual average 
of 6 Impact SBICs requiring assessments during years 1-2 and again in 
years 5-7 of their lifecycle.

[[Page 5674]]

    Estimated Annual Hour and Cost Burden: Impact SBICs licensed to 
make Fund-Identified Impact Investments will be required to obtain an 
impact evaluation and may incur costs. SBA estimates that it may have 
approximately 6 Impact SBICs making Fund-Identified Impact Investments 
in any given year. One independent provider charges between $3,500 and 
$7,500 for a full portfolio rating, depending on the size of the fund 
and the number of portfolio companies. Two ratings completed at the 
maximum price of $7,500 would require an Impact SBIC to spend a total 
of $15,000 over the course of its 10 year fund life. On an annualized 
basis, the cost would be $1,500 per year. The total annual cost burden 
for the estimated 6 Impact SBICs making Fund-Identified Impact 
Investments is $9,000.
    The hourly burden for these respondents would be negligible, as the 
assessment work would be completed by an independent third-party. The 
total time required to contact the provider and initiate an assessment 
is estimated at a total of 24 hours per assessment. Impact SBICs 
subject to the third-party assessment requirement must submit a total 
of two assessments over the course of their 10 year fund life. On an 
annualized basis, these applicants each will spend 4.8 hours per year. 
With an estimated 6 Impact SBICs making Fund-Identified Impact 
Investments in the portfolio at any given time, the total annual hourly 
burden is estimated at 28.8 hours.

Compliance With the Regulatory Flexibility Act, 5 U.S.C. 601-612

    When an agency promulgates a rule, the Regulatory Flexibility Act 
requires the agency to prepare an initial regulatory flexibility 
analysis (IRFA) which describes the potential economic impact of the 
rule on small entities and alternatives that may minimize that impact. 
Section 605 of the RFA allows an agency to certify a rule, in lieu of 
preparing an IRFA, if the rulemaking is not expected to have a 
significant economic impact on a substantial number of small entities.
    This proposed rule would affect all SBICs issuing debentures, of 
which there are currently 193, most of which are small entities. 
Therefore, SBA has determined that this proposed rule would have an 
impact on a substantial number of small entities. However, SBA has 
determined that the impact on entities affected by the rule will not be 
significant. SBA keeps the SBIC program at a zero subsidy cost to 
taxpayers by charging up front and annual fees on its leverage. SBA 
calculates the annual fee each year using historical data to assess the 
appropriate fee to keep the program at zero subsidy cost. Because SBA 
expects Impact SBICs to be riskier than standard SBICs, SBA adjusted 
the SBIC debenture program budget formulation model which determines 
the annual fee needed to keep the debenture program at a zero subsidy 
cost.
    The projected leverage allocation to Impact SBICs would increase 
the annual fee charged to all SBICs seeking new debenture commitments 
by approximately 6.1 basis points. The annual fee would remain in line 
with historical levels. Since 2000, the annual fee has ranged from a 
high of 100 basis points (1 percent) to a low of 29 basis points, with 
a 15-year median of 83 basis points. The annual fee for FY 2015 is 
approximately 74.2 basis points. Although the cost will vary in the 
future based on economic factors and assumptions used to develop the 
annual fee, SBA expects the fee to remain under 1 percent, comparable 
to historical annual fees and below the statutory maximum of 1.38 
percent. Accordingly, the Administrator of the SBA hereby certifies 
that this rule will not have a significant impact on a substantial 
number of small entities. SBA welcomes comment from members of the 
public who believe there will be a significant impact either on SBICs, 
or on companies that receive funding from SBICs.

List of Subjects in 13 CFR Part 107

    Investment companies, Loan programs--business, Licensing fees, 
Examination fees, Small businesses.

    For the reasons stated in the preamble, SBA proposes to amend part 
107 of title 13 of the Code of Federal Regulations as follows:

PART 107--SMALL BUSINESS INVESTMENT COMPANIES

0
1. The authority citation for part 107 is revised to read as follows:

    Authority: 15 U.S.C. 681 et seq., 683, 687(c), 687b, 687d, 687g, 
687m.

0
2. Amend Sec.  107.50 by adding in alphabetical order definitions of 
``Fund-Identified Impact Investment,'' ``Impact Investment,'' ``Impact 
SBIC'' and ``SBA-Identified Impact Investment'' to read as follows:


Sec.  107.50  Definition of terms.

* * * * *
    Fund-Identified Impact Investment means a Financing by an Impact 
SBIC that meets the definition of an Impact Investment proposed by the 
SBIC and approved by SBA in writing at the time of licensing, as 
described in Sec.  107.331.
* * * * *
    Impact Investment means an SBA-Identified Impact Investment or 
Fund-Identified Impact Investment.
    Impact SBIC means any Section 301(c) Partnership Licensee that must 
make at least 50 percent of all of its Loans and Investments (in 
dollars) in Impact Investments and is designated by SBA as an ``Impact 
SBIC.''
* * * * *
    SBA-Identified Impact Investment means a Financing that meets SBA's 
definition of an Impact Investment, which SBA will publish from time to 
time on its Web site and which will include geographies and sectors of 
national priority.
* * * * *
0
3. Add Sec.  107.301 to read as follows:


Sec.  107.301  Impact SBIC licensing fee discount.

    (a) All applicants seeking to be licensed as an Impact SBIC will 
receive a 60 percent discount, rounded to the nearest one-hundred 
dollars, on any fees to which they are subject under Sec.  107.300.
    (b) In the event an applicant seeking to be licensed as an Impact 
SBIC is licensed as anything other than an Impact SBIC, SBA reserves 
the right to recover, prior to licensing, the full dollar amount of any 
licensing fee discounts the applicant has received.
0
4. In Sec.  107.310, designate the existing text as paragraph (a) and 
add paragraph (b) to read as follows:


Sec.  107.310  When and how to apply for licensing as an Early Stage 
SBIC.

* * * * *
    (b) Impact SBIC applicants. An applicant may elect to apply 
simultaneously for licensing as both an Early Stage SBIC and an Impact 
SBIC. Such applicants may apply as described in Sec.  107.300 at any 
time and are not subject to the submission deadlines set forth in 
paragraph (a) of this section. Applicants seeking a dual license must 
comply with the regulations in this part pertaining to Early Stage 
SBICs and Impact SBICs, and to any requirements, other than submission 
deadlines, specified in the most recently published Early Stage Notice 
in the Federal Register.
0
5. Add Sec. Sec.  107.330 and 107.331 to read as follows:


Sec.  107.330  Evaluation of Impact SBIC license applicants.

    SBA will evaluate each applicant seeking to be licensed as an 
Impact SBIC based on the same factors applicable to

[[Page 5675]]

other license applicants, as set forth in Sec.  107.305, with 
particular emphasis on the managers' skill and experience in 
originating, evaluating, executing and monitoring Impact Investments 
consistent with the applicant's investment strategy.


Sec.  107.331  Evaluation of Fund-Identified Impact Investments and 
measurement plans.

    If an applicant intends to qualify for an Impact SBIC license based 
on investments in Fund-Identified Impact Investments, SBA will evaluate 
the applicant's proposed definition(s) of a Fund-Identified Impact 
Investment and its plan to comply with the measurement and reporting 
requirements of Sec.  107.665, and will approve the same in writing at 
the time of licensing based the applicant's satisfaction of the 
following:
    (a) Fund-Identified Impact Investments. Using the submitted 
application materials, any interviews with the applicant's management 
team, the results of public record searches and any other due diligence 
conducted by SBA, SBA will assess the likelihood that the applicant's 
proposed investment strategy and Fund-Identified Impact Investment 
definition(s) will generate, in the aggregate, beneficial social, 
environmental or economic impacts. SBA's evaluation may consider 
factors such as whether the strategy will include investments in 
Portfolio Concerns that increase services to low income communities, 
engage in environmentally sustainable business practices or manufacture 
environmentally sustainable products, or that operate in industries of 
national priority other than in the sectors identified by SBA as an 
SBA-Identified Impact Investment.
    (b) Measurement and reporting plan. During licensing, each 
applicant seeking an Impact SBIC license under Sec.  107.331 must 
identify the assessment provider(s) and assessment system(s) it intends 
to use in order to comply with the requirements of Sec.  107.665. Using 
the submitted application materials, any interviews with the 
applicant's management team, the results of public record searches and 
any other due diligence conducted by SBA, SBA will assess the 
applicant's proposed measurement and reporting plan based on the 
following factors:
    (1) The applicant's proposed assessment system(s) must employ at 
least one approved measurement standard, from a list of approved 
standards published by SBA on its Web site from time to time.
    (2) The applicant's proposed assessment system must comply with the 
following:
    (i) The assessment system's criteria and weightings are publicly 
available; and
    (ii) The assessment system is capable of producing an assessment of 
the social, environmental and/or economic effects of impact 
investments.
    (3) The applicant's proposed assessment provider(s) must each be an 
independent, third-party. An assessment provider will not be considered 
an independent third-party if any of the following conditions exist at 
the time of licensing or assessment:
    (i) The assessment provider is an Associate of the Impact SBIC or 
any of its Portfolio Concerns; or
    (ii) The assessment provider is materially financed by an 
association that represents the interests of the specific industry in 
which the Impact SBIC or its Portfolio Concerns are engaged.
    (c) Publication. SBA may periodically publish on its Web site:
    (i) General descriptions of impact investment strategies pursued by 
Impact SBICs licensed to make Fund-Identified Impact Investments; and
    (ii) Detailed descriptions of the assessment systems SBA has 
approved for use by Impact SBICs licensed to make Fund-Identified 
Impact Investments.
0
6. In Sec.  107.502, designate the existing text as paragraph (a) and 
add paragraphs (b) and (c) to read as follows:


Sec.  107.502  Representations to the public.

* * * * *
    (b) Impact SBIC applicants must declare their intention to apply 
for an Impact SBIC license in any solicitation to investors.
    (c) Impact SBIC licensees must indicate that they have obtained an 
Impact SBIC license from SBA in any solicitation to investors.
0
7. Amend Sec.  107.610 by adding paragraphs (g) and (h) to read as 
follows:


Sec.  107.610  Required certifications for Loans and Investments.

* * * * *
    (g) For each SBA-Identified Impact Investment:
    (i) A certification by the concern, dated as of the date of 
application for SBIC financing, as to the basis for its qualification 
as an Impact Investment; and
    (ii) A certification by the Impact SBIC, made contemporaneously 
with the certification of the concern, that the concern qualifies as an 
Impact Investment as of the date of the concern's certification and the 
basis for such qualification.
    (h) For each Fund-Identified Impact Investment, a certification by 
the Impact SBIC, as of the date of the financing, that the concern 
qualifies as a Fund-Identified Impact Investment under the 
definition(s) approved in writing by SBA and the basis for such 
qualification.
0
8. Add Sec.  107.665 to read as follows:


Sec.  107.665  Measurement and reporting requirements for Impact SBICs 
making Fund-Identified Impact Investments.

    Impact SBICs that SBA approved in writing to make Fund-Identified 
Impact Investments must obtain an assessment of their impact investment 
strategy from an independent, third-party provider within two years 
after licensing and again between five and seven years after licensing. 
Without prior written SBA approval, the Impact SBIC may not use an 
assessment system(s) or assessment provider(s) different from those the 
Impact SBIC identified and SBA approved during the licensing process. 
Each assessment must be submitted to SBA within 30 days of its 
completion.
0
9. Add Sec.  107.693 to read as follows:


Sec.  107.693  Impact SBIC examination fee discount.

    An Impact SBIC will receive a 10% discount on its examination base 
fee, rounded to the nearest one-hundred dollars, subject to the 
following:
    (a) The discount will be calculated based on the examination base 
as determined prior to any adjustments provided for under Sec.  
107.692.
    (b) Impact SBICs also licensed as Early Stage SBICs are entitled to 
any additional discounts, but exempt from any premium, that Early Stage 
SBICs would otherwise be required to pay under Sec.  107.692.
0
10. Amend Sec.  107.1120 by adding paragraph (l) to read as follows:


Sec.  107.1120  General eligibility requirements for Leverage.

* * * * *
    (l) If you are an Impact SBIC, certify in writing that, in 
accordance with Sec.  107.1810(f)(13), at least 50 percent of the 
aggregate dollar amount of your Financings will qualify as Impact 
Investments defined in Sec.  107.50.
0
11. Amend Sec.  107.1810 by adding paragraphs (f)(13) and (14) to read 
as follows:


Sec.  107.1810  Events of default and SBA's remedies for Licensee's 
noncompliance with terms of Debentures.

