82_FR_59773 82 FR 59533 - Policy Statement on the Scenario Design Framework for Stress Testing

82 FR 59533 - Policy Statement on the Scenario Design Framework for Stress Testing

FEDERAL RESERVE SYSTEM

Federal Register Volume 82, Issue 240 (December 15, 2017)

Page Range59533-59547
FR Document2017-26858

The Board is requesting public comment on amendments to its policy statement on the scenario design framework for stress testing. The proposed amendments to the policy statement would clarify when the Board may adopt a change in the unemployment rate in the severely adverse scenario of less than 4 percentage points; institute a counter- cyclical guide for the change in the house price index in the severely adverse scenario; and provide notice that the Board plans to incorporate wholesale funding costs for banking organizations in the scenarios. The Board would continue to use the policy statement to develop the macroeconomic scenarios and additional scenario components that are used in the supervisory and company-run stress tests conducted under the Board's stress test rules and the Board's capital plan rule.

Federal Register, Volume 82 Issue 240 (Friday, December 15, 2017)
[Federal Register Volume 82, Number 240 (Friday, December 15, 2017)]
[Proposed Rules]
[Pages 59533-59547]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-26858]


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FEDERAL RESERVE SYSTEM

12 CFR Part 252

[Regulation YY; Docket No. OP-1588]


Policy Statement on the Scenario Design Framework for Stress 
Testing

AGENCY: Board of Governors of the Federal Reserve System (Board).

ACTION: Proposed rule; policy statement with request for public 
comment.

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SUMMARY: The Board is requesting public comment on amendments to its 
policy statement on the scenario design framework for stress testing. 
The proposed amendments to the policy statement would clarify when the 
Board may adopt a change in the unemployment rate in the severely 
adverse scenario of less than 4 percentage points; institute a counter-
cyclical guide for the change in the house price index in the severely 
adverse scenario; and provide notice that the Board plans to 
incorporate wholesale funding costs for banking organizations in the 
scenarios. The Board would continue to use the policy

[[Page 59534]]

statement to develop the macroeconomic scenarios and additional 
scenario components that are used in the supervisory and company-run 
stress tests conducted under the Board's stress test rules and the 
Board's capital plan rule.

DATES: Comments must be received by January 22, 2018.

ADDRESSES: You may submit comments, identified by Docket No. OP-1588 by 
any of the following methods:
     Agency website: http://www.federalreserve.gov. Follow the 
instructions for submitting comments at http://www.federalreserve.gov/generalinfo/foia/ProposedRegs.aspx.
     Federal eRulemaking Portal: http://www.regulations.gov. 
Follow the instructions for submitting comments.
     Email: [email protected]. Include the 
docket number and RIN number in the subject line of the message.
     Fax: (202) 452-2819 or (202) 452-3102.
     Mail: Ann Misback, Secretary, Board of Governors of the 
Federal Reserve System, 20th Street and Constitution Avenue NW, 
Washington, DC 20551.
    All public comments will be made available on the Board's website 
at http://www.federalreserve.gov/generalinfo/foia/ProposedRegs.aspx as 
submitted, unless modified for technical reasons. Accordingly, your 
comments will not be edited to remove any identifying or contact 
information. Public comments may also be viewed electronically or in 
paper form in Room 3515, 1801 K St. NW (between 18th and 19th Streets 
NW), Washington, DC 20006 between 9:00 a.m. and 5:00 p.m. on weekdays. 
For security reasons, the Board requires that visitors make an 
appointment to inspect comments. You may do so by calling (202) 452-
3684. Upon arrival, visitors will be required to present valid 
government-issued photo identification and to submit to security 
screening in order to inspect and photocopy comments.

FOR FURTHER INFORMATION CONTACT: Lisa Ryu, Associate Director, (202) 
263-4833, Joseph Cox, Supervisory Financial Analyst, (202) 452-3216, or 
Aurite Werman, Financial Analyst (202) 263-4802, Division of 
Supervision and Regulation; Benjamin W. McDonough, Assistant General 
Counsel, (202) 452-2036, or Julie Anthony, Counsel, (202) 475-6682, 
Legal Division; or William Bassett, Associate Director, (202) 736-5644, 
Luca Guerrieri, Deputy Associate Director, (202) 452-2550, or Bora 
Durdu, Chief, (202) 452-3755, Division of Financial Stability.

SUPPLEMENTARY INFORMATION:

I. Background

A. Supervisory Scenarios

    Pursuant to the Board's stress test rules, the Board conducts 
supervisory stress tests of bank holding companies and U.S. 
intermediate holding companies subsidiaries of foreign banking 
organizations with total consolidated assets of $50 billion or more 
(covered companies) and requires covered companies to conduct semi-
annual company-run stress tests.\1\ In addition, savings and loan 
holding companies, state member banks with greater than $10 billion in 
total consolidated assets, and bank holding companies with assets of 
more than $10 billion but less than $50 billion are required to conduct 
annual company-run stress tests.\2\
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    \1\ 12 CFR part 252, subparts E and F. In addition, the 
supervisory stress test rules would apply to any nonbank financial 
company supervised by the Board that becomes subject to these 
requirements pursuant to a rule or order of the Board. Currently, no 
nonbank financial companies supervised by the Board are subject to 
the capital planning or stress test requirements.
    \2\ 12 CFR part 252, subpart B.
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    To conduct the supervisory stress tests, the Board develops three 
scenarios--a baseline, adverse, and severely adverse scenario--and 
projects a firm's balance sheet, risk-weighted assets, net income, and 
resulting post-stress capital levels and regulatory capital ratios 
under each scenario. Similarly, a firm subject to company-run stress 
tests under the Board's rules uses the same adverse and severely 
adverse scenarios that apply in the supervisory stress test to conduct 
an annual company-run stress test. The scenarios also serve as an input 
into a covered company's capital plan under the Board's capital plan 
rule (12 CFR 225.8), and the Federal Reserve also uses these scenarios 
to evaluate each firm's capital plan in the supervisory post-stress 
capital assessment.\3\
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    \3\ Bank holding companies with $50 billion or more in total 
consolidated assets and U.S. intermediate holding companies of 
foreign banking organizations additionally conduct mid-cycle 
company-run stress tests under scenarios that they develop. See 12 
CFR 252.55.
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    On November 29, 2013, the Board adopted a final policy statement on 
its scenario design framework for stress testing (policy statement).\4\ 
The policy statement outlined the characteristics of the supervisory 
stress test scenarios and explained the considerations and procedures 
that underlie the formulation of these scenarios. The considerations 
and procedures described in the policy statement apply to the Board's 
stress testing framework, including to the stress tests required under 
12 CFR part 252, subparts B, E, and F, and the Board's capital plan 
rule. The policy statement describes in greater detail than the stress 
test rules the baseline, adverse, and severely adverse scenarios. The 
policy statement also describes the Board's approach for developing 
these three macroeconomic scenarios and additional components of the 
stress test scenarios, which apply to a subset of covered companies.
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    \4\ See 12 CFR part 252, appendix A.
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    As described in the policy statement, the severely adverse scenario 
is designed to reflect conditions that have characterized post-war U.S. 
recessions (the ``recession approach''). Historically, recessions 
typically feature increases in the unemployment rate and contractions 
in aggregate incomes and economic activity. In light of the typical co-
movement of measures of economic activity during economic downturns, 
such as the unemployment rate and gross domestic product, in developing 
the severely adverse scenario, the Board first specifies a path for the 
unemployment rate and then develops paths for other measures of 
activity broadly consistent with the course of the unemployment rate.
    The Board's scenario design framework includes a counter-cyclical 
design element in the change in the unemployment rate in the severely 
adverse scenario. The policy statement provides that the Board 
anticipates the unemployment rate in the severely adverse scenario 
would increase by between 3 and 5 percentage points from its initial 
level. However, if a 3 to 5 percentage point increase in the 
unemployment rate does not raise the level of the unemployment rate to 
at least 10 percent, the path of the unemployment rate in most cases 
will be specified so as to raise the unemployment rate to at least 10 
percent. The policy statement also notes that the typical increase in 
the unemployment rate in the severely adverse scenario will be about 4 
percentage points. The policy statement provides that the Board intends 
to set the unemployment rate at the higher end of the 3 to 5 percentage 
point range if the Board believes that cyclical systemic risks are high 
(as they would be after a sustained long expansion), and to the lower 
end of the range if cyclical systemic risks are low (as they would be 
in the earlier stages of a recovery).
    The policy statement provides that economic variables included in 
the scenarios may change over time, or that

[[Page 59535]]

the Board may augment the recession approach to account for salient 
risks.\5\ The Board has not historically captured stress to funding 
markets in the supervisory stress test exercise. However, it is 
exploring the inclusion of such a stress in the scenarios, given the 
potential impact that funding shocks could have on firms subject to the 
supervisory stress test.
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    \5\ For example, if scenario variables do not capture material 
risks to capital, or if historical relationships between 
macroeconomic variables change such that one variable is no longer 
an appropriate proxy for another, the Board may add variables to a 
supervisory scenario. The Board may also include additional scenario 
components or additional scenarios that are designed to capture the 
effects of different adverse events on revenue, losses, and capital.
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B. Review of Stress Test Exercises

    The Federal Reserve routinely reviews its experience with each 
year's stress testing and capital planning programs as implemented 
through DFAST and CCAR. These reviews have included formal engagements 
with public interest groups, meetings with academics in the fields of 
economics and finance, and internal assessments.
    In the course of its review of the stress test exercises, the 
Federal Reserve has received feedback on the Board's framework for 
designing stress scenarios. Some participants advocated developing a 
structured process for strengthening scenario design over time. Other 
participants were concerned that the Federal Reserve would be pressured 
to reduce the severity of the scenario over time. As part of its 
internal assessment of the stress test exercises, the Federal Reserve 
also considered ways to further enhance the countercyclical elements, 
transparency, and risk coverage of the scenario design framework.
    After considering feedback received in these reviews and possible 
improvements to the methodology for specifying the macroeconomic 
scenarios used in the supervisory stress test and the annual company-
run stress tests, the Board is proposing to modify the policy statement 
to enhance the countercyclicality and transparency of the Board's 
scenario design framework and improve the risk coverage of the 
scenarios.

II. Review of the Supervisory Scenarios

A. Unemployment and House Prices in the Severely Adverse Scenario

    The Board investigated possible improvements to the methodology for 
specifying the macroeconomic scenarios used in supervisory and company-
run stress tests. A main area of inquiry was the severity of 
macroeconomic scenarios used in previous stress test exercises. As 
noted, the scenario design framework was formulated to increase the 
severity of the severely adverse scenario during economic expansions in 
order to limit the procyclicality of the financial system by increasing 
the resilience of the banking system to building risks. The review 
evaluated the path of key variables in the severely adverse scenarios 
since 2011, and determined that amendments to the scenario design 
framework could further limit procyclicality.\6\
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    \6\ For completeness, the tables present data from the 2017 
severely adverse scenario, however, this data was not available at 
the time of the review conducted by the Board. The data from 2017 
was generally consistent with the analysis of the earlier scenarios.
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    The severity of a scenario can be gauged by considering both the 
maximum (or minimum) levels obtained by key variables and changes of 
the variables from their starting points. Table 1 shows the peak and 
change in the unemployment rate in the supervisory severely adverse 
scenarios since 2011.\7\ The peak unemployment rate in the severely 
adverse scenario has been falling since CCAR 2012 as the economy 
improved. Beginning in 2016, the countercyclical element of the Board's 
scenario design framework acted to increase scenario severity, so while 
the peak level of the unemployment rate remained about the same, the 
change in the unemployment rate increased. The countercyclical design 
of the scenarios is also reflected in the change in real GDP, which, in 
2017, declined by the largest amount since 2012.
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    \7\ The change in real gross domestic product (real GDP) is also 
presented as an additional gauge of severity because the path of 
real GDP is formulated based on the path of the unemployment.

                                        Table 1--Unemployment Rate and Real GDP in the Severely Adverse Scenario
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                                                                               Stress test exercise                                Great        Severe
                                                  -----------------------------------------------------------------------------  recession    recessions
                                                    2011 \a\   2012 \a\     2013       2014       2015       2016       2017        \b\          \c\
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                                             Panel A: Developments as published in the supervisory scenarios
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Unemployment Rate:
    Peak Level (pct.)............................       11.1       12.6       12.1       11.3       10.1       10.0       10.0         10.0          9.3
    Change Start-to-peak (pp.)...................        1.5        3.6        4.0        4.0        4.0        5.0        5.3          4.5          3.6
Real GDP:
    Change Start-to-trough (pct.)................       -4.1       -6.9       -4.8       -4.7       -4.7       -6.2       -6.6         -4.7         -3.4
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Note:
\a\ In 2011 and 2012 the scenario was referred to as the ``supervisory stress scenario.''
\b\ Great Recession is defined as that which occurred in Q4:2007-Q2:2009.
\c\ Recessions classified as severe: 1957:Q3-1958:Q2, 1973:Q4-1975:Q1, 1981:Q3-1982:Q4, and 2007:Q4-2009:Q2.

    The Board also evaluated its approach to developing the path of 
house prices, which is a key scenario variable, to assess whether it 
could improve the transparency of the measure and to identify a guide 
that would formalize the Board's countercyclical objectives. To date, 
the Board has developed the path of house prices using a judgmental 
approach, and has not established a quantitative guide for the 
trajectory of house prices.
    As demonstrated in Panel A of table 2, the existing approach to 
house prices has resulted in increasing severity over time. The 
declines in the nominal house price index (nominal HPI) from the start 
to the trough have increased from 21 percent (in 2012 and 2013) to 
about 25-26 percent (in 2014 through 2017). The increased severity in 
the decline in nominal HPI in supervisory scenarios beginning in 2014 
offset the rise in observed house prices over that period, and hence 
limited procyclicality.
    Assessing the procyclicality of house price paths over time is 
complicated by the fact that house prices--in contrast to the 
unemployment rate--naturally trend upward over time. The ratio of 
nominal house prices to nominal, per capita, disposable personal income 
(HPI-DPI ratio, henceforth), does not exhibit an upward trend and, as 
such, provides an alternative way to assess the

[[Page 59536]]

procyclicality of the scenarios' house price paths. The severity of a 
scenario depends on both the change and the trough level of the HPI-DPI 
ratio. Panel A of table 2 indicates that the change in the HPI-DPI 
ratio increased in absolute terms in the years 2014 to 2017 compared to 
the years 2012 and 2013. However, the trough of the HPI-DPI ratio 
achieved in the severely adverse scenarios has generally moved up since 
2012. Scenarios with higher HPI-DPI troughs may be less severe even if 
they feature the same decline in the ratio.

