81_FR_63862 81 FR 63682 - Regulatory Capital Rules: The Federal Reserve Board's Framework for Implementing the U.S. Basel III Countercyclical Capital Buffer

81 FR 63682 - Regulatory Capital Rules: The Federal Reserve Board's Framework for Implementing the U.S. Basel III Countercyclical Capital Buffer

FEDERAL RESERVE SYSTEM

Federal Register Volume 81, Issue 180 (September 16, 2016)

Page Range63682-63688
FR Document2016-21970

The Board of Governors of the Federal Reserve System (Board) is adopting a final policy statement (Policy Statement) describing the framework that the Board will follow under its Regulation Q in setting the amount of the U.S. countercyclical capital buffer for advanced approaches bank holding companies, savings and loan holding companies, and state member banks.

Federal Register, Volume 81 Issue 180 (Friday, September 16, 2016)
[Federal Register Volume 81, Number 180 (Friday, September 16, 2016)]
[Rules and Regulations]
[Pages 63682-63688]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-21970]


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FEDERAL RESERVE SYSTEM

12 CFR Part 217

[Docket No. R-1529; RIN 7100 AE-43]


Regulatory Capital Rules: The Federal Reserve Board's Framework 
for Implementing the U.S. Basel III Countercyclical Capital Buffer

AGENCY: Board of Governors of the Federal Reserve System.

ACTION: Final policy statement.

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SUMMARY: The Board of Governors of the Federal Reserve System (Board) 
is adopting a final policy statement (Policy Statement) describing the 
framework that the Board will follow under its Regulation Q in setting 
the amount of the U.S. countercyclical capital buffer for advanced 
approaches bank holding companies, savings and loan holding companies, 
and state member banks.

DATES: The Policy Statement is effective October 14, 2016.

FOR FURTHER INFORMATION CONTACT: William Bassett, Deputy Associate 
Director, (202) 736-5644, or Rochelle Edge, Deputy Associate Director, 
(202) 452-2339, Division of Financial Stability; Sean Campbell, 
Associate Director, (202) 452-3760, Division of Banking Supervision and 
Regulation; Benjamin W. McDonough, Special Counsel, (202) 452-2036, 
Mark Buresh, Senior Attorney, (202) 452-5270, or Mary Watkins, 
Attorney, (202) 452-3722, Legal Division.

SUPPLEMENTARY INFORMATION: 

Table of Contents

I. Background
II. Summary of Comments on the Proposal
III. Policy Statement
IV. Administrative Law Matters
    A. Use of Plain Language
    B. Paperwork Reduction Act Analysis
    C. Regulatory Flexibility Act Analysis

I. Background

    In December 2015, the Board invited public comment on a proposed 
policy statement describing the framework that the Board would use to 
set the amount of the U.S. countercyclical capital buffer (CCyB) under 
the Board's capital rules (Regulation Q).\1\ The CCyB is a 
macroprudential policy tool that the Board can increase during periods 
of rising vulnerabilities in the financial system and reduce when 
vulnerabilities recede or when the release of the CCyB would promote 
financial stability.\2\ The CCyB supplements the minimum capital 
requirements and other capital buffers included in Regulation Q, which 
themselves are designed to provide substantial resilience to unexpected 
losses created by normal fluctuations in economic and financial 
conditions.
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    \1\ 12 CFR part 217. See also 81 FR 5661 (February 3, 2016).
    \2\ See 12 CFR 217.11(b). Implementation of the CCyB also helps 
respond to the provision in the Dodd-Frank Wall Street Reform and 
Consumer Protection Act (Dodd-Frank Act) that the agencies ``shall 
seek to make such [capital] requirements countercyclical, so that 
the amount of capital required to be maintained by a company 
increases in times of economic expansion and decreases in times of 
economic contraction, consistent with the safety and soundness of 
the company.'' See 12 U.S.C. 1467a; 12 U.S.C. 1844; 12 U.S.C. 3907 
(as amended by section 616 of the Dodd-Frank Act).
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    The proposed policy statement outlined the factors the Board would 
consider in setting the level of the CCyB, and the indicators it would 
monitor to help determine whether an adjustment to the CCyB is 
appropriate. The proposed policy statement also described the effects 
the Board will monitor in determining whether the CCyB is achieving the 
desired purposes of the CCyB.
    The Board received two comments on the proposed policy statement. 
Commenters raised concerns about the process that the Board would 
follow in setting the CCyB pursuant to the policy statement, the 
potential economic impact of the CCyB, and the efficacy and 
appropriateness of the CCyB as a policy tool. Commenters also made 
various specific suggestions as to the indicators and standards that 
the Board should consider in determining whether to activate the CCyB.
    After reviewing comments, the Board is revising the final Policy 
Statement to clarify the following key items: (1) That the Board 
expects that the CCyB will be activated when systemic vulnerabilities 
are meaningfully above normal and that the Board generally intends to 
increase the CCyB gradually, (2) that the Board expects to remove or 
reduce the CCyB when the conditions that led to its activation abate or 
lessen and when the release of CCyB capital would promote financial 
stability. The discussion in Sections II and IV below responds to 
comments on the proposal regarding the Board's process for setting the 
CCyB. In particular, as indicated below, the Board would seek comment 
on any proposed change to the CCyB amount and include a discussion of 
the reasons for the change.

II. Purpose of CCyB

    The CCyB is designed to increase the resilience of large banking 
organizations when the Board sees an elevated risk of above-normal 
losses. Increasing the resilience of large banking organizations 
should, in turn, improve the resilience of the broader financial 
system. Above-normal losses often follow periods of rapid asset price 
appreciation or credit growth that are not well supported by underlying 
economic fundamentals. As stated in the proposed policy statement, the 
circumstances in which the Board would most likely use the CCyB as a 
supplemental, macroprudential tool to augment minimum capital 
requirements and other capital buffers would be to address 
circumstances when systemic vulnerabilities are somewhat above normal. 
By requiring institutions to hold a larger capital buffer during 
periods when systemic risk is increasing and reducing the buffer 
requirement as vulnerabilities diminish, the CCyB also has the 
potential to moderate fluctuations in the supply of credit over time.
    The CCyB functions as an expansion of the Capital Conservation 
Buffer (CCB), which is applicable to all banking organizations subject 
to Regulation Q. To avoid limits on capital distributions and certain 
discretionary bonus payments,\3\ the CCB requires that a banking 
organization hold a buffer of common equity tier 1 capital that is at 
least 2.5 percent of the risk-weighted assets in addition to the 
minimum risk-based capital ratios. The CCB is divided into quartiles, 
each associated with increasingly stringent limitations on capital 
distributions and certain discretionary bonus payments as the firm's 
risk-based capital ratios approach regulatory minimums.\4\ The CCyB is 
an additional, countercyclical buffer that has the same limitations on 
dividends and capital distributions as the CCB.
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    \3\ 12 CFR 217.11(b)(1)(i).
    \4\ 12 CFR 217.11(a).

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[[Page 63683]]

    The CCyB was introduced for large, internationally active banking 
organizations (advanced approaches institutions) in June 2013 as part 
of the revised regulatory capital rules issued by the Board in 
coordination with the Office of the Comptroller of the Currency (OCC) 
and the Federal Deposit Insurance Corporation (FDIC).\5\ The Board's 
CCyB rule applies to bank holding companies, savings and loan holding 
companies, and state member banks subject to the advanced approaches 
capital rules (advanced approaches institutions).\6\ The advanced 
approaches capital rules generally apply to banking organizations with 
greater than $250 billion in total assets or $10 billion in on-balance-
sheet foreign exposure and to any depository institution subsidiary of 
such banking organizations.\7\
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    \5\ See 78 FR 62018 (October 11, 2013) (Board and OCC); 79 FR 
20754 (April 14, 2014) (FDIC). The Board's Regulation Q applies 
generally to bank holding companies with more than $1 billion in 
total consolidated assets and savings and loan holding companies 
with more than $1 billion in total consolidated assets that are not 
substantially engaged in commercial or insurance underwriting 
activities. See 12 CFR 217.1(c)(1).
    \6\ An advanced approaches institution is subject to the CCyB 
regardless of whether it has completed the parallel run process and 
received notification from its primary Federal supervisor pursuant 
to section 217.121(d) of Regulation Q.
    \7\ 12 CFR 217.100(b)(1).
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    Because the CCyB is intended to address elevated risks from 
activity that is not well supported by underlying economic 
fundamentals, the location of the activity and the economic conditions 
where the activity take place provide important context. Accordingly, 
the CCyB applies based on the location of private-sector credit 
exposures by national jurisdiction.\8\ Specifically, the applicable 
CCyB amount for a banking organization is equal to the weighted average 
of CCyB amounts established by the Board for the national jurisdictions 
where the banking organization has private-sector credit exposures.\9\ 
The CCyB amount applicable to a banking organization is weighted by 
jurisdiction according to the firm's risk-weighted private-sector 
credit exposures for a specific jurisdiction as a percentage of the 
firm's total risk-weighted private-sector credit exposures.\10\
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    \8\ 12 CFR 217.11(b)(1). The Board may adjust the CCyB amount to 
reflect decisions made by foreign jurisdictions. See 12 CFR 
217.11(b)(3).
    \9\ 12 CFR 217.11(b)(1).
    \10\ Id.
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    Regulation Q established the initial CCyB amount with respect to 
private-sector credit exposures located in the United States (U.S.-
based credit exposures) at zero percent.\11\ The CCyB will not exceed 
2.5 percent of risk-weighted assets. This cap on the CCyB will be 
phased in, with the maximum potential amount of the CCyB for U.S.-based 
credit exposures 0.625 percentage points in 2016, 1.25 percentage 
points in 2017, 1.875 percentage points in 2018, and 2.5 percentage 
points in 2019 and thereafter.\12\
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    \11\ The Board affirmed the CCyB amount at the current level of 
0 percent contemporaneously with issuance of the proposed policy 
statement. See http://www.federalreserve.gov/newsevents/press/bcreg/20151221b.htm.
    \12\ 12 CFR 217.300(a)(2).
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    In order to provide banking organizations with sufficient time to 
adjust to any change in the CCyB, Regulation Q provides that a 
determination to increase the countercyclical capital buffer amount 
generally will be effective 12 months from the date of announcement. 
However, economic conditions may warrant an earlier or later effective 
date.\13\ For example, it may be appropriate for an increase in the 
countercyclical capital buffer amount to take effect 12 months from the 
date that the Board proposes the increase, rather than 12 months from 
the issuance of a final rule.
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    \13\ 12 CFR 217.11(b)(2)(v)(A).
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    Regulation Q states that a decision by the Board to decrease the 
amount of the CCyB for U.S.-based credit exposures would become 
effective the day after the Board decides to decrease the CCyB or the 
earliest date permissible under applicable law or regulation, whichever 
is later.\14\ Moreover, the amount of the CCyB for U.S.-based credit 
exposures will return to 0 percent 12 months after the effective date 
of any CCyB adjustment, unless the Board announces a decision to 
maintain the current amount or adjust it again before the expiration of 
the 12-month period.\15\
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    \14\ 12 CFR 217.11(b)(2)(v)(B).
    \15\ 12 CFR 217.11(b)(2)(vi).
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    The Board expects to make decisions about the appropriate level of 
the CCyB on U.S.-based credit exposures jointly with the OCC and FDIC. 
In addition, the Board expects that the CCyB amount for U.S.-based 
credit exposures would be the same for covered insured depository 
institutions as for covered depository institution holding companies. 
The CCyB is designed to take into account the broad macroeconomic and 
financial environment in which banking organizations function and the 
degree to which that environment impacts the resilience of advanced 
approaches institutions. Therefore, the Board's determination of the 
appropriate level of the CCyB for U.S.-based credit exposures would be 
most directly linked to the condition of the overall financial 
environment rather than the condition of any individual banking 
organization. However, the impact of the CCyB requirement on a 
particular banking organization will vary based on the organization's 
particular composition of private-sector credit exposures located 
across national jurisdictions.

III. Description of the Final Policy Statement

    The final policy statement (Policy Statement) describes the 
framework that the Board would follow in setting the amount of the CCyB 
for U.S.-based credit exposures. The framework consists of a set of 
principles for translating assessments of financial system 
vulnerabilities that are regularly undertaken at the Board into the 
appropriate level of the CCyB. Those assessments are informed by a 
broad array of quantitative indicators of financial and economic 
performance and a set of empirical models. In addition, the framework 
includes a discussion of how the Board would assess whether the CCyB is 
the most appropriate policy instrument (among available policy 
instruments) to address the highlighted financial system 
vulnerabilities.
    The Policy Statement is organized as follows. Section 1 provides 
background on the Policy Statement. Section 2 is an outline of the 
Policy Statement and describes its scope. Section 3 provides a broad 
description of the objectives of the CCyB, including a description of 
the ways in which the CCyB is expected to protect large banking 
organizations and the broader financial system. Section 4 provides a 
broad description of the factors that the Board considers in setting 
the CCyB, including specific financial system vulnerabilities and types 
of quantitative indicators of financial and economic performance, and 
outlines of empirical models the Board may use as inputs to that 
decision. Further, section 4 describes a set of principles that the 
Board expects to use for combining judgmental assessments with 
quantitative indicators to determine the appropriate level of the CCyB. 
Section 5 discusses how the Board will communicate the level of the 
CCyB and any changes to the CCyB. Section 6 describes how the Board 
plans to monitor the effects of the CCyB, including what indicators and 
effects will be monitored.
    The Board has revised the Policy Statement to clarify that (1) the 
Board expects that the CCyB will be activated when systemic 
vulnerabilities are meaningfully above normal and the Board generally 
intends to increase the CCyB gradually, and (2) the Board

[[Page 63684]]

expects to remove or reduce the CCyB when the conditions that led to 
its activation abate or lessen and when release of CCyB capital would 
promote financial stability. These changes were made to sections 1, 3, 
and 4. In addition, minor clarifying and technical edits were made 
throughout the Policy Statement.