* * * * *
    (f) * * *
    (13) Failure by an Impact SBIC to meet investment requirements. You 
are

[[Page 5676]]

an Impact SBIC and, beginning on the first fiscal quarter end when your 
cumulative total Financings (in dollars) are at least equal to your 
Regulatory Capital, you have not made at least 50 percent of such 
Financings to Small Businesses that at the time of your initial 
Financing were Impact Investments.
    (14) Failure by an Impact SBIC to meet assessment requirements. You 
are an Impact SBIC making Fund-Identified Impact Investments and you 
fail to obtain an independent, third-party assessment within two years 
of your licensing date and, again, between five and seven years from 
your licensing date, pursuant to the requirements under Sec.  107.665.
* * * * *
0
12. Add Sec.  107.1940 to read as follows:


Sec.  107.1940  Impact SBIC licensee noncompliance with regulations.

    (a) For any occurrence (as determined by SBA) of one or more of the 
events in this paragraph (a), SBA may avail itself of one or more of 
the remedies in paragraph (b) of this section.
    (1) Failure by an Impact SBIC to meet investment requirements. You 
are an Impact SBIC and, beginning on the first fiscal quarter end when 
your cumulative total Financings (in dollars) are at least equal to 
your Regulatory Capital, you have not made at least 50 percent of such 
Financings to Small Businesses that at the time of your initial 
Financing were Impact Investments.
    (2) Failure by an Impact SBIC to meet assessment requirements. You 
are an Impact SBIC making Fund-Identified Impact Investments and you 
fail to obtain an independent, third-party assessment within two years 
of your licensing date and, again, between five and seven years from 
your licensing date, pursuant to the requirements under Sec.  107.665.
    (b) SBA may exercise any or all of the following rights:
    (1) Convert your Impact SBIC license to a standard SBIC license 
(including, in SBA's discretion, requiring you to promptly notify your 
investors of the conversion); and
    (2) Require you to refund to SBA up to the full dollar amount of 
any licensing or examination fee discounts you have received prior to 
the date of your written notice.
    (c) SBA may invoke the remedies in paragraph (b) of this section 
only if:
    (1) It has given you at least 15 days to cure the noncompliance;
    (2) You fail to cure the noncompliance to SBA's satisfaction within 
the allotted time.

    Dated: October 7, 2015.
Maria Contreras-Sweet,
Administrator.

    Editorial Note:  This document was received for publication by 
the Office of the Federal Register on January 29, 2016.

[FR Doc. 2016-01986 Filed 2-2-16; 8:45 am]
 BILLING CODE 8025-01-P



                                                    5666                 Federal Register / Vol. 81, No. 22 / Wednesday, February 3, 2016 / Proposed Rules

                                                    economic developments suggest the absence               stability of the U.S. financial system.12 That        available datasets, Board staff will be able to
                                                    of notable risks to financial stability. Indeed,        portion of the report will be an important            draw not only upon the experience of the
                                                    for it to be most effective, the CCyB should            vehicle for updating the public on how the            United States but also that of other countries
                                                    be deactivated or reduced in a timely                   Board’s current assessment of financial-              to refine estimates of the effects of changes
                                                    manner. This would reduce the likelihood                system vulnerabilities bears on the setting of        in the CCyB.
                                                    that advanced approaches institutions would             the CCyB.                                               By order of the Board of Governors of the
                                                    significantly pare their risk-weighted assets                                                                 Federal Reserve System, December 21, 2015.
                                                    in order to maintain their capital ratios               6. Monitoring of the Effects of the U.S. CCyB
                                                                                                               The effects of the U.S. CCyB ultimately            Robert deV. Frierson,
                                                    during a downturn.
                                                       The pace and magnitude of changes in the             will depend on the level at which it is set,          Secretary of the Board.
                                                    CCyB will depend importantly on the                     the size and nature of any adjustments in the         [FR Doc. 2016–01934 Filed 2–2–16; 8:45 am]
                                                    underlying conditions in the financial sector           level, and the timeliness with which it is
                                                                                                                                                                  BILLING CODE P
                                                    and the economy as well as the desired                  increased or decreased. The extent to which
                                                    effects of the proposed change in the CCyB.             the CCyB may affect vulnerabilities in the
                                                    If vulnerabilities are rising gradually, then           broader financial system depends upon a
                                                    incremental increases in the level of the               complex set of interactions between required          SMALL BUSINESS ADMINISTRATION
                                                    CCyB may be appropriate. Incremental                    capital levels at the largest banking
                                                    increases would allow banks to augment                  organizations and the economy and financial           13 CFR Part 107
                                                    their capital primarily through retained                markets. In addition to the direct effects, the
                                                                                                            secondary economic effects could be                   RIN 3245–AG66
                                                    earnings and allow policymakers additional
                                                    time to assess the effects of the policy change         amplified if financial markets extract a signal
                                                    before making subsequent adjustments.                   from the announcement of a change in the              Small Business Investment Company
                                                    However, if vulnerabilities in the financial            CCyB about subsequent actions that might be           Program—Impact SBICs
                                                    system are building rapidly, then larger or             taken by the Board. Moreover, financial
                                                                                                            market participants might react by updating           AGENCY: U.S. Small Business
                                                    more frequent adjustments may be necessary
                                                    to increase loss-absorbing capacity sooner              their expectations about future asset prices in       Administration.
                                                    and potentially to mitigate the rise in                 specific markets or broader economic activity         ACTION: Notice of proposed rulemaking.
                                                    vulnerabilities.                                        based on the concerns expressed by the
                                                       The Board will also consider whether the             regulators in communications announcing a             SUMMARY:   In this proposed rule, the U.S.
                                                    CCyB is the most appropriate of its available           policy change.                                        Small Business Administration (SBA) is
                                                    policy instruments to address the financial-               The Board will monitor and analyze                 defining a new class of small business
                                                    system vulnerabilities highlighted by the               adjustments by banking organizations and
                                                                                                                                                                  investment companies (SBICs) that will
                                                    framework’s judgmental assessments and                  other financial institutions to the CCyB.
                                                                                                            Factors that will be considered include (but          seek to generate positive and
                                                    empirical models. The CCyB primarily is                                                                       measurable social impact in addition to
                                                    intended to address cyclical vulnerabilities,           are not limited to) the types of adjustments
                                                                                                            that affected banking organizations might             financial return. With the creation of
                                                    rather than structural vulnerabilities that do
                                                    not vary significantly over time. Structural            undertake. For example, it will be useful to          this class of ‘‘Impact SBICs,’’ SBA is
                                                    vulnerabilities are better addressed though             monitor whether a change in the CCyB leads            seeking to expand the pool of
                                                    targeted reforms or permanent increases in              to observed changes in risk-based capital             investment capital available primarily to
                                                    financial system resilience. Two key factors            ratios at advanced approaches institutions, as        underserved communities and
                                                                                                            well as whether those adjustments are
                                                    for the Board to consider are whether                                                                         innovative sectors as well as support the
                                                                                                            achieved passively through retained
                                                    advanced approaches institutions are                                                                          development of America’s growing
                                                                                                            earnings, or actively through changes in
                                                    exposed—either directly or indirectly—to the                                                                  impact investing industry. This
                                                                                                            capital distributions or in risk-weighted
                                                    vulnerabilities identified in the                                                                             proposed rule sets forth regulations
                                                                                                            assets. Other factors to be monitored include
                                                    comprehensive judgmental assessment or by
                                                                                                            the extent to which loan growth and spreads           applicable to Impact SBICs with respect
                                                    the quantitative indicators that suggest
                                                    activation of the CCyB and whether advanced
                                                                                                            on loans issued by affected banking                   to licensing, leverage eligibility, fees,
                                                                                                            organizations change relative to loan growth          reporting and compliance requirements.
                                                    approaches institutions are contributing—
                                                                                                            and loan spreads at banking organizations
                                                    either directly or indirectly—to these                                                                        DATES: Comments on the proposed rule
                                                                                                            that are not subject to the buffer. Another key
                                                    highlighted vulnerabilities.                            consideration in setting the CCyB and other           must be received on or before March 4,
                                                       The Board, in setting the CCyB for                   macroprudential tools is the extent to which          2016.
                                                    advanced approaches institutions that it                the adjustments by advanced approaches                ADDRESSES: You may submit comments,
                                                    supervises, plans to consult with the OCC               institutions to higher capital buffers lead to
                                                    and FDIC on their analyses of financial-                                                                      identified by RIN 3245–AG66, by any of
                                                                                                            migration of credit market activity outside of        the following methods:
                                                    system vulnerabilities and on the extent to             those banking organizations, especially to the
                                                    which banking organizations are either                  nonbank financial sector. Depending on the
                                                                                                                                                                     Federal eRulemaking Portal: http://
                                                    exposed to or contributing to these                     amount of migration and which institutions            www.regulations.gov. Follow the
                                                    vulnerabilities.                                        are affected, those adjustments could cause           instructions for submitting comments.
                                                    5. Communication of the U.S. CCyB With the              the Board to favor either a higher or a lower            Mail, Hand Delivery/Courier: Mark
                                                    Public                                                  value of the CCyB.                                    Walsh, Associate Administrator for the
                                                                                                               The Board will also monitor information            Office of Investment and Innovation,
                                                       The Board expects to consider at least once          regarding the levels of and changes in the
                                                    per year the applicable level of the U.S.                                                                     U.S. Small Business Administration,
                                                                                                            CCyB in other countries. The Basel                    409 Third Street SW., Washington, DC
                                                    CCyB. The Board will review financial                   Committee on Banking Supervision is
                                                    conditions regularly throughout the year and            expected to maintain this information for
                                                                                                                                                                  20416.
                                                    may adjust the CCyB more frequently as a                member countries in a publically available               SBA will post comments on http://
                                                    result of those monitoring activities.                                                                        www.regulations.gov. If you wish to
mstockstill on DSK4VPTVN1PROD with PROPOSALS




                                                                                                            form on its Web site.13 Using that data in
                                                       Further, the Board will continue to                  conjunction with supervisory and publicly             submit confidential business
                                                    communicate with the public in other                                                                          information (CBI) as defined in the User
                                                    formats regarding its assessment of U.S.                  12 For the most recent discussion in this format,   Notice at http://www.regulations.gov,
                                                    financial stability, including financial-system
                                                    vulnerabilities. For example, the Board’s
                                                                                                            see box titled ‘‘Developments Related to Financial    please submit the information to Nate T.
                                                                                                            Stability’’ in Board of Governors of the Federal      Yohannes, Office of Investment and
                                                    biannual Monetary Policy Report to                      Reserve System, Monetary Policy Report to
                                                    Congress, usually published in February and             Congress, July 2015, pp. 24–25.                       Innovation, 409 Third Street SW.,
                                                    July, will continue to contain a section that             13 BIS, Countercyclical capital buffer (CCyB),      Washington, DC 20416. Highlight the
                                                    reports on developments pertaining to the               www.bis.org/bcbs/ccyb/index.htm.                      information that you consider to be CBI


                                               VerDate Sep<11>2014   17:55 Feb 02, 2016   Jkt 238001   PO 00000   Frm 00038   Fmt 4702   Sfmt 4702   E:\FR\FM\03FEP1.SGM   03FEP1


                                                                         Federal Register / Vol. 81, No. 22 / Wednesday, February 3, 2016 / Proposed Rules                                            5667