                                                 Table 2--House Prices in the Severely Adverse Scenario
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                                                                               Stress test exercise                                Great       Housing
                                                  -----------------------------------------------------------------------------  recession    recessions
                                                    2011 \a\   2012 \a\     2013       2014       2015       2016       2017        \b\          \c\
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                                             Panel A: Developments as published in the supervisory scenarios
Nominal HPI:
    Change Start-to-trough (pct.)................        -11        -21        -21        -26        -26        -25        -25          -30          2.5
    Trough Level \c\.............................        124        106        111        116        126        135        134          130  ...........
HPI-DPI Ratio:
    Change Start-to-trough (pct.)................        -11        -19        -18        -27        -25        -25        -24          -41          -25
    Trough Level \c\.............................         89         76         78         75         79         82         81           87           95
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                                                  Panel B: Developments as implied by the HPI-DPI Guide
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Nominal HPI:
    Change Start-to-trough (pct.)................        -25        -27        -27        -24        -25        -25        -26          -30          2.5
    Trough Level \c\.............................        104         98        102        119        127        134        134          130  ...........
HPI-DPI Ratio:
    Change Start-to-trough (pct.)................        -25        -25        -25        -25        -25        -25        -25          -41          -25
    Trough Level \d\.............................         75         70         72         76         80         82         79           87           95
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Note:
\a\ In 2011 and 2012 the scenario was referred to as the ``supervisory stress scenario.''
\b\ Great Recession is defined as that which occurred in Q4:2007-Q2:2009.
\c\ Housing recessions are defined as the following date ranges: 1980-1985, 1989-1996, and 2006-2011. The date-ranges of housing recessions are based on
  the timing of house-price retrenchments. These dates were also associated with sustained declines in real residential investment, although, the
  precise timings of housing recessions would likely be slightly different were they to be classified based on real residential investment in addition
  to house prices.
\d\ Both the nominal HPI and HPI-DPI ratios are indexed to 100 in 2000:Q1.

    Based on this analysis, the Board determined that its scenario 
design framework could be strengthened by (1) enhancing the counter-
cyclicality of the scenarios when conditions at the start of the 
exercise already reflected stress; and (2) improving the transparency 
of the scenario design framework by developing an explicit guide for 
formulating the path of house prices in the severely adverse scenario.

B. Risk Coverage in Supervisory Scenarios

    The Board also has examined whether there were important dimensions 
of risk that had not featured in supervisory scenarios to date. The 
review suggested that a key risk dimension that had not been directly 
addressed in the supervisory stress test was banking organizations' 
reliance on certain types of runnable liabilities, which has been an 
important source of financial stress on banking organizations, as well 
a channel by which one firm's distress affects other firms. For 
example, shocks to the costs of short-term wholesale funding played a 
prominent role in the recent financial crisis, and had a notable effect 
on firms' ability to operate as financial intermediaries. Accordingly, 
the Board is exploring incorporating an increase in the cost of short-
term wholesale funding in its scenarios and stress tests.

III. Proposed Amendments to the Policy Statement

    The proposal includes three modifications to the Board's scenario 
design framework. First, the proposal would modify the current guide in 
the policy statement for the peak unemployment rate in the severely 
adverse scenario to include a description of the circumstances in which 
an increase in the unemployment rate at the lower end of the 3 to 5 
percentage point range suggested by the guide would be warranted. 
Second, the proposal would add to the policy statement an explicit 
guide for house prices in the severely adverse scenario based on the 
HPI-DPI ratio that features both a minimum level and a fixed change in 
the HPI-DPI ratio. Third, the proposal would provide notice that the 
Board is exploring the inclusion of an increase in the cost of funds 
for banking organizations as an explicit factor in the scenarios. 
Finally, the policy statement would be amended to update references and 
remove obsolete text.

A. Unemployment Rate in the Severely Adverse Scenario

    The proposal would include more specific guidance for the change in 
the unemployment rate when the stress test is conducted during a period 
in which the unemployment rate is already elevated. The Board currently 
calibrates the peak unemployment rate in the severely adverse scenario 
as the greater of a 3 to 5 percentage point increase from the 
unemployment rate at the beginning of the stress test planning horizon, 
or 10 percent. This approach introduces an element of counter-
cyclicality to the scenario design process, as lower levels of the 
unemployment rate at the beginning of the stress planning horizons 
imply a larger increase in unemployment over the severely adverse 
scenario to a level that is at least consistent with past severe 
recessions.
    Consistent with the current policy statement, the Board believes 
that the typical increase in the unemployment rate in the severely 
adverse scenario will be about 4 percentage points, and that a lower 
increase may be appropriate in certain circumstances. In determining 
the increase in the unemployment rate, the Board would consider the 
level of unemployment at the start of the scenarios, the strength of 
the labor market, and the strength of firms' balance sheets. The 
proposed framework would clarify that the Board may adopt an increase 
in the unemployment rate of less than 4 percentage points when the 
unemployment rate at the start of the scenarios is elevated but the 
labor market is judged to be strengthening and higher-than-usual credit 
losses stemming from previously elevated unemployment rates were either 
already realized--or are in the process of being

[[Page 59537]]

realized--and thus removed from banks' balance sheets. Evidence of a 
strengthening labor market could include a declining unemployment rate, 
steadily expanding nonfarm payroll employment, or improving labor force 
participation. Evidence that credit losses are being realized could 
include elevated charge-offs on loans and leases, loan-loss provisions 
in excess of gross charge-offs, or losses being realized in securities 
portfolios that include securities that are subject to credit risk.
    This proposed change would keep the unemployment rate in the 
macroeconomic scenario broadly similar to that in previous scenarios 
except during times when a smaller change would be appropriate based on 
the credit cycle. By adopting a smaller change in the unemployment rate 
when the economy was recovering and losses had already been broadly 
recognized by the industry, the proposal would complement the current 
counter-cyclical design elements.
    Question number 1: In connection with this proposal, the Federal 
Reserve considered an alternative guide for the unemployment rate, in 
which the path of the unemployment rate would reach the lesser of a 
level 4 percentage points above its level at the beginning of the 
scenario or 11 percent. On average, this alternative would increase the 
severity of severely adverse scenarios but also would be more 
countercyclical than the current guide. What are the advantages or 
disadvantages to this alternative relative to the proposed guide?

B. House Prices in the Severely Adverse Scenario

    The policy statement would also be amended to include guidance for 
the path of the nominal house price index in the severely adverse 
scenario. The nominal house price index is a key scenario variable, and 
providing explicit guidance for its path over the planning horizon 
would enhance the transparency and countercyclical design of the 
scenario design framework.
    The proposal would establish a quantitative guide for house prices. 
The guide for house prices would be informed by the ratio of the 
nominal house price index to nominal per capita disposable income (HPI-
DPI ratio). Unlike the level of house prices, the HPI-DPI ratio does 
not exhibit a trend over time. Under most circumstances, the decline in 
the HPI-DPI ratio in the severely adverse scenario is expected to be 25 
percent from its starting value or enough to bring the ratio down to 
its Great Recession trough, whichever is greater. A rule with both a 
minimum change in the ratio and a level of severity that the ratio must 
reach is consistent with the rule for the path of the unemployment rate 
and would further the Board's countercyclical goals in scenario design.
    In its analysis, the Board identified the HPI-DPI trough reached 
during the Great Recession as the lowest trough attained in housing 
recessions since 1976, and considered this trough an appropriate basis 
for explicit guidance for the path of house prices. Setting a minimum 
decline in the HPI-DPI ratio would ensure that additional economic 
stress would be incorporated into the macroeconomic scenario, even if 
house prices were depressed at the outset of the scenario. The Board 
would typically set a minimum decline in the HPI-DPI ratio of 25 
percent from its starting value. A decline of 25 percent is consistent 
with the average decline in housing recessions (see table 2 in the 
Policy Statement) and with the path of house prices in the supervisory 
severely adverse scenarios since 2015.
    Procyclicality in house prices would be limited by setting a 
maximum level for the trough of the HPI-DPI ratio in the severely 
adverse scenario. This would increase the severity of the decline in 
house prices as house prices rise relative to disposable personal 
incomes, as is the case in times of economic expansion. When the HPI-
DPI ratio rises above the level at which a 25 percent decline would 
bring the ratio to its Great Recession trough, at the start of the 
stress test, the change in the ratio would be greater than 25 percent 
in order to bring the ratio to its Great Recession trough.\8\ This 
proposal would offer a more systematic approach to specifying house 
price paths than does the current approach, and would limit 
procyclicality while broadly preserving the decline in the nominal HPI 
featured in recent stress testing cycles.
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    \8\ The Great Recession trough depends on the reference date 
used for indexing. For example, with nominal HPI and HPI-DPI ratios 
indexed to 100 in 2000:Q1, a decline in the HPI-DPI index of more 
than 25 percent would be necessary to reach the Great Recession 
trough of 87 when the HPI-DPI ratio at the start of the supervisory 
scenario was 116 or greater.
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    Question number 2: In connection with this proposal, the Federal 
Reserve considered alternative guides for projecting house prices, 
including guides based on the ratio of the nominal house price index to 
an index of nominal rent prices for residential housing. What are the 
advantages or disadvantages to such alternatives relative to the 
proposed guide?

C. Incorporating Short-Term Wholesale Funding Costs in the Adverse and 
Severely Adverse Scenarios

    To date, the Board's adverse and severely adverse scenarios have 
not incorporated stress to funding markets. The proposal states that 
the Board may include variables or an additional components in the 
scenario to capture the cost of funds, particularly wholesale funds, to 
banking organizations. Including stress to funding costs in the 
scenarios would account for the impact of increased costs of certain 
runnable liabilities on net income and capital of banking organizations 
reliant on short-term wholesale funding. The Board would not expect to 
incorporate wholesale funding costs in the scenarios before 2019, and 
would expect to include wholesale funding costs in the adverse scenario 
before the severely adverse scenario. Accordingly, the Board would not 
expect to include a stress to funding costs in the severely adverse 
scenario until 2020 at the earliest.
    Question number 3: What variable or combinations of variables would 
best represent stress to funding costs or availability in the 
supervisory scenarios?
    Question number 4: What, if any, other risks should the Federal 
Reserve consider capturing in the supervisory scenarios?

D. Impact Analysis

    Generally, the proposed amendments would not affect the severity of 
the scenarios in a manner that persists throughout the economic cycle. 
The one exception is the introduction of an increase in the cost of 
certain runnable liabilities. Generally, the inclusion of a stress to 
wholesale funding would be expected to increase the stringency of the 
stress test. The extent of the increased stringency would depend on the 
implementation of the stress, such as the type of liabilities stressed, 
and the duration and magnitude of the stress considered.
    The proposed unemployment rate clarification would reduce the 
stringency of the scenario if the economy had already experienced 
stress and was recovering, and would not impact the stringency of the 
scenario in other points during the economic cycle. The house price 
guide would formalize an approach that was previously judgmental with 
little persistent impact on the severity of the stress to house prices 
in the severely adverse scenarios. However, the countercyclical element 
of the guide would increase the severity of the stress to house prices 
when the ratio

[[Page 59538]]

of house prices to disposable personal income was particularly elevated 
at the start of the stress test.
    Question number 5: The Federal Reserve is proposing changes to the 
Scenario Design Policy Statement to enhance the countercyclicality, 
risk coverage, and transparency of the scenario development process. 
Are there other modifications not included in this proposal that could 
further enhance the scenario development process?

IV. 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 has sought to present the proposed rule in a 
simple and straightforward manner, and invites comment on the use of 
plain language.

B. Paperwork Reduction Act

    In accordance with the requirements of the Paperwork Reduction Act 
of 1995 (44 U.S.C. 3506), the Board has reviewed the proposed 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

    In accordance with section 3(a) of the Regulatory Flexibility Act 
(RFA), the Board is publishing an initial regulatory flexibility 
analysis of the proposed policy statement. The RFA, 5 U.S.C. 601 et 
seq., requires each federal agency to prepare an initial regulatory 
flexibility analysis in connection with the promulgation of a proposed 
rule, or certify that the proposed rule will not have a significant 
economic impact on a substantial number of small entities.\9\ The RFA 
requires an agency either to provide an initial regulatory flexibility 
analysis with a proposed rule for which a general notice of proposed 
rulemaking is required or to certify that the proposed rule will not 
have a significant economic impact on a substantial number of small 
entities. Based on its analysis and for the reasons stated below, the 
Board believes that the proposed policy statement would not have a 
significant economic impact on a substantial number of small entities.
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    \9\ See 5 U.S.C. 603, 604 and 605.
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    Under regulations issued by the Small Business Administration 
(SBA), a ``small entity'' includes those firms within the ``Finance and 
Insurance'' sector with asset sizes that vary from $7 million or less 
in assets to $175 million or less in assets.\10\ The Board believes 
that the Finance and Insurance sector constitutes a reasonable universe 
of firms for these purposes because such firms generally engage in 
actives that are financial in nature. Consequently, bank holding 
companies, savings and loan holding companies, state member banks, or 
nonbank financial companies with assets sizes of $175 million or less 
are small entities for purposes of the RFA.
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    \10\ 13 CFR 121.201.
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    As discussed in the SUPPLEMENTARY INFORMATION, the proposed policy 
statement generally would affect the scenario design framework used in 
regulations that apply to covered companies, savings and loan holding 
companies, and state member banks with greater than $10 billion in 
total consolidated assets and bank holding companies with assets of 
more than $10 billion but less than $50 billion. Companies that are 
affected by the proposed policy statement therefore substantially 
exceed the $175 million asset threshold at which a banking entity is 
considered a ``small entity'' under SBA regulations.\11\ The proposed 
policy statement would affect a nonbank financial company designated by 
the Council under section 113 of the Dodd-Frank Act regardless of such 
a company's asset size. Although the asset size of nonbank financial 
companies may not be the determinative factor of whether such companies 
may pose systemic risks and would be designated by the Council for 
supervision by the Board, it is an important consideration.\12\ It is 
therefore unlikely that a financial firm that is at or below the $175 
million asset threshold would be designated by the Council under 
section 113 of the Dodd-Frank Act because material financial distress 
at such firms, or the nature, scope, size, scale, concentration, 
interconnectedness, or mix of its activities, are not likely to pose a 
threat to the financial stability of the United States.
---------------------------------------------------------------------------

    \11\ The Dodd-Frank Act provides that the Board may, on the 
recommendation of the Council, increase the $50 billion asset 
threshold for the application of certain of the enhanced standards. 
See 12 U.S.C. 5365(a)(2)(B). However, neither the Board nor the 
Council has the authority to lower such threshold.
    \12\ See 76 FR 4555 (January 26, 2011).
---------------------------------------------------------------------------

    As noted above, because the proposed policy statement is not likely 
to apply to any company with assets of $175 million or less, if adopted 
in final form, it is not expected to affect any small entity for 
purposes of the RFA. The Board does not believe that the proposed 
policy statement duplicates, overlaps, or conflicts with any other 
Federal rules. In light of the foregoing, the Board does not believe 
that the proposed policy statement, if adopted in final form, would 
have a significant economic impact on a substantial number of small 
entities supervised. Nonetheless, the Board seeks comment on whether 
the proposed policy statement would impose undue burdens on, or have 
unintended consequences for, small organizations, and whether there are 
ways such potential burdens or consequences could be minimized in a 
manner consistent its purpose.