IV. Changes To Address Comments on the Proposal

    As noted, the Board received two comments regarding the proposed 
policy statement. Commenters expressed concerns about the process that 
the Board would follow in setting the CCyB pursuant to the Policy 
Statement, the potential economic impact of the CCyB, and the 
appropriate uses of the CCyB.

A. Comments Regarding the Board's Process for Setting the CCyB

    Commenters expressed concern that the Board would apply the CCyB 
without completing the procedures required by the Administrative 
Procedure Act (APA).\16\ In particular, commenters argued that notice 
and comment rulemaking procedures should be used to increase the CCyB 
above zero, and for each future increase.
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    \16\ 5 U.S.C. 551 et seq.
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    The Board's rule implementing the CCyB specifically provides that 
the Board will adjust the CCyB amount in accordance with applicable 
law.\17\ In accordance with this provision of its rules, the Board 
expects to set the level of the CCyB above zero through a public notice 
and comment rulemaking, or through an order issued in accordance with 
the APA that provides each affected institution with actual notice and 
an opportunity for comment. In setting the level of the CCyB above zero 
through a public rulemaking, the Board generally expects that the 
notice and comment period would be at least 30 days. The Policy 
Statement is intended to provide insight on the framework that the 
Board will use to determine the appropriate level of the CCyB, not to 
alter procedures necessary to increase the CCyB in the future.
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    \17\ 12 CFR 217.11(b)(2)(ii).
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    A commenter suggested that the Board should commit to act jointly 
with the OCC and FDIC in any decision to activate the CCyB. Consistent 
with Regulation Q and the proposal, the Board expects that any decision 
to adjust the CCyB will be made jointly by the OCC, FDIC, and Board. 
However, the Board will make decisions regarding the appropriate amount 
of the CCyB for the firms that it supervises based on its judgment of 
the facts and circumstances presented.
    A commenter argued that the Board generally should not reciprocate 
decisions by foreign jurisdictions regarding the level of the CCyB in 
such jurisdictions. If the Board did decide to incorporate CCyB 
decisions of foreign jurisdictions, the commenter argued that the Board 
should implement a de minimis threshold below which U.S. banking 
organizations would not have to recognize the CCyB established in the 
foreign jurisdiction. The Policy Statement describes the framework that 
the Board will follow in determining the CCyB for U.S. private-sector 
credit exposures. The Board will address separately CCyB adjustments 
made by foreign jurisdictions as needed.

B. Comments Regarding the Calibration of, Inputs Into, and Impact of 
the CCyB

    A commenter argued that the CCyB should be increased only when 
credit growth was considered excessive, rather than when systemic 
vulnerabilities were somewhat above normal, as suggested by the 
proposal.
    The CCyB is a macroprudential policy tool intended to strengthen 
banking organizations' resilience against the build-up of systemic 
vulnerabilities and reduce fluctuations in the supply of credit. As 
stated in the proposed policy statement, activation of the CCyB at a 
time when systemic vulnerabilities are somewhat above normal reflects 
the prophylactic and countercyclical goals of this tool as well as the 
process and 12-month phase-in period that generally applies before any 
activation of the CCyB amount would take effect. Moreover, activation 
of the CCyB at a time when systemic vulnerabilities are somewhat above 
normal rather than delaying until systemic vulnerabilities are 
excessive would allow gradual increases in the CCyB, which would 
provide additional flexibility (over and above the 12-month phase-in 
period) to banking organizations as they adjust to any increases. That 
is, activation of the CCyB at a time when systemic vulnerabilities are 
somewhat above normal would likely not be associated with an activation 
of the CCyB to the upper end of its possible range. Further, the Board 
considers ``systemic vulnerabilities'' to be the appropriate reference 
point because the CCyB could be an effective tool in addressing a 
variety of financial system vulnerabilities, not merely credit growth.
    To further clarify when the Board would expect to increase the 
CCyB, the Policy Statement has been modified to state that the CCyB 
would be increased when systemic vulnerabilities are ``meaningfully 
above normal.'' For these purposes ``meaningfully above normal'' would 
reflect an assessment by the Board that financial system 
vulnerabilities were above normal and were either already at, or 
expected to build to, levels sufficient to generate material unexpected 
losses in the event of an unfavorable development in financial markets 
or the economy. The text in the policy statement has also been modified 
to clarify that systemic vulnerabilities being meaningfully above 
normal would correspond to the Board beginning to increase the CCyB 
above zero and to provide additional discussion of when and how the 
Board would deactivate or reduce the CCyB.
    Commenters argued that the Board should conduct and release 
analyses of the economic impact and costs and benefits of the CCyB in 
connection with the proposed policy statement as well as with any 
decision to increase the level of the CCyB. Commenters contended that 
such analyses should take into account other existing prudential 
regulation, including other regulatory capital requirements, and 
consider whether alternative policy tools may be more effective for a 
particular situation. The commenters expressed concern that there could 
be material adverse economic consequences to activation of the CCyB. 
Similarly, one commenter argued that the Board should conduct a 
comprehensive analysis of the costs and benefits of regulatory capital 
requirements, including the CCyB, as well as prudential liquidity 
regulations and regulations established by other agencies.
    Commenters also argued that the Board should provide additional 
detail regarding the data, models, and metrics that would inform a 
decision to activate the CCyB, as well as the standards that would be 
applied to determine the calibration of the CCyB. Additionally, 
commenters raised issues with certain of the indicators identified in 
the Policy Statement. For instance, a commenter cautioned that no 
academic consensus had been reached with regard to the usefulness of a 
credit-to-GDP ratio gap as an indicator of economic conditions.
    The final Policy Statement provides additional information to the 
public regarding the framework that the Board will follow in setting 
the CCyB. The Policy Statement itself does not change either the CCyB 
or the capital requirements applicable to advanced approaches banking 
organizations. As described above, the Board generally would expect to 
provide notice to the public and seek comment on the proposed level of 
the CCyB as part of

[[Page 63685]]

making any final determination to change the CCyB. Any proposed change 
in the level of the CCyB would include a discussion of the reasons for 
the proposed action as determined by the particular circumstances.
    One commenter stated that the FFIEC 009 reporting form requires 
firms to report information that is not aligned with the information 
needed to determine the CCyB amount applicable to a firm and that the 
Board should amend the FFIEC 009 to align with CCyB in order to reduce 
burden. The Board may consider reporting for purposes of the CCyB at a 
later date.
    The Board recognizes that no single data point or indicator can 
provide a comprehensive understanding of economic conditions or 
systemic vulnerabilities. The items for consideration listed in the 
Policy Statement are a non-exclusive list of quantitative and 
qualitative indicators that may inform the Board's assessment of 
economic conditions and determinations regarding the appropriate level 
of the CCyB. As explained in the proposed and final Policy Statement, 
some academic research has shown the credit-to-GDP ratio to be useful 
in identifying periods of financial excess followed by a period of 
crisis. However, the Board does not expect this indicator to be used in 
isolation. Furthermore, as noted, any proposal to increase the CCyB 
will include a discussion of the indicators informing the proposal, and 
will seek comment on the interpretation of these indicators. As noted 
above, the Board expects that the types of indicators and models 
considered will evolve over time, based on advances in research and the 
experience of the Board with this tool.
    Commenters argued that the CCyB would not be effective in 
containing asset bubbles or excessive credit risks because these tend 
to occur within sectors as opposed to across the financial system 
equally. A commenter suggested that targeted guidance for particular 
sectors would likely be more effective at containing risks of this type 
than a broad based capital charge imposed by the CCyB.
    Commenters also argued that the CCyB would not be effective in 
addressing many systemic vulnerabilities because it applies only to 
advanced approaches banking organizations, which, while significant, 
represent a relatively small percentage of the total provision of 
credit in the U.S. economy. A commenter contended that activation of 
the CCyB might exacerbate risk in the financial system by shifting 
lending activity away from large and closely regulated commercial banks 
and into the shadow banking system. In addition, a commenter argued 
that advanced approaches banking organizations were subject to 
significant capital, liquidity, and other prudential requirements such 
that they were likely to be resilient in the event of adverse economic 
conditions. As a result, the commenter argued, advanced approaches 
banking organizations were unlikely to be made materially more 
resilient as a result of imposition of the CCyB.
    As reflected in the Policy Statement, the pace and magnitude of 
changes in the CCyB will depend on the underlying conditions in the 
financial sector and the economy, the desired effects of the proposed 
change in the CCyB, and consideration of whether the CCyB is the most 
appropriate of the Board's available policy instruments to address the 
financial system vulnerabilities. A natural corollary to this analysis 
would be consideration of whether the CCyB could be expected to 
increase other systemic vulnerabilities. The CCyB is one of several 
policy tools available to the Board. In determining whether or not to 
change the CCyB, the Board will consider whether the CCyB is the most 
appropriate of available policy tools, and whether the CCyB would be 
most effective if used in conjunction with other policy tools.

V. Administrative Law Matters

A. Use of Plain Language

    Section 722 of the Gramm-Leach-Bliley Act (Pub. L. 106-102, 113 
Stat. 1338, 1471, 12 U.S.C. 4809) requires the Federal banking agencies 
to use plain language in all proposed and final rules published after 
January 1, 2000. The Board received no comments on the use of plain 
language.

B. Paperwork Reduction Act Analysis

    In accordance with the requirements of the Paperwork Reduction Act 
of 1995 (44 U.S.C. 3506), the Board has reviewed the Policy Statement 
to assess any information collections. There are no collections of 
information as defined by the Paperwork Reduction Act in the proposal.

C. Regulatory Flexibility Act Analysis

    The Board is providing a final regulatory flexibility analysis with 
respect to this Policy Statement. The Regulatory Flexibility Act, 5 
U.S.C. 601 et seq. (RFA), generally requires that an agency provide a 
regulatory flexibility analysis in connection with a final rulemaking.
    The Board sought comment on whether the proposal would impose undue 
burdens on, or have unintended consequences for, small banking 
organizations. The Board received one comment on this aspect of the 
proposal, which argued that the Board's initial regulatory flexibility 
analysis was flawed in asserting that small banking organizations would 
not be affected by the proposal because of the broader impact that the 
CCyB could have on lending and economic growth in general.
    This Policy Statement will be added as an appendix to Regulation Q 
to describe the framework that the Board will follow in setting the 
amount of the CCyB for U.S.-based credit exposures. The CCyB only 
applies to bank holding companies, savings and loan holding companies, 
and state member banks that are advanced approaches Board-regulated 
institutions for purposes of the Board's Regulation Q (advanced 
approaches banking organizations). The Regulatory Flexibility Act 
requires consideration only of the impact of the proposed rule on small 
entities that are subject to the requirements of the rule, as opposed 
to small entities indirectly affected by the rule through its impact on 
the national economy.\18\ Generally, advanced approaches banking 
organizations are those with total consolidated assets of $250 billion 
or more, that have total consolidated on-balance sheet foreign 
exposures of $10 billion or more, that have subsidiary depository 
institutions that are advanced approaches institutions, or that elect 
to use the advanced approaches framework.\19\ Under regulations issued 
by the Small Business Administration, a small entity includes a 
depository institution, bank holding company, or savings and loan 
holding company with assets of $550 million or less (small banking 
organizations).\20\ As of June 30, 2016, there were approximately 3,204 
small bank holding companies, 157 small savings and loan holding 
companies, and 594 small state member banks. Banking organizations that 
are subject to the final rule therefore are expected to substantially 
exceed the $550 million asset threshold at which a banking entity would 
qualify as a small bank

[[Page 63686]]

holding company. As a result, the final rule is not expected to apply 
directly to any small banking organizations for purposes of the RFA.
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    \18\ See e.g., Aeronautical Repair Station Association v. 
Federal Aviation Administration, 494 F.3d 161, 174-178 (D.C. Cir. 
2007).
    \19\ See 12 CFR 217.100.
    \20\ See 13 CFR 121.201. Effective July 14, 2014, the Small 
Business Administration revised the size standards for banking 
organizations to $550 million in assets from $500 million in assets. 
79 FR 33647 (June 12, 2014). The Small Business Administration's 
June 12, 2014, interim final rule was adopted without change as a 
final rule by the Small Business Administration on January 12, 2016. 
81 FR 3949 (January 25, 2016).
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    Therefore, there are no significant alternatives to the final rule 
that would have less economic impact on small bank holding companies. 
As discussed above, there are no projected reporting, recordkeeping, 
and other compliance requirements of the final rule. The Board does not 
believe that the final rule duplicates, overlaps, or conflicts with any 
other Federal rules. In light of the foregoing, the Board does not 
believe that the final rule would have a significant economic impact on 
a substantial number of small entities.
    In light of the foregoing, the Board does not believe that the 
final rule will have a significant impact on small entities.