                                                    and explain why you believe this                        publications/asset-management-2020-a-                 achieve its goal of providing capital and
                                                    information should be held confidential.                brave-new-world.jhtml, impact                         long-term loan funds for the growth,
                                                    SBA will review the information and                     investments comprise a small fraction of              expansion and modernization of small
                                                    make the final determination of whether                 invested capital worldwide.                           businesses.
                                                    or not it will publish the information.                    However, the size of the impact
                                                                                                            industry belies both its growth potential             II. Section by Section Analysis
                                                    FOR FURTHER INFORMATION CONTACT: Nate
                                                    T. Yohannes, Office of Investment and                   and that of the broader sustainable                      § 107.50—Definitions. SBA proposes
                                                    Innovation, (202) 205–6714.                             finance sector. This is a sector focused              to add the defined terms ‘‘Fund-
                                                                                                            on ‘‘creating economic and social value               Identified Impact Investment,’’ ‘‘Impact
                                                    SUPPLEMENTARY INFORMATION:
                                                                                                            through financial models, products and                Investment,’’ ‘‘Impact SBIC’’ and ‘‘SBA-
                                                    I. Background Information                               markets that are sustainable over time.’’             Identified Impact Investment.’’
                                                       ‘‘Impact investing’’ is a term used to               See, Center for Responsible Business,                 ‘‘Fund-Identified Impact Investment,’’
                                                    describe an investment approach that                    Haas School of Business, University of                ‘‘Impact Investment,’’ and ‘‘SBA-
                                                    combines the pursuit of financial return                California Berkeley, Sustainable                      Identified Impact Investment’’
                                                    with the goal of generating measurable                  Finance, http://responsiblebusiness.
                                                                                                            haas.berkeley.edu/programs/sustainable                   The definition of ‘‘Impact
                                                    social, environmental or economic                                                                             Investment’’ included in this proposed
                                                                                                            finance.html. The Forum for Sustainable
                                                    impact. The term ‘‘social impact                                                                              rule consists of two categories, each of
                                                                                                            and Responsible Investment estimates
                                                    investing’’ is often used synonymously                                                                        which is also a defined term in the
                                                                                                            that U.S.-domiciled assets managed
                                                    with the term impact investing, and                                                                           proposed rule: (1) SBA-Identified
                                                                                                            using sustainable, responsible or impact
                                                    refers, collectively, to all types of impact                                                                  Impact Investments, which are
                                                                                                            investing strategies increased by a
                                                    investing, including social,                                                                                  investments in geographic areas and
                                                                                                            compound annual rate of 33% between
                                                    environmental and economic. Impact                                                                            sectors of national priority that SBA
                                                                                                            2012 and 2014. If that trend continues,
                                                    investors are active throughout the                                                                           designates in notices published from
                                                                                                            sustainable finance will continue to
                                                    capital markets, and though their                                                                             time to time on SBA’s SBIC program
                                                                                                            outpace overall market growth.
                                                    strategies may vary, according to the                                                                         Web site (www.sba.gov/inv); and (2)
                                                                                                            According to the 2014 PwC report,
                                                    Global Impact Investing Network, a non-                 global AUM will grow at a compound                    Fund-Identified Impact Investments,
                                                    profit organization dedicated to                        annual growth rate of just nearly 6                   which are investments that meet an
                                                    increasing the scale and effectiveness of               percent in coming years.                              SBIC’s own definition of an ‘‘Impact
                                                    impact investing, impact investors share                   SBA’s formal efforts in the impact                 Investment’’ and which an SBIC
                                                    three defining traits. First, impact                    investing space began on April 7, 2011,               applicant must propose and SBA must
                                                    investors invest with the explicit                      when it announced the launch of the                   approve during the licensing process, as
                                                    intention of generating a positive social               SBIC program’s Impact Investing                       described in proposed § 107.331—
                                                    impact. This is in contrast to other types              Initiative (the ‘‘Initiative’’), building             Evaluation and selection of Impact
                                                    of investors who attempt to avoid                       upon SBA’s belief that targeting capital              SBICs.
                                                    generating negative social impacts or                   investments into segments of the U.S.
                                                    who are entirely indifferent to the social                                                                    ‘‘Impact SBIC’’
                                                                                                            economy where capital formation gaps
                                                    outcomes resulting from their                           exist, such as small businesses located                  The regulatory definition of an Impact
                                                    investments. Second, though their                       in low-to-moderate income (‘‘LMI’’) and               SBIC has several key points. First, an
                                                    return requirements vary, impact                        other underserved areas, has the                      Impact SBIC must be organized as a
                                                    investors are not grant providers and                   potential to effect meaningful and                    limited partnership. Although the
                                                    always expect a return on their invested                sustained economic development                        current regulations permit other forms
                                                    capital. Finally, impact investors share                impact in those areas. The Initiative                 of organization, the vast majority of
                                                    a commitment to measure the effect of                   made available $1 billion in debenture                existing SBICs are limited partnerships.
                                                    their investments on the employees,                     leverage, over the course of 5 years, to              SBA believes that having a degree of
                                                    customers and communities of the                        SBICs that committed to deploy at least               uniformity in organizational structure
                                                    companies in which they invest. See,                    50 percent of their total invested capital            will facilitate a more timely and
                                                    The Global Impact Investing Network,                    in ‘‘impact investments.’’ Under the                  efficient licensing process for Impact
                                                    About Impact Investing, http://www.                     Initiative, investments in small                      SBICs.
                                                    thegiin.org/cgi-bin/iowa/resources/                     businesses located in LMI areas,                         Second, the ‘‘Impact SBIC’’
                                                    about/index.html.                                       economically-distressed areas and rural               designation would apply only to SBICs
                                                       Impact investing currently constitutes               areas generally qualified as impact                   licensed under this rule as well as those
                                                    a small segment of global investment                    investments, as did investments in                    licensees designated as Impact SBICs
                                                    activity. Each year, J.P. Morgan and the                small businesses active in the education              after the launch of the Initiative in 2011
                                                    Global Impact Investing Network                         and clean energy sectors.                             and before the effective date of this rule.
                                                    (‘‘GIIN’’) publish an annual survey of                     Since 2011, SBA has made several                      Third, an Impact SBIC must invest at
                                                    leading impact investors. In their May                  changes to the Initiative in an effort to             least 50 percent of its financing dollars
                                                    2015 findings, available at http://www.                 enhance its effectiveness. Most recently,             in small business concerns that meet the
                                                    thegiin.org/cgi-bin/iowa/resources/                     in September 2014, SBA expanded the                   criteria set forth in the definition of
                                                    research/662.html, 146 survey                           scope of the Initiative and renamed it                Impact Investment in this rule (referred
                                                    respondents reported managing a                         the ‘‘Impact Investment Fund’’ to reflect             to hereafter as the ‘‘50 percent
mstockstill on DSK4VPTVN1PROD with PROPOSALS




                                                    collective total of $60 billion in impact               SBA’s commitment to extend its impact                 requirement’’). SBA believes the 50
                                                    investments. Compared with the $64                      investing efforts beyond the Initiative’s             percent threshold indicates a significant
                                                    trillion in global assets under                         initial 5-year term.                                  focus, while still giving Impact SBICs
                                                    management, a figure drawn from                            This rule follows from that                        flexibility in developing their portfolios.
                                                    PricewaterhouseCoopers’ (‘‘PwC’’) 2014                  commitment and seeks to recognize,                    Per the proposed rule, follow-on
                                                    report Asset Management 2020: A Brave                   within the SBIC program’s regulations,                investments in a portfolio company that
                                                    New World, available at http://www.                     the important role impact investors can               qualified as an ‘‘Impact Investment’’ at
                                                    pwc.com/gx/en/asset-management/                         play in helping the SBIC program                      the time of the SBIC’s initial financing


                                               VerDate Sep<11>2014   17:55 Feb 02, 2016   Jkt 238001   PO 00000   Frm 00039   Fmt 4702   Sfmt 4702   E:\FR\FM\03FEP1.SGM   03FEP1


                                                    5668                 Federal Register / Vol. 81, No. 22 / Wednesday, February 3, 2016 / Proposed Rules

                                                    would count towards the 50 percent                      permitted to submit their application at              are consistent with SBA’s mission, as
                                                    requirement.                                            any time and will not be subject to the               well as the letter and spirit of the SBIC
                                                       An Impact SBIC may satisfy the 50                    submission deadlines specified in Early               program’s regulations. For instance, a
                                                    percent requirement exclusively                         Stage Notices SBA may publish in the                  Fund-Identified Impact Investment
                                                    through SBA-Identified Impact                           Federal Register. However, those                      definition that targets financial
                                                    Investments or Fund-Identified Impact                   applicants licensed as both Early Stage               intermediaries would not be approved if
                                                    Investments, but may also satisfy the 50                and Impact SBICs will be subject to                   SBA determines it risks running afoul of
                                                    percent requirement through a                           every regulation pertaining to either                 the regulatory prohibition on financing
                                                    combination of these investments. Per                   type of licensee.                                     ‘‘relenders’’ or ‘‘reinvestors.’’
                                                    proposed § 107.331, SBA must approve                       § 107.330—Evaluation and selection                    SBA will next determine whether the
                                                    all Fund-Identified Impact Investment                   of Impact SBIC license applicants                     applicant’s proposed Fund-Identified
                                                    definitions and strategies during the                   making SBA-Identified Impact                          Impact Investments are likely to yield a
                                                    licensing process, regardless of whether                Investments. Impact SBIC license                      positive impact when all the potential
                                                    such investments will be used to meet                   applicants proposing to meet their                    social, environmental and economic
                                                    all or only a portion of the 50 percent                 impact investment requirements                        effects of the investments are
                                                    requirement.                                            exclusively through SBA-Identified                    considered. SBA’s evaluation may
                                                       § 107.301—Impact SBIC licensing fee                  Impact Investments will be evaluated                  consider factors such as whether the
                                                    discount. This section proposes a 60%                   and selected based on the standards                   strategy will include investments in
                                                    reduction in the licensing fees Impact                  outlined in § 107.305, which are used to              Portfolio Concerns that increase services
                                                    SBIC applicants must pay under                          assess all SBIC applicants. In addition,              to low income communities, engage in
                                                    § 107.300. The discount is intended to                  SBA will evaluate the managers’ skills                environmentally sustainable business
                                                    incentivize the formation of Impact                     and experience in building and                        practices or manufacture
                                                    SBICs. Despite the fee reduction, SBA                   managing a portfolio of impact                        environmentally sustainable products,
                                                    will devote neither less time nor fewer                 investments. However, an applicant’s                  or that operate in industries of national
                                                    resources to the assessment of Impact                   potential to generate social,                         priority other than in the sectors
                                                    SBIC applications than it devotes to the                environmental or economic impact will                 identified by SBA as an SBA-Identified
                                                    assessment of standard SBIC                             be considered relevant only to its                    Impact Investment. The Agency
                                                    applications.                                           eligibility to participate in the SBIC                acknowledges that reaching a definitive
                                                       However, § 107.301 would provide                     program as an Impact SBIC and will not                and objective conclusion regarding a
                                                    that in the event an Impact SBIC                        serve as a substitute for any of the                  strategy’s overall impact may be
                                                    applicant were to ultimately be                         factors cited in § 107.305.                           challenging. Impact is often described in
                                                    approved for an SBIC license as                            § 107.331—Evaluation and selection                 qualitative, rather than quantitative
                                                    anything other than an Impact SBIC,                     of Impact SBIC license applicants                     terms. In anticipation of that challenge,
                                                    SBA would be entitled to recover the                    making Fund-Identified Impact                         the proposed rule has been drafted to
                                                    value of any discounts the applicant                    Investments.                                          mitigate the risk that SBA would be put
                                                    received prior to licensing. This                          Under proposed § 107.331, Impact                   in the position of having to accept or
                                                    provision was added to cover cases in                   SBIC license applicants seeking                       reject a proposed definition based solely
                                                    which an applicant decides mid-                         approval to make Fund-Identified                      on a value judgment.
                                                    process, with SBA permission, to seek a                 Impact Investments will be subject first                 Applicants will be expected to make
                                                    standard SBIC license instead of an                     and foremost to the evaluation process                reasonable arguments, supported by
                                                    Impact SBIC license. These types of                     and qualification standards outlined in               convincing evidence, that their
                                                    changes sometimes occur during the                      § 107.305, which are used to assess all               proposed definitions can meet the
                                                    fundraising process as fund managers                    SBIC applicants. An applicant’s                       impact requirements of this rule. In this
                                                    adjust to the expectations of private                   potential to generate social,                         regard, the process SBA will use to
                                                    capital providers. Although licensees                   environmental or economic impact will                 evaluate proposed Fund-Identified
                                                    designated as Impact SBICs under the                    be considered relevant only to its                    Impact Investment definitions differs
                                                    Initiative would be eligible for fee                    eligibility to participate in the SBIC                little from the process used to assess
                                                    discounts as of the effective date of this              program as an Impact SBIC and will not                fund manager qualifications. SBA will
                                                    rule, SBA will not return any fees these                serve as a substitute for any of the                  use its standard due diligence tools,
                                                    licensees paid prior to that date.                      factors cited in § 107.305.                           including principal interviews and
                                                       Finally, any Impact SBIC, whether                       Using SBA Form 2181 (Applicant                     reference calls, to test the strength of an
                                                    licensed under the Initiative or under                  Narrative), applicants will be expected               applicant’s proposal and the validity of
                                                    this rule, may submit a written request                 to provide definition(s) of the Fund-                 the evidence presented therein. Just as
                                                    to SBA seeking to convert to a standard                 Identified Impact Investments they                    a standard SBIC applicant might be
                                                    SBIC license. SBA would generally                       intend to make for the purposes of                    rejected for making unsubstantiated
                                                    expect to grant such a request, provided                complying with the requirement that 50                track record claims, so too could a
                                                    that SBA recovers the value of any                      percent of the total dollar amount of                 Fund-Identified Impact Investment
                                                    discounts the licensee received.                        their financings be deployed in Impact                definition be turned down if diligence
                                                       § 107.310—When and how to apply                      Investments. Applicants will also be                  suggests it lacks credibility.
                                                    for licensing as an Early Stage SBIC.                   required to describe, using qualitative                  SBA takes a nuanced approach to its
                                                    America’s impact investment industry                    and quantitative analysis, the expected               licensing decisions and does not rely
mstockstill on DSK4VPTVN1PROD with PROPOSALS