List of Subjects in 12 CFR Part 252

    Administrative practice and procedure, Banks, Banking, Federal 
Reserve System, Holding companies, Nonbank financial companies 
supervised by the Board, Reporting and recordkeeping requirements, 
Securities, Stress testing.

Authority and Issuance

    For the reasons stated in the SUPPLEMENTARY INFORMATION, the Board 
of Governors of the Federal Reserve System proposes to amend 12 CFR 
part 252 as follows:

PART 252--ENHANCED PRUDENTIAL STANDARDS (Regulation YY)

0
1. The authority citation for part 252 continues to read as follows:

    Authority:  12 U.S.C. 321-338a, 1467a(g), 1818, 1831p-1, 
1844(b), 1844(c), 5361, 5365, 5366.

0
2. Appendix A to part 252 is revised to read as follows:

Appendix A to Part 252--Policy Statement on the Scenario Design 
Framework for Stress Testing

1. Background

    a. The Board has imposed stress testing requirements through its 
regulations (stress test rules) implementing section 165(i) of the 
Dodd-Frank Wall Street Reform and Consumer Protection Act (Dodd-
Frank Act or Act) and through its capital plan rule (12 CFR 225.8). 
Under the stress test rules issued under section 165(i)(1) of the 
Act, the Board conducts an annual stress test (supervisory stress 
tests), on a consolidated basis, of each bank holding company with 
total consolidated assets of $50 billion or more, intermediate 
holding company of a foreign banking organization, and nonbank 
financial company that the Financial Stability Oversight Council has 
designated for supervision by the Board (together, covered 
companies).\1\ In addition, under the stress test rules issued under 
section 165(i)(2) of the Act, covered companies must conduct stress 
tests semi-annually and other financial

[[Page 59539]]

companies with total consolidated assets of more than $10 billion 
and for which the Board is the primary regulatory agency must 
conduct stress tests on an annual basis (together, company-run 
stress tests).\2\ The Board will provide for at least three 
different sets of conditions (each set, a scenario), including 
baseline, adverse, and severely adverse scenarios for both 
supervisory and company-run stress tests (macroeconomic 
scenarios).\3\
---------------------------------------------------------------------------

    \1\ 12 U.S.C. 5365(i)(1); 12 CFR part 252, subpart E.
    \2\ 12 U.S.C. 5365(i)(2); 12 CFR part 252, subparts B and F.
    \3\ The stress test rules define scenarios, baseline scenario, 
adverse scenario, and severely adverse scenario. See 12 CFR 
252.12(b), (f), (p), and (q); 12 CFR 252.42(b), (e), (n), and (o); 
12 CFR 252.52(b), (e), (o), and (p).
---------------------------------------------------------------------------

    b. The stress test rules provide that the Board will notify 
covered companies by no later than February 15 of each year of the 
scenarios it will use to conduct its annual supervisory stress tests 
and provide, also by no later than February 15, covered companies 
and other financial companies subject to the final rules the set of 
scenarios they must use to conduct their annual company-run stress 
tests.\4\ Under the stress test rules, the Board may require certain 
companies to use additional components in the adverse or severely 
adverse scenario or additional scenarios. For example, the Board 
expects to require large banking organizations with significant 
trading activities to include a trading and counterparty component 
(market shock, described in the following sections) in their adverse 
and severely adverse scenarios. The Board will provide any 
additional components or scenario by no later than March 1 of each 
year.\5\ The Board expects that the scenarios it will require the 
companies to use will be the same as those the Board will use to 
conduct its supervisory stress tests (together, stress test 
scenarios).
---------------------------------------------------------------------------

    \4\ Id.
    \5\ Id.
---------------------------------------------------------------------------

    c. In addition, Sec.  225.8 of the Board's Regulation Y (capital 
plan rule) requires covered companies to submit annual capital 
plans, including stress test results, to the Board to allow the 
Board to assess whether they have robust, forward-looking capital 
planning processes and have sufficient capital to continue 
operations throughout times of economic and financial stress.\6\
---------------------------------------------------------------------------

    \6\ See 12 CFR 225.8.
---------------------------------------------------------------------------

    d. Stress tests required under the stress test rules and under 
the capital plan rule require the Board and financial companies to 
calculate pro-forma capital levels--rather than ``current'' or 
actual levels--over a specified planning horizon under baseline and 
stressful scenarios. This approach integrates key lessons of the 
2007-2009 financial crisis into the Board's supervisory framework. 
During the financial crisis, investor and counterparty confidence in 
the capitalization of financial companies eroded rapidly in the face 
of changes in the current and expected economic and financial 
conditions, and this loss in market confidence imperiled companies' 
ability to access funding, continue operations, serve as a credit 
intermediary, and meet obligations to creditors and counterparties. 
Importantly, such a loss in confidence occurred even when a 
financial institution's capital ratios were in excess of regulatory 
minimums. This is because the institution's capital ratios were 
perceived as lagging indicators of its financial condition, 
particularly when conditions were changing.
    e. The stress tests required under the stress test rules and 
capital plan rule are a valuable supervisory tool that provide a 
forward-looking assessment of large financial companies' capital 
adequacy under hypothetical economic and financial market 
conditions. Currently, these stress tests primarily focus on credit 
risk and market risk--that is, risk of mark-to-market losses 
associated with companies' trading and counterparty positions--and 
not on other types of risk, such as liquidity risk. Pressures 
stemming from these sources are considered in separate supervisory 
exercises. No single supervisory tool, including the stress tests, 
can provide an assessment of a company's ability to withstand every 
potential source of risk.
    f. Selecting appropriate scenarios is an especially significant 
consideration for stress tests required under the capital plan rule, 
which ties the review of a company's performance under stress 
scenarios to its ability to make capital distributions. More severe 
scenarios, all other things being equal, generally translate into 
larger projected declines in banks' capital. Thus, a company would 
need more capital today to meet its minimum capital requirements in 
more stressful scenarios and have the ability to continue making 
capital distributions, such as common dividend payments. This 
translation is far from mechanical, however; it will depend on 
factors that are specific to a given company, such as underwriting 
standards and the company's business model, which would also greatly 
affect projected revenue, losses, and capital.

2. Overview and Scope

    a. This policy statement provides more detail on the 
characteristics of the stress test scenarios and explains the 
considerations and procedures that underlie the approach for 
formulating these scenarios. The considerations and procedures 
described in this policy statement apply to the Board's stress 
testing framework, including to the stress tests required under 12 
CFR part 252, subparts B, E, and F, as well as the Board's capital 
plan rule (12 CFR 225.8).\7\
---------------------------------------------------------------------------

    \7\ 12 CFR 252.14(a), 12 CFR 252.44(a), 12 CFR 252.54(a).
---------------------------------------------------------------------------

    b. Although the Board does not envision that the broad approach 
used to develop scenarios will change from year to year, the stress 
test scenarios will reflect changes in the outlook for economic and 
financial conditions and changes to specific risks or 
vulnerabilities that the Board, in consultation with the other 
federal banking agencies, determines should be considered in the 
annual stress tests. The stress test scenarios should not be 
regarded as forecasts; rather, they are hypothetical paths of 
economic variables that will be used to assess the strength and 
resilience of the companies' capital in various economic and 
financial environments.
    c. The remainder of this policy statement is organized as 
follows. Section 3 provides a broad description of the baseline, 
adverse, and severely adverse scenarios and describes the types of 
variables that the Board expects to include in the macroeconomic 
scenarios and the market shock component of the stress test 
scenarios applicable to companies with significant trading activity. 
Section 4 describes the Board's approach for developing the 
macroeconomic scenarios, and section 5 describes the approach for 
the market shocks. Section 6 describes the relationship between the 
macroeconomic scenario and the market shock components. Section 7 
provides a timeline for the formulation and publication of the 
macroeconomic assumptions and market shocks.

3. Content of the Stress Test Scenarios

    a. The Board will publish a minimum of three different 
scenarios, including baseline, adverse, and severely adverse 
conditions, for use in stress tests required in the stress test 
rules.\8\ In general, the Board anticipates that it will not issue 
additional scenarios. Specific circumstances or vulnerabilities that 
in any given year the Board determines require particular vigilance 
to ensure the resilience of the banking sector will be captured in 
either the adverse or severely adverse scenarios. A greater number 
of scenarios could be needed in some years--for example, because the 
Board identifies a large number of unrelated and uncorrelated but 
nonetheless significant risks.
---------------------------------------------------------------------------

    \8\ 12 CFR 252.14(b), 12 CFR 252.44(b), 12 CFR 252.54(b).
---------------------------------------------------------------------------

    b. While the Board generally expects to use the same scenarios 
for all companies subject to the final rule, it may require a subset 
of companies--depending on a company's financial condition, size, 
complexity, risk profile, scope of operations, or activities, or 
risks to the U.S. economy--to include additional scenario components 
or additional scenarios that are designed to capture different 
effects of adverse events on revenue, losses, and capital. One 
example of such components is the market shock that applies only to 
companies with significant trading activity. Additional components 
or scenarios may also include other stress factors that may not 
necessarily be directly correlated to macroeconomic or financial 
assumptions but nevertheless can materially affect companies' risks, 
such as the unexpected default of a major counterparty.
    c. Early in each stress testing cycle, the Board plans to 
publish the macroeconomic scenarios along with a brief narrative 
summary that provides a description of the economic situation 
underlying the scenario and explains how the scenarios have changed 
relative to the previous year. In addition, to assist companies in 
projecting the paths of additional variables in a manner consistent 
with the scenario, the narrative will also provide descriptions of 
the general path of some additional variables. These descriptions 
will be general--that is, they will describe developments for broad 
classes of variables rather than for specific variables--and will 
specify the intensity and direction of variable

[[Page 59540]]

changes but not numeric magnitudes. These descriptions should 
provide guidance that will be useful to companies in specifying the 
paths of the additional variables for their company-run stress 
tests. Note that in practice it will not be possible for the 
narrative to include descriptions on all of the additional variables 
that companies may need for their company-run stress tests. In cases 
where scenarios are designed to reflect particular risks and 
vulnerabilities, the narrative will also explain the underlying 
motivation for these features of the scenario. The Board also plans 
to release a broad description of the market shock components.

3.1 Macroeconomic Scenarios

    a. The macroeconomic scenarios will consist of the future paths 
of a set of economic and financial variables.\9\ The economic and 
financial variables included in the scenarios will likely comprise 
those included in the ``2014 Supervisory Scenarios for Annual Stress 
Tests Required under the Dodd-Frank Act Stress Testing Rules and the 
Capital Plan Rule'' (2013 supervisory scenarios). The domestic U.S. 
variables provided for in the 2013 supervisory scenarios included:
---------------------------------------------------------------------------

    \9\ The future path of a variable refers to its specification 
over a given time period. For example, the path of unemployment can 
be described in percentage terms on a quarterly basis over the 
stress testing time horizon.
---------------------------------------------------------------------------

    i. Six measures of economic activity and prices: Real and 
nominal gross domestic product (GDP) growth, the unemployment rate 
of the civilian non-institutional population aged 16 and over, real 
and nominal disposable personal income growth, and the Consumer 
Price Index (CPI) inflation rate;
    ii. Four measures of developments in equity and property 
markets: The Core Logic National House Price Index, the National 
Council for Real Estate Investment Fiduciaries Commercial Real 
Estate Price Index, the Dow Jones Total Stock Market Index, and the 
Chicago Board Options Exchange Market Volatility Index; and
    iii. Six measures of interest rates: The rate on the three-month 
Treasury bill, the yield on the 5-year Treasury bond, the yield on 
the 10-year Treasury bond, the yield on a 10-year BBB corporate 
security, the prime rate, and the interest rate associated with a 
conforming, conventional, fixed-rate, 30-year mortgage.
    b. The international variables provided for in the 2014 
supervisory scenarios included, for the euro area, the United 
Kingdom, developing Asia, and Japan:
    i. Percent change in real GDP;
    ii. Percent change in the Consumer Price Index or local 
equivalent; and
    iii. The U.S./foreign currency exchange rate.\10\
---------------------------------------------------------------------------

    \10\ The Board may increase the range of countries or regions 
included in future scenarios, as appropriate.
---------------------------------------------------------------------------

    c. The economic variables included in the scenarios influence 
key items affecting financial companies' net income, including pre-
provision net revenue and credit losses on loans and securities. 
Moreover, these variables exhibit fairly typical trends in adverse 
economic climates that can have unfavorable implications for 
companies' net income and, thus, capital positions.
    d. The economic variables included in the scenario may change 
over time. For example, the Board may add variables to a scenario if 
the international footprint of companies that are subject to the 
stress testing rules changed notably over time such that the 
variables already included in the scenario no longer sufficiently 
capture the material risks of these companies. Alternatively, 
historical relationships between macroeconomic variables could 
change over time such that one variable (e.g., disposable personal 
income growth) that previously provided a good proxy for another 
(e.g., light vehicle sales) in modeling companies' pre-provision net 
revenue or credit losses ceases to do so, resulting in the need to 
create a separate path, or alternative proxy, for the other 
variable. However, recognizing the amount of work required for 
companies to incorporate the scenario variables into their stress 
testing models, the Board expects to eliminate variables from the 
scenarios only in rare instances.
    e. The Board expects that the company may not use all of the 
variables provided in the scenario, if those variables are not 
appropriate to the company's line of business, or may add additional 
variables, as appropriate. The Board expects the companies will 
ensure that the paths of such additional variables are consistent 
with the scenarios the Board provided. For example, the companies 
may use, as part of their internal stress test models, local-level 
variables, such as state-level unemployment rates or city-level 
house prices. While the Board does not plan to include local-level 
macro variables in the stress test scenarios it provides, it expects 
the companies to evaluate the paths of local-level macro variables 
as needed for their internal models, and ensure internal consistency 
between these variables and their aggregate, macro-economic 
counterparts. The Board will provide the macroeconomic scenario 
component of the stress test scenarios for a period that spans a 
minimum of 13 quarters. The scenario horizon reflects the 
supervisory stress test approach that the Board plans to use. Under 
the stress test rules, the Board will assess the effect of different 
scenarios on the consolidated capital of each company over a 
forward-looking planning horizon of at least nine quarters.