List of Subjects in 12 CFR Part 217

    Administrative practice and procedure, Banks, banking. Holding 
companies, Reporting and recordkeeping requirements, Securities.

Authority and Issuance

    For the reasons stated in the preamble, the Board of Governors of 
the Federal Reserve System amends 12 CFR part 217 as follows:

PART 217--CAPITAL ADEQUACY OF BANK HOLDING COMPANIES, SAVINGS AND 
LOAN HOLDING COMPANIES, AND STATE MEMBER BANKS (REGULATION Q)

0
1. The authority citation for part 217 continues to read as follows:

    Authority: 12 U.S.C. 248(a), 321-338a, 481-486, 1462a, 1467a, 
1818, 1828, 1831n, 1831o, 1831p-l, 1831w, 1835, 1844(b), 1851, 3904, 
3906-3909, 4808, 5365, 5368, 5371.


0
2. Appendix A to part 217 is added to read as follows:

Appendix A to Part 217--The Federal Reserve Board's Framework for 
Implementing the Countercyclical Capital Buffer

1. Background

    (a) In 2013, the Board of Governors of the Federal Reserve 
System (Board) issued a final regulatory capital rule (Regulation Q) 
in coordination with the Office of the Comptroller of the Currency 
(OCC) and the Federal Deposit Insurance Corporation (FDIC) that 
strengthened risk-based and leverage capital requirements applicable 
to insured depository institutions and depository institution 
holding companies (banking organizations).\1\ Among those changes 
was the introduction of a countercyclical capital buffer (CCyB) for 
large, internationally active banking organizations.\2\
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    \1\ See 12 CFR part 217; Federal Reserve Board Approves Final 
Rule To Help Ensure Banks Maintain Strong Capital Positions (July 2, 
2013), available at http://www.federalreserve.gov; Agencies Adopt 
Supplementary Leverage Ratio Notice of Proposed Rulemaking (July 9, 
2013), available at http://www.occ.gov; and FDIC Board Approves 
Basel III Interim Final Rule and Supplementary Leverage Ratio Notice 
of Proposed Rulemaking (July 9, 2013) available at https://www.fdic.gov.
    \2\ 12 CFR 217.11(b). The CCyB applies only to banking 
organizations subject to the advanced approaches capital rules, 
which generally apply to those banking organizations with greater 
than $250 billion in assets or more than $10 billion in on-balance-
sheet foreign exposures. See 12 CFR 217.100(b). An advanced 
approaches institution is subject to the CCyB regardless of whether 
it has completed the parallel run process and received notification 
from its primary Federal supervisor. See 12 CFR 217.121(d).
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    (b) The CCyB is a supplemental, macroprudential policy tool that 
the Board can increase during periods of rising vulnerabilities in 
the financial system and reduce when vulnerabilities recede. It is 
designed to increase the resilience of large banking organizations 
when there is an elevated risk of above-normal losses. Increasing 
the resilience of large banking organizations will, in turn, improve 
the resilience of the broader financial system. Above-normal losses 
often follow periods of rapid asset price appreciation or credit 
growth that are not well supported by underlying economic 
fundamentals. The circumstances in which the Board would most likely 
begin to increase the CCyB above zero percent to augment minimum 
capital requirements and other capital buffers would be when 
systemic vulnerabilities are meaningfully above normal. By requiring 
large banking organizations to hold additional capital during those 
periods of excess and removing the requirement to hold additional 
capital when the vulnerabilities have diminished, the CCyB also is 
expected to moderate fluctuations in the supply of credit over time. 
Moderating the supply of credit may mitigate or prevent the 
conditions that contribute to above-normal losses, such as elevated 
asset prices and excessive leverage, and prevent or mitigate 
reductions in lending to creditworthy borrowers that can amplify an 
economic downturn. In this way, implementation of the CCyB also 
responds to the Dodd-Frank Act's requirement that the Board seek to 
make its capital requirements countercyclical.\3\
---------------------------------------------------------------------------

    \3\ 12 U.S.C. 1844(b), 1464a(g)(1), and 3907(a)(1) (codifying 
sections 616(a), (b), and (c) of the Dodd-Frank Act).
---------------------------------------------------------------------------

    (c) Regulation Q established the initial CCyB amount with 
respect to private sector credit exposures located in the United 
States (U.S.-based credit exposures) at zero percent and provided 
that the maximum potential amount of the CCyB for credit exposures 
in the United States was 2.5 percent of risk-weighted assets.\4\ The 
Board expects to make decisions about the appropriate level of the 
CCyB for U.S.-based credit exposures jointly with the OCC and FDIC, 
and expects that the CCyB amount for U.S.-based credit exposures 
will be the same for covered depository institution holding 
companies and insured depository institutions. The CCyB is designed 
to take into account the macrofinancial environment in which banking 
organizations function and the degree to which that environment 
impacts the resilience of advanced approaches institutions. 
Therefore, the appropriate level of the CCyB for U.S.-based credit 
exposures is not closely linked to the characteristics of an 
individual institution. Rather, the impact of the CCyB on any single 
institution will depend on the particular composition of the 
private-sector credit exposures of the institution across national 
jurisdictions.
---------------------------------------------------------------------------

    \4\ The CCyB is subject to a phase-in arrangement between 2016 
and 2019. See 12 CFR 217.300(a)(2).
---------------------------------------------------------------------------

2. Overview and Scope of the Policy Statement

    This Policy Statement describes the framework that the Board 
will follow in setting the amount of the CCyB for U.S.-based credit 
exposures. The framework consists of a set of principles for 
translating assessments of financial system vulnerabilities that are 
regularly undertaken by the Board into the appropriate level of the 
CCyB. Those assessments are informed by a broad array of 
quantitative indicators of financial and economic performance and a 
set of empirical models. In addition, the framework includes an 
assessment of whether the CCyB is the most appropriate policy 
instrument (among available policy instruments) to address the 
highlighted financial system vulnerabilities.

3. The Objectives of the CCyB

    (a) The objectives of the CCyB are to strengthen banking 
organizations' resilience against the build-up of systemic 
vulnerabilities and reduce fluctuations in the supply of credit. The 
CCyB supplements the minimum capital requirements and the capital 
conservation buffer, which themselves are designed to provide 
substantial resilience to unexpected losses created by normal 
fluctuations in economic and financial conditions. The capital 
surcharge on global systemically important banking organizations 
adds an additional layer of defense for the largest and most 
systemically important institutions, whose financial distress can 
have outsized effects on the rest of the financial system and the 
real economy.\5\ However, periods of financial excesses, for example 
as reflected in episodes of rapid asset price appreciation or credit 
growth not well supported by underlying economic fundamentals, are 
often followed by above-normal losses that leave banking 
organizations and other financial institutions undercapitalized. 
Therefore, the Board would most likely begin to increase the CCyB 
above zero in those circumstances when systemic vulnerabilities 
become meaningfully above normal and progressively raise the CCyB 
level if vulnerabilities become more severe.
---------------------------------------------------------------------------

    \5\ See, Federal Reserve Board Approves Final Rule Requiring The 
Largest, Most Systemically Important U.S. Bank Holding Companies To 
Further Strengthen Their Capital Positions (July 20, 2015), 
available at http://www.federalreserve.gov.
---------------------------------------------------------------------------

    (b) The CCyB is expected to help provide additional resilience 
for advanced approaches institutions, and by extension the

[[Page 63687]]

broader financial system, against elevated vulnerabilities primarily 
in two ways. First, advanced approaches institutions will likely 
hold more capital to avoid limitations on capital distributions and 
discretionary bonus payments resulting from implementation of the 
CCyB. Strengthening their capital positions when financial 
conditions are accommodative would increase the capacity of advanced 
approaches institutions to absorb outsized losses during a future 
significant economic downturn or period of financial instability, 
thus making them more resilient.
    (c) The second and related goal of the CCyB is to promote a more 
sustainable supply of credit over the economic cycle. During a 
credit cycle downturn, better-capitalized institutions have been 
shown to be more likely than weaker institutions to have continued 
access to funding. Better-capitalized institutions also are less 
likely to take actions that lead to broader financial-sector 
distress and its associated macroeconomic costs, such as large-scale 
sales of assets at prices below their fundamental value and sharp 
contractions in credit supply.\6\ Therefore, it is likely that as a 
result of the CCyB having been put into place during the preceding 
period of rapid credit creation, advanced approaches institutions 
would be better positioned to continue their important intermediary 
functions during a subsequent economic contraction. A timely and 
credible reduction in the CCyB requirement during a period of high 
credit losses could reinforce those beneficial effects of a higher 
base level of capital, because it would permit advanced approaches 
institutions either to realize loan losses promptly and remove them 
from their balance sheets or to expand their balance sheets, for 
example by continuing to lend to creditworthy borrowers.
---------------------------------------------------------------------------

    \6\ For additional background on the relationship between 
financial distress and economic outcomes, see Carmen Reinhart and 
Kenneth Rogoff (2009), This Time is Different. Princeton University 
Press; [Ograve]scar Jord[agrave] & Moritz Schularick & Alan M Taylor 
(2011), ``Financial Crises, Credit Booms, and External Imbalances: 
140 Years of Lessons,'' IMF Economic Review, Palgrave Macmillan, 
vol. 59(2), pages 340-378; and Bank for International Settlements 
(2010), ``Assessing the Long-Run Economic Impact of Higher Capital 
and Liquidity Requirements.''
---------------------------------------------------------------------------

    (d) During a period of cyclically increasing vulnerabilities, 
advanced approaches institutions might react to an increase in the 
CCyB by raising lending standards, otherwise reducing their risk 
exposure, augmenting their capital, or some combination of those 
actions. They may choose to raise capital by taking actions that 
would increase net income, reducing capital distributions such as 
share repurchases or dividends, or issuing new equity. In this 
regard, an increase in the CCyB would not prevent advanced 
approaches institutions from maintaining their important role as 
credit intermediaries, but would reduce the likelihood that banking 
organizations with insufficient capital would foster unsustainable 
credit growth or engage in imprudent risk taking. The specific 
combination of adjustments and the relative size of each adjustment 
will depend in part on the initial capital positions of advanced 
approaches institutions, the cost of debt and equity financing, and 
the earnings opportunities presented by the economic situation at 
the time.\7\
---------------------------------------------------------------------------

    \7\ For estimates of the size of certain adjustments, see Samuel 
G. Hanson, Anil K. Kashyap, and Jeremy C. Stein (2011), ``A 
Macroprudential Approach to Financial Regulation,'' Journal of 
Economic Perspectives 25(1), pp. 3-28; Skander J. Van den Heuvel 
(2008), ``The Welfare Cost of Bank Capital Requirements.'' Journal 
of Monetary Economics 55, pp. 298-320.
---------------------------------------------------------------------------

4. The Framework for Setting the U.S. CCyB

    (a) The Board regularly monitors and assesses threats to 
financial stability by synthesizing information from a comprehensive 
set of financial-sector and macroeconomic indicators, supervisory 
information, surveys, and other interactions with market 
participants.\8\ In forming its view about the appropriate size of 
the U.S. CCyB, the Board will consider a number of financial system 
vulnerabilities, including but not limited to, asset valuation 
pressures and risk appetite, leverage in the nonfinancial sector, 
leverage in the financial sector, and maturity and liquidity 
transformation in the financial sector. The decision will reflect 
the implications of the assessment of overall financial system 
vulnerabilities as well as any concerns related to one or more 
classes of vulnerabilities. The specific combination of 
vulnerabilities is important because an adverse shock to one class 
of vulnerabilities could be more likely than another to exacerbate 
existing pressures in other parts of the economy or financial 
system.
---------------------------------------------------------------------------

    \8\ Tobias Adrian, Daniel Covitz, and Nellie Liang (2014), 
``Financial Stability Monitoring.'' Finance and Economics Discussion 
Series 2013-021. Washington: Board of Governors of the Federal 
Reserve System, http://www.federalreserve.gov/pubs/feds/2013/201321/201321pap.pdf.
---------------------------------------------------------------------------

    (b) The Board intends to monitor a wide range of financial and 
macroeconomic quantitative indicators including, but not limited to, 
measures of relative credit and liquidity expansion or contraction, 
a variety of asset prices, funding spreads, credit condition 
surveys, indices based on credit default swap spreads, option 
implied volatilities, and measures of systemic risk.\9\ In addition, 
empirical models that translate a manageable set of quantitative 
indicators of financial and economic performance into potential 
settings for the CCyB, when used as part of a comprehensive 
judgmental assessment of all available information, can be a useful 
input to the Board's deliberations. Such models may include, but are 
not limited to, those that rely on small sets of indicators--such as 
the nonfinancial credit-to-GDP ratio, its growth rate, and 
combinations of the credit-to-GDP ratio with trends in the prices of 
residential and commercial real estate--which some academic research 
has shown to be useful in identifying periods of financial excess 
followed by a period of crisis on a cross-country basis.\10\ Such 
models may also include those that consider larger sets of 
indicators, which have the advantage of representing conditions in 
all key sectors of the economy, especially those specific to risk-
taking, performance, and the financial condition of large banks.\11\
---------------------------------------------------------------------------