                                                    includes fund managers focused on                       social, environmental or economic                     solely on easy-to-measure financial
                                                    making equity investments in early                      impact of their proposed Fund-                        metrics. An applicant’s past financial
                                                    stage companies. In order to                            Identified Impact Investments.                        performance is always carefully
                                                    accommodate these fund managers,                           SBA will review any Fund-Identified                weighed against less tangible factors
                                                    proposed § 107.310 permits applicants                   Impact Investment definition(s), along                such as the level of cohesion among the
                                                    to apply simultaneously for an Impact                   with an applicant’s overall investment                proposed management team members;
                                                    SBIC and Early Stage SBIC license.                      strategy, in order to determine whether               the alignment of incentives between the
                                                    Further, such dual applicants will be                   the proposed definitions and strategy                 fund manager and private investors; and


                                               VerDate Sep<11>2014   17:55 Feb 02, 2016   Jkt 238001   PO 00000   Frm 00040   Fmt 4702   Sfmt 4702   E:\FR\FM\03FEP1.SGM   03FEP1


                                                                         Federal Register / Vol. 81, No. 22 / Wednesday, February 3, 2016 / Proposed Rules                                             5669

                                                    the quality of the proposed investment                  determining whether a fund has reached                would have difficulty in this scenario.
                                                    strategy, among other variables.                        its impact target is far more complicated             Measurement standards help reduce
                                                       SBA expects to receive few, if any,                  than evaluating its financial                         these definitional challenges. Were the
                                                    Fund-Identified Impact Investment                       performance. The process requires                     two funds to use IRIS metrics, for
                                                    definition proposals that are intended                  establishing a standard by which the                  instance, they could both rely on the
                                                    solely to obtain the fee reduction                      targeted outcomes will be measured,                   IRIS definition of a ‘‘full-time’’ or
                                                    benefits of an Impact SBIC license. The                 then crafting an evaluation framework                 ‘‘permanent’’ employee and use the
                                                    fee reductions in the proposed rule are                 capable of weighing the resulting                     method IRIS has established for
                                                    not material compared to the amount of                  measurements to yield an overall                      calculating the wages of those
                                                    capital raised by an SBIC applicant, and                assessment of impact.                                 employees.
                                                    Impact SBIC licensees are subject to                       With regard to measurement, the                       The impact investing industry has yet
                                                    enhanced regulatory reporting                           proposed rule would require Impact                    to coalesce around a single set of
                                                    requirements. Moreover, fund managers                   SBICs licensed under this section to                  measurement standards and may never
                                                    that have expressed interest in SBA’s                   measure their impact using one of                     do so. However, the three standards
                                                    impact investing efforts have, to-date,                 several pre-approved measurement                      SBA intends to approve were selected,
                                                    all proposed strategies with clear                      standards. At the outset, SBA intends to              in part, because of their prominence in
                                                    benefits and no obvious risk of yielding                approve the use of the three sets of                  the industry and the flexibility they
                                                    negative effects. The following are                     standards listed below, although SBA                  provide for different types of impact
                                                    examples of the types of impact                         may approve additional standards as                   strategies. Of the three, IRIS is likely the
                                                    investments being made in the market                    they become more widely adopted by                    best-known and most widely used set of
                                                    today and which SBA anticipates                         the impact investing industry:                        standards. GRI has a focus on
                                                    Impact SBICs applying under this                        —The Impact Reporting and Investment                  sustainability, which may provide
                                                    section may target:                                        Standards (‘‘IRIS’’), an impact                    environmentally focused Impact SBICs
                                                                                                                                                                  additional flexibility. Finally, SASB’s
                                                    • Healthcare companies that offer                          evaluation framework created by
                                                                                                               GIIN;                                              standards are designed primarily for
                                                       affordable, high-quality services to
                                                                                                            —The G4 Sustainability Reporting                      public corporations and may facilitate
                                                       low-income consumers
                                                                                                                                                                  reporting for Impact SBICs with
                                                    • Education companies that provide                         Standards, produced by the Global
                                                                                                               Reporting Initiative (‘‘GRI’’); and                portfolio companies that are already
                                                       evidence-based, supplemental
                                                                                                            —The standards produced and                           public or intend to go public.
                                                       learning services designed to enhance                                                                         With clear options available for the
                                                       student achievement                                     maintained by the Sustainability
                                                                                                                                                                  measurement of impact, Impact SBICs
                                                    • Energy efficiency and sustainability                     Accounting Standards Board
                                                                                                                                                                  can turn to the second component of
                                                       consulting firms                                        (‘‘SASB’’).
                                                                                                                                                                  SBA’s proposed evaluation system,
                                                    • Agricultural businesses that employ                      The purpose of these standards is to               which deals with the assessment of
                                                       humane and environmentally                           establish a common language companies                 impact. As noted above, impact
                                                       sustainable farming practices                        and investors can use to report the                   measurement standards only provide
                                                    • Businesses that collect and reprocess                 positive and negative impacts that result             guidance on how to report impact data.
                                                       industrial waste for alternative use                 from their activities. These standards                They are silent on how to interpret that
                                                    • Alternative credit scoring firms that                 are part of a broader industry effort to              data. Returning to the example above,
                                                       enhance access to financial services                 bring to impact measurement what the                  the two fund managers may report IRIS-
                                                       for low-income consumers                             Generally Accepted Accounting                         compliant employee and wage data to
                                                       In addition to approving an                          Standards (‘‘GAAP’’) provide for                      their investors, but an assessment
                                                    applicant’s proposed definition of a                    financial reporting. When comparing                   framework is needed to determine what
                                                    Fund-Identified Impact Investment,                      the GAAP-compliant financial                          constitutes a ‘‘strong’’ level of
                                                    SBA must be satisfied with the                          statements of two different companies,                employment growth, what threshold
                                                    applicant’s impact measurement and                      an investor can be confident the same                 determines a wage is ‘‘high’’, or how to
                                                    assessment plan, which an applicant                     set of rules was used to report items                 weigh the growth in wages against the
                                                    must submit in accordance with                          such as revenue, inventory and                        growth in employment when evaluating
                                                    proposed § 107.331(b). Under this                       operating cash flow in both statements.               the funds’ overall impact.
                                                    section, the applicant must outline its                 GAAP does not provide guidance on                        As with financial performance, each
                                                    plan to comply with proposed                            how to interpret the data, but it does                individual investor is empowered to
                                                    § 107.665, which requires Impact SBICs                  ensure consistency in reporting.                      reach his or her own conclusions about
                                                    making Fund-Identified Impact                              Impact measurement standards were                  what constitutes ‘‘success’’ with regard
                                                    Investments to obtain an assessment of                  developed to offer the same proposition.              to impact. While numbers, such as an
                                                    their impact (1) from an independent,                   Consider the simple example of two                    internal rate of return, cannot be easily
                                                    third-party assessment provider, (2)                    Impact SBICs, both of which are                       manipulated by a fund manager,
                                                    using an SBA-approved impact                            pursuing similar strategies to create                 investors could receive biased reports
                                                    measurement standard, a list of which                   high-wage jobs in a particular region. In             on impact returns if a fund manager
                                                    SBA will publish on its Web site from                   the absence of a measurement standard,                were to selectively choose metrics and
                                                    time to time, and (3) using an                          the tasks of defining a ‘‘job’’ and                   the weighting associated with those
                                                    assessment process that is both                         calculating a ‘‘wage’’ are left to the                metrics. The use of independent and
mstockstill on DSK4VPTVN1PROD with PROPOSALS




                                                    transparent and comprehensive.                          funds themselves, which leaves room                   transparent assessment systems not only
                                                       Impact measurement is a defining                     for methodological discrepancies. One                 helps reduce the risk of selective
                                                    characteristic of impact investors.                     fund may include the value of benefits                reporting, but it also promotes the use
                                                    Without it, impact fund managers and                    in its calculation of wages, while the                of best practices across the industry.
                                                    their capital providers face a much                     other restricts its definition to direct                 For these reasons, SBA considers the
                                                    bigger challenge in determining whether                 cash payments. An investor trying to                  assessment component of its proposed
                                                    their goal of generating positive social                determine which fund has been more                    impact evaluation system critical to the
                                                    impact has been met. Unfortunately,                     effective in reaching its impact goal                 credibility of the program. Impact SBIC


                                               VerDate Sep<11>2014   17:55 Feb 02, 2016   Jkt 238001   PO 00000   Frm 00041   Fmt 4702   Sfmt 4702   E:\FR\FM\03FEP1.SGM   03FEP1


                                                    5670                 Federal Register / Vol. 81, No. 22 / Wednesday, February 3, 2016 / Proposed Rules

                                                    applicants seeking a license under this                 and descriptions of the assessment                    making long-term capital commitments
                                                    section of the proposed rule must                       systems those providers use, but will                 out of concern that future financings
                                                    identify the assessment providers they                  not reveal the results of any individual              might not count towards the ‘‘50 percent
                                                    expect to use to fulfill their reporting                impact assessment.                                    requirement.’’ Nonetheless, SBA is
                                                    requirements and describe the systems                      § 107.502—Representations to the                   soliciting comments from the public on
                                                    those providers employ. Further, the                    public. SBA is proposing to add new                   whether such follow-on investments
                                                    applicant must provide evidence that                    paragraphs (b) and (c) to this section,               should count towards the 50 percent
                                                    each assessment provider is                             which would require Impact SBIC                       requirement only if the Impact SBIC re-
                                                    independent, that the criteria and                      license applicants and Impact SBICs to                certifies the investment as an Impact
                                                    weightings the providers use are                        identify themselves as impact                         Investment at the time a follow-on
                                                    publicly available and that each                        investment funds when marketing their                 investment is made.
                                                    provider is capable of conducting a                     funds to prospective investors. This                     § 107.665—Measurement and
                                                    comprehensive assessment of the                         requirement is meant to ensure that                   reporting requirements for Impact SBICs
                                                    Impact SBIC’s impact. A comprehensive                   investors are made aware that the                     making Fund-Identified Impact
                                                    assessment is one capable of evaluating                 Impact SBIC applicant intends to                      Investments. This proposed section
                                                    the social, environmental and economic                  participate, or that a licensed Impact                would require Impact SBICs making
                                                    impacts of the applicant’s proposed                     SBIC is participating, in the SBIC                    Fund-Identified Impact Investments to
                                                    strategy.                                               program as an Impact SBIC. Requiring                  obtain independent assessments of the
                                                       One assessment system SBA has                        Impact SBICs to identify themselves as                social, environmental and economic
                                                    already approved for use under its                      such will also help deter applicants                  impact of their investment strategy.
                                                    current Impact Investment Fund policy                   whose sole interest in obtaining an                   Unless the licensee obtains SBA
                                                    is the Global Impact Investment Ratings                 Impact SBIC license is to benefit from                approval to do otherwise, these
                                                    System (‘‘GIIRS’’), a product of the non-               the associated fee discounts.                         assessments must be prepared in
                                                    profit organization B Lab, which uses a                    § 107.610—Required certifications for              manner consistent with the plan
                                                    standard set of IRIS impact metrics.                    Loans and Investments. Proposed new                   approved during the licensing process.
                                                    GIIRS was created to bring to the impact                paragraph (g) would provide for new                      Impact SBICs subject to this section
                                                    investment industry the kind of                         certifications by Impact SBICs and the                will face penalties if they fail to obtain
                                                    consistent and comparable rating                        small businesses in which they make                   impact assessments, but SBA will
                                                    reports traditional finance has had for                 Impact Investments, certifying the basis              neither penalize nor reward an Impact
                                                    decades in the form of mutual fund                      for which each investment qualifies as                SBIC based solely on the results of those
                                                    ratings or credit ratings. With each                    an Impact Investment. As with most of                 impact assessments. One purpose of
                                                    investment fund they rate, B Lab staff                  the existing certifications in this section,          permitting Impact SBICs to make Fund-
                                                    collects a standard set of IRIS impact                  the Impact certifications would be                    Identified Impact Investments is to
                                                    metrics from each company in the                        retained in the SBIC’s files and be                   encourage innovative approaches to
                                                    portfolio. That data is then run through                available for SBA’s review.                           social, environment and economic
                                                    the GIIRS assessment criteria, each of                     The paragraph would require different              challenges. Penalizing licensees that fail
                                                    which is assigned a specific weight. The                levels of certification depending on the              to meet their impact goals, despite their
                                                    end result is a ratings report with an                  type of Impact Investment. SBA-                       best efforts, would be
                                                    overall impact score and scores for each                Identified Impact Investments will be                 counterproductive. Instead, the Agency
                                                    individual sub-component of the overall                 based on certifications from both the                 trusts that successful fund managers
                                                    assessment. Since each rating uses the                  Impact SBIC and its portfolio concerns;               will earn their rewards in the market
                                                    same set of core metrics, assessment                    Fund-Identified Impact Investments will               place, using the strength of their
                                                    criteria and weightings, one investment                 only require the certification of the                 financial and social returns to attract
                                                    fund’s score can be compared to that of                 Impact SBIC. Since SBA-Identified                     private capital. SBA will also look
                                                    another.                                                Impact Investments will be based on                   favorably on subsequent Impact SBIC
                                                       With each new Impact SBIC licensed                   definitions in federal regulation and                 applicants with a record of strong social
                                                    under this section, SBA will build a                    will generally depend on specific                     and financial performance. By contrast,
                                                    portfolio of investment strategies and                  statistics collected at the company level,            Impact SBICs with poor impact
                                                    impact reports that it hopes will help                  it is reasonable to expect the leaders of             assessments are more likely to face
                                                    guide future applicants to the program.                 those businesses to certify the accuracy              difficulty raising private capital and
                                                    Both to facilitate that learning process                of their information. By contrast, Fund-              obtaining a subsequent Impact SBIC
                                                    and to ensure program transparency,                     Identified Impact Investments may be                  license.
                                                    Section 107.331(d) allows the Agency to                 based on sector data or other                            § 107.693—Impact SBIC examination
                                                    publish information about the                           information outside the control of the                fee discount. This new proposed section
                                                    investment strategies and assessment                    small business being financed.                        would allow a 10% reduction in the
                                                    systems the Impact SBICs licensed                       Therefore, for Impact SBICs making                    examination ‘‘base fee’’ that would
                                                    under this section have employed.                       Fund-Identified Impact Investments, the               otherwise be applicable to Impact SBICs
                                                       However, the provisions of paragraph                 regulation places the full certification              under existing § 107.692. SBA will
                                                    (d) will not release SBA from its                       burden on the Impact SBIC.                            devote neither less time nor fewer
                                                    responsibility to protect the confidential                 As noted above, per the proposed                   resources to the examination of Impact
                                                    business information of its licensees.                  rule, follow-on financings in Impact                  SBIC licensees as a result of this
mstockstill on DSK4VPTVN1PROD with PROPOSALS