3.2 Market Shock Component

    a. The market shock component of the adverse and severely 
adverse scenarios will only apply to companies with significant 
trading activity and their subsidiaries.\11\ The component consists 
of large moves in market prices and rates that would be expected to 
generate losses. Market shocks differ from macroeconomic scenarios 
in a number of ways, both in their design and application. For 
instance, market shocks that might typically be observed over an 
extended period (e.g., 6 months) are assumed to be an instantaneous 
event which immediately affects the market value of the companies' 
trading assets and liabilities. In addition, under the stress test 
rules, the as-of date for market shocks will differ from the 
quarter-end, and the Board will provide the as-of date for market 
shocks no later than February 1 of each year. Finally, as described 
in section 4, the market shock includes a much larger set of risk 
factors than the set of economic and financial variables included in 
macroeconomic scenarios. Broadly, these risk factors include shocks 
to financial market variables that affect asset prices, such as a 
credit spread or the yield on a bond, and, in some cases, the value 
of the position itself (e.g., the market value of private equity 
positions).
---------------------------------------------------------------------------

    \11\ Currently, companies with significant trading activity 
include any bank holding company or intermediate holding company 
that (1) has aggregate trading assets and liabilities of $50 billion 
or more, or aggregate trading assets and liabilities equal to 10 
percent or more of total consolidated assets, and (2) is not a large 
and noncomplex firm. The Board may also subject a state member bank 
subsidiary of any such bank holding company to the market shock 
component. The set of companies subject to the market shock 
component could change over time as the size, scope, and complexity 
of financial company's trading activities evolve.
---------------------------------------------------------------------------

    b. The Board envisions that the market shocks will include 
shocks to a broad range of risk factors that are similar in 
granularity to those risk factors trading companies use internally 
to produce profit and loss estimates, under stressful market 
scenarios, for all asset classes that are considered trading assets, 
including equities, credit, interest rates, foreign exchange rates, 
and commodities. Examples of risk factors include, but are not 
limited to:
    i. Equity indices of all developed markets, and of developing 
and emerging market nations to which companies with significant 
trading activity may have exposure, along with term structures of 
implied volatilities;
    ii. Cross-currency FX rates of all major and many minor 
currencies, along term structures of implied volatilities;
    iii. Term structures of government rates (e.g., U.S. 
Treasuries), interbank rates (e.g., swap rates) and other key rates 
(e.g., commercial paper) for all developed markets and for 
developing and emerging market nations to which companies may have 
exposure;
    iv. Term structures of implied volatilities that are key inputs 
to the pricing of interest rate derivatives;
    v. Term structures of futures prices for energy products 
including crude oil (differentiated by country of origin), natural 
gas, and power;
    vi. Term structures of futures prices for metals and 
agricultural commodities;
    vii. ``Value-drivers'' (credit spreads or instrument prices 
themselves) for credit-sensitive product segments including: 
Corporate bonds, credit default swaps, and collateralized debt 
obligations by risk; non-agency residential mortgage-backed 
securities and commercial mortgage-backed securities by risk and 
vintage; sovereign debt; and, municipal bonds; and
    viii. Shocks to the values of private equity positions.

4. Approach for Formulating the Macroeconomic Assumptions for Scenarios

    a. This section describes the Board's approach for formulating 
macroeconomic

[[Page 59541]]

assumptions for each scenario. The methodologies for formulating 
this part of each scenario differ by scenario, so these 
methodologies for the baseline, severely adverse, and the adverse 
scenarios are described separately in each of the following 
subsections.
    b. In general, the baseline scenario will reflect the most 
recently available consensus views of the macroeconomic outlook 
expressed by professional forecasters, government agencies, and 
other public-sector organizations as of the beginning of the annual 
stress-test cycle. The severely adverse scenario will consist of a 
set of economic and financial conditions that reflect the conditions 
of post-war U.S. recessions. The adverse scenario will consist of a 
set of economic and financial conditions that are more adverse than 
those associated with the baseline scenario but less severe than 
those associated with the severely adverse scenario.
    c. Each of these scenarios is described further in sections 
below as follows: Baseline (subsection 4.1), severely adverse 
(subsection 4.2), and adverse (subsection 4.3).

4.1 Approach for Formulating Macroeconomic Assumptions in the 
Baseline Scenario

    a. The stress test rules define the baseline scenario as a set 
of conditions that affect the U.S. economy or the financial 
condition of a banking organization, and that reflect the consensus 
views of the economic and financial outlook. Projections under a 
baseline scenario are used to evaluate how companies would perform 
in more likely economic and financial conditions. The baseline 
serves also as a point of comparison to the severely adverse and 
adverse scenarios, giving some sense of how much of the company's 
capital decline could be ascribed to the scenario as opposed to the 
company's capital adequacy under expected conditions.
    b. The baseline scenario will be developed around a 
macroeconomic projection that captures the prevailing views of 
private-sector forecasters (e.g. Blue Chip Consensus Forecasts and 
the Survey of Professional Forecasters), government agencies, and 
other public-sector organizations (e.g., the International Monetary 
Fund and the Organization for Economic Co-operation and Development) 
near the beginning of the annual stress-test cycle. The baseline 
scenario is designed to represent a consensus expectation of certain 
economic variables over the time period of the tests and it is not 
the Board's internal forecast for those economic variables. For 
example, the baseline path of short-term interest rates is 
constructed from consensus forecasts and may differ from that 
implied by the FOMC's Summary of Economic Projections.
    c. For some scenario variables--such as U.S. real GDP growth, 
the unemployment rate, and the consumer price index--there will be a 
large number of different forecasts available to project the paths 
of these variables in the baseline scenario. For others, a more 
limited number of forecasts will be available. If available 
forecasts diverge notably, the baseline scenario will reflect an 
assessment of the forecast that is deemed to be most plausible. In 
setting the paths of variables in the baseline scenario, particular 
care will be taken to ensure that, together, the paths present a 
coherent and plausible outlook for the U.S. and global economy, 
given the economic climate in which they are formulated.

4.2 Approach for Formulating the Macroeconomic Assumptions in the 
Severely Adverse Scenario

    The stress test rules define a severely adverse scenario as a 
set of conditions that affect the U.S. economy or the financial 
condition of a financial company and that overall are more severe 
than those associated with the adverse scenario. The financial 
company will be required to publicly disclose a summary of the 
results of its stress test under the severely adverse scenario, and 
the Board intends to publicly disclose the results of its analysis 
of the financial company under the adverse scenario and the severely 
adverse scenario.

4.2.1 General Approach: The Recession Approach

    a. The Board intends to use a recession approach to develop the 
severely adverse scenario. In the recession approach, the Board will 
specify the future paths of variables to reflect conditions that 
characterize post-war U.S. recessions, generating either a typical 
or specific recreation of a post-war U.S. recession. The Board chose 
this approach because it has observed that the conditions that 
typically occur in recessions--such as increasing unemployment, 
declining asset prices, and contracting loan demand--can put 
significant stress on companies' balance sheets. This stress can 
occur through a variety of channels, including higher loss 
provisions due to increased delinquencies and defaults; losses on 
trading positions through sharp moves in market prices; and lower 
bank income through reduced loan originations. For these reasons, 
the Board believes that the paths of economic and financial 
variables in the severely adverse scenario should, at a minimum, 
resemble the paths of those variables observed during a recession.
    b. This approach requires consideration of the type of recession 
to feature. All post-war U.S. recessions have not been identical: 
Some recessions have been associated with very elevated interest 
rates, some have been associated with sizable asset price declines, 
and some have been relatively more global. The most common features 
of recessions, however, are increases in the unemployment rate and 
contractions in aggregate incomes and economic activity. For this 
and the following reasons, the Board intends to use the unemployment 
rate as the primary basis for specifying the severely adverse 
scenario. First, the unemployment rate is likely the most 
representative single summary indicator of adverse economic 
conditions. Second, in comparison to GDP, labor market data have 
traditionally featured more prominently than GDP in the set of 
indicators that the National Bureau of Economic Research reviews to 
inform its recession dates.\12\ Third and finally, the growth rate 
of potential output can cause the size of the decline in GDP to vary 
between recessions. While changes in the unemployment rate can also 
vary over time due to demographic factors, this seems to have more 
limited implications over time relative to changes in potential 
output growth. The unemployment rate used in the severely adverse 
scenario will reflect an unemployment rate that has been observed in 
severe post-war U.S. recessions, measuring severity by the absolute 
level of and relative increase in the unemployment rate.\13\
---------------------------------------------------------------------------

    \12\ More recently, a monthly measure of GDP has been added to 
the list of indicators.
    \13\ Even though all recessions feature increases in the 
unemployment rate and contractions in incomes and economic activity, 
the size of this change has varied over post-war U.S. recessions. 
Table 1 of this appendix documents the variability in the depth of 
post-war U.S. recessions. Some recessions--labeled mild in Table 1--
have been relatively modest with GDP edging down just slightly and 
the unemployment rate moving up about a percentage point. Other 
recessions--labeled severe in Table 1--have been much harsher with 
GDP dropping 3\3/4\ percent and the unemployment rate moving up a 
total of about 4 percentage points.
---------------------------------------------------------------------------

    c. The Board believes that the severely adverse scenario should 
also reflect a housing recession. The house prices path set in the 
severely adverse scenario will reflect developments that have been 
observed in post-war U.S. housing recessions, measuring severity by 
the absolute level of and relative decrease in the house prices.
    d. The Board will specify the paths of most other macroeconomic 
variables based on the paths of unemployment, income, house prices, 
and activity. Some of these other variables, however, have taken 
wildly divergent paths in previous recessions (e.g., foreign GDP), 
requiring the Board to use its informed judgment in selecting 
appropriate paths for these variables. In general, the path for 
these other variables will be based on their underlying structure at 
the time that the scenario is designed (e.g., economic or financial-
system vulnerabilities in other countries).
    e. The Board considered alternative methods for scenario design 
of the severely adverse scenario, including a probabilistic 
approach. The probabilistic approach constructs a baseline forecast 
from a large-scale macroeconomic model and identifies a scenario 
that would have a specific probabilistic likelihood given the 
baseline forecast. The Board believes that, at this time, the 
recession approach is better suited for developing the severely 
adverse scenario than a probabilistic approach because it guarantees 
a recession of some specified severity. In contrast, the 
probabilistic approach requires the choice of an extreme tail 
outcome--relative to baseline--to characterize the severely adverse 
scenario (e.g., a 5 percent or a 1 percent tail outcome). In 
practice, this choice is difficult as adverse economic outcomes are 
typically thought of in terms of how variables evolve in an absolute 
sense rather than how far away they lie in the probability space 
away from the baseline. In this sense, a scenario featuring a 
recession may be somewhat clearer and more straightforward to 
communicate. Finally, the

[[Page 59542]]

probabilistic approach relies on estimates of uncertainty around the 
baseline scenario and such estimates are in practice model-
dependent.

4.2.2 Setting the Unemployment Rate Under the Severely Adverse 
Scenario

    a. The Board anticipates that the severely adverse scenario will 
feature an unemployment rate that increases between 3 to 5 
percentage points from its initial level over the course of 6 to 8 
calendar quarters.\14\ The initial level will be set based on the 
conditions at the time that the scenario is designed. However, if a 
3 to 5 percentage point increase in the unemployment rate does not 
raise the level of the unemployment rate to at least 10 percent--the 
average level to which it has increased in the most recent three 
severe recessions--the path of the unemployment rate in most cases 
will be specified so as to raise the unemployment rate to at least 
10 percent.
---------------------------------------------------------------------------