    \9\ See 12 CFR 217.11(b)(2)(iv).
    \10\ See, e.g., Jorda, Oscar, Moritz Schularick and Alan Taylor, 
2013. ``When Credit Bites Back: Leverage, Business Cycles and 
Crises,'' Journal of Money, Credit, and Banking, 45(2), pp. 3-28, 
and Drehmann, Mathias, Claudio Borio, and Kostas Tsatsaronis, 2012. 
``Characterizing the Financial Cycle: Don't Lose Sight of the Medium 
Term!'' BIS Working Papers 380, Bank for International Settlements. 
Jorda, Oscar, Moritz Schularick and Alan Taylor, 2015. ``Leveraged 
Bubbles,'' Center for Economic Policy Research Discussion Paper No. 
DP10781. BCBS (2010), ``Guidance for National Authorities Operating 
the Countercyclical Capital Buffer,'' BIS.
    \11\ See, e.g., Aikman, David, Michael T. Kiley, Seung Jung Lee, 
Michael G. Palumbo, and Missaka N. Warusawitharana (2015), ``Mapping 
Heat in the U.S. Financial System,'' Finance and Economics 
Discussion Series 2015-059. Washington: Board of Governors of the 
Federal Reserve System, http://dx.doi.org/10.17016/FEDS.2015.059 
(providing an example of the range of indicators used and type of 
analysis possible).
---------------------------------------------------------------------------

    (c) However, no single indictor or fixed set of indicators can 
adequately capture all the vulnerabilities in the U.S. economy and 
financial system. Moreover, adjustments in the CCyB that were 
tightly linked to a specific model or set of models could be 
imprecise due to the relatively short period that some indicators 
are available, the limited number of past crises against which the 
models can be calibrated, and limited experience with the CCyB as a 
macroprudential tool. As a result, the types of indicators and 
models considered in assessments of the appropriate level of the 
CCyB are likely to change over time based on advances in research 
and the experience of the Board with this new macroprudential tool.
    (d) The Board will determine the appropriate level of the CCyB 
for U.S.-based credit exposures based on its analysis of the above 
factors. Generally, a zero percent U.S. CCyB amount would reflect an 
assessment that U.S. economic and financial conditions are broadly 
consistent with a financial system in which levels of system-wide 
vulnerabilities are within or near their normal range of values. The 
Board could increase the CCyB as vulnerabilities build. A 2.5 
percent CCyB amount for U.S.-based credit exposures, which is the 
maximum level under the Board's rule, would reflect an assessment 
that the U.S. financial sector is experiencing a period of 
significantly elevated or rapidly increasing system-wide 
vulnerabilities. Importantly, as a macroprudential policy tool, the 
CCyB will be activated and deactivated based on broad developments 
and trends in the U.S. financial system, rather than the activities 
of any individual banking organization.
    (e) Similarly, the Board would remove or reduce the CCyB when 
the conditions that led to its activation abate or lessen. 
Additionally, the Board would remove or reduce the CCyB when release 
of CCyB capital would promote financial stability. Indeed, for the 
CCyB to be most effective, the CCyB should be deactivated or reduced 
in a timely manner. Deactivating the CCyB in a timely manner could, 
for example, promote

[[Page 63688]]

the prompt realization of loan losses by advanced approaches 
institutions and the removal of such loans from their balance sheets 
and would reduce the likelihood that advanced approaches 
institutions would significantly pare their risk-weighted assets in 
order to maintain their capital ratios during a downturn.
    (f) The pace and magnitude of changes in the CCyB will depend 
importantly on the underlying conditions in the financial sector and 
the economy as well as the desired effects of the proposed change in 
the CCyB. If vulnerabilities are rising gradually, then incremental 
increases in the level of the CCyB may be appropriate. Incremental 
increases would allow banks to augment their capital primarily 
through retained earnings and allow policymakers additional time to 
assess the effects of the policy change before making subsequent 
adjustments. However, if vulnerabilities in the financial system are 
building rapidly, then larger or more frequent adjustments may be 
necessary to increase loss-absorbing capacity sooner and potentially 
to mitigate the rise in vulnerabilities.
    (g) The Board will also consider whether the CCyB is the most 
appropriate of its available policy instruments to address the 
financial system vulnerabilities highlighted by the framework's 
judgmental assessments and empirical models. The CCyB primarily is 
intended to address cyclical vulnerabilities, rather than structural 
vulnerabilities that do not vary significantly over time. Structural 
vulnerabilities are better addressed through targeted reforms or 
permanent increases in financial system resilience. Two central 
factors for the Board to consider are whether advanced approaches 
institutions are exposed--either directly or indirectly--to the 
vulnerabilities identified in the comprehensive judgmental 
assessment or by the quantitative indicators that suggest activation 
of the CCyB and whether advanced approaches institutions are 
contributing--either directly or indirectly--to these highlighted 
vulnerabilities.
    (h) In setting the CCyB for advanced approaches institutions 
that it supervises, the Board plans to consult with the OCC and FDIC 
on their analyses of financial system vulnerabilities and on the 
extent to which advanced approaches banking organizations are either 
exposed to or contributing to these vulnerabilities.

5. Communication of the U.S. CCyB With the Public

    (a) The Board expects to consider at least once per year the 
applicable level of the U.S. CCyB. The Board will review financial 
conditions regularly throughout the year and may adjust the CCyB 
more frequently as a result of those monitoring activities.
    (b) Further, the Board will continue to communicate with the 
public in other formats regarding its assessment of U.S. financial 
stability, including financial system vulnerabilities. In the event 
that the Board considered that a change in the CCyB were 
appropriate, it would, in proposing the change, include a discussion 
of the reasons for the proposed action as determined by the 
particular circumstances. In addition, the Board's biannual Monetary 
Policy Report to Congress, usually published in February and July, 
will continue to contain a section that reports on developments 
pertaining to the stability of the U.S. financial system.\12\ That 
portion of the report will be an important vehicle for updating the 
public on how the Board's current assessment of financial system 
vulnerabilities bears on the setting of the CCyB.
---------------------------------------------------------------------------

    \12\ For the most recent discussion in this format, see box 
titled ``Developments Related to Financial Stability'' in Board of 
Governors of the Federal Reserve System, Monetary Policy Report to 
Congress, June 2016, pp. 20-21.
---------------------------------------------------------------------------

6. Monitoring the Effects of the U.S. CCyB

    (a) The effects of the U.S. CCyB ultimately will depend on the 
level at which it is set, the size and nature of any adjustments in 
the level, and the timeliness with which it is increased or 
decreased. The extent to which the CCyB may affect vulnerabilities 
in the broader financial system depends upon a complex set of 
interactions between required capital levels at the largest banking 
organizations and the economy and financial markets. In addition to 
the direct effects, the secondary economic effects could be 
amplified if financial markets extract a signal from the 
announcement of a change in the CCyB about subsequent actions that 
might be taken by the Board. Moreover, financial market participants 
might react by updating their expectations about future asset prices 
in specific markets or broader economic activity based on the 
concerns expressed by the regulators in communications announcing a 
policy change.
    (b) The Board will monitor and analyze adjustments by banking 
organizations and other financial institutions to the CCyB: whether 
a change in the CCyB leads to observed changes in risk-based capital 
ratios at advanced approaches institutions, as well as whether those 
adjustments are achieved passively through retained earnings, or 
actively through changes in capital distributions or in risk-
weighted assets. Other factors to be monitored include the extent to 
which loan growth and interest rate spreads on loans made by 
affected banking organizations change relative to loan growth and 
loan spreads at banking organizations that are not subject to the 
buffer. Another consideration in setting the CCyB and other 
macroprudential tools is the extent to which the adjustments by 
advanced approaches institutions to higher capital buffers lead to 
migration of credit market activity outside of those banking 
organizations, especially to the nonbank financial sector. Depending 
on the amount of migration, which institutions are affected by it, 
and the remaining exposures of advanced approaches institutions, 
those adjustments could cause the Board to favor either a higher or 
a lower value of the CCyB.
    (c) The Board will also monitor information regarding the levels 
of and changes in the CCyB in other countries. The Basel Committee 
on Banking Supervision is expected to maintain this information for 
member countries in a publically available form on its Web site.\13\ 
Using that data in conjunction with supervisory and publicly 
available datasets, the Board will be able to draw not only upon the 
experience of the United States but also that of other countries to 
refine estimates of the effects of changes in the CCyB.
---------------------------------------------------------------------------

    \13\ BIS, Countercyclical capital buffer (CCyB), www.bis.org/bcbs/ccyb/index.htm.

    By order of the Board of Governors of the Federal Reserve 
System, September 8, 2016.
Robert deV. Frierson,
Secretary of the Board.
[FR Doc. 2016-21970 Filed 9-15-16; 8:45 am]
 BILLING CODE 6210-01-P



                                           63682            Federal Register / Vol. 81, No. 180 / Friday, September 16, 2016 / Rules and Regulations

                                           PART 983—PISTACHIOS GROWN IN                            III. Policy Statement                                 the Board generally intends to increase
                                           CALIFORNIA, ARIZONA, AND NEW                            IV. Administrative Law Matters                        the CCyB gradually, (2) that the Board
                                                                                                      A. Use of Plain Language                           expects to remove or reduce the CCyB
                                           MEXICO                                                     B. Paperwork Reduction Act Analysis
                                                                                                      C. Regulatory Flexibility Act Analysis
                                                                                                                                                         when the conditions that led to its
                                           ■ 1. The authority citation for 7 CFR                                                                         activation abate or lessen and when the
                                           part 983 continues to read as follows:                  I. Background                                         release of CCyB capital would promote
                                               Authority: 7 U.S.C. 601–674.                           In December 2015, the Board invited                financial stability. The discussion in
                                                                                                   public comment on a proposed policy                   Sections II and IV below responds to
                                           ■ 2. Section 983.253 is revised to read                                                                       comments on the proposal regarding the
                                           as follows:                                             statement describing the framework that
                                                                                                   the Board would use to set the amount                 Board’s process for setting the CCyB. In
                                           § 983.253    Assessment rate.                           of the U.S. countercyclical capital buffer            particular, as indicated below, the Board
                                             On and after September 1, 2016, an                    (CCyB) under the Board’s capital rules                would seek comment on any proposed
                                           assessment rate of $0.0010 per pound is                 (Regulation Q).1 The CCyB is a                        change to the CCyB amount and include
                                           established for California, Arizona, and                macroprudential policy tool that the                  a discussion of the reasons for the
                                           New Mexico pistachios.                                  Board can increase during periods of                  change.
                                                                                                   rising vulnerabilities in the financial               II. Purpose of CCyB
                                             Dated: September 12, 2016.
                                                                                                   system and reduce when vulnerabilities
                                           Elanor Starmer,                                         recede or when the release of the CCyB                   The CCyB is designed to increase the
                                           Administrator, Agricultural Marketing                   would promote financial stability.2 The               resilience of large banking organizations
                                           Service.                                                CCyB supplements the minimum capital                  when the Board sees an elevated risk of
                                           [FR Doc. 2016–22248 Filed 9–15–16; 8:45 am]             requirements and other capital buffers                above-normal losses. Increasing the
                                           BILLING CODE P                                          included in Regulation Q, which                       resilience of large banking organizations
                                                                                                   themselves are designed to provide                    should, in turn, improve the resilience
                                                                                                   substantial resilience to unexpected                  of the broader financial system. Above-
                                           FEDERAL RESERVE SYSTEM                                  losses created by normal fluctuations in              normal losses often follow periods of
                                                                                                   economic and financial conditions.                    rapid asset price appreciation or credit
                                           12 CFR Part 217                                            The proposed policy statement                      growth that are not well supported by
                                                                                                   outlined the factors the Board would                  underlying economic fundamentals. As
                                           [Docket No. R–1529; RIN 7100 AE–43]
                                                                                                   consider in setting the level of the                  stated in the proposed policy statement,
                                           Regulatory Capital Rules: The Federal                   CCyB, and the indicators it would                     the circumstances in which the Board
                                           Reserve Board’s Framework for                           monitor to help determine whether an                  would most likely use the CCyB as a
                                           Implementing the U.S. Basel III                         adjustment to the CCyB is appropriate.                supplemental, macroprudential tool to
                                           Countercyclical Capital Buffer                          The proposed policy statement also                    augment minimum capital requirements
                                                                                                   described the effects the Board will                  and other capital buffers would be to
                                           AGENCY:  Board of Governors of the                      monitor in determining whether the                    address circumstances when systemic
                                           Federal Reserve System.                                 CCyB is achieving the desired purposes                vulnerabilities are somewhat above
                                           ACTION: Final policy statement.                         of the CCyB.                                          normal. By requiring institutions to hold
                                                                                                      The Board received two comments on                 a larger capital buffer during periods
                                           SUMMARY:   The Board of Governors of the                the proposed policy statement.                        when systemic risk is increasing and
                                           Federal Reserve System (Board) is                       Commenters raised concerns about the                  reducing the buffer requirement as
                                           adopting a final policy statement (Policy               process that the Board would follow in                vulnerabilities diminish, the CCyB also
                                           Statement) describing the framework                     setting the CCyB pursuant to the policy               has the potential to moderate
                                           that the Board will follow under its                    statement, the potential economic                     fluctuations in the supply of credit over
                                           Regulation Q in setting the amount of                   impact of the CCyB, and the efficacy                  time.
                                           the U.S. countercyclical capital buffer                 and appropriateness of the CCyB as a                     The CCyB functions as an expansion
                                           for advanced approaches bank holding                    policy tool. Commenters also made                     of the Capital Conservation Buffer
                                           companies, savings and loan holding                     various specific suggestions as to the                (CCB), which is applicable to all
                                           companies, and state member banks.                      indicators and standards that the Board               banking organizations subject to
                                           DATES: The Policy Statement is effective                should consider in determining whether                Regulation Q. To avoid limits on capital
                                           October 14, 2016.                                       to activate the CCyB.                                 distributions and certain discretionary
                                                                                                      After reviewing comments, the Board                bonus payments,3 the CCB requires that
                                           FOR FURTHER INFORMATION CONTACT:
                                                                                                   is revising the final Policy Statement to
                                           William Bassett, Deputy Associate                                                                             a banking organization hold a buffer of
                                                                                                   clarify the following key items: (1) That
                                           Director, (202) 736–5644, or Rochelle                                                                         common equity tier 1 capital that is at
                                                                                                   the Board expects that the CCyB will be
                                           Edge, Deputy Associate Director, (202)                                                                        least 2.5 percent of the risk-weighted
                                                                                                   activated when systemic vulnerabilities
                                           452–2339, Division of Financial                                                                               assets in addition to the minimum risk-
                                                                                                   are meaningfully above normal and that
                                           Stability; Sean Campbell, Associate                                                                           based capital ratios. The CCB is divided
                                           Director, (202) 452–3760, Division of                      1 12 CFR part 217. See also 81 FR 5661 (February
                                                                                                                                                         into quartiles, each associated with
                                           Banking Supervision and Regulation;                     3, 2016).                                             increasingly stringent limitations on
                                           Benjamin W. McDonough, Special                             2 See 12 CFR 217.11(b). Implementation of the      capital distributions and certain
                                           Counsel, (202) 452–2036, Mark Buresh,                   CCyB also helps respond to the provision in the       discretionary bonus payments as the
                                           Senior Attorney, (202) 452–5270, or                     Dodd-Frank Wall Street Reform and Consumer            firm’s risk-based capital ratios approach
                                                                                                   Protection Act (Dodd-Frank Act) that the agencies
                                           Mary Watkins, Attorney, (202) 452–                                                                            regulatory minimums.4 The CCyB is an
Lhorne on DSK30JT082PROD with RULES