                                                    SBA intends only to publish general                     Investments would count towards the                   discount. Under the proposed rule,
                                                    descriptions of the investment strategies               50 percent requirement, and therefore,                licensees designated as Impact SBICs
                                                    it has approved and will not reveal any                 SBA will not require Impact SBICs to re-              prior to the effective date of this rule
                                                    details that might compromise an                        certify the investment as part of a                   will be eligible for fee discounts on a
                                                    applicant or licensee’s confidential                    follow-on financing. SBA believes that                going-forward basis, but SBA will not
                                                    business information. Similarly, the                    requiring Impact SBICs to re-certify                  return fees already paid.
                                                    Agency will make public the names of                    their follow-on financings as Impact                     § 107.1120—General eligibility
                                                    assessment providers it has approved                    Investments might deter them from                     requirements for Leverage. Proposed


                                               VerDate Sep<11>2014   17:55 Feb 02, 2016   Jkt 238001   PO 00000   Frm 00042   Fmt 4702   Sfmt 4702   E:\FR\FM\03FEP1.SGM   03FEP1


                                                                         Federal Register / Vol. 81, No. 22 / Wednesday, February 3, 2016 / Proposed Rules                                           5671

                                                    new paragraph (l) would provide for a                   notice, to take any or all of the following           in low income geographic areas, those
                                                    new certification by Impact SBICs                       actions: (1) Convert the licensee’s                   engaged in energy-saving activities and
                                                    seeking an SBA leverage commitment or                   Impact SBIC license to a standard SBIC                ‘‘smaller’’ businesses.15 U.S.C.
                                                    draw. The Impact SBIC would be                          license (including, in SBA’s discretion,              683(b)(2)(C), 683(b)(2)(D), 683(d).
                                                    required to certify that it will invest at              requiring the licensee to notify its                     Over the past several years, SBA’s
                                                    least 50 percent of the aggregate dollar                private investors of the conversion); and             focus on achieving these economic
                                                    amount of its financings in Impact                      (2) require the licensee to return to SBA             development goals has yielded results,
                                                    Investments, in compliance with the                     up to the full dollar amount of any                   but progress has come at a slower pace
                                                    Impact Investment and Impact SBIC                       licensing or examinations fee discounts               than anticipated. Despite the recent
                                                    definitions in § 107.50. This prospective               it has received prior to the date of the              growth in the number of SBIC-financed
                                                    certification is consistent with the other              written notice. However, SBA will be                  businesses located in LMI areas, which
                                                    certifications required by § 107.1120.                  authorized to take these actions only                 rose from 216 in fiscal year (‘‘FY’’) 2012
                                                    SBA intends to monitor Impact SBICs’                    after giving the licensee at least 15 days            to 229 in FY 2014, the program has yet
                                                    performance in making Impact                            to resolve its non-compliance and only                to return to the high level achieved in
                                                    Investments to ensure that they are                     after the licensee fails to resolve its non-          FY 2011, during which SBICs financed
                                                    making investments that meet this                       compliance within the time period                     351 businesses located in LMI areas.
                                                    requirement.                                            given.                                                The LMI Debenture, a leverage
                                                       § 107.1810—Events of default and                        SBA included these additional                      instrument meant to help facilitate these
                                                    SBA’s remedies for Licensee’s                           remedies to address two areas of                      types of investments, is rarely used.
                                                    noncompliance with terms of                             concern. First, the events of default                 Similarly, there has yet to be a single
                                                    Debentures. SBA is proposing two                        proposed under § 107.1810(f) would                    draw of SBA’s Energy Savings
                                                    changes in this section that would apply                only apply to Impact SBICs with                       Debenture, which has been available
                                                    only to Impact SBICs. First, under                      outstanding leverage. As a result, Impact             since 2012 to help finance small
                                                    proposed § 107.1810(f)(13), it would be                 SBICs that are licensed as non-leveraged              businesses involved in reducing the use
                                                    an event of default if an Impact SBIC                   funds or those that pre-pay their                     of non-renewable energy sources.
                                                    fails to meet the requirement to invest                 leverage in full would not be subject to                 The proposed rule was crafted to
                                                    at least 50 percent of its financing                    any remedies if they were to fall out of              enhance the SBIC program’s
                                                    dollars in Impact Investments, as                       compliance with the 50 percent                        effectiveness in channeling much-
                                                    defined in proposed § 107.50. If the                    requirement or, as applicable, the                    needed capital to these and other
                                                    Impact SBIC fails to cure to SBA’s                      assessment requirement. Second, the fee               underserved segments of the U.S.
                                                    satisfaction, SBA could invoke the                      discounts proposed under this rule                    economy. From an overall economic
                                                    remedies in existing § 107.1810(g),                     generally reward Impact SBIC                          development perspective, SBA believes
                                                    which includes the right to declare                     applicants and licensees for future,                  that capital investments made into small
                                                    outstanding debenture leverage                          rather than past behavior. For instance,              businesses located in LMI and other
                                                    immediately due and payable. SBA                        an Impact SBIC will be eligible for a 60              underserved areas have the potential to
                                                    would generally not expect to invoke                                                                          have the most meaningful and sustained
                                                                                                            percent discount on its licensing fee
                                                    such remedies if an Impact SBIC’s                                                                             impact due to the capital formation gaps
                                                                                                            based on its proposal to deploy at least
                                                    failure to meet the 50 percent                                                                                in those areas.
                                                                                                            50 percent of its capital in Impact
                                                    requirement appears to be temporary.                    Investments. Without the provisions                   2. Alternative Approaches to Regulation
                                                       Second, under proposed
                                                                                                            proposed under this section, SBA would                   SBA considered several alternatives to
                                                    § 107.1810(f)(14), it would be an event
                                                                                                            have limited authority to recover those               the proposed regulation, each of which
                                                    of default if an Impact SBIC licensed
                                                                                                            benefits or otherwise take action against             will be discussed below. First, SBA
                                                    under an SBA-approved plan to make
                                                                                                            the fund if it fails to follow through on             considered pursuing its impact
                                                    Fund-Identified Impact Investments
                                                                                                            that commitment.                                      investment objectives solely through
                                                    fails to obtain an acceptable
                                                    independent, third-party assessment to                  Compliance With Executive Orders                      existing policy initiatives. Based on
                                                    measure the social, environmental or                    12866, 12988, 13132, 13563, the                       extensive feedback received from SBIC
                                                    economic impact of the fund’s Impact                    Paperwork Reduction Act (44 U.S.C.                    fund managers, lower-middle market
                                                    Investment strategy within the time                     Ch. 35) and the Regulatory Flexibility                industry representatives, impact
                                                    frames required by proposed § 107.665.                  Act (5 U.S.C. 601–612)                                investment fund managers, impact
                                                    If the Impact SBIC fails to cure to SBA’s                                                                     policy thought leaders and others, SBA
                                                    satisfaction, SBA could invoke the                      Executive Order 12866                                 rejected this alternative. SBA’s existing
                                                    remedies in existing § 107.1810(g),                        The Office of Management and Budget                impact investing policies impose
                                                    which include the right to declare                      has determined that this rule is a                    additional burdens without providing
                                                    outstanding debenture leverage                          ‘‘significant’’ regulatory action under               sufficient incentives to attract Impact
                                                    immediately due and payable.                            Executive Order 12866. The Regulatory                 SBIC fund managers to the program.
                                                       § 107.1940—Impact SBIC licensee                      Impact Analysis is set forth below.                   Further, given that SBIC licensees have
                                                    noncompliance with regulations. SBA                                                                           operational lives of ten years or more,
                                                    proposes creating in this new section a                 1. Need for Regulation                                the market will be reluctant to embrace
                                                    series of actions the Agency may take                     The Small Business Investment Act of                SBA’s impact investing efforts unless
                                                    with respect to Impact SBICs that fail to               1958, as amended, established the SBIC                the Agency demonstrates a lasting
mstockstill on DSK4VPTVN1PROD with PROPOSALS




                                                    meet the 50 percent requirement and                     program to ‘‘stimulate and supplement                 commitment to the space by
                                                    Fund-Identified Impact SBICs that fail                  the flow of private equity capital and                promulgating regulations.
                                                    to meet assessment requirements.                        long-term loan funds’’ to U.S.-based                     SBA faced a challenge in developing
                                                    Regardless of whether an Impact SBIC                    small businesses. 15 U.S.C. 661. As part              a definition of an ‘‘Impact Investment’’
                                                    has outstanding leverage, if an event of                of that effort, the Act contains several              that dealt appropriately with the
                                                    default would have been triggered under                 provisions aimed at promoting the flow                subjectivity inherent in any non-
                                                    proposed § 107.1810(f)(13) or (14), SBA                 of capital to several special categories of           financial measure of performance.
                                                    will have the authority, upon written                   small business, including those located               Initially, SBA considered restricting the


                                               VerDate Sep<11>2014   17:55 Feb 02, 2016   Jkt 238001   PO 00000   Frm 00043   Fmt 4702   Sfmt 4702   E:\FR\FM\03FEP1.SGM   03FEP1