    \14\ Six to eight quarters is the average number of quarters for 
which a severe recession lasts plus the average number of subsequent 
quarters over which the unemployment rate continues to rise. The 
variable length of the timeframe reflects the different paths to the 
peak unemployment rate depending on the severity of the scenario.
---------------------------------------------------------------------------

    b. This methodology is intended to generate scenarios that 
feature stressful outcomes but do not induce greater procyclicality 
in the financial system and macroeconomy. When the economy is in the 
early stages of a recovery, the unemployment rate in a baseline 
scenario generally trends downward, resulting in a larger difference 
between the path of the unemployment rate in the severely adverse 
scenario and the baseline scenario and a severely adverse scenario 
that is relatively more intense. Conversely, in a sustained strong 
expansion--when the unemployment rate may be below the level 
consistent with full employment--the unemployment in a baseline 
scenario generally trends upward, resulting in a smaller difference 
between the path of the unemployment rate in the severely adverse 
scenario and the baseline scenario and a severely adverse scenario 
that is relatively less intense. Historically, a 3 to 5 percentage 
point increase in unemployment rate is reflective of stressful 
conditions. As illustrated in Table 1 of this appendix, over the 
last half-century, the U.S. economy has experienced four severe 
post-war recessions. In all four of these recessions the 
unemployment rate increased 3 to 5 percentage points and in the 
three most recent of these recessions the unemployment rate reached 
a level between 9 percent and 11 percent.
    c. Under this method, if the initial unemployment rate were 
low--as it would be after a sustained long expansion--the 
unemployment rate in the scenario would increase to a level as high 
as what has been seen in past severe recessions. However, if the 
initial unemployment rate were already high--as would be the case in 
the early stages of a recovery--the unemployment rate would exhibit 
a change as large as what has been seen in past severe recessions.
    d. The Board believes that the typical increase in the 
unemployment rate in the severely adverse scenario will be about 4 
percentage points. However, the Board will calibrate the increase in 
unemployment based on its views of the status of cyclical systemic 
risk. The Board intends to set the unemployment rate at the higher 
end of the range if the Board believed that cyclical systemic risks 
were high (as it would be after a sustained long expansion), and to 
the lower end of the range if cyclical systemic risks were low (as 
it would be in the earlier stages of a recovery). This may result in 
a scenario that is slightly more intense than normal if the Board 
believed that cyclical systemic risks were increasing in a period of 
robust expansion.\15\ Conversely, it will allow the Board to specify 
a scenario that is slightly less intense than normal in an 
environment where systemic risks appeared subdued, such as in the 
early stages of an expansion. Indeed, the Board expects that, in 
general, it will adopt a change in the unemployment rate of less 
than 4 percentage points when the unemployment rate at the start of 
the scenarios is elevated but the labor market is judged to be 
strengthening and higher-than-usual credit losses stemming from 
previously elevated unemployment rates were either already 
realized--or are in the process of being realized--and thus removed 
from banks' balance sheets.\16\ However, even at the lower end of 
the range of unemployment-rate increases, the scenario will still 
feature an increase in the unemployment rate similar to what has 
been seen in about half of the severe recessions of the last 50 
years.
---------------------------------------------------------------------------

    \15\ Note, however, that the severity of the scenario would not 
exceed an implausible level: even at the upper end of the range of 
unemployment-rate increases, the path of the unemployment rate would 
still be consistent with severe post-war U.S. recessions.
    \16\ Evidence of a strengthening labor market could include a 
declining unemployment rate, steadily expanding nonfarm payroll 
employment, or improving labor force participation. Evidence that 
credit losses are being realized could include elevated charge-offs 
on loans and leases, loan-loss provisions in excess of gross charge-
offs, or losses being realized in securities portfolios that include 
securities that are subject to credit risk.
---------------------------------------------------------------------------

    e. As indicated previously, if a 3 to 5 percentage point 
increase in the unemployment rate does not raise the level of the 
unemployment rate to 10 percent--the average level to which it has 
increased in the most recent three severe recessions--the path of 
the unemployment rate will be specified so as to raise the 
unemployment rate to 10 percent. Setting a floor for the 
unemployment rate at 10 percent recognizes the fact that not only do 
cyclical systemic risks build up at financial intermediaries during 
robust expansions but that these risks are also easily obscured by 
the buoyant environment.
    f. In setting the increase in the unemployment rate, the Board 
will consider the extent to which analysis by economists, 
supervisors, and financial market experts finds cyclical systemic 
risks to be elevated (but difficult to be captured more precisely in 
one of the scenario's other variables). In addition, the Board--in 
light of impending shocks to the economy and financial system--will 
also take into consideration the extent to which a scenario of some 
increased severity might be necessary for the results of the stress 
test and the associated supervisory actions to sustain confidence in 
financial institutions.
    g. While the approach to specifying the severely adverse 
scenario is designed to avoid adding sources of procyclicality to 
the financial system, it is not designed to explicitly offset any 
existing procyclical tendencies in the financial system. The purpose 
of the stress test scenarios is to make sure that the companies are 
properly capitalized to withstand severe economic and financial 
conditions, not to serve as an explicit countercyclical offset to 
the financial system.
    h. In developing the approach to the unemployment rate, the 
Board also considered a method that would increase the unemployment 
rate to some fairly elevated fixed level over the course of 6 to 8 
quarters. This will result in scenarios being more severe in robust 
expansions (when the unemployment rate is low) and less severe in 
the early stages of a recovery (when the unemployment rate is high) 
and so would not result in pro-cyclicality. Depending on the initial 
level of the unemployment rate, this approach could lead to only a 
very modest increase in the unemployment rate--or even a decline. As 
a result, this approach--while not procyclical--could result in 
scenarios not featuring stressful macroeconomic outcomes.

4.2.3 Setting the Other Variables in the Severely Adverse Scenario

    a. Generally, all other variables in the severely adverse 
scenario will be specified to be consistent with the increase in the 
unemployment rate. The approach for specifying the paths of these 
variables in the scenario will be a combination of (1) how economic 
models suggest that these variables should evolve given the path of 
the unemployment rate, (2) how these variables have typically 
evolved in past U.S. recessions, and (3) and evaluation of these and 
other factors.
    b. Economic models--such as medium-scale macroeconomic models--
should be able to generate plausible paths consistent with the 
unemployment rate for a number of scenario variables, such as real 
GDP growth, CPI inflation and short-term interest rates, which have 
relatively stable (direct or indirect) relationships with the 
unemployment rate (e.g., Okun's Law, the Phillips Curve, and 
interest rate feedback rules). For some other variables, specifying 
their paths will require a case-by-case consideration.
    c. Declining house prices, which are an important source of 
stress to a company's balance sheet, are not a steadfast feature of 
recessions, and the historical relationship of house prices with the 
unemployment rate is not strong. Simply adopting their typical path 
in a severe recession would likely underestimate risks stemming from 
the housing sector. In specifying the path for nominal house prices, 
the Board will consider the ratio of the nominal house price index 
(HPI) to nominal, per capita, disposable income (DPI). The Board 
believes that the typical decline in the HPI-DPI ratio will be at a 
minimum 25 percent from its starting value, or enough to bring the 
ratio

[[Page 59543]]

down to its Great Recession trough. As illustrated in Table 2 of 
this appendix, housing recessions have on average featured HPI-DPI 
ratio declines of about 25 percent and the HPI-DPI ratio fell to its 
Great Recession trough.\17\
---------------------------------------------------------------------------

    \17\ The house-price retrenchments that occurred over the 
periods 1980-1985, 1989-1996, 2006-2011 (as detailed in Table 2 of 
this appendix) are referred to in this document as housing 
recessions. The date-ranges of housing recessions are based on the 
timing of house-price retrenchments. These dates were also 
associated with sustained declines in real residential investment, 
although, the precise timings of housing recessions would likely be 
slightly different were they to be classified based on real 
residential investment in addition to house prices. The ratios 
described in Table 2 are calculated based on nominal HPI and HPI-DPI 
ratios indexed to 100 in 2000:Q1.
---------------------------------------------------------------------------

    d. In addition, judgment is necessary in projecting the path of 
a scenario's international variables. Recessions that occur 
simultaneously across countries are an important source of stress to 
the balance sheets of companies with notable international exposures 
but are not an invariable feature of the international economy. As a 
result, simply adopting the typical path of international variables 
in a severe U.S. recession would likely underestimate the risks 
stemming from the international economy. Consequently, an approach 
that uses both judgment and economic models informs the path of 
international variables.

4.2.4 Adding Salient Risks to the Severely Adverse Scenario

    a. The severely adverse scenario will be developed to reflect 
specific risks to the economic and financial outlook that are 
especially salient but will feature minimally in the scenario if the 
Board were only to use approaches that looked to past recessions or 
relied on historical relationships between variables.
    b. There are some important instances when it will be 
appropriate to augment the recession approach with salient risks. 
For example, if an asset price were especially elevated and thus 
potentially vulnerable to an abrupt and potentially destabilizing 
decline, it would be appropriate to include such a decline in the 
scenario even if such a large drop were not typical in a severe 
recession. Likewise, if economic developments abroad were 
particularly unfavorable, assuming a weakening in international 
conditions larger than what typically occurs in severe U.S. 
recessions would likely also be appropriate.
    c. Clearly, while the recession component of the severely 
adverse scenario is within some predictable range, the salient risk 
aspect of the scenario is far less so, and therefore, needs an 
annual assessment. Each year, the Board will identify the risks to 
the financial system and the domestic and international economic 
outlooks that appear more elevated than usual, using its internal 
analysis and supervisory information and in consultation with the 
Federal Deposit Insurance Corporation (FDIC) and the Office of the 
Comptroller of the Currency (OCC). Using the same information, the 
Board will then calibrate the paths of the macroeconomic and 
financial variables in the scenario to reflect these risks.
    d. Detecting risks that have the potential to weaken the banking 
sector is particularly difficult when economic conditions are 
buoyant, as a boom can obscure the weaknesses present in the system. 
In sustained robust expansions, therefore, the selection of salient 
risks to augment the scenario will err on the side of including 
risks of uncertain significance.
    e. The Board will factor in particular risks to the domestic and 
international macroeconomic outlook identified by its economists, 
bank supervisors, and financial market experts and make appropriate 
adjustments to the paths of specific economic variables. These 
adjustments will not be reflected in the general severity of the 
recession and, thus, all macroeconomic variables; rather, the 
adjustments will apply to a subset of variables to reflect co-
movements in these variables that are historically less typical. The 
Board plans to discuss the motivation for the adjustments that it 
makes to variables to highlight systemic risks in the narrative 
describing the scenarios.\18\
---------------------------------------------------------------------------

    \18\ The means of effecting an adjustment to the severely 
adverse scenario to address salient systemic risks differs from the 
means used to adjust the unemployment rate. For example, in 
adjusting the scenario for an increased unemployment rate, the Board 
would modify all variables such that the future paths of the 
variables are similar to how these variables have moved 
historically. In contrast, to address salient risks, the Board may 
only modify a small number of variables in the scenario and, as 
such, their future paths in the scenario would be somewhat more 
atypical, albeit not implausible, given existing risks.
---------------------------------------------------------------------------

4.3 Approach for Formulating Macroeconomic Assumptions in the 
Adverse Scenario

    a. The adverse scenario can be developed in a number of 
different ways, and the selected approach will depend on a number of 
factors, including how the Board intends to use the results of the 
adverse scenario.\19\ Generally, the Board believes that the 
companies should consider multiple adverse scenarios for their 
internal capital planning purposes, and likewise, it is appropriate 
that the Board consider more than one adverse scenario to assess a 
company's ability to withstand stress. Accordingly, the Board does 
not identify a single approach for specifying the adverse scenario. 
Rather, the adverse scenario will be formulated according to one of 
the possibilities listed below. The Board may vary the approach it 
uses for the adverse scenario each year so that the results of the 
scenario provide the most value to supervisors, in light of current 
condition of the economy and the financial services industry.
---------------------------------------------------------------------------

    \19\ For example, in the context of CCAR, the Board currently 
uses the adverse scenario as one consideration in evaluating a 
firm's capital adequacy.
---------------------------------------------------------------------------

    b. The simplest method to specify the adverse scenario is to 
develop a less severe version of the severely adverse scenario. For 
example, the adverse scenario could be formulated such that the 
deviations of the paths of the variables relative to the baseline 
were simply one-half of or two-thirds of the deviations of the paths 
of the variables relative to the baseline in the severely adverse 
scenario. A priori, specifying the adverse scenario in this way may 
appear unlikely to provide the greatest possible informational value 
to supervisors--given that it is just a less severe version of the 
severely adverse scenario. However, to the extent that the effect of 
macroeconomic variables on company loss positions and incomes are 
nonlinear, there could be potential value from this approach.
    c. Another method to specify the adverse scenario is to capture 
risks in the adverse scenario that the Board believes should be 
understood better or should be monitored, but does not believe 
should be included in the severely adverse scenario, perhaps because 
these risks would render the scenario implausibly severe. For 
instance, the adverse scenario could feature sizable increases in 
oil or natural gas prices or shifts in the yield curve that are 
atypical in a recession. The adverse scenario might also feature 
less acute, but still consequential, adverse outcomes, such as a 
disruptive slowdown in growth from emerging-market economies.
    d. Under the Board's stress test rules, covered companies are 
required to develop their own scenarios for mid-cycle company-run 
stress tests.\20\ A particular combination of risks included in 
these scenarios may inform the design of the adverse scenario for 
annual stress tests. In this same vein, another possibility would be 
to use modified versions of the circumstances that companies 
describe in their living wills as being able to cause their 
failures.
---------------------------------------------------------------------------

    \20\ 12 CFR 252.55.
---------------------------------------------------------------------------

    e. It might also be informative to periodically use a stable 
adverse scenario, at least for a few consecutive years. Even if the 
scenario used for the stress test does not change over the credit 
cycle, if companies tighten and relax lending standards over the 
cycle, their loss rates under the adverse scenario--and indirectly 
the projected changes to capital--would decrease and increase, 
respectively. A consistent scenario would allow the direct 
observation of how capital fluctuates to reflect growing cyclical 
risks.
    f. The Board may consider specifying the adverse scenario using 
the probabilistic approach described in section 4.2.1 (that is, with 
a specified lower probability of occurring than the severely adverse 
scenario but a greater probability of occurring than the baseline 
scenario). The approach has some intuitive appeal despite its 
shortcomings. For example, using this approach for the adverse 
scenario could allow the Board to explore an alternative approach to 
develop stress testing scenarios and their effect on a company's net 
income and capital.
    g. Finally, the Board could design the adverse scenario based on 
a menu of historical experiences--such as, a moderate recession 
(e.g., the 1990-1991 recession); a stagflation event (e.g., 
stagflation during 1974); an emerging markets crisis (e.g., the 
Asian currency crisis of 1997-1998); an oil price shock (e.g., the 
shock during the run up

[[Page 59544]]

to the 1990-1991 recession); or high inflation shock (e.g., the 
inflation pressures of 1977-1979). The Board believes these are 
important stresses that should be understood; however, there may be 
notable benefits from formulating the adverse scenario following 
other approaches--specifically, those described previously in this 
section--and consequently the Board does not believe that the 
adverse scenario should be limited to historical episodes only.
    h. With the exception of cases in which the probabilistic 
approach is used to generate the adverse scenario, the adverse 
scenario will at a minimum contain a mild to moderate recession. 
This is because most of the value from investigating the 
implications of the risks described above is likely to be obtained 
from considering them in the context of balance sheets of companies 
that are under some stress.