                                                                                                   ‘‘shall seek to make such [capital] requirements
                                           3722, Legal Division.                                   countercyclical, so that the amount of capital        additional, countercyclical buffer that
                                           SUPPLEMENTARY INFORMATION:                              required to be maintained by a company increases      has the same limitations on dividends
                                                                                                   in times of economic expansion and decreases in       and capital distributions as the CCB.
                                           Table of Contents                                       times of economic contraction, consistent with the
                                                                                                   safety and soundness of the company.’’ See 12
                                           I. Background                                           U.S.C. 1467a; 12 U.S.C. 1844; 12 U.S.C. 3907 (as        3 12   CFR 217.11(b)(1)(i).
                                           II. Summary of Comments on the Proposal                 amended by section 616 of the Dodd-Frank Act).          4 12   CFR 217.11(a).



                                      VerDate Sep<11>2014   13:04 Sep 15, 2016   Jkt 238001   PO 00000   Frm 00008   Fmt 4700   Sfmt 4700   E:\FR\FM\16SER1.SGM    16SER1


                                                            Federal Register / Vol. 81, No. 180 / Friday, September 16, 2016 / Rules and Regulations                                      63683

                                              The CCyB was introduced for large,                   will not exceed 2.5 percent of risk-                  condition of any individual banking
                                           internationally active banking                          weighted assets. This cap on the CCyB                 organization. However, the impact of
                                           organizations (advanced approaches                      will be phased in, with the maximum                   the CCyB requirement on a particular
                                           institutions) in June 2013 as part of the               potential amount of the CCyB for U.S.-                banking organization will vary based on
                                           revised regulatory capital rules issued                 based credit exposures 0.625 percentage               the organization’s particular
                                           by the Board in coordination with the                   points in 2016, 1.25 percentage points                composition of private-sector credit
                                           Office of the Comptroller of the                        in 2017, 1.875 percentage points in                   exposures located across national
                                           Currency (OCC) and the Federal Deposit                  2018, and 2.5 percentage points in 2019               jurisdictions.
                                           Insurance Corporation (FDIC).5 The                      and thereafter.12
                                                                                                      In order to provide banking                        III. Description of the Final Policy
                                           Board’s CCyB rule applies to bank
                                                                                                   organizations with sufficient time to                 Statement
                                           holding companies, savings and loan
                                           holding companies, and state member                     adjust to any change in the CCyB,                        The final policy statement (Policy
                                           banks subject to the advanced                           Regulation Q provides that a                          Statement) describes the framework that
                                           approaches capital rules (advanced                      determination to increase the                         the Board would follow in setting the
                                           approaches institutions).6 The advanced                 countercyclical capital buffer amount                 amount of the CCyB for U.S.-based
                                           approaches capital rules generally apply                generally will be effective 12 months                 credit exposures. The framework
                                           to banking organizations with greater                   from the date of announcement.                        consists of a set of principles for
                                           than $250 billion in total assets or $10                However, economic conditions may                      translating assessments of financial
                                           billion in on-balance-sheet foreign                     warrant an earlier or later effective                 system vulnerabilities that are regularly
                                           exposure and to any depository                          date.13 For example, it may be                        undertaken at the Board into the
                                           institution subsidiary of such banking                  appropriate for an increase in the                    appropriate level of the CCyB. Those
                                           organizations.7                                         countercyclical capital buffer amount to              assessments are informed by a broad
                                              Because the CCyB is intended to                      take effect 12 months from the date that              array of quantitative indicators of
                                           address elevated risks from activity that               the Board proposes the increase, rather               financial and economic performance
                                           is not well supported by underlying                     than 12 months from the issuance of a                 and a set of empirical models. In
                                           economic fundamentals, the location of                  final rule.                                           addition, the framework includes a
                                           the activity and the economic                              Regulation Q states that a decision by             discussion of how the Board would
                                           conditions where the activity take place                the Board to decrease the amount of the               assess whether the CCyB is the most
                                           provide important context. Accordingly,                 CCyB for U.S.-based credit exposures                  appropriate policy instrument (among
                                           the CCyB applies based on the location                  would become effective the day after the              available policy instruments) to address
                                           of private-sector credit exposures by                   Board decides to decrease the CCyB or                 the highlighted financial system
                                           national jurisdiction.8 Specifically, the               the earliest date permissible under                   vulnerabilities.
                                           applicable CCyB amount for a banking                    applicable law or regulation, whichever                  The Policy Statement is organized as
                                           organization is equal to the weighted                   is later.14 Moreover, the amount of the               follows. Section 1 provides background
                                           average of CCyB amounts established by                  CCyB for U.S.-based credit exposures                  on the Policy Statement. Section 2 is an
                                           the Board for the national jurisdictions                will return to 0 percent 12 months after              outline of the Policy Statement and
                                           where the banking organization has                      the effective date of any CCyB                        describes its scope. Section 3 provides
                                           private-sector credit exposures.9 The                   adjustment, unless the Board announces                a broad description of the objectives of
                                           CCyB amount applicable to a banking                     a decision to maintain the current                    the CCyB, including a description of the
                                           organization is weighted by jurisdiction                amount or adjust it again before the                  ways in which the CCyB is expected to
                                           according to the firm’s risk-weighted                   expiration of the 12-month period.15                  protect large banking organizations and
                                           private-sector credit exposures for a                      The Board expects to make decisions                the broader financial system. Section 4
                                           specific jurisdiction as a percentage of                about the appropriate level of the CCyB               provides a broad description of the
                                           the firm’s total risk-weighted private-                 on U.S.-based credit exposures jointly                factors that the Board considers in
                                           sector credit exposures.10                              with the OCC and FDIC. In addition, the               setting the CCyB, including specific
                                              Regulation Q established the initial                 Board expects that the CCyB amount for                financial system vulnerabilities and
                                           CCyB amount with respect to private-                    U.S.-based credit exposures would be                  types of quantitative indicators of
                                           sector credit exposures located in the                  the same for covered insured depository               financial and economic performance,
                                           United States (U.S.-based credit                        institutions as for covered depository                and outlines of empirical models the
                                           exposures) at zero percent.11 The CCyB                  institution holding companies. The                    Board may use as inputs to that
                                                                                                   CCyB is designed to take into account                 decision. Further, section 4 describes a
                                              5 See 78 FR 62018 (October 11, 2013) (Board and
                                                                                                   the broad macroeconomic and financial                 set of principles that the Board expects
                                           OCC); 79 FR 20754 (April 14, 2014) (FDIC). The          environment in which banking                          to use for combining judgmental
                                           Board’s Regulation Q applies generally to bank
                                           holding companies with more than $1 billion in          organizations function and the degree to              assessments with quantitative indicators
                                           total consolidated assets and savings and loan          which that environment impacts the                    to determine the appropriate level of the
                                           holding companies with more than $1 billion in          resilience of advanced approaches                     CCyB. Section 5 discusses how the
                                           total consolidated assets that are not substantially    institutions. Therefore, the Board’s
                                           engaged in commercial or insurance underwriting
                                                                                                                                                         Board will communicate the level of the
                                           activities. See 12 CFR 217.1(c)(1).                     determination of the appropriate level of             CCyB and any changes to the CCyB.
                                              6 An advanced approaches institution is subject to   the CCyB for U.S.-based credit                        Section 6 describes how the Board plans
                                           the CCyB regardless of whether it has completed the     exposures would be most directly                      to monitor the effects of the CCyB,
                                           parallel run process and received notification from     linked to the condition of the overall
                                           its primary Federal supervisor pursuant to section
                                                                                                                                                         including what indicators and effects
                                           217.121(d) of Regulation Q.                             financial environment rather than the                 will be monitored.
                                              7 12 CFR 217.100(b)(1).                                                                                       The Board has revised the Policy
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                                              8 12 CFR 217.11(b)(1). The Board may adjust the      issuance of the proposed policy statement. See        Statement to clarify that (1) the Board
                                           CCyB amount to reflect decisions made by foreign        http://www.federalreserve.gov/newsevents/press/       expects that the CCyB will be activated
                                           jurisdictions. See 12 CFR 217.11(b)(3).                 bcreg/20151221b.htm.
                                              9 12 CFR 217.11(b)(1).                                  12 12 CFR 217.300(a)(2).                           when systemic vulnerabilities are
                                              10 Id.                                                  13 12 CFR 217.11(b)(2)(v)(A).                      meaningfully above normal and the
                                              11 The Board affirmed the CCyB amount at the            14 12 CFR 217.11(b)(2)(v)(B).                      Board generally intends to increase the
                                           current level of 0 percent contemporaneously with          15 12 CFR 217.11(b)(2)(vi).                        CCyB gradually, and (2) the Board


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                                           63684               Federal Register / Vol. 81, No. 180 / Friday, September 16, 2016 / Rules and Regulations