                                                    5672                 Federal Register / Vol. 81, No. 22 / Wednesday, February 3, 2016 / Proposed Rules

                                                    definition of an Impact Investment to                   the program remains open to innovative                measurement and assessment process.
                                                    financings that meet requirements                       impact strategies.                                    First, what means should SBA use to
                                                    already outlined in federal regulations,                   SBA will always encourage applicants               assess the impact of Fund-Identified
                                                    such as Energy-Savings Investments,                     to propose innovative investment                      Impact Investments? Second, what
                                                    LMI Investments or investments in rural                 strategies, but the Agency must retain                consequences, if any, should Impact
                                                    areas. These investments are aligned                    the ability to review and approve                     SBICs face based on the result of their
                                                    with federal policy priorities and are                  proposed Fund-Identified Impact                       impact assessments?
                                                    easy to define and monitor. The original                Investment definitions. Not only must                    With regard to the first question, SBA
                                                    Impact Investment Initiative policy                     the Agency ensure that SBICs are                      could have assumed the full burden of
                                                    launched in 2011 was structured in this                 making investments that are consistent                evaluating each Fund-Identified Impact
                                                    manner and was slow to attract                          with the letter and spirit of program                 Investment to determine its impact. This
                                                    applicants. Given the nascence of the                   regulations, but it must also consider                alternative was rejected because SBA
                                                    impact investing industry, which                        the reputation of the SBIC program                    staff lack sufficient time, resources and
                                                    supports a diverse range of investment                  within the private investor community.                expertise to properly evaluate the full
                                                    strategies, SBA determined a more                       The statute underlying the SBIC                       range of potential Fund-Identified
                                                    accommodative approach would be                         program, known as the Small Business                  Impact Investments. A second
                                                    more effective.                                         Investment Act, makes clear that the                  alternative was to leverage the expertise
                                                       The proposed rule has been drafted to                program should be implemented in a                    of Impact SBIC fund managers
                                                    allow Impact SBIC applicants to make                    manner that ‘‘insure[s] the maximum                   themselves and allow them to prepare
                                                    SBA-Identified Impact Investments,                      participation of private financing                    their own assessments. While it may be
                                                    which target federal priority areas, or                 sources.’’ 15 U.S.C. 661. Were SBA to                 appropriate to have Impact SBIC
                                                    make Fund-Identified Impact                             ignore an applicant’s proposed Fund-                  applicants argue the merits of their
                                                    Investments that align with their own                   Identified Impact Investment                          Fund-Identified Impact Investment
                                                    definitions of impact. This approach                    definitions, private impact investors                 definitions during the licensing process,
                                                    expands the reach of SBA’s impact                       might take the Agency’s approach as a                 SBA considered it imprudent to allow
                                                    investing efforts beyond the limited sub-               signal of indifference to market                      Impact SBICs to evaluate their own
                                                    set of investments that meet existing                   development.                                          success.
                                                                                                               In fact, the approach SBA has taken                   The proposed rule instead requires
                                                    regulatory criteria. The Agency also
                                                                                                            reflects the Agency’s interest in not only            Impact SBICs to obtain independent,
                                                    recognizes the complexities Fund-
                                                                                                            enhancing the impact of the SBIC                      third-party impact evaluations based on
                                                    Identified Impact Investments may
                                                                                                            program, but also promoting industry                  industry-adopted standards. The use of
                                                    introduce to the SBIC licensing and
                                                                                                            best practices. SBA is as concerned with              independent third parties helps reduce
                                                    monitoring process.
                                                                                                            the process used to make Fund-                        the bias inherent in a fund’s own impact
                                                       SBA had to carefully consider the                    Identified Impact Investments as it is                evaluation and relieves SBA of the
                                                    bases on which it would approve an                      with the outcomes of those investments.               potentially significant burden of
                                                    Impact SBIC’s proposed Fund-Identified                  Each Impact SBIC applicant will have                  assessing a wide range of impact
                                                    Impact Investment definition. One                       the burden of demonstrating, with                     investment strategies.
                                                    option the Agency considered was to                     qualitative or quantitative analysis, that               With regard to the second question,
                                                    outline, as part of this regulation, a                  its investment strategy will, in                      SBA has chosen not to penalize
                                                    series of sector-specific eligibility                   aggregate, generate a measurable                      licensees based on the results of their
                                                    requirements that Fund-Identified                       positive impact. SBA staff will                       impact assessments. As noted above,
                                                    Impact Investments would have to                        supplement their evaluation of the                    assessments provide private capital with
                                                    satisfy. Working with colleagues at the                 applicant’s analysis and its other                    greater transparency regarding an
                                                    U.S. Department of Education, SBA staff                 application materials with the results                applicant’s track record of generating
                                                    made an initial attempt at preparing                    obtained using the standard tools of due              impact. Given that most fund managers
                                                    guidelines for investments in the                       diligence, such as interviews with the                seek to follow their first investment
                                                    education sector but quickly discovered                 management team, reference calls,                     vehicle with a second, the assessment
                                                    the impracticality of the approach. Even                consultations with industry experts,                  process itself creates sufficient risk that
                                                    within a single sector, there exists such               public record searches and other                      investors will decline to invest in a
                                                    a tremendous diversity of economic                      research.                                             second fund. Accordingly, SBA does not
                                                    activity that establishing requirements                    As long as a fund manager is qualified             believe that an Impact SBIC should
                                                    specific-enough to be useful would                      and its definition does not run afoul of              incur regulatory penalties based on the
                                                    require an inordinate commitment of                     the Agency’s mission, statutes,                       results of an impact assessment.
                                                    time and resources.                                     regulations or policies, SBA intends to
                                                       An alternative approach would be to                  give applicants substantial leeway in                 3. Potential Benefits and Costs
                                                    remove SBA from the approval process                    defining their Fund-Identified Impact                    The proposed rule offers two primary
                                                    altogether and give Impact SBIC                         Investments. The measurement and                      benefits to SBA and its stakeholders.
                                                    applicants complete latitude to pursue                  assessment requirements of the                        First, it offers the potential to enhance
                                                    Fund-Identified Impact Investments of                   proposed rule ensure that even those                  the overall social, environmental and
                                                    their choice. Under this approach, SBA                  Impact SBICs that fail to meet their                  economic impact of the SBIC program.
                                                    would evaluate Impact SBICs using its                   targeted social returns will contribute to            Existing SBICs already have tremendous
mstockstill on DSK4VPTVN1PROD with PROPOSALS




                                                    existing licensing process without any                  market development. Measuring results,                impact on America’s small business
                                                    additional consideration of the impact-                 good and bad, contributes to the                      economy. In FY 2014, SBICs together
                                                    related aspects of the applicant’s                      industry’s understanding of the                       invested nearly $5.5 billion in more
                                                    proposal. A key advantage of this                       relationship between financial and                    than 1,000 small business concerns,
                                                    approach is that it would allow SBA to                  social returns and helps investors                    helping them to grow and modernize
                                                    fully cede the definitional challenge of                identify the most talented managers.                  their operations. The introduction of
                                                    impact to fund managers and their                          SBA confronted two key questions as                Impact SBICs will increase the portion
                                                    private investors. It would also ensure                 it considered how to create a robust                  of those annual financings that are


                                               VerDate Sep<11>2014   17:55 Feb 02, 2016   Jkt 238001   PO 00000   Frm 00044   Fmt 4702   Sfmt 4702   E:\FR\FM\03FEP1.SGM   03FEP1


                                                                         Federal Register / Vol. 81, No. 22 / Wednesday, February 3, 2016 / Proposed Rules                                           5673

                                                    intentionally directed towards                          Executive Order 13563                                 SBICs are also currently required to
                                                    economically-distressed communities                        In drafting this proposed rule, SBA                identify whether a completed financing
                                                    and companies taking innovative                         considered the input of impact                        is an Impact Investment. Therefore, this
                                                    approaches to social problems.                          investment industry experts on ways to                requirement is also not being imposed
                                                       SBA also hopes the proposed rule will                facilitate the growth of private-sector led           for the first time by this rule but rather
                                                    support the development of the impact                   impact investing as a strategy to create              merely being codified in the regulations.
                                                    investing industry more broadly. The                    jobs and strengthen communities. With                 To make it easier for SBICs to meet this
                                                    rule has been drafted to incorporate                    the assistance of the White House Office              requirement, SBA recently proposed
                                                    impact investing best practices,                        of Social Innovation and Civic                        adding two questions to the Portfolio
                                                    especially with regard to the                           Participation, which included a White                 Financing Report (an existing
                                                    measurement and assessment of impact.                                                                         information collection approved under
                                                                                                            House hosted event in June 2014 (see,
                                                    As more and more SBA- and Fund-                                                                               OMB Control Number 3245–0078), to
                                                                                                            https://www.whitehouse.gov/blog/2014/
                                                                                                                                                                  enable Impact SBICS to specifically
                                                    Identified Impact Investments are made,                 06/25/executive-actions-accelerate-
                                                                                                                                                                  identify whether a particular investment
                                                    the SBIC program will have more data                    impact-investing-create-jobs-and-
                                                                                                                                                                  qualifies as an SBA-Identified or Fund
                                                    to contribute to the industry on the                    strengthen-communities), SBA held
                                                                                                                                                                  Identified investment. This particular
                                                    balance between financial and social                    roundtable discussions with
                                                                                                                                                                  change will be made in conjunction
                                                    performance.                                            representatives from endowments,
                                                                                                                                                                  with other revisions to Form 1031 as a
                                                       In terms of costs, Impact SBICs are                  foundations, institutional asset
                                                                                                                                                                  result of other amendments to the SBIC
                                                    anticipated to have an additional 3%                    managers, high net worth individuals,
                                                                                                                                                                  program in the proposed rule, Small
                                                    higher loss rate than regular SBICs, due                investment funds, standard SBICs,                     Business Investment Companies;
                                                    to the risks that may be associated with                existing Impact SBICs, not-for-profit                 Passive Business Expansion & Technical
                                                    Impact Investments contemplated under                   entities, banks, and other federal                    Clarifications. (RIN: 3245–AG67) (80 FR
                                                    the proposed rule. Although SBA is                      government agencies. The roundtables                  60077, October 5, 2015). The
                                                    targeting $200 million in commitments                   covered topics such as: (1) Increasing                description, number of respondents, and
                                                    per year in terms of licensing, the                     the flow of private capital toward                    the purpose of the information
                                                    number of Impact SBICs that SBA may                     sustainable business models; (2)                      collection that would be imposed by
                                                    license or the amount of debenture                      supporting private sector investment in               this rule is discussed below with an
                                                    leverage commitments that may be                        high-impact sectors and underserved                   estimate of the annual reporting burden.
                                                    approved for Impact SBICs in any year                   communities; (3) making innovative                    Included in the estimate is the time for
                                                    is subject to the limitations set forth in              impact enterprises investment-ready; (4)              reviewing instructions, searching
                                                    annual appropriations acts or in other                  removing regulatory barriers that keep                existing data sources, gathering and
                                                    statutes or regulations. In addition, both              capital on the sidelines; and (5) growing             maintaining the data needed, and
                                                    newly licensed Impact SBICs and                         the impact economy through policy                     completing and reviewing the
                                                    previously licensed Impact SBICs have                   interventions.                                        requirements for the collection of
                                                    the opportunity to receive new leverage                 Paperwork Reduction Act, 44 U.S.C.                    information.
                                                    commitments in any year. The SBIC                       Ch. 35                                                A. Impact Evaluations
                                                    program subsidy model for FY 2017 has
                                                    been formulated to reflect the provision                   SBA has determined that this                          Title: Independent, Third-Party
                                                    proposed in this rule that Impact SBICs                 rulemaking proposes additional                        Impact Evaluations.
                                                    are allowed to be licensed as Early Stage               reporting requirements as defined by the                 Summary: The proposed rule requires
                                                    SBICs. Early Stage SBICs are expected to                Paperwork Reduction Act. Specifically,                Impact SBICs licensed to make Fund-
                                                    have approximately a 10% higher loss                    as discussed above, all Impact SBICs                  Identified Impact Investments to submit
                                                    rate than regular SBICs. The resulting                  utilizing a Fund-Identified Impact                    two impact evaluations to SBA. Each
                                                    fee of 34.7 basis points for FY 2017                    strategy would be required to submit to               assessment must be completed by an
                                                    remains well within historical ranges for               SBA independent, third-party                          independent third-party based on
                                                    the SBIC Debenture annual fee.                          evaluations of the impacts of such                    industry standards. One assessment is
                                                                                                            investments. This proposed rule would                 due within two years of licensing, while
                                                    Executive Order 12988                                   also codify two other reporting                       the second must be submitted between
                                                                                                            requirements that are already imposed                 the 5th and 7th year after licensing.
                                                       This action meets applicable                         on Impact SBICs based on the terms and                These independent evaluations are
                                                    standards set forth in section 3(a) and                 conditions of the Impact Investment                   required only of Impact SBICs that make
                                                    3(b)(2) of Executive Order 12988, Civil                 Fund established by SBA on April 11,                  Fund-Identified Impact Investments.
                                                    Justice Reform, to minimize litigation,                 2011, as amended on September 25,                     Impact SBICs that restrict themselves to
                                                    eliminate ambiguity, and reduce                         2014, available at https://www.sba.gov/               SBA-Identified Impact Investments bear
                                                    burden. The action does not have                        content/impact-investment-fund-                       no additional reporting burden beyond
                                                    retroactive or presumptive effect.                      overview. First, at the time of                       what is required of all SBICs.
                                                    Executive Order 13132                                   application, Impact SBIC applicants are                  Description and Number of
                                                                                                            currently required to outline in their                Respondents: Only those Impact SBICs
                                                      The proposed rule will not have                       proposed investment strategy whether a                licensed to make Fund-Identified
                                                    substantial direct effects on the States,               particular strategy is an ‘‘Impact                    Impact Investments will be required to
mstockstill on DSK4VPTVN1PROD with PROPOSALS




                                                    or the distribution of power and                        Investment.’’ This requirement is not                 complete this requirement.
                                                    responsibilities among the various                      being changed by this rule; it is merely                 Annual Estimated Number of
                                                    levels of government. Therefore, for the                being codified in the regulations.                    Responses: SBA estimates that it may
                                                    purposes of Executive Order 13132,                      Furthermore, this requirement is already              receive approximately 2 responses each
                                                    Federalism, SBA determines that this                    approved as part of SBA Form 2181,                    year based on an annual average of 6
                                                    proposed rule has no federalism                         Appendix 2 (OMB Control Number                        Impact SBICs requiring assessments
                                                    implications warranting the preparation                 3245–0062). Second, as part of reporting              during years 1–2 and again in years 5–
                                                    of a federalism assessment.                             on their portfolio financings, Impact                 7 of their lifecycle.