5. Approach for Formulating the Market Shock Component

    a. This section discusses the approach the Board proposes to 
adopt for developing the market shock component of the adverse and 
severely adverse scenarios appropriate for companies with 
significant trading activities. The design and specification of the 
market shock component differs from that of the macroeconomic 
scenarios because profits and losses from trading are measured in 
mark-to-market terms, while revenues and losses from traditional 
banking are generally measured using the accrual method. As noted 
above, another critical difference is the time-evolution of the 
market shock component. The market shock component consists of an 
instantaneous ``shock'' to a large number of risk factors that 
determine the mark-to-market value of trading positions, while the 
macroeconomic scenarios supply a projected path of economic 
variables that affect traditional banking activities over the entire 
planning period.
    b. The development of the market shock component that are 
detailed in this section are as follows: baseline (subsection 5.1), 
severely adverse (subsection 5.2), and adverse (subsection 5.3).

5.1 Approach for Formulating the Market Shock Component Under the 
Baseline Scenario

    By definition, market shocks are large, previously unanticipated 
moves in asset prices and rates. Because asset prices should, 
broadly speaking, reflect consensus opinions about the future 
evolution of the economy, large price movements, as envisioned in 
the market shock, should not occur along the baseline path. As a 
result, the market shock will not be included in the baseline 
scenario.

5.2 Approach for Formulating the Market Shock Component Under the 
Severely Adverse Scenario

    This section addresses possible approaches to designing the 
market shock component in the severely adverse scenario, including 
important considerations for scenario design, possible approaches to 
designing scenarios, and a development strategy for implementing the 
preferred approach.

5.2.1 Design Considerations for Market Shocks

    a. The general market practice for stressing a trading portfolio 
is to specify market shocks either in terms of extreme moves in 
observable, broad market indicators and risk factors or directly as 
large changes to the mark-to-market values of financial instruments. 
These moves can be specified either in relative terms or absolute 
terms. Supplying values of risk factors after a ``shock'' is roughly 
equivalent to the macroeconomic scenarios, which supply values for a 
set of economic and financial variables; however, trading stress 
testing differs from macroeconomic stress testing in several 
critical ways.
    b. In the past, the Board used one of two approaches to specify 
market shocks. During SCAP and CCAR in 2011, the Board used a very 
general approach to market shocks and required companies to stress 
their trading positions using changes in market prices and rates 
experienced during the second half of 2008, without specifying risk 
factor shocks. This broad guidance resulted in inconsistency across 
companies both in terms of the severity and the application of 
shocks. In certain areas companies were permitted to use their own 
experience during the second half of 2008 to define shocks. This 
resulted in significant variation in shock severity across 
companies.
    c. To enhance the consistency and comparability in market shocks 
for the stress tests in 2012 and 2013, the Board provided to each 
trading company more than 35,000 specific risk factor shocks, 
primarily based on market moves in the second half of 2008. While 
the number of risk factors used in companies' pricing and stress-
testing models still typically exceed that provided in the Board's 
scenarios, the greater specificity resulted in more consistency in 
the scenario across companies. The benefit of the comprehensiveness 
of risk factor shocks is at least partly offset by potential 
difficulty in creating shocks that are coherent and internally 
consistent, particularly as the framework for developing market 
shocks deviates from historical events.
    d. Also importantly, the ultimate losses associated with a given 
market shock will depend on a company's trading positions, which can 
make it difficult to rank order, ex ante, the severity of the 
scenarios. In certain instances, market shocks that include large 
market moves may not be particularly stressful for a given company. 
Aligning the market shock with the macroeconomic scenario for 
consistency may result in certain companies actually benefiting from 
risk factor moves of larger magnitude in the market scenario if the 
companies are hedging against salient risks to other parts of their 
business. Thus, the severity of market shocks must be calibrated to 
take into account how a complex set of risks, such as directional 
risks and basis risks, interacts with each other, given the 
companies' trading positions at the time of stress. For instance, a 
large depreciation in a foreign currency would benefit companies 
with net short positions in the currency while hurting those with 
net long positions. In addition, longer maturity positions may move 
differently from shorter maturity positions, adding further 
complexity.
    e. The instantaneous nature of market shocks and the immediate 
recognition of mark-to-market losses add another element to the 
design of market shocks, and to determining the appropriate severity 
of shocks. For instance, in previous stress tests, the Board assumed 
that market moves that occurred over the six-month period in late 
2008 would occur instantaneously. The design of the market shocks 
must factor in appropriate assumptions around the period of time 
during which market events will unfold and any associated market 
responses.

5.2.2 Approaches to Market Shock Design

    a. As an additional component of the adverse and severely 
adverse scenarios, the Board plans to use a standardized set of 
market shocks that apply to all companies with significant trading 
activity. The market shocks could be based on a single historical 
episode, multiple historical periods, hypothetical (but plausible) 
events, or some combination of historical episodes and hypothetical 
events (hybrid approach). Depending on the type of hypothetical 
events, a scenario based on such events may result in changes in 
risk factors that were not previously observed. In the supervisory 
scenarios for 2012 and 2013, the shocks were largely based on 
relative moves in asset prices and rates during the second half of 
2008, but also included some additional considerations to factor in 
the widening of spreads for European sovereigns and financial 
companies based on actual observation during the latter part of 
2011.
    b. For the market shock component in the severely adverse 
scenario, the Board plans to use the hybrid approach to develop 
shocks. The hybrid approach allows the Board to maintain certain 
core elements of consistency in market shocks each year while 
providing flexibility to add hypothetical elements based on market 
conditions at the time of the stress tests. In addition, this 
approach will help ensure internal consistency in the scenario 
because of its basis in historical episodes; however, combining the 
historical episode and hypothetical events may require small 
adjustments to ensure mutual consistency of the joint moves. In 
general, the hybrid approach provides considerable flexibility in 
developing scenarios that are relevant each year, and by introducing 
variations in the scenario, the approach will also reduce the 
ability of companies with significant trading activity to modify or 
shift their portfolios to minimize expected losses in the severely 
adverse market shock.
    c. The Board has considered a number of alternative approaches 
for the design of market shocks. For example, the Board explored an 
option of providing tailored market shocks for each trading company, 
using information on the companies' portfolio gathered through 
ongoing supervision, or other means. By specifically targeting known 
or potential vulnerabilities in a company's trading position, the 
tailored approach will be useful in assessing each company's capital 
adequacy as it relates to the company's idiosyncratic risk. However, 
the Board does not believe this approach to

[[Page 59545]]

be well-suited for the stress tests required by regulation. 
Consistency and comparability are key features of annual supervisory 
stress tests and annual company-run stress tests required in the 
stress test rules. It would be difficult to use the information on 
the companies' portfolio to design a common set of shocks that are 
universally stressful for all covered companies. As a result, this 
approach will be better suited to more customized, tailored stress 
tests that are part of the company's internal capital planning 
process or to other supervisory efforts outside of the stress tests 
conducted under the capital rule and the stress test rules.

5.2.3 Development of the Market Shock

    a. Consistent with the approach described above, the market 
shock component for the severely adverse scenario will incorporate 
key elements of market developments during the second half of 2008, 
but also incorporate observations from other periods or price and 
rate movements in certain markets that the Board deems to be 
plausible though such movements may not have been observed 
historically. Over time the Board also expects to rely less on 
market events of the second half of 2008 and more on hypothetical 
events or other historical episodes to develop the market shock.
    b. The developments in the credit markets during the second half 
of 2008 were unprecedented, providing a reasonable basis for market 
shocks in the severely adverse scenario. During this period, key 
risk factors in virtually all asset classes experienced extremely 
large shocks; the collective breadth and intensity of the moves have 
no parallels in modern financial history and, on that basis, it 
seems likely that this episode will continue to be the most relevant 
historical scenario, although experience during other historical 
episodes may also guide the severity of the market shock component 
of the severely adverse scenario. Moreover, the risk factor moves 
during this episode are directly consistent with the ``recession'' 
approach that underlies the macroeconomic assumptions. However, 
market shocks based only on historical events could become stale and 
less relevant over time as the company's positions change, 
particularly if more salient features are not added each year.
    c. While the market shocks based on the second half of 2008 are 
of unparalleled magnitude, the shocks may become less relevant over 
time as the companies' trading positions change. In addition, more 
recent events could highlight the companies' vulnerability to 
certain market events. For example, in 2011, Eurozone credit spreads 
in the sovereign and financial sectors surpassed those observed 
during the second half of 2008, necessitating the modification of 
the severely adverse market shock in 2012 and 2013 to reflect a 
salient source of stress to trading positions. As a result, it is 
important to incorporate both historical and hypothetical outcomes 
into market shocks for the severely adverse scenario. For the time 
being, the development of market shocks in the severely adverse 
scenario will begin with the risk factor movements in a particular 
historical period, such as the second half of 2008. The Board will 
then consider hypothetical but plausible outcomes, based on 
financial stability reports, supervisory information, and internal 
and external assessments of market risks and potential flash points. 
The hypothetical outcomes could originate from major geopolitical, 
economic, or financial market events with potentially significant 
impacts on market risk factors. The severity of these hypothetical 
moves will likely be guided by similar historical events, 
assumptions embedded in the companies' internal stress tests or 
market participants, and other available information.
    d. Once broad market scenarios are agreed upon, specific risk 
factor groups will be targeted as the source of the trading stress. 
For example, a scenario involving the failure of a large, 
interconnected globally active financial institution could begin 
with a sharp increase in credit default swap spreads and a 
precipitous decline in asset prices across multiple markets, as 
investors become more risk averse and market liquidity evaporates. 
These broad market movements will be extrapolated to the granular 
level for all risk factors by examining transmission channels and 
the historical relationships between variables, though in some 
cases, the movement in particular risk factors may be amplified 
based on theoretical relationships, market observations, or the 
saliency to company trading books. If there is a disagreement 
between the risk factor movements in the historical event used in 
the scenario and the hypothetical event, the Board will reconcile 
the differences by assessing a priori expectation based on financial 
and economic theory and the importance of the risk factors to the 
trading positions of the covered companies.

5.3 Approach for Formulating the Market Shock Under the Adverse 
Scenario

    a. The market shock component included in the adverse scenario 
will feature risk factor movements that are generally less 
significant than the market shock component of the severely adverse 
scenario. However, the adverse market shock may also feature risk 
factor shocks that are substantively different from those included 
in the severely adverse scenario, in order to provide useful 
information to supervisors. As in the case of the macroeconomic 
scenario, the market shock component in the adverse scenario can be 
developed in a number of different ways.
    b. The adverse scenario could be differentiated from the 
severely adverse scenario by the absolute size of the shock, the 
scenario design process (e.g., historical events versus hypothetical 
events), or some other criteria. The Board expects that as the 
market shock component of the adverse scenario may differ 
qualitatively from the market shock component of the severely 
adverse scenario, the results of adverse scenarios may be useful in 
identifying a particularly vulnerable area in a trading company's 
positions.
    c. There are several possibilities for the adverse scenario and 
the Board may use a different approach each year to better explore 
the vulnerabilities of companies with significant trading activity. 
One approach is to use a scenario based on some combination of 
historical events. This approach is similar to the one used for the 
market shock in 2012, where the market shock component was largely 
based on the second half of 2008, but also included a number of risk 
factor shocks that reflected the significant widening of spreads for 
European sovereigns and financials in late 2011. This approach will 
provide some consistency each year and provide an internally 
consistent scenario with minimal implementation burden. Having a 
relatively consistent adverse scenario may be useful as it 
potentially serves as a benchmark against the results of the 
severely adverse scenario and can be compared to past stress tests.
    d. Another approach is to have an adverse scenario that is 
identical to the severely adverse scenario, except that the shocks 
are smaller in magnitude (e.g., 100 basis points for adverse versus 
200 basis points for severely adverse). This ``scaling approach'' 
generally fits well with an intuitive interpretation of ``adverse'' 
and ``severely adverse.'' Moreover, since the nature of the moves 
will be identical between the two classes of scenarios, there will 
be at least directional consistency in the risk factor inputs 
between scenarios. While under this approach the adverse scenario 
will be superficially identical to the severely adverse, the logic 
underlying the severely adverse scenario may not be applicable. For 
example, if the severely adverse scenario was based on a historical 
scenario, the same could not be said of the adverse scenario. It is 
also remains possible, although unlikely, that a scaled adverse 
scenario actually will result in greater losses, for some companies, 
than the severely adverse scenario with similar moves of greater 
magnitude. For example, if some companies are hedging against tail 
outcomes then the more extreme trading book dollar losses may not 
correspond to the most extreme market moves. The market shock 
component of the adverse scenario in 2013 was largely based on the 
scaling approach where a majority of risk factor shocks were smaller 
in magnitude than the severely adverse scenario, but it also 
featured long-term interest rate shocks that were not part of the 
severely adverse market shock.
    e. Alternatively, the market shock component of an adverse 
scenario could differ substantially from the severely adverse 
scenario with respect to the sizes and nature of the shocks. Under 
this approach, the market shock component could be constructed using 
some combination of historical and hypothetical events, similar to 
the severely adverse scenario. As a result, the market shock 
component of the adverse scenario could be viewed as an alternative 
to the severely adverse scenario and, therefore, it is possible that 
the adverse scenario could have larger losses for some companies 
than the severely adverse scenario.
    f. Finally, the design of the adverse scenario for annual stress 
tests could be informed by the companies' own trading scenarios used 
for their BHC-designed scenarios in CCAR and in their mid-cycle 
company-run stress tests.\21\
---------------------------------------------------------------------------

    \21\ 12 CFR 252.55.