                                           expects to remove or reduce the CCyB                       judgment of the facts and circumstances               when systemic vulnerabilities are
                                           when the conditions that led to its                        presented.                                            ‘‘meaningfully above normal.’’ For these
                                           activation abate or lessen and when                          A commenter argued that the Board                   purposes ‘‘meaningfully above normal’’
                                           release of CCyB capital would promote                      generally should not reciprocate                      would reflect an assessment by the
                                           financial stability. These changes were                    decisions by foreign jurisdictions                    Board that financial system
                                           made to sections 1, 3, and 4. In addition,                 regarding the level of the CCyB in such               vulnerabilities were above normal and
                                           minor clarifying and technical edits                       jurisdictions. If the Board did decide to             were either already at, or expected to
                                           were made throughout the Policy                            incorporate CCyB decisions of foreign                 build to, levels sufficient to generate
                                           Statement.                                                 jurisdictions, the commenter argued that              material unexpected losses in the event
                                                                                                      the Board should implement a de                       of an unfavorable development in
                                           IV. Changes To Address Comments on                         minimis threshold below which U.S.                    financial markets or the economy. The
                                           the Proposal                                               banking organizations would not have                  text in the policy statement has also
                                             As noted, the Board received two                         to recognize the CCyB established in the              been modified to clarify that systemic
                                           comments regarding the proposed                            foreign jurisdiction. The Policy                      vulnerabilities being meaningfully
                                           policy statement. Commenters                               Statement describes the framework that                above normal would correspond to the
                                           expressed concerns about the process                       the Board will follow in determining the              Board beginning to increase the CCyB
                                           that the Board would follow in setting                     CCyB for U.S. private-sector credit                   above zero and to provide additional
                                           the CCyB pursuant to the Policy                            exposures. The Board will address                     discussion of when and how the Board
                                           Statement, the potential economic                          separately CCyB adjustments made by                   would deactivate or reduce the CCyB.
                                           impact of the CCyB, and the appropriate                    foreign jurisdictions as needed.                         Commenters argued that the Board
                                           uses of the CCyB.                                                                                                should conduct and release analyses of
                                                                                                      B. Comments Regarding the Calibration
                                                                                                                                                            the economic impact and costs and
                                           A. Comments Regarding the Board’s                          of, Inputs Into, and Impact of the CCyB
                                                                                                                                                            benefits of the CCyB in connection with
                                           Process for Setting the CCyB                                 A commenter argued that the CCyB                    the proposed policy statement as well as
                                              Commenters expressed concern that                       should be increased only when credit                  with any decision to increase the level
                                           the Board would apply the CCyB                             growth was considered excessive, rather               of the CCyB. Commenters contended
                                           without completing the procedures                          than when systemic vulnerabilities were               that such analyses should take into
                                           required by the Administrative                             somewhat above normal, as suggested                   account other existing prudential
                                           Procedure Act (APA).16 In particular,                      by the proposal.                                      regulation, including other regulatory
                                           commenters argued that notice and                            The CCyB is a macroprudential policy                capital requirements, and consider
                                           comment rulemaking procedures should                       tool intended to strengthen banking                   whether alternative policy tools may be
                                           be used to increase the CCyB above                         organizations’ resilience against the                 more effective for a particular situation.
                                           zero, and for each future increase.                        build-up of systemic vulnerabilities and              The commenters expressed concern that
                                              The Board’s rule implementing the                       reduce fluctuations in the supply of                  there could be material adverse
                                           CCyB specifically provides that the                        credit. As stated in the proposed policy              economic consequences to activation of
                                           Board will adjust the CCyB amount in                       statement, activation of the CCyB at a                the CCyB. Similarly, one commenter
                                           accordance with applicable law.17 In                       time when systemic vulnerabilities are                argued that the Board should conduct a
                                           accordance with this provision of its                      somewhat above normal reflects the                    comprehensive analysis of the costs and
                                           rules, the Board expects to set the level                  prophylactic and countercyclical goals                benefits of regulatory capital
                                           of the CCyB above zero through a public                    of this tool as well as the process and               requirements, including the CCyB, as
                                           notice and comment rulemaking, or                          12-month phase-in period that generally               well as prudential liquidity regulations
                                           through an order issued in accordance                      applies before any activation of the                  and regulations established by other
                                           with the APA that provides each                            CCyB amount would take effect.                        agencies.
                                           affected institution with actual notice                    Moreover, activation of the CCyB at a                    Commenters also argued that the
                                           and an opportunity for comment. In                         time when systemic vulnerabilities are                Board should provide additional detail
                                           setting the level of the CCyB above zero                   somewhat above normal rather than                     regarding the data, models, and metrics
                                           through a public rulemaking, the Board                     delaying until systemic vulnerabilities               that would inform a decision to activate
                                           generally expects that the notice and                      are excessive would allow gradual                     the CCyB, as well as the standards that
                                           comment period would be at least 30                        increases in the CCyB, which would                    would be applied to determine the
                                           days. The Policy Statement is intended                     provide additional flexibility (over and              calibration of the CCyB. Additionally,
                                           to provide insight on the framework that                   above the 12-month phase-in period) to                commenters raised issues with certain
                                           the Board will use to determine the                        banking organizations as they adjust to               of the indicators identified in the Policy
                                           appropriate level of the CCyB, not to                      any increases. That is, activation of the             Statement. For instance, a commenter
                                           alter procedures necessary to increase                     CCyB at a time when systemic                          cautioned that no academic consensus
                                           the CCyB in the future.                                    vulnerabilities are somewhat above                    had been reached with regard to the
                                              A commenter suggested that the                          normal would likely not be associated                 usefulness of a credit-to-GDP ratio gap
                                           Board should commit to act jointly with                    with an activation of the CCyB to the                 as an indicator of economic conditions.
                                           the OCC and FDIC in any decision to                        upper end of its possible range. Further,                The final Policy Statement provides
                                           activate the CCyB. Consistent with                         the Board considers ‘‘systemic                        additional information to the public
                                           Regulation Q and the proposal, the                         vulnerabilities’’ to be the appropriate               regarding the framework that the Board
                                           Board expects that any decision to                         reference point because the CCyB could                will follow in setting the CCyB. The
                                           adjust the CCyB will be made jointly by                    be an effective tool in addressing a                  Policy Statement itself does not change
                                           the OCC, FDIC, and Board. However, the                     variety of financial system                           either the CCyB or the capital
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                                           Board will make decisions regarding the                    vulnerabilities, not merely credit                    requirements applicable to advanced
                                           appropriate amount of the CCyB for the                     growth.                                               approaches banking organizations. As
                                           firms that it supervises based on its                        To further clarify when the Board                   described above, the Board generally
                                                                                                      would expect to increase the CCyB, the                would expect to provide notice to the
                                             16 5   U.S.C. 551 et seq.                                Policy Statement has been modified to                 public and seek comment on the
                                             17 12   CFR 217.11(b)(2)(ii).                            state that the CCyB would be increased                proposed level of the CCyB as part of


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                                                            Federal Register / Vol. 81, No. 180 / Friday, September 16, 2016 / Rules and Regulations                                                 63685

                                           making any final determination to                       large and closely regulated commercial                undue burdens on, or have unintended
                                           change the CCyB. Any proposed change                    banks and into the shadow banking                     consequences for, small banking
                                           in the level of the CCyB would include                  system. In addition, a commenter                      organizations. The Board received one
                                           a discussion of the reasons for the                     argued that advanced approaches                       comment on this aspect of the proposal,
                                           proposed action as determined by the                    banking organizations were subject to                 which argued that the Board’s initial
                                           particular circumstances.                               significant capital, liquidity, and other             regulatory flexibility analysis was
                                              One commenter stated that the FFIEC                  prudential requirements such that they                flawed in asserting that small banking
                                           009 reporting form requires firms to                    were likely to be resilient in the event              organizations would not be affected by
                                           report information that is not aligned                  of adverse economic conditions. As a                  the proposal because of the broader
                                           with the information needed to                          result, the commenter argued, advanced                impact that the CCyB could have on
                                           determine the CCyB amount applicable                    approaches banking organizations were                 lending and economic growth in
                                           to a firm and that the Board should                     unlikely to be made materially more                   general.
                                           amend the FFIEC 009 to align with                       resilient as a result of imposition of the               This Policy Statement will be added
                                           CCyB in order to reduce burden. The                     CCyB.                                                 as an appendix to Regulation Q to
                                           Board may consider reporting for                           As reflected in the Policy Statement,              describe the framework that the Board
                                           purposes of the CCyB at a later date.                   the pace and magnitude of changes in                  will follow in setting the amount of the
                                              The Board recognizes that no single                  the CCyB will depend on the underlying                CCyB for U.S.-based credit exposures.
                                           data point or indicator can provide a                   conditions in the financial sector and                The CCyB only applies to bank holding
                                           comprehensive understanding of                          the economy, the desired effects of the               companies, savings and loan holding
                                           economic conditions or systemic                         proposed change in the CCyB, and                      companies, and state member banks that
                                           vulnerabilities. The items for                          consideration of whether the CCyB is                  are advanced approaches Board-
                                           consideration listed in the Policy                      the most appropriate of the Board’s                   regulated institutions for purposes of
                                           Statement are a non-exclusive list of                   available policy instruments to address               the Board’s Regulation Q (advanced
                                           quantitative and qualitative indicators                 the financial system vulnerabilities. A               approaches banking organizations). The
                                           that may inform the Board’s assessment                  natural corollary to this analysis would              Regulatory Flexibility Act requires
                                           of economic conditions and                              be consideration of whether the CCyB                  consideration only of the impact of the
                                           determinations regarding the                            could be expected to increase other                   proposed rule on small entities that are
                                           appropriate level of the CCyB. As                       systemic vulnerabilities. The CCyB is                 subject to the requirements of the rule,
                                           explained in the proposed and final                     one of several policy tools available to              as opposed to small entities indirectly
                                           Policy Statement, some academic                         the Board. In determining whether or                  affected by the rule through its impact
                                           research has shown the credit-to-GDP                    not to change the CCyB, the Board will                on the national economy.18 Generally,
                                           ratio to be useful in identifying periods               consider whether the CCyB is the most                 advanced approaches banking
                                           of financial excess followed by a period                appropriate of available policy tools,                organizations are those with total
                                           of crisis. However, the Board does not                  and whether the CCyB would be most                    consolidated assets of $250 billion or
                                           expect this indicator to be used in                     effective if used in conjunction with                 more, that have total consolidated on-
                                           isolation. Furthermore, as noted, any                   other policy tools.                                   balance sheet foreign exposures of $10
                                           proposal to increase the CCyB will                                                                            billion or more, that have subsidiary
                                           include a discussion of the indicators                  V. Administrative Law Matters
                                                                                                                                                         depository institutions that are
                                           informing the proposal, and will seek                   A. Use of Plain Language                              advanced approaches institutions, or
                                           comment on the interpretation of these                    Section 722 of the Gramm-Leach-                     that elect to use the advanced
                                           indicators. As noted above, the Board                   Bliley Act (Pub. L. 106–102, 113 Stat.                approaches framework.19 Under
                                           expects that the types of indicators and                1338, 1471, 12 U.S.C. 4809) requires the              regulations issued by the Small
                                           models considered will evolve over                      Federal banking agencies to use plain                 Business Administration, a small entity
                                           time, based on advances in research and                 language in all proposed and final rules              includes a depository institution, bank
                                           the experience of the Board with this                   published after January 1, 2000. The                  holding company, or savings and loan
                                           tool.                                                   Board received no comments on the use                 holding company with assets of $550
                                              Commenters argued that the CCyB                                                                            million or less (small banking
                                                                                                   of plain language.
                                           would not be effective in containing                                                                          organizations).20 As of June 30, 2016,
                                           asset bubbles or excessive credit risks                 B. Paperwork Reduction Act Analysis                   there were approximately 3,204 small
                                           because these tend to occur within                        In accordance with the requirements                 bank holding companies, 157 small
                                           sectors as opposed to across the                        of the Paperwork Reduction Act of 1995                savings and loan holding companies,
                                           financial system equally. A commenter                   (44 U.S.C. 3506), the Board has                       and 594 small state member banks.
                                           suggested that targeted guidance for                    reviewed the Policy Statement to assess               Banking organizations that are subject to
                                           particular sectors would likely be more                 any information collections. There are                the final rule therefore are expected to
                                           effective at containing risks of this type              no collections of information as defined              substantially exceed the $550 million
                                           than a broad based capital charge                       by the Paperwork Reduction Act in the                 asset threshold at which a banking
                                           imposed by the CCyB.                                    proposal.                                             entity would qualify as a small bank
                                              Commenters also argued that the
                                           CCyB would not be effective in                          C. Regulatory Flexibility Act Analysis                   18 See e.g., Aeronautical Repair Station

                                           addressing many systemic                                   The Board is providing a final                     Association v. Federal Aviation Administration, 494
                                           vulnerabilities because it applies only to              regulatory flexibility analysis with                  F.3d 161, 174–178 (D.C. Cir. 2007).
                                                                                                                                                            19 See 12 CFR 217.100.
                                           advanced approaches banking                             respect to this Policy Statement. The                    20 See 13 CFR 121.201. Effective July 14, 2014, the
                                           organizations, which, while significant,                Regulatory Flexibility Act, 5 U.S.C. 601
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                                                                                                                                                         Small Business Administration revised the size
                                           represent a relatively small percentage                 et seq. (RFA), generally requires that an             standards for banking organizations to $550 million
                                           of the total provision of credit in the                 agency provide a regulatory flexibility               in assets from $500 million in assets. 79 FR 33647
                                           U.S. economy. A commenter contended                     analysis in connection with a final                   (June 12, 2014). The Small Business
                                                                                                                                                         Administration’s June 12, 2014, interim final rule
                                           that activation of the CCyB might                       rulemaking.                                           was adopted without change as a final rule by the
                                           exacerbate risk in the financial system                    The Board sought comment on                        Small Business Administration on January 12, 2016.
                                           by shifting lending activity away from                  whether the proposal would impose                     81 FR 3949 (January 25, 2016).