                                               VerDate Sep<11>2014   17:55 Feb 02, 2016   Jkt 238001   PO 00000   Frm 00045   Fmt 4702   Sfmt 4702   E:\FR\FM\03FEP1.SGM   03FEP1


                                                    5674                 Federal Register / Vol. 81, No. 22 / Wednesday, February 3, 2016 / Proposed Rules

                                                       Estimated Annual Hour and Cost                       calculates the annual fee each year                   approved by SBA in writing at the time
                                                    Burden: Impact SBICs licensed to make                   using historical data to assess the                   of licensing, as described in § 107.331.
                                                    Fund-Identified Impact Investments will                 appropriate fee to keep the program at                *     *     *     *    *
                                                    be required to obtain an impact                         zero subsidy cost. Because SBA expects                  Impact Investment means an SBA-
                                                    evaluation and may incur costs. SBA                     Impact SBICs to be riskier than standard              Identified Impact Investment or Fund-
                                                    estimates that it may have                              SBICs, SBA adjusted the SBIC debenture                Identified Impact Investment.
                                                    approximately 6 Impact SBICs making                     program budget formulation model                        Impact SBIC means any Section
                                                    Fund-Identified Impact Investments in                   which determines the annual fee needed                301(c) Partnership Licensee that must
                                                    any given year. One independent                         to keep the debenture program at a zero               make at least 50 percent of all of its
                                                    provider charges between $3,500 and                     subsidy cost.                                         Loans and Investments (in dollars) in
                                                    $7,500 for a full portfolio rating,                        The projected leverage allocation to               Impact Investments and is designated by
                                                    depending on the size of the fund and                   Impact SBICs would increase the annual                SBA as an ‘‘Impact SBIC.’’
                                                    the number of portfolio companies. Two                  fee charged to all SBICs seeking new                  *     *     *     *    *
                                                    ratings completed at the maximum price                  debenture commitments by                                SBA-Identified Impact Investment
                                                    of $7,500 would require an Impact SBIC                  approximately 6.1 basis points. The                   means a Financing that meets SBA’s
                                                    to spend a total of $15,000 over the                    annual fee would remain in line with                  definition of an Impact Investment,
                                                    course of its 10 year fund life. On an                  historical levels. Since 2000, the annual             which SBA will publish from time to
                                                    annualized basis, the cost would be                     fee has ranged from a high of 100 basis               time on its Web site and which will
                                                    $1,500 per year. The total annual cost                  points (1 percent) to a low of 29 basis               include geographies and sectors of
                                                    burden for the estimated 6 Impact SBICs                 points, with a 15-year median of 83                   national priority.
                                                    making Fund-Identified Impact                           basis points. The annual fee for FY 2015
                                                    Investments is $9,000.                                                                                        *     *     *     *    *
                                                                                                            is approximately 74.2 basis points.                   ■ 3. Add § 107.301 to read as follows:
                                                       The hourly burden for these                          Although the cost will vary in the future
                                                    respondents would be negligible, as the                 based on economic factors and                         § 107.301 Impact SBIC licensing fee
                                                    assessment work would be completed                      assumptions used to develop the annual                discount.
                                                    by an independent third-party. The total                fee, SBA expects the fee to remain under                 (a) All applicants seeking to be
                                                    time required to contact the provider                   1 percent, comparable to historical                   licensed as an Impact SBIC will receive
                                                    and initiate an assessment is estimated                 annual fees and below the statutory                   a 60 percent discount, rounded to the
                                                    at a total of 24 hours per assessment.                  maximum of 1.38 percent. Accordingly,                 nearest one-hundred dollars, on any fees
                                                    Impact SBICs subject to the third-party                 the Administrator of the SBA hereby                   to which they are subject under
                                                    assessment requirement must submit a                    certifies that this rule will not have a              § 107.300.
                                                    total of two assessments over the course                significant impact on a substantial                      (b) In the event an applicant seeking
                                                    of their 10 year fund life. On an                       number of small entities. SBA welcomes                to be licensed as an Impact SBIC is
                                                    annualized basis, these applicants each                 comment from members of the public                    licensed as anything other than an
                                                    will spend 4.8 hours per year. With an                  who believe there will be a significant               Impact SBIC, SBA reserves the right to
                                                    estimated 6 Impact SBICs making Fund-                   impact either on SBICs, or on                         recover, prior to licensing, the full
                                                    Identified Impact Investments in the                    companies that receive funding from                   dollar amount of any licensing fee
                                                    portfolio at any given time, the total                                                                        discounts the applicant has received.
                                                                                                            SBICs.
                                                    annual hourly burden is estimated at                                                                          ■ 4. In § 107.310, designate the existing
                                                    28.8 hours.                                             List of Subjects in 13 CFR Part 107                   text as paragraph (a) and add paragraph
                                                    Compliance With the Regulatory                            Investment companies, Loan                          (b) to read as follows:
                                                    Flexibility Act, 5 U.S.C. 601–612                       programs—business, Licensing fees,
                                                                                                            Examination fees, Small businesses.                   § 107.310 When and how to apply for
                                                       When an agency promulgates a rule,                                                                         licensing as an Early Stage SBIC.
                                                    the Regulatory Flexibility Act requires                   For the reasons stated in the
                                                                                                                                                                  *     *     *    *     *
                                                    the agency to prepare an initial                        preamble, SBA proposes to amend part                    (b) Impact SBIC applicants. An
                                                    regulatory flexibility analysis (IRFA)                  107 of title 13 of the Code of Federal                applicant may elect to apply
                                                    which describes the potential economic                  Regulations as follows:                               simultaneously for licensing as both an
                                                    impact of the rule on small entities and                                                                      Early Stage SBIC and an Impact SBIC.
                                                    alternatives that may minimize that                     PART 107—SMALL BUSINESS
                                                                                                            INVESTMENT COMPANIES                                  Such applicants may apply as described
                                                    impact. Section 605 of the RFA allows                                                                         in § 107.300 at any time and are not
                                                    an agency to certify a rule, in lieu of                                                                       subject to the submission deadlines set
                                                                                                            ■  1. The authority citation for part 107
                                                    preparing an IRFA, if the rulemaking is                                                                       forth in paragraph (a) of this section.
                                                                                                            is revised to read as follows:
                                                    not expected to have a significant                                                                            Applicants seeking a dual license must
                                                    economic impact on a substantial                          Authority: 15 U.S.C. 681 et seq., 683,
                                                                                                            687(c), 687b, 687d, 687g, 687m.                       comply with the regulations in this part
                                                    number of small entities.                                                                                     pertaining to Early Stage SBICs and
                                                       This proposed rule would affect all                  ■ 2. Amend § 107.50 by adding in                      Impact SBICs, and to any requirements,
                                                    SBICs issuing debentures, of which                      alphabetical order definitions of ‘‘Fund-             other than submission deadlines,
                                                    there are currently 193, most of which                  Identified Impact Investment,’’ ‘‘Impact              specified in the most recently published
                                                    are small entities. Therefore, SBA has                  Investment,’’ ‘‘Impact SBIC’’ and ‘‘SBA-              Early Stage Notice in the Federal
                                                    determined that this proposed rule
mstockstill on DSK4VPTVN1PROD with PROPOSALS




                                                                                                            Identified Impact Investment’’ to read as             Register.
                                                    would have an impact on a substantial                   follows:                                              ■ 5. Add §§ 107.330 and 107.331 to read
                                                    number of small entities. However, SBA                                                                        as follows:
                                                    has determined that the impact on                       § 107.50    Definition of terms.
                                                    entities affected by the rule will not be               *     *    *     *     *                              § 107.330 Evaluation of Impact SBIC
                                                    significant. SBA keeps the SBIC                           Fund-Identified Impact Investment                   license applicants.
                                                    program at a zero subsidy cost to                       means a Financing by an Impact SBIC                     SBA will evaluate each applicant
                                                    taxpayers by charging up front and                      that meets the definition of an Impact                seeking to be licensed as an Impact SBIC
                                                    annual fees on its leverage. SBA                        Investment proposed by the SBIC and                   based on the same factors applicable to


                                               VerDate Sep<11>2014   17:55 Feb 02, 2016   Jkt 238001   PO 00000   Frm 00046   Fmt 4702   Sfmt 4702   E:\FR\FM\03FEP1.SGM   03FEP1


                                                                         Federal Register / Vol. 81, No. 22 / Wednesday, February 3, 2016 / Proposed Rules                                             5675

                                                    other license applicants, as set forth in                  (2) The applicant’s proposed                       concern’s certification and the basis for
                                                    § 107.305, with particular emphasis on                  assessment system must comply with                    such qualification.
                                                    the managers’ skill and experience in                   the following:                                          (h) For each Fund-Identified Impact
                                                    originating, evaluating, executing and                     (i) The assessment system’s criteria               Investment, a certification by the Impact
                                                    monitoring Impact Investments                           and weightings are publicly available;                SBIC, as of the date of the financing,
                                                    consistent with the applicant’s                         and                                                   that the concern qualifies as a Fund-
                                                    investment strategy.                                       (ii) The assessment system is capable              Identified Impact Investment under the
                                                                                                            of producing an assessment of the                     definition(s) approved in writing by
                                                    § 107.331 Evaluation of Fund-Identified                 social, environmental and/or economic                 SBA and the basis for such
                                                    Impact Investments and measurement                                                                            qualification.
                                                    plans.
                                                                                                            effects of impact investments.
                                                                                                               (3) The applicant’s proposed                       ■ 8. Add § 107.665 to read as follows:
                                                       If an applicant intends to qualify for               assessment provider(s) must each be an                § 107.665 Measurement and reporting
                                                    an Impact SBIC license based on                         independent, third-party. An                          requirements for Impact SBICs making
                                                    investments in Fund-Identified Impact                   assessment provider will not be                       Fund-Identified Impact Investments.
                                                    Investments, SBA will evaluate the                      considered an independent third-party                    Impact SBICs that SBA approved in
                                                    applicant’s proposed definition(s) of a                 if any of the following conditions exist              writing to make Fund-Identified Impact
                                                    Fund-Identified Impact Investment and                   at the time of licensing or assessment:               Investments must obtain an assessment
                                                    its plan to comply with the                                (i) The assessment provider is an                  of their impact investment strategy from
                                                    measurement and reporting                               Associate of the Impact SBIC or any of                an independent, third-party provider
                                                    requirements of § 107.665, and will                     its Portfolio Concerns; or                            within two years after licensing and
                                                    approve the same in writing at the time                    (ii) The assessment provider is                    again between five and seven years after
                                                    of licensing based the applicant’s                      materially financed by an association                 licensing. Without prior written SBA
                                                    satisfaction of the following:                          that represents the interests of the                  approval, the Impact SBIC may not use
                                                       (a) Fund-Identified Impact                           specific industry in which the Impact                 an assessment system(s) or assessment
                                                    Investments. Using the submitted                        SBIC or its Portfolio Concerns are                    provider(s) different from those the
                                                    application materials, any interviews                   engaged.                                              Impact SBIC identified and SBA
                                                    with the applicant’s management team,                      (c) Publication. SBA may periodically              approved during the licensing process.
                                                    the results of public record searches and               publish on its Web site:                              Each assessment must be submitted to
                                                    any other due diligence conducted by                       (i) General descriptions of impact                 SBA within 30 days of its completion.
                                                    SBA, SBA will assess the likelihood that                investment strategies pursued by Impact               ■ 9. Add § 107.693 to read as follows:
                                                    the applicant’s proposed investment                     SBICs licensed to make Fund-Identified
                                                    strategy and Fund-Identified Impact                     Impact Investments; and                               § 107.693 Impact SBIC examination fee
                                                                                                               (ii) Detailed descriptions of the                  discount.
                                                    Investment definition(s) will generate,
                                                    in the aggregate, beneficial social,                    assessment systems SBA has approved                     An Impact SBIC will receive a 10%
                                                    environmental or economic impacts.                      for use by Impact SBICs licensed to                   discount on its examination base fee,
                                                    SBA’s evaluation may consider factors                   make Fund-Identified Impact                           rounded to the nearest one-hundred
                                                    such as whether the strategy will                       Investments.                                          dollars, subject to the following:
                                                    include investments in Portfolio                        ■ 6. In § 107.502, designate the existing               (a) The discount will be calculated
                                                    Concerns that increase services to low                  text as paragraph (a) and add paragraphs              based on the examination base as
                                                    income communities, engage in                           (b) and (c) to read as follows:                       determined prior to any adjustments
                                                    environmentally sustainable business                                                                          provided for under § 107.692.
                                                                                                            § 107.502    Representations to the public.             (b) Impact SBICs also licensed as
                                                    practices or manufacture
                                                                                                            *     *     *     *     *                             Early Stage SBICs are entitled to any
                                                    environmentally sustainable products,
                                                                                                              (b) Impact SBIC applicants must                     additional discounts, but exempt from
                                                    or that operate in industries of national
                                                                                                            declare their intention to apply for an               any premium, that Early Stage SBICs
                                                    priority other than in the sectors
                                                                                                            Impact SBIC license in any solicitation               would otherwise be required to pay
                                                    identified by SBA as an SBA-Identified
                                                                                                            to investors.                                         under § 107.692.
                                                    Impact Investment.                                                                                            ■ 10. Amend § 107.1120 by adding
                                                                                                              (c) Impact SBIC licensees must
                                                       (b) Measurement and reporting plan.                                                                        paragraph (l) to read as follows:
                                                                                                            indicate that they have obtained an
                                                    During licensing, each applicant seeking
                                                                                                            Impact SBIC license from SBA in any                   § 107.1120 General eligibility requirements
                                                    an Impact SBIC license under § 107.331
                                                                                                            solicitation to investors.                            for Leverage.
                                                    must identify the assessment provider(s)
                                                                                                            ■ 7. Amend § 107.610 by adding
                                                    and assessment system(s) it intends to                                                                        *      *     *    *     *
                                                                                                            paragraphs (g) and (h) to read as follows:              (l) If you are an Impact SBIC, certify
                                                    use in order to comply with the
                                                    requirements of § 107.665. Using the                    § 107.610 Required certifications for Loans           in writing that, in accordance with
                                                    submitted application materials, any                    and Investments.                                      § 107.1810(f)(13), at least 50 percent of
                                                    interviews with the applicant’s                         *      *    *      *    *                             the aggregate dollar amount of your
                                                    management team, the results of public                    (g) For each SBA-Identified Impact                  Financings will qualify as Impact
                                                    record searches and any other due                       Investment:                                           Investments defined in § 107.50.
                                                    diligence conducted by SBA, SBA will                                                                          ■ 11. Amend § 107.1810 by adding
                                                                                                              (i) A certification by the concern,
                                                    assess the applicant’s proposed                         dated as of the date of application for               paragraphs (f)(13) and (14) to read as
mstockstill on DSK4VPTVN1PROD with PROPOSALS