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

[[Page 59546]]

6. Consistency Between the Macroeconomic Scenarios and the Market Shock

    a. As discussed earlier, the market shock comprises a set of 
movements in a very large number of risk factors that are realized 
instantaneously. Among the risk factors specified in the market 
shock are several variables also specified in the macroeconomic 
scenarios, such as short- and long-maturity interest rates on 
Treasury and corporate debt, the level and volatility of U.S. stock 
prices, and exchange rates.
    b. The market shock component is an add-on to the macroeconomic 
scenarios that is applied to a subset of companies, with no assumed 
effect on other aspects of the stress tests such as balances, 
revenues, or other losses. As a result, the market shock component 
may not be always directionally consistent with the macroeconomic 
scenario. Because the market shock is designed, in part, to mimic 
the effects of a sudden market dislocation, while the macroeconomic 
scenarios are designed to provide a description of the evolution of 
the real economy over two or more years, assumed economic conditions 
can move in significantly different ways. In effect, the market 
shock can simulate a market panic, during which financial asset 
prices move rapidly in unexpected directions, and the macroeconomic 
assumptions can simulate the severe recession that follows. Indeed, 
the pattern of a financial crisis, characterized by a short period 
of wild swings in asset prices followed by a prolonged period of 
moribund activity, and a subsequent severe recession is familiar and 
plausible.
    c. As discussed in section 4.2.4, the Board may feature a 
particularly salient risk in the macroeconomic assumptions for the 
severely adverse scenario, such as a fall in an elevated asset 
price. In such instances, the Board may also seek to reflect the 
same risk in one of the market shocks. For example, if the 
macroeconomic scenario were to feature a substantial decline in 
house prices, it may seem plausible for the market shock to also 
feature a significant decline in market values of any securities 
that are closely tied to the housing sector or residential 
mortgages.
    d. In addition, as discussed in section 4.3, the Board may 
specify the macroeconomic assumptions in the adverse scenario in 
such a way as to explore risks qualitatively different from those in 
the severely adverse scenario. Depending on the nature and type of 
such risks, the Board may also seek to reflect these risks in one of 
the market shocks as appropriate.

7. Timeline for Scenario Publication

    a. The Board will provide a description of the macroeconomic 
scenarios by no later than February 15. During the period 
immediately preceding the publication of the scenarios, the Board 
will collect and consider information from academics, professional 
forecasters, international organizations, domestic and foreign 
supervisors, and other private-sector analysts that regularly 
conduct stress tests based on U.S. and global economic and financial 
scenarios, including analysts at the covered companies. In addition, 
the Board will consult with the FDIC and the OCC on the salient 
risks to be considered in the scenarios. The Board expects to 
conduct this process in October and November of each year and to 
update the scenarios based on incoming macroeconomic data releases 
and other information through the end of January.
    b. The Board expects to provide a broad overview of the market 
shock component along with the macroeconomic scenarios. The Board 
will publish the market shock templates by no later than March 1 of 
each year, and intends to publish the market shock earlier in the 
stress test and capital plan cycles to allow companies more time to 
conduct their stress tests.

                                          Table 1 to Appendix A of Part 252--Classification of U.S. Recessions
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                                                                                           Total change
                                                                                                                           Change in the      in the
                                                                                                            Decline in     unemployment    unemployment
              Peak                        Trough                 Severity          Duration  (quarters)      real GDP       rate during     rate (incl.
                                                                                                                           the recession     after the
                                                                                                                                            recession)
--------------------------------------------------------------------------------------------------------------------------------------------------------
1957Q3..........................  1958Q2................  Severe................  4 (Medium)............            -3.6             3.2             3.2
1960Q2..........................  1961Q1................  Moderate..............  4 (Medium)............            -1.0             1.6             1.8
1969Q4..........................  1970Q4................  Moderate..............  5 (Medium)............            -0.2             2.2             2.4
1973Q4..........................  1975Q1................  Severe................  6 (Long)..............            -3.1             3.4             4.1
1980Q1..........................  1980Q3................  Moderate..............  3 (Short).............            -2.2             1.4             1.4
1981Q3..........................  1982Q4................  Severe................  6 (Long)..............            -2.8             3.3             3.3
1990Q3..........................  1991Q1................  Mild..................  3 (Short).............            -1.3             0.9             1.9
2001Q1..........................  2001Q4................  Mild..................  4 (Medium)............             0.2             1.3             2.0
2007Q4..........................  2009Q2................  Severe................  7 (Long)..............            -4.3             4.5             5.1
Average.........................  ......................  Severe................  6.....................            -3.5             3.7             3.9
Average.........................  ......................  Moderate..............  4.....................            -1.1             1.8             1.8
Average.........................  ......................  Mild..................  3.....................            -0.6             1.1             1.9
--------------------------------------------------------------------------------------------------------------------------------------------------------
Source: Bureau of Economic Analysis, National Income and Product Accounts, Comprehensive Revision on July 31, 2013.


                                          Table 2 to Appendix A of Part 252--House Prices in Housing Recessions
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                                                                                          HPI-DPI Trough
                                                                                                          Percent change  Percent change       Level
              Peak                        Trough                 Severity           Duration (quarters)       in NHPI       in HPI-DPI      (2000:Q1 =
                                                                                                                                               100)
--------------------------------------------------------------------------------------------------------------------------------------------------------
1980Q2..........................  1985Q2................  Moderate..............  20 (long).............            26.6           -15.9           102.1
1989Q4..........................  1997Q1................  Moderate..............  29 (long).............            10.5           -17.0            94.9
2005Q4..........................  2012Q1................  Severe................  25 (long).............           -29.6           -41.3            86.9
Average.........................  ......................  ......................  24.7..................             2.5           -24.7            94.6
--------------------------------------------------------------------------------------------------------------------------------------------------------
Source: CoreLogic, BEA.
Note: The date-ranges of housing recessions listed in this table are based on the timing of house-price retrenchments.



[[Page 59547]]

    By order of the Board of Governors of the Federal Reserve 
System, December 7, 2017.
Ann E. Misback,
Secretary of the Board.

[FR Doc. 2017-26858 Filed 12-14-17; 8:45 am]
 BILLING CODE 6210-01-P



                                                                       Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules                                                59533

                                                 supervisory models are not provided as                  produces reviews that are consistent,                 Reserve to ensure that any issues and
                                                 required by the Capital Assessments and                 thorough, and comprehensive. Its structure            deficiencies are appropriately addressed in a
                                                 Stress Testing (FR Y–14) information                    ensures independence from the Federal                 timely and substantive manner.
                                                 collection or are reported erroneously, then            Reserve’s model development function, and               The model validation program
                                                 a conservative value will be assigned to the            its prominent role in communicating the               communicates its findings and
                                                 specific data based on all available data               state of model risk to the Board of Governors         recommendations regarding model risk to all
                                                 reported by covered companies, depending                assures its stature within the Federal Reserve.       internal stakeholders. Validators provide
                                                 on the extent of the data deficiency. If the            3.1. Structural Independence                          detailed feedback to model developers and
                                                 data deficiency is severe enough that a                                                                       provide thematic feedback or observations on
                                                 modeled estimate cannot be produced for a                  The management and staff of the internal           the overall system of models to the
                                                 portfolio segment or portfolio, then the                model validation program are structurally             management of the modeling teams. Model
                                                 Federal Reserve may assign a conservative               independent from the model development                validation feedback is also communicated to
                                                 rate (e.g., 10th or 90th percentile PPNR or             teams. Validators do not report to model              the users of supervisory model output for use
                                                 loss rate, respectively) to that segment or             developers, and vice versa. This ensures that         in their deliberations and decisions about
                                                 portfolio.                                              model validation is conducted and overseen            supervisory stress testing. In addition, the
                                                    This policy reflects a conservative                  by objective parties. Validation staff’s              Federal Reserve Board’s Director of
                                                 assumption given a lack of information                  performance criteria include an ability to            Supervision and Regulation approves all
                                                 sufficient to produce a risk-sensitive estimate         review all aspects of the models rigorously,          models used in the supervisory stress test in
                                                 of losses or revenues. This policy promotes             thoroughly, and objectively, and to provide           advance of each exercise, based on
                                                 policy 1.3 by ensuring consistent treatment             meaningful and clear feedback to model                validators’ recommendations, development
                                                 for all covered companies that report data              developers and users.                                 responses, and suggestions for risk mitigants.
                                                 deemed insufficient to produce a modeled                   In addition, a council of external academic        In several cases, models have been modified
                                                 estimate. Finally, this policy is simple and            experts provides independent advice on the            or implemented differently based on
                                                 transparent, consistent with Principle 1.4.             Federal Reserve’s process to assess models            validators’ feedback. The advisory council of
                                                                                                         used in the supervisory stress test. In               academic experts also contributes to the
                                                 2.10. Treatment of Immaterial Portfolio Data            biannual meetings with Federal Reserve                stature of the Federal Reserve’s validation
                                                    The Federal Reserve makes a distinction              officials, members of the council discuss             program, by providing an external point of
                                                 between missing or insufficient data reported           selected supervisory models, after being              view on modifications to supervisory models
                                                 by covered companies for material and                   provided with detailed model documentation            and on validation program governance.
                                                 immaterial portfolios. To limit regulatory              for those models, including some                        Ultimately, the validation program serves
                                                 burden, the Federal Reserve allows covered              confidential supervisory information. The             to inform the Board of Governors about the
                                                 companies not to report detailed loan-level or          documentation and discussions enable the              state of model risk in the overall stress testing
                                                 portfolio-level data for loan types that are not        council to assess the effectiveness of the            program, along with ongoing practices to
                                                 material as defined in the FR Y–14 reporting            models used in the supervisory stress tests           control and mitigate model risk.
                                                 instructions. In these cases, a loss rate               and of the overarching model validation
                                                 representing the median rates among covered             program.                                                By order of the Board of Governors of the
                                                 companies for whom the rate is calculated                                                                     Federal Reserve System, December 7, 2017.
                                                                                                         3.2. Technical Competence of Validation
                                                 will be applied to immaterial portfolios. This                                                                Ann E. Misback,
                                                                                                         Staff
                                                 approach is consistent across covered                                                                         Secretary of the Board.
                                                 companies, simple, and transparent,                        The model validation program is designed
                                                 promoting Principles 1.3 and 1.4.                       to provide thorough, high-quality reviews             [FR Doc. 2017–26857 Filed 12–14–17; 8:45 am]
                                                    Question number 5: Each of the modeling              that are consistent across supervisory                BILLING CODE 6210–01–P
                                                 policies described in Section 2 are consistent          models.
                                                 with at least one of the central principles of             First, the model validation program
                                                 supervisory stress test modeling described              employs technically expert staff with                 FEDERAL RESERVE SYSTEM
                                                 herein. Are there other policies the Federal            knowledge across model types. Second,
                                                 Reserve could implement to further promote              reviews for every supervisory model follow            12 CFR Part 252
                                                 the principles of independence, forward-                the same set of review guidelines, and take
                                                 looking perspective, consistency and                    place on an ongoing basis. The model                  [Regulation YY; Docket No. OP–1588]
                                                 comparability, simplicity, robustness and               validation program is comprehensive, in the
                                                 stability, or conservativism, or that would             sense that validators assess all models               Policy Statement on the Scenario
                                                 focus on the ability to evaluate the impact of          currently in use, and expand the scope of             Design Framework for Stress Testing
                                                 severe economic stress?                                 validation beyond basic model use, and cover
                                                                                                         both model soundness and performance.                 AGENCY:  Board of Governors of the
                                                 3. Principles and Policies of Supervisory                                                                     Federal Reserve System (Board).
                                                                                                            The model validation program covers three
                                                 Model Validation                                                                                              ACTION: Proposed rule; policy statement
                                                                                                         main areas of validation: (1) Conceptual
                                                    Independent and comprehensive model                  soundness; (2) ongoing monitoring; and (3)            with request for public comment.
                                                 validation is key to the credibility of the             outcomes analysis. Validation staff evaluate
                                                 supervisory stress test. An independent unit            all aspects of model development,                     SUMMARY:   The Board is requesting
                                                 of validation staff within the Federal Reserve,         implementation, and use, including but not            public comment on amendments to its
                                                 with input from an advisory council of                  limited to theory, design, methodology, input         policy statement on the scenario design
                                                 academic experts not affiliated with the                data, testing, performance, documentation             framework for stress testing. The
                                                 Federal Reserve, ensures that stress test               standards, implementation controls
                                                 models are subject to effective challenge,                                                                    proposed amendments to the policy
                                                                                                         (including access and change controls), and
                                                 defined as critical analysis by objective,                                                                    statement would clarify when the Board
                                                                                                         code verification. Finally, the model
                                                 informed parties that can identify model                validation program seeks to balance technical         may adopt a change in the
                                                 limitations and recommend appropriate                   expertise with fresh scrutiny of supervisory          unemployment rate in the severely
                                                 changes.                                                models. In order to provide a new                     adverse scenario of less than 4
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                                                    The Federal Reserve’s supervisory model              perspective on established models and                 percentage points; institute a counter-
                                                 validation program, built upon the principles           practices, validation staff are re-allocated          cyclical guide for the change in the
                                                 of independence, technical competence, and              across models at regular intervals.                   house price index in the severely
                                                 stature, is able to subject models to effective
                                                 challenge, expanding upon supervisory                   3.3. Stature of Validation Function                   adverse scenario; and provide notice
                                                 modeling teams’ efforts to manage model risk               Through clear communication and                    that the Board plans to incorporate
                                                 and confirming that supervisory models are              participation in the model decision making            wholesale funding costs for banking
                                                 appropriate for their intended uses. The                process, the validation function has the              organizations in the scenarios. The
                                                 supervisory model validation program                    influence and stature within the Federal              Board would continue to use the policy


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                                                 59534                 Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules