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                                           63686            Federal Register / Vol. 81, No. 180 / Friday, September 16, 2016 / Rules and Regulations

                                           holding company. As a result, the final                  changes was the introduction of a                       CCyB amount for U.S.-based credit exposures
                                           rule is not expected to apply directly to                countercyclical capital buffer (CCyB) for               will be the same for covered depository
                                           any small banking organizations for                      large, internationally active banking                   institution holding companies and insured
                                                                                                    organizations.2                                         depository institutions. The CCyB is
                                           purposes of the RFA.
                                                                                                      (b) The CCyB is a supplemental,                       designed to take into account the
                                              Therefore, there are no significant                   macroprudential policy tool that the Board              macrofinancial environment in which
                                           alternatives to the final rule that would                can increase during periods of rising                   banking organizations function and the
                                           have less economic impact on small                       vulnerabilities in the financial system and             degree to which that environment impacts
                                           bank holding companies. As discussed                     reduce when vulnerabilities recede. It is               the resilience of advanced approaches
                                           above, there are no projected reporting,                 designed to increase the resilience of large            institutions. Therefore, the appropriate level
                                           recordkeeping, and other compliance                      banking organizations when there is an                  of the CCyB for U.S.-based credit exposures
                                           requirements of the final rule. The                      elevated risk of above-normal losses.                   is not closely linked to the characteristics of
                                           Board does not believe that the final                    Increasing the resilience of large banking              an individual institution. Rather, the impact
                                                                                                    organizations will, in turn, improve the                of the CCyB on any single institution will
                                           rule duplicates, overlaps, or conflicts                  resilience of the broader financial system.             depend on the particular composition of the
                                           with any other Federal rules. In light of                Above-normal losses often follow periods of             private-sector credit exposures of the
                                           the foregoing, the Board does not                        rapid asset price appreciation or credit                institution across national jurisdictions.
                                           believe that the final rule would have a                 growth that are not well supported by
                                                                                                                                                            2. Overview and Scope of the Policy
                                           significant economic impact on a                         underlying economic fundamentals. The
                                                                                                                                                            Statement
                                           substantial number of small entities.                    circumstances in which the Board would
                                              In light of the foregoing, the Board                  most likely begin to increase the CCyB above               This Policy Statement describes the
                                                                                                    zero percent to augment minimum capital                 framework that the Board will follow in
                                           does not believe that the final rule will
                                                                                                    requirements and other capital buffers would            setting the amount of the CCyB for U.S.-based
                                           have a significant impact on small                                                                               credit exposures. The framework consists of
                                                                                                    be when systemic vulnerabilities are
                                           entities.                                                meaningfully above normal. By requiring                 a set of principles for translating assessments
                                           List of Subjects in 12 CFR Part 217                      large banking organizations to hold                     of financial system vulnerabilities that are
                                                                                                    additional capital during those periods of              regularly undertaken by the Board into the
                                             Administrative practice and                            excess and removing the requirement to hold             appropriate level of the CCyB. Those
                                           procedure, Banks, banking. Holding                       additional capital when the vulnerabilities             assessments are informed by a broad array of
                                           companies, Reporting and                                 have diminished, the CCyB also is expected              quantitative indicators of financial and
                                           recordkeeping requirements, Securities.                  to moderate fluctuations in the supply of               economic performance and a set of empirical
                                                                                                    credit over time. Moderating the supply of              models. In addition, the framework includes
                                           Authority and Issuance                                   credit may mitigate or prevent the conditions           an assessment of whether the CCyB is the
                                                                                                    that contribute to above-normal losses, such            most appropriate policy instrument (among
                                             For the reasons stated in the                                                                                  available policy instruments) to address the
                                           preamble, the Board of Governors of the                  as elevated asset prices and excessive
                                                                                                    leverage, and prevent or mitigate reductions            highlighted financial system vulnerabilities.
                                           Federal Reserve System amends 12 CFR
                                                                                                    in lending to creditworthy borrowers that can           3. The Objectives of the CCyB
                                           part 217 as follows:                                     amplify an economic downturn. In this way,
                                                                                                                                                               (a) The objectives of the CCyB are to
                                                                                                    implementation of the CCyB also responds to
                                           PART 217—CAPITAL ADEQUACY OF                             the Dodd-Frank Act’s requirement that the
                                                                                                                                                            strengthen banking organizations’ resilience
                                           BANK HOLDING COMPANIES,                                                                                          against the build-up of systemic
                                                                                                    Board seek to make its capital requirements
                                           SAVINGS AND LOAN HOLDING                                                                                         vulnerabilities and reduce fluctuations in the
                                                                                                    countercyclical.3
                                           COMPANIES, AND STATE MEMBER                                                                                      supply of credit. The CCyB supplements the
                                                                                                      (c) Regulation Q established the initial
                                                                                                                                                            minimum capital requirements and the
                                           BANKS (REGULATION Q)                                     CCyB amount with respect to private sector
                                                                                                                                                            capital conservation buffer, which
                                                                                                    credit exposures located in the United States
                                                                                                                                                            themselves are designed to provide
                                           ■ 1. The authority citation for part 217                 (U.S.-based credit exposures) at zero percent
                                                                                                                                                            substantial resilience to unexpected losses
                                           continues to read as follows:                            and provided that the maximum potential                 created by normal fluctuations in economic
                                                                                                    amount of the CCyB for credit exposures in              and financial conditions. The capital
                                             Authority: 12 U.S.C. 248(a), 321–338a,
                                                                                                    the United States was 2.5 percent of risk-              surcharge on global systemically important
                                           481–486, 1462a, 1467a, 1818, 1828, 1831n,
                                                                                                    weighted assets.4 The Board expects to make             banking organizations adds an additional
                                           1831o, 1831p–l, 1831w, 1835, 1844(b), 1851,
                                                                                                    decisions about the appropriate level of the            layer of defense for the largest and most
                                           3904, 3906–3909, 4808, 5365, 5368, 5371.
                                                                                                    CCyB for U.S.-based credit exposures jointly            systemically important institutions, whose
                                           ■ 2. Appendix A to part 217 is added to                  with the OCC and FDIC, and expects that the             financial distress can have outsized effects on
                                           read as follows:                                                                                                 the rest of the financial system and the real
                                                                                                    available at http://www.federalreserve.gov;             economy.5 However, periods of financial
                                           Appendix A to Part 217—The Federal                       Agencies Adopt Supplementary Leverage Ratio             excesses, for example as reflected in episodes
                                           Reserve Board’s Framework for                            Notice of Proposed Rulemaking (July 9, 2013),
                                                                                                                                                            of rapid asset price appreciation or credit
                                           Implementing the Countercyclical                         available at http://www.occ.gov; and FDIC Board
                                                                                                    Approves Basel III Interim Final Rule and               growth not well supported by underlying
                                           Capital Buffer                                           Supplementary Leverage Ratio Notice of Proposed         economic fundamentals, are often followed
                                           1. Background                                            Rulemaking (July 9, 2013) available at https://         by above-normal losses that leave banking
                                                                                                    www.fdic.gov.                                           organizations and other financial institutions
                                              (a) In 2013, the Board of Governors of the              2 12 CFR 217.11(b). The CCyB applies only to          undercapitalized. Therefore, the Board would
                                           Federal Reserve System (Board) issued a final            banking organizations subject to the advanced           most likely begin to increase the CCyB above
                                           regulatory capital rule (Regulation Q) in                approaches capital rules, which generally apply to      zero in those circumstances when systemic
                                           coordination with the Office of the                      those banking organizations with greater than $250      vulnerabilities become meaningfully above
                                           Comptroller of the Currency (OCC) and the                billion in assets or more than $10 billion in on-       normal and progressively raise the CCyB
                                           Federal Deposit Insurance Corporation                    balance-sheet foreign exposures. See 12 CFR
                                                                                                                                                            level if vulnerabilities become more severe.
                                           (FDIC) that strengthened risk-based and                  217.100(b). An advanced approaches institution is
                                                                                                    subject to the CCyB regardless of whether it has           (b) The CCyB is expected to help provide
                                           leverage capital requirements applicable to              completed the parallel run process and received         additional resilience for advanced
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                                           insured depository institutions and                      notification from its primary Federal supervisor.       approaches institutions, and by extension the
                                           depository institution holding companies                 See 12 CFR 217.121(d).
                                           (banking organizations).1 Among those                      3 12 U.S.C. 1844(b), 1464a(g)(1), and 3907(a)(1)        5 See, Federal Reserve Board Approves Final Rule
                                                                                                    (codifying sections 616(a), (b), and (c) of the Dodd-   Requiring The Largest, Most Systemically Important
                                            1 See 12 CFR part 217; Federal Reserve Board            Frank Act).                                             U.S. Bank Holding Companies To Further
                                           Approves Final Rule To Help Ensure Banks                   4 The CCyB is subject to a phase-in arrangement       Strengthen Their Capital Positions (July 20, 2015),
                                           Maintain Strong Capital Positions (July 2, 2013),        between 2016 and 2019. See 12 CFR 217.300(a)(2).        available at http://www.federalreserve.gov.



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                                                            Federal Register / Vol. 81, No. 180 / Friday, September 16, 2016 / Rules and Regulations                                                  63687

                                           broader financial system, against elevated              on the initial capital positions of advanced            include those that consider larger sets of
                                           vulnerabilities primarily in two ways. First,           approaches institutions, the cost of debt and           indicators, which have the advantage of
                                           advanced approaches institutions will likely            equity financing, and the earnings                      representing conditions in all key sectors of
                                           hold more capital to avoid limitations on               opportunities presented by the economic                 the economy, especially those specific to
                                           capital distributions and discretionary bonus           situation at the time.7                                 risk-taking, performance, and the financial
                                           payments resulting from implementation of                                                                       condition of large banks.11
                                                                                                   4. The Framework for Setting the U.S. CCyB
                                           the CCyB. Strengthening their capital                                                                              (c) However, no single indictor or fixed set
                                           positions when financial conditions are                    (a) The Board regularly monitors and                 of indicators can adequately capture all the
                                           accommodative would increase the capacity               assesses threats to financial stability by              vulnerabilities in the U.S. economy and
                                           of advanced approaches institutions to                  synthesizing information from a                         financial system. Moreover, adjustments in
                                           absorb outsized losses during a future                  comprehensive set of financial-sector and               the CCyB that were tightly linked to a
                                           significant economic downturn or period of              macroeconomic indicators, supervisory                   specific model or set of models could be
                                           financial instability, thus making them more            information, surveys, and other interactions            imprecise due to the relatively short period
                                           resilient.                                              with market participants.8 In forming its               that some indicators are available, the limited
                                              (c) The second and related goal of the               view about the appropriate size of the U.S.             number of past crises against which the
                                           CCyB is to promote a more sustainable                   CCyB, the Board will consider a number of               models can be calibrated, and limited
                                           supply of credit over the economic cycle.               financial system vulnerabilities, including             experience with the CCyB as a
                                           During a credit cycle downturn, better-                 but not limited to, asset valuation pressures           macroprudential tool. As a result, the types
                                           capitalized institutions have been shown to             and risk appetite, leverage in the                      of indicators and models considered in
                                           be more likely than weaker institutions to              nonfinancial sector, leverage in the financial          assessments of the appropriate level of the
                                           have continued access to funding. Better-               sector, and maturity and liquidity                      CCyB are likely to change over time based on
                                           capitalized institutions also are less likely to        transformation in the financial sector. The             advances in research and the experience of
                                           take actions that lead to broader financial-            decision will reflect the implications of the           the Board with this new macroprudential
                                           sector distress and its associated                      assessment of overall financial system                  tool.
                                           macroeconomic costs, such as large-scale                vulnerabilities as well as any concerns                    (d) The Board will determine the
                                           sales of assets at prices below their                   related to one or more classes of                       appropriate level of the CCyB for U.S.-based
                                           fundamental value and sharp contractions in             vulnerabilities. The specific combination of            credit exposures based on its analysis of the
                                           credit supply.6 Therefore, it is likely that as         vulnerabilities is important because an                 above factors. Generally, a zero percent U.S.
                                           a result of the CCyB having been put into               adverse shock to one class of vulnerabilities           CCyB amount would reflect an assessment
                                           place during the preceding period of rapid              could be more likely than another to                    that U.S. economic and financial conditions
                                           credit creation, advanced approaches                    exacerbate existing pressures in other parts of         are broadly consistent with a financial
                                           institutions would be better positioned to              the economy or financial system.                        system in which levels of system-wide
                                           continue their important intermediary                      (b) The Board intends to monitor a wide              vulnerabilities are within or near their
                                           functions during a subsequent economic                  range of financial and macroeconomic                    normal range of values. The Board could
                                           contraction. A timely and credible reduction            quantitative indicators including, but not              increase the CCyB as vulnerabilities build. A
                                           in the CCyB requirement during a period of              limited to, measures of relative credit and             2.5 percent CCyB amount for U.S.-based
                                           high credit losses could reinforce those                liquidity expansion or contraction, a variety           credit exposures, which is the maximum
                                           beneficial effects of a higher base level of            of asset prices, funding spreads, credit                level under the Board’s rule, would reflect an
                                           capital, because it would permit advanced               condition surveys, indices based on credit              assessment that the U.S. financial sector is
                                           approaches institutions either to realize loan          default swap spreads, option implied                    experiencing a period of significantly
                                           losses promptly and remove them from their              volatilities, and measures of systemic risk.9           elevated or rapidly increasing system-wide
                                           balance sheets or to expand their balance               In addition, empirical models that translate            vulnerabilities. Importantly, as a
                                           sheets, for example by continuing to lend to            a manageable set of quantitative indicators of          macroprudential policy tool, the CCyB will
                                                                                                   financial and economic performance into                 be activated and deactivated based on broad
                                           creditworthy borrowers.
                                                                                                   potential settings for the CCyB, when used as           developments and trends in the U.S.
                                              (d) During a period of cyclically increasing
                                                                                                   part of a comprehensive judgmental                      financial system, rather than the activities of
                                           vulnerabilities, advanced approaches
                                                                                                   assessment of all available information, can            any individual banking organization.
                                           institutions might react to an increase in the
                                                                                                   be a useful input to the Board’s deliberations.            (e) Similarly, the Board would remove or
                                           CCyB by raising lending standards, otherwise
                                                                                                   Such models may include, but are not                    reduce the CCyB when the conditions that
                                           reducing their risk exposure, augmenting
                                                                                                   limited to, those that rely on small sets of            led to its activation abate or lessen.
                                           their capital, or some combination of those
                                                                                                   indicators—such as the nonfinancial credit-             Additionally, the Board would remove or
                                           actions. They may choose to raise capital by
                                                                                                   to-GDP ratio, its growth rate, and                      reduce the CCyB when release of CCyB
                                           taking actions that would increase net
                                                                                                   combinations of the credit-to-GDP ratio with            capital would promote financial stability.
                                           income, reducing capital distributions such             trends in the prices of residential and
                                           as share repurchases or dividends, or issuing                                                                   Indeed, for the CCyB to be most effective, the
                                                                                                   commercial real estate—which some                       CCyB should be deactivated or reduced in a
                                           new equity. In this regard, an increase in the          academic research has shown to be useful in
                                           CCyB would not prevent advanced                                                                                 timely manner. Deactivating the CCyB in a
                                                                                                   identifying periods of financial excess                 timely manner could, for example, promote
                                           approaches institutions from maintaining                followed by a period of crisis on a cross-
                                           their important role as credit intermediaries,          country basis.10 Such models may also
                                           but would reduce the likelihood that banking                                                                    Money, Credit, and Banking, 45(2), pp. 3–28, and
                                           organizations with insufficient capital would                                                                   Drehmann, Mathias, Claudio Borio, and Kostas
                                                                                                     7 For estimates of the size of certain adjustments,
                                           foster unsustainable credit growth or engage                                                                    Tsatsaronis, 2012. ‘‘Characterizing the Financial
                                                                                                   see Samuel G. Hanson, Anil K. Kashyap, and              Cycle: Don’t Lose Sight of the Medium Term!’’ BIS
                                           in imprudent risk taking. The specific                  Jeremy C. Stein (2011), ‘‘A Macroprudential             Working Papers 380, Bank for International
                                           combination of adjustments and the relative             Approach to Financial Regulation,’’ Journal of          Settlements. Jorda, Oscar, Moritz Schularick and
                                           size of each adjustment will depend in part             Economic Perspectives 25(1), pp. 3–28; Skander J.       Alan Taylor, 2015. ‘‘Leveraged Bubbles,’’ Center for
                                                                                                   Van den Heuvel (2008), ‘‘The Welfare Cost of Bank       Economic Policy Research Discussion Paper No.
                                              6 For additional background on the relationship      Capital Requirements.’’ Journal of Monetary             DP10781. BCBS (2010), ‘‘Guidance for National
                                           between financial distress and economic outcomes,       Economics 55, pp. 298–320.                              Authorities Operating the Countercyclical Capital
                                                                                                     8 Tobias Adrian, Daniel Covitz, and Nellie Liang
                                           see Carmen Reinhart and Kenneth Rogoff (2009),                                                                  Buffer,’’ BIS.
                                           This Time is Different. Princeton University Press;     (2014), ‘‘Financial Stability Monitoring.’’ Finance       11 See, e.g., Aikman, David, Michael T. Kiley,
                                                                                                   and Economics Discussion Series 2013–021.
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                                           Òscar Jordà & Moritz Schularick & Alan M Taylor                                                               Seung Jung Lee, Michael G. Palumbo, and Missaka
                                           (2011), ‘‘Financial Crises, Credit Booms, and           Washington: Board of Governors of the Federal           N. Warusawitharana (2015), ‘‘Mapping Heat in the
                                           External Imbalances: 140 Years of Lessons,’’ IMF        Reserve System, http://www.federalreserve.gov/          U.S. Financial System,’’ Finance and Economics
                                           Economic Review, Palgrave Macmillan, vol. 59(2),        pubs/feds/2013/201321/201321pap.pdf.                    Discussion Series 2015–059. Washington: Board of
                                                                                                     9 See 12 CFR 217.11(b)(2)(iv).
                                           pages 340–378; and Bank for International                                                                       Governors of the Federal Reserve System, http://
                                           Settlements (2010), ‘‘Assessing the Long-Run              10 See, e.g., Jorda, Oscar, Moritz Schularick and     dx.doi.org/10.17016/FEDS.2015.059 (providing an
                                           Economic Impact of Higher Capital and Liquidity         Alan Taylor, 2013. ‘‘When Credit Bites Back:            example of the range of indicators used and type
                                           Requirements.’’                                         Leverage, Business Cycles and Crises,’’ Journal of      of analysis possible).