                                                    measurement and reporting plan based                    SBIC financing, as to the basis for its               follows:
                                                    on the following factors:                               qualification as an Impact Investment;                § 107.1810 Events of default and SBA’s
                                                       (1) The applicant’s proposed                         and                                                   remedies for Licensee’s noncompliance
                                                    assessment system(s) must employ at                       (ii) A certification by the Impact SBIC,            with terms of Debentures.
                                                    least one approved measurement                          made contemporaneously with the                       *    *     *    *    *
                                                    standard, from a list of approved                       certification of the concern, that the                 (f) * * *
                                                    standards published by SBA on its Web                   concern qualifies as an Impact                         (13) Failure by an Impact SBIC to
                                                    site from time to time.                                 Investment as of the date of the                      meet investment requirements. You are


                                               VerDate Sep<11>2014   17:55 Feb 02, 2016   Jkt 238001   PO 00000   Frm 00047   Fmt 4702   Sfmt 4702   E:\FR\FM\03FEP1.SGM   03FEP1


                                                    5676                 Federal Register / Vol. 81, No. 22 / Wednesday, February 3, 2016 / Proposed Rules

                                                    an Impact SBIC and, beginning on the                     Dated: October 7, 2015.                              National Archives and Records
                                                    first fiscal quarter end when your                      Maria Contreras-Sweet,                                Administration (NARA). For
                                                    cumulative total Financings (in dollars)                Administrator.                                        information on the availability of FAA
                                                    are at least equal to your Regulatory                                                                         order 7400.9Z at NARA, call 202–741–
                                                    Capital, you have not made at least 50                    Editorial Note: This document was                   6030, or go to http://www.archives.gov/
                                                                                                            received for publication by the Office of the
                                                    percent of such Financings to Small                     Federal Register on January 29, 2016.
                                                                                                                                                                  federal_register/code_of_federal-
                                                    Businesses that at the time of your                                                                           regulations/ibr_locations.html.
                                                                                                            [FR Doc. 2016–01986 Filed 2–2–16; 8:45 am]
                                                    initial Financing were Impact                                                                                   FAA Order 7400.9, Airspace
                                                    Investments.                                            BILLING CODE 8025–01–P                                Designations and Reporting Points, is
                                                       (14) Failure by an Impact SBIC to                                                                          published yearly and effective on
                                                    meet assessment requirements. You are                                                                         September 15.
                                                    an Impact SBIC making Fund-Identified                   DEPARTMENT OF TRANSPORTATION                          FOR FURTHER INFORMATION CONTACT: Raul
                                                    Impact Investments and you fail to                                                                            Garza Jr., Central Service Center,
                                                    obtain an independent, third-party                      Federal Aviation Administration
                                                                                                                                                                  Operations Support Group, Federal
                                                    assessment within two years of your                                                                           Aviation Administration, Southwest
                                                    licensing date and, again, between five                 14 CFR Part 71
                                                                                                                                                                  Region, 10101 Hillwood Parkway, Fort
                                                    and seven years from your licensing                     [Docket No. FAA–2015–8060; Airspace                   Worth, TX 76177; telephone: 817–222–
                                                    date, pursuant to the requirements                      Docket No. 15–ASW–4]                                  5874.
                                                    under § 107.665.                                                                                              SUPPLEMENTARY INFORMATION:
                                                                                                            Proposed Establishment of Class E
                                                    *      *     *     *    *
                                                                                                            Airspace; Moriarty, NM                                Authority for This Rulemaking
                                                    ■ 12. Add § 107.1940 to read as follows:
                                                                                                            AGENCY: Federal Aviation                                The FAA’s authority to issue rules
                                                    § 107.1940 Impact SBIC licensee                         Administration (FAA), DOT.                            regarding aviation safety is found in
                                                    noncompliance with regulations.
                                                                                                            ACTION: Notice of proposed rulemaking                 Title 49 of the United States Code.
                                                       (a) For any occurrence (as determined                (NPRM).                                               Subtitle I, Section 106 describes the
                                                    by SBA) of one or more of the events in                                                                       authority of the FAA Administrator.
                                                    this paragraph (a), SBA may avail itself                SUMMARY:   This action proposes to                    Subtitle VII, Aviation Programs,
                                                    of one or more of the remedies in                       establish Class E airspace at Moriarty,               describes in more detail the scope of the
                                                    paragraph (b) of this section.                          NM. Controlled airspace is necessary to               agency’s authority. This rulemaking is
                                                       (1) Failure by an Impact SBIC to meet                accommodate new Standard Instrument                   promulgated under the authority
                                                    investment requirements. You are an                     Approach Procedures developed at                      described in Subtitle VII, Part A,
                                                    Impact SBIC and, beginning on the first                 Moriarty Airport, for the safety and                  Subpart I, Section 40103. Under that
                                                    fiscal quarter end when your cumulative                 management of Instrument Flight Rules                 section, the FAA is charged with
                                                    total Financings (in dollars) are at least              (IFR) operations at the airport.                      prescribing regulations to assign the use
                                                    equal to your Regulatory Capital, you                   DATES: Comments must be received on                   of airspace necessary to ensure the
                                                    have not made at least 50 percent of                    or before March 21, 2016.                             safety of aircraft and the efficient use of
                                                    such Financings to Small Businesses                     ADDRESSES: Send comments on this                      airspace. This regulation is within the
                                                    that at the time of your initial Financing              proposal to the U.S. Department of                    scope of that authority as it would
                                                    were Impact Investments.                                Transportation, Docket Operations, M–                 establish Class E airspace at Moriarty
                                                       (2) Failure by an Impact SBIC to meet                30, West Building Ground Floor, Room                  Airport, Moriarty, NM.
                                                    assessment requirements. You are an                     W12–140, 1200 New Jersey Avenue SE.,
                                                    Impact SBIC making Fund-Identified                                                                            Comments Invited
                                                                                                            Washington, DC 20590; telephone (202)
                                                    Impact Investments and you fail to                      366–9826. You must identify FAA                          Interested parties are invited to
                                                    obtain an independent, third-party                      Docket No. FAA–2015–8060; Docket                      participate in this proposed rulemaking
                                                    assessment within two years of your                     No.15–ASW–4, at the beginning of your                 by submitting such written data, views,
                                                    licensing date and, again, between five                 comments. You may also submit                         or arguments, as they may desire.
                                                    and seven years from your licensing                     comments through the Internet at                      Comments that provide the factual basis
                                                    date, pursuant to the requirements                      http://www.regulations.gov. You may                   supporting the views and suggestions
                                                    under § 107.665.                                        review the public docket containing the               presented are particularly helpful in
                                                       (b) SBA may exercise any or all of the               proposal, any comments received, and                  developing reasoned regulatory
                                                    following rights:                                       any final disposition in person in the                decisions on the proposal. Comments
                                                       (1) Convert your Impact SBIC license                 Dockets Office between 9:00 a.m. and                  are specifically invited on the overall
                                                    to a standard SBIC license (including, in               5:00 p.m., Monday through Friday,                     regulatory, aeronautical, economic,
                                                    SBA’s discretion, requiring you to                      except Federal holidays. The Docket                   environmental, and energy-related
                                                    promptly notify your investors of the                   Office (telephone 1–800–647–5527), is                 aspects of the proposal.
                                                    conversion); and                                        on the ground floor of the building at                Communications should identify both
                                                       (2) Require you to refund to SBA up                  the above address.                                    docket numbers and be submitted in
                                                    to the full dollar amount of any                           FAA Order 7400.9Z, Airspace                        triplicate to the address listed above.
                                                    licensing or examination fee discounts                  Designations and Reporting Points, and                Commenters wishing the FAA to
                                                    you have received prior to the date of                  subsequent amendments can be viewed                   acknowledge receipt of their comments
mstockstill on DSK4VPTVN1PROD with PROPOSALS




                                                    your written notice.                                    online at http://www.faa.gov/air_traffic/             on this notice must submit with those
                                                       (c) SBA may invoke the remedies in                   publications/. For further information,               comments a self-addressed, stamped
                                                    paragraph (b) of this section only if:                  you can contact the Airspace Policy                   postcard on which the following
                                                       (1) It has given you at least 15 days                Group, Federal Aviation                               statement is made: ‘‘Comments to
                                                    to cure the noncompliance;                              Administration, 800 Independence                      Docket No. FAA–2015–8060/Airspace
                                                       (2) You fail to cure the                             Avenue SW., Washington, DC 29591;                     Docket No. 15–ASW–4.’’ The postcard
                                                    noncompliance to SBA’s satisfaction                     telephone: 202–267–8783. The Order is                 will be date/time stamped and returned
                                                    within the allotted time.                               also available for inspection at the                  to the commenter.


                                               VerDate Sep<11>2014   17:55 Feb 02, 2016   Jkt 238001   PO 00000   Frm 00048   Fmt 4702   Sfmt 4702   E:\FR\FM\03FEP1.SGM   03FEP1



Document Created: 2016-02-03 00:40:39
Document Modified: 2016-02-03 00:40:39
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionNotice of proposed rulemaking.
DatesComments on the proposed rule must be received on or before March 4, 2016.
ContactNate T. Yohannes, Office of Investment and Innovation, (202) 205-6714.
FR Citation81 FR 5666 
RIN Number3245-AG66
CFR AssociatedInvestment Companies; Loan Programs-Business; Licensing Fees; Examination Fees and Small Businesses

2025 Federal Register | Disclaimer | Privacy Policy
USC | CFR | eCFR