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                                           63688            Federal Register / Vol. 81, No. 180 / Friday, September 16, 2016 / Rules and Regulations

                                           the prompt realization of loan losses by                Board’s biannual Monetary Policy Report to            conjunction with supervisory and publicly
                                           advanced approaches institutions and the                Congress, usually published in February and           available datasets, the Board will be able to
                                           removal of such loans from their balance                July, will continue to contain a section that         draw not only upon the experience of the
                                           sheets and would reduce the likelihood that             reports on developments pertaining to the             United States but also that of other countries
                                           advanced approaches institutions would                  stability of the U.S. financial system.12 That        to refine estimates of the effects of changes
                                           significantly pare their risk-weighted assets           portion of the report will be an important            in the CCyB.
                                           in order to maintain their capital ratios               vehicle for updating the public on how the
                                                                                                                                                           By order of the Board of Governors of the
                                           during a downturn.                                      Board’s current assessment of financial
                                                                                                                                                         Federal Reserve System, September 8, 2016.
                                              (f) The pace and magnitude of changes in             system vulnerabilities bears on the setting of
                                           the CCyB will depend importantly on the                 the CCyB.                                             Robert deV. Frierson,
                                           underlying conditions in the financial sector                                                                 Secretary of the Board.
                                           and the economy as well as the desired                  6. Monitoring the Effects of the U.S. CCyB
                                                                                                                                                         [FR Doc. 2016–21970 Filed 9–15–16; 8:45 am]
                                           effects of the proposed change in the CCyB.                (a) The effects of the U.S. CCyB ultimately
                                                                                                                                                         BILLING CODE 6210–01–P
                                           If vulnerabilities are rising gradually, then           will depend on the level at which it is set,
                                           incremental increases in the level of the               the size and nature of any adjustments in the
                                           CCyB may be appropriate. Incremental                    level, and the timeliness with which it is
                                           increases would allow banks to augment                  increased or decreased. The extent to which           DEPARTMENT OF TRANSPORTATION
                                           their capital primarily through retained                the CCyB may affect vulnerabilities in the
                                           earnings and allow policymakers additional              broader financial system depends upon a               Federal Aviation Administration
                                           time to assess the effects of the policy change         complex set of interactions between required
                                           before making subsequent adjustments.                   capital levels at the largest banking                 14 CFR Part 39
                                           However, if vulnerabilities in the financial            organizations and the economy and financial
                                           system are building rapidly, then larger or             markets. In addition to the direct effects, the       [Docket No. FAA–2016–6146; Directorate
                                           more frequent adjustments may be necessary              secondary economic effects could be                   Identifier 2014–NM–120–AD; Amendment
                                           to increase loss-absorbing capacity sooner              amplified if financial markets extract a signal       39–18656; AD 2016–19–07]
                                           and potentially to mitigate the rise in                 from the announcement of a change in the
                                                                                                   CCyB about subsequent actions that might be           RIN 2120–AA64
                                           vulnerabilities.
                                              (g) The Board will also consider whether             taken by the Board. Moreover, financial
                                                                                                   market participants might react by updating           Airworthiness Directives; Dassault
                                           the CCyB is the most appropriate of its                                                                       Aviation Airplanes
                                           available policy instruments to address the             their expectations about future asset prices in
                                           financial system vulnerabilities highlighted            specific markets or broader economic activity
                                                                                                   based on the concerns expressed by the
                                                                                                                                                         AGENCY:  Federal Aviation
                                           by the framework’s judgmental assessments                                                                     Administration (FAA), Department of
                                           and empirical models. The CCyB primarily is             regulators in communications announcing a
                                                                                                   policy change.                                        Transportation (DOT).
                                           intended to address cyclical vulnerabilities,
                                           rather than structural vulnerabilities that do             (b) The Board will monitor and analyze             ACTION: Final rule.
                                           not vary significantly over time. Structural            adjustments by banking organizations and
                                           vulnerabilities are better addressed through            other financial institutions to the CCyB:             SUMMARY:    We are superseding
                                           targeted reforms or permanent increases in              whether a change in the CCyB leads to                 Airworthiness Directive (AD) 2008–19–
                                           financial system resilience. Two central                observed changes in risk-based capital ratios         08, for all Dassault Aviation Model
                                           factors for the Board to consider are whether           at advanced approaches institutions, as well          Falcon 10 airplanes. AD 2008–19–08
                                                                                                   as whether those adjustments are achieved
                                           advanced approaches institutions are
                                                                                                   passively through retained earnings, or
                                                                                                                                                         required repetitive replacement of the
                                           exposed—either directly or indirectly—to the                                                                  flexible hoses installed in the wing (slat)
                                                                                                   actively through changes in capital
                                           vulnerabilities identified in the                                                                             anti-icing system with new hoses. This
                                                                                                   distributions or in risk-weighted assets. Other
                                           comprehensive judgmental assessment or by                                                                     new AD requires reducing the life limit
                                                                                                   factors to be monitored include the extent to
                                           the quantitative indicators that suggest
                                                                                                   which loan growth and interest rate spreads           of these flexible hoses, which reduces
                                           activation of the CCyB and whether advanced
                                                                                                   on loans made by affected banking                     the repetitive replacement intervals.
                                           approaches institutions are contributing—
                                                                                                   organizations change relative to loan growth          This AD was prompted by additional
                                           either directly or indirectly—to these
                                                                                                   and loan spreads at banking organizations             reports of collapse of the flexible hoses
                                           highlighted vulnerabilities.
                                                                                                   that are not subject to the buffer. Another
                                              (h) In setting the CCyB for advanced                                                                       installed in the slat anti-icing systems
                                                                                                   consideration in setting the CCyB and other
                                           approaches institutions that it supervises, the         macroprudential tools is the extent to which          on airplanes equipped with new,
                                           Board plans to consult with the OCC and                 the adjustments by advanced approaches                improved hoses. We are issuing this AD
                                           FDIC on their analyses of financial system              institutions to higher capital buffers lead to        to prevent collapse of the flexible hoses
                                           vulnerabilities and on the extent to which              migration of credit market activity outside of        in the slat anti-icing system, which
                                           advanced approaches banking organizations               those banking organizations, especially to the        could lead to insufficient anti-icing
                                           are either exposed to or contributing to these          nonbank financial sector. Depending on the
                                           vulnerabilities.                                                                                              capability and, if icing is encountered in
                                                                                                   amount of migration, which institutions are           this situation, could result in reduced
                                           5. Communication of the U.S. CCyB With the              affected by it, and the remaining exposures
                                                                                                                                                         controllability of the airplane.
                                           Public                                                  of advanced approaches institutions, those
                                                                                                   adjustments could cause the Board to favor            DATES: This AD is effective October 21,
                                              (a) The Board expects to consider at least           either a higher or a lower value of the CCyB.         2016.
                                           once per year the applicable level of the U.S.             (c) The Board will also monitor                       The Director of the Federal Register
                                           CCyB. The Board will review financial                   information regarding the levels of and
                                           conditions regularly throughout the year and                                                                  approved the incorporation by reference
                                                                                                   changes in the CCyB in other countries. The           of a certain publication listed in this AD
                                           may adjust the CCyB more frequently as a                Basel Committee on Banking Supervision is
                                           result of those monitoring activities.                                                                        as of October 11, 2007 (72 FR 51161,
                                                                                                   expected to maintain this information for
                                              (b) Further, the Board will continue to              member countries in a publically available
                                                                                                                                                         September 6, 2007).
                                           communicate with the public in other                    form on its Web site.13 Using that data in            ADDRESSES: For service information
                                           formats regarding its assessment of U.S.                                                                      identified in this final rule, contact
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                                           financial stability, including financial system           12 For the most recent discussion in this format,   Dassault Falcon Jet Corporation,
                                           vulnerabilities. In the event that the Board
                                           considered that a change in the CCyB were
                                                                                                   see box titled ‘‘Developments Related to Financial    Teterboro Airport, P.O. Box 2000, South
                                                                                                   Stability’’ in Board of Governors of the Federal      Hackensack, NJ 07606; telephone 201–
                                           appropriate, it would, in proposing the                 Reserve System, Monetary Policy Report to
                                           change, include a discussion of the reasons             Congress, June 2016, pp. 20–21.                       440–6700; Internet http://
                                           for the proposed action as determined by the              13 BIS, Countercyclical capital buffer (CCyB),      www.dassaultfalcon.com. You may
                                           particular circumstances. In addition, the              www.bis.org/bcbs/ccyb/index.htm.                      view this referenced service information


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Document Created: 2016-09-16 00:24:46
Document Modified: 2016-09-16 00:24:46
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal policy statement.
DatesThe Policy Statement is effective October 14, 2016.
ContactWilliam Bassett, Deputy Associate Director, (202) 736-5644, or Rochelle Edge, Deputy Associate Director, (202) 452-2339, Division of Financial Stability; Sean Campbell, Associate Director, (202) 452-3760, Division of Banking Supervision and Regulation; Benjamin W. McDonough, Special Counsel, (202) 452-2036, Mark Buresh, Senior Attorney, (202) 452-5270, or Mary Watkins, Attorney, (202) 452-3722, Legal Division.
FR Citation81 FR 63682 
CFR AssociatedAdministrative Practice and Procedure; Banks; Banking; Holding Companies; Reporting and Recordkeeping Requirements and Securities

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