                                                 statement to develop the                                Durdu, Chief, (202) 452–3755, Division                 considerations and procedures
                                                 macroeconomic scenarios and                             of Financial Stability.                                described in the policy statement apply
                                                 additional scenario components that are                 SUPPLEMENTARY INFORMATION:                             to the Board’s stress testing framework,
                                                 used in the supervisory and company-                                                                           including to the stress tests required
                                                 run stress tests conducted under the                    I. Background                                          under 12 CFR part 252, subparts B, E,
                                                 Board’s stress test rules and the Board’s               A. Supervisory Scenarios                               and F, and the Board’s capital plan rule.
                                                 capital plan rule.                                         Pursuant to the Board’s stress test                 The policy statement describes in
                                                 DATES: Comments must be received by                     rules, the Board conducts supervisory                  greater detail than the stress test rules
                                                 January 22, 2018.                                       stress tests of bank holding companies                 the baseline, adverse, and severely
                                                                                                         and U.S. intermediate holding                          adverse scenarios. The policy statement
                                                 ADDRESSES: You may submit comments,                                                                            also describes the Board’s approach for
                                                 identified by Docket No. OP–1588 by                     companies subsidiaries of foreign
                                                                                                         banking organizations with total                       developing these three macroeconomic
                                                 any of the following methods:                                                                                  scenarios and additional components of
                                                   • Agency website: http://                             consolidated assets of $50 billion or
                                                                                                         more (covered companies) and requires                  the stress test scenarios, which apply to
                                                 www.federalreserve.gov. Follow the                                                                             a subset of covered companies.
                                                 instructions for submitting comments at                 covered companies to conduct semi-
                                                                                                                                                                   As described in the policy statement,
                                                 http://www.federalreserve.gov/                          annual company-run stress tests.1 In
                                                                                                                                                                the severely adverse scenario is
                                                 generalinfo/foia/ProposedRegs.aspx.                     addition, savings and loan holding
                                                                                                                                                                designed to reflect conditions that have
                                                   • Federal eRulemaking Portal: http://                 companies, state member banks with
                                                                                                                                                                characterized post-war U.S. recessions
                                                 www.regulations.gov. Follow the                         greater than $10 billion in total
                                                                                                                                                                (the ‘‘recession approach’’). Historically,
                                                 instructions for submitting comments.                   consolidated assets, and bank holding
                                                                                                                                                                recessions typically feature increases in
                                                                                                         companies with assets of more than $10
                                                   • Email:                                                                                                     the unemployment rate and contractions
                                                                                                         billion but less than $50 billion are
                                                 regs.comments@federalreserve.gov.                                                                              in aggregate incomes and economic
                                                                                                         required to conduct annual company-
                                                 Include the docket number and RIN                                                                              activity. In light of the typical co-
                                                                                                         run stress tests.2
                                                 number in the subject line of the                                                                              movement of measures of economic
                                                                                                            To conduct the supervisory stress
                                                 message.                                                                                                       activity during economic downturns,
                                                                                                         tests, the Board develops three
                                                   • Fax: (202) 452–2819 or (202) 452–                   scenarios—a baseline, adverse, and
                                                                                                                                                                such as the unemployment rate and
                                                 3102.                                                                                                          gross domestic product, in developing
                                                                                                         severely adverse scenario—and projects
                                                   • Mail: Ann Misback, Secretary,                       a firm’s balance sheet, risk-weighted
                                                                                                                                                                the severely adverse scenario, the Board
                                                 Board of Governors of the Federal                                                                              first specifies a path for the
                                                                                                         assets, net income, and resulting post-
                                                 Reserve System, 20th Street and                                                                                unemployment rate and then develops
                                                                                                         stress capital levels and regulatory
                                                 Constitution Avenue NW, Washington,                                                                            paths for other measures of activity
                                                                                                         capital ratios under each scenario.
                                                 DC 20551.                                                                                                      broadly consistent with the course of
                                                                                                         Similarly, a firm subject to company-run
                                                   All public comments will be made                                                                             the unemployment rate.
                                                                                                         stress tests under the Board’s rules uses
                                                 available on the Board’s website at                                                                               The Board’s scenario design
                                                                                                         the same adverse and severely adverse
                                                 http://www.federalreserve.gov/                                                                                 framework includes a counter-cyclical
                                                                                                         scenarios that apply in the supervisory
                                                 generalinfo/foia/ProposedRegs.aspx as                                                                          design element in the change in the
                                                                                                         stress test to conduct an annual
                                                 submitted, unless modified for technical                                                                       unemployment rate in the severely
                                                                                                         company-run stress test. The scenarios                 adverse scenario. The policy statement
                                                 reasons. Accordingly, your comments                     also serve as an input into a covered                  provides that the Board anticipates the
                                                 will not be edited to remove any                        company’s capital plan under the                       unemployment rate in the severely
                                                 identifying or contact information.                     Board’s capital plan rule (12 CFR 225.8),              adverse scenario would increase by
                                                 Public comments may also be viewed                      and the Federal Reserve also uses these                between 3 and 5 percentage points from
                                                 electronically or in paper form in Room                 scenarios to evaluate each firm’s capital              its initial level. However, if a 3 to 5
                                                 3515, 1801 K St. NW (between 18th and                   plan in the supervisory post-stress                    percentage point increase in the
                                                 19th Streets NW), Washington, DC                        capital assessment.3                                   unemployment rate does not raise the
                                                 20006 between 9:00 a.m. and 5:00 p.m.                      On November 29, 2013, the Board                     level of the unemployment rate to at
                                                 on weekdays. For security reasons, the                  adopted a final policy statement on its                least 10 percent, the path of the
                                                 Board requires that visitors make an                    scenario design framework for stress                   unemployment rate in most cases will
                                                 appointment to inspect comments. You                    testing (policy statement).4 The policy                be specified so as to raise the
                                                 may do so by calling (202) 452–3684.                    statement outlined the characteristics of              unemployment rate to at least 10
                                                 Upon arrival, visitors will be required to              the supervisory stress test scenarios and              percent. The policy statement also notes
                                                 present valid government-issued photo                   explained the considerations and                       that the typical increase in the
                                                 identification and to submit to security                procedures that underlie the                           unemployment rate in the severely
                                                 screening in order to inspect and                       formulation of these scenarios. The                    adverse scenario will be about 4
                                                 photocopy comments.                                                                                            percentage points. The policy statement
                                                                                                           1 12 CFR part 252, subparts E and F. In addition,
                                                 FOR FURTHER INFORMATION CONTACT: Lisa                                                                          provides that the Board intends to set
                                                                                                         the supervisory stress test rules would apply to any
                                                 Ryu, Associate Director, (202) 263–4833,                nonbank financial company supervised by the            the unemployment rate at the higher
                                                 Joseph Cox, Supervisory Financial                       Board that becomes subject to these requirements       end of the 3 to 5 percentage point range
                                                 Analyst, (202) 452–3216, or Aurite                      pursuant to a rule or order of the Board. Currently,   if the Board believes that cyclical
                                                 Werman, Financial Analyst (202) 263–                    no nonbank financial companies supervised by the
                                                                                                                                                                systemic risks are high (as they would
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                                                                                                         Board are subject to the capital planning or stress
                                                 4802, Division of Supervision and                       test requirements.                                     be after a sustained long expansion),
                                                 Regulation; Benjamin W. McDonough,                        2 12 CFR part 252, subpart B.                        and to the lower end of the range if
                                                 Assistant General Counsel, (202) 452–                     3 Bank holding companies with $50 billion or         cyclical systemic risks are low (as they
                                                 2036, or Julie Anthony, Counsel, (202)                  more in total consolidated assets and U.S.             would be in the earlier stages of a
                                                 475–6682, Legal Division; or William                    intermediate holding companies of foreign banking
                                                                                                         organizations additionally conduct mid-cycle
                                                                                                                                                                recovery).
                                                 Bassett, Associate Director, (202) 736–                 company-run stress tests under scenarios that they        The policy statement provides that
                                                 5644, Luca Guerrieri, Deputy Associate                  develop. See 12 CFR 252.55.                            economic variables included in the
                                                 Director, (202) 452–2550, or Bora                         4 See 12 CFR part 252, appendix A.                   scenarios may change over time, or that


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                                                                               Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules                                                                       59535

                                                 the Board may augment the recession                                       the Federal Reserve also considered                            the procyclicality of the financial
                                                 approach to account for salient risks.5                                   ways to further enhance the                                    system by increasing the resilience of
                                                 The Board has not historically captured                                   countercyclical elements, transparency,                        the banking system to building risks.
                                                 stress to funding markets in the                                          and risk coverage of the scenario design                       The review evaluated the path of key
                                                 supervisory stress test exercise.                                         framework.                                                     variables in the severely adverse
                                                 However, it is exploring the inclusion of                                    After considering feedback received                         scenarios since 2011, and determined
                                                 such a stress in the scenarios, given the                                 in these reviews and possible                                  that amendments to the scenario design
                                                 potential impact that funding shocks                                      improvements to the methodology for                            framework could further limit
                                                 could have on firms subject to the                                        specifying the macroeconomic scenarios                         procyclicality.6
                                                 supervisory stress test.                                                  used in the supervisory stress test and                           The severity of a scenario can be
                                                 B. Review of Stress Test Exercises                                        the annual company-run stress tests, the                       gauged by considering both the
                                                                                                                           Board is proposing to modify the policy                        maximum (or minimum) levels obtained
                                                    The Federal Reserve routinely reviews                                  statement to enhance the
                                                 its experience with each year’s stress                                                                                                   by key variables and changes of the
                                                                                                                           countercyclicality and transparency of                         variables from their starting points.
                                                 testing and capital planning programs as                                  the Board’s scenario design framework
                                                 implemented through DFAST and                                                                                                            Table 1 shows the peak and change in
                                                                                                                           and improve the risk coverage of the                           the unemployment rate in the
                                                 CCAR. These reviews have included                                         scenarios.
                                                 formal engagements with public interest                                                                                                  supervisory severely adverse scenarios
                                                 groups, meetings with academics in the                                    II. Review of the Supervisory Scenarios                        since 2011.7 The peak unemployment
                                                 fields of economics and finance, and                                                                                                     rate in the severely adverse scenario has
                                                                                                                           A. Unemployment and House Prices in                            been falling since CCAR 2012 as the
                                                 internal assessments.                                                     the Severely Adverse Scenario
                                                    In the course of its review of the stress                                                                                             economy improved. Beginning in 2016,
                                                 test exercises, the Federal Reserve has                                      The Board investigated possible                             the countercyclical element of the
                                                 received feedback on the Board’s                                          improvements to the methodology for                            Board’s scenario design framework
                                                 framework for designing stress                                            specifying the macroeconomic scenarios                         acted to increase scenario severity, so
                                                 scenarios. Some participants advocated                                    used in supervisory and company-run                            while the peak level of the
                                                 developing a structured process for                                       stress tests. A main area of inquiry was                       unemployment rate remained about the
                                                 strengthening scenario design over time.                                  the severity of macroeconomic scenarios                        same, the change in the unemployment
                                                 Other participants were concerned that                                    used in previous stress test exercises. As                     rate increased. The countercyclical
                                                 the Federal Reserve would be pressured                                    noted, the scenario design framework                           design of the scenarios is also reflected
                                                 to reduce the severity of the scenario                                    was formulated to increase the severity                        in the change in real GDP, which, in
                                                 over time. As part of its internal                                        of the severely adverse scenario during                        2017, declined by the largest amount
                                                 assessment of the stress test exercises,                                  economic expansions in order to limit                          since 2012.
                                                                               TABLE 1—UNEMPLOYMENT RATE AND REAL GDP IN THE SEVERELY ADVERSE SCENARIO
                                                                                                                                                          Stress test exercise                                          Great        Severe
                                                                                                                                                                                                                     recession b   recessions c
                                                                                                                         2011 a       2012 a       2013          2014            2015        2016         2017

                                                                                                                Panel A: Developments as published in the supervisory scenarios

                                                 Unemployment Rate:
                                                     Peak Level (pct.) ............................................         11.1         12.6         12.1            11.3         10.1          10.0        10.0           10.0             9.3
                                                     Change Start-to-peak (pp.) ............................                 1.5          3.6          4.0             4.0          4.0           5.0         5.3            4.5             3.6
                                                 Real GDP:
                                                     Change Start-to-trough (pct.) .........................               ¥4.1         ¥6.9         ¥4.8          ¥4.7           ¥4.7          ¥6.2        ¥6.6           ¥4.7           ¥3.4
                                                   Note:
                                                   a In 2011 and 2012 the scenario was referred to as the ‘‘supervisory stress scenario.’’
                                                   b Great Recession is defined as that which occurred in Q4:2007–Q2:2009.
                                                   c Recessions classified as severe: 1957:Q3–1958:Q2, 1973:Q4–1975:Q1, 1981:Q3–1982:Q4, and 2007:Q4–2009:Q2.




                                                    The Board also evaluated its approach                                     As demonstrated in Panel A of table                         observed house prices over that period,
                                                 to developing the path of house prices,                                   2, the existing approach to house prices                       and hence limited procyclicality.
                                                 which is a key scenario variable, to                                      has resulted in increasing severity over                          Assessing the procyclicality of house
                                                 assess whether it could improve the                                       time. The declines in the nominal house                        price paths over time is complicated by
                                                 transparency of the measure and to                                        price index (nominal HPI) from the start                       the fact that house prices—in contrast to
                                                 identify a guide that would formalize                                     to the trough have increased from 21                           the unemployment rate—naturally trend
                                                 the Board’s countercyclical objectives.                                   percent (in 2012 and 2013) to about 25–                        upward over time. The ratio of nominal
                                                 To date, the Board has developed the                                      26 percent (in 2014 through 2017). The                         house prices to nominal, per capita,
                                                 path of house prices using a judgmental                                   increased severity in the decline in                           disposable personal income (HPI–DPI
                                                 approach, and has not established a                                       nominal HPI in supervisory scenarios                           ratio, henceforth), does not exhibit an
                                                 quantitative guide for the trajectory of                                  beginning in 2014 offset the rise in                           upward trend and, as such, provides an
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                                                 house prices.                                                                                                                            alternative way to assess the
                                                   5 For example, if scenario variables do not capture                     additional scenarios that are designed to capture the          generally consistent with the analysis of the earlier
                                                 material risks to capital, or if historical                               effects of different adverse events on revenue,                scenarios.
                                                 relationships between macroeconomic variables                             losses, and capital.                                             7 The change in real gross domestic product (real
                                                 change such that one variable is no longer an                                6 For completeness, the tables present data from
                                                                                                                                                                                          GDP) is also presented as an additional gauge of
                                                 appropriate proxy for another, the Board may add                          the 2017 severely adverse scenario, however, this
                                                                                                                                                                                          severity because the path of real GDP is formulated
                                                 variables to a supervisory scenario. The Board may                        data was not available at the time of the review
                                                 also include additional scenario components or                            conducted by the Board. The data from 2017 was                 based on the path of the unemployment.




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                                                 59536                          Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules

                                                 procyclicality of the scenarios’ house                                     the HPI–DPI ratio increased in absolute                       scenarios has generally moved up since
                                                 price paths. The severity of a scenario                                    terms in the years 2014 to 2017                               2012. Scenarios with higher HPI–DPI
                                                 depends on both the change and the                                         compared to the years 2012 and 2013.                          troughs may be less severe even if they
                                                 trough level of the HPI–DPI ratio. Panel                                   However, the trough of the HPI–DPI                            feature the same decline in the ratio.
                                                 A of table 2 indicates that the change in                                  ratio achieved in the severely adverse
                                                                                                     TABLE 2—HOUSE PRICES IN THE SEVERELY ADVERSE SCENARIO
                                                                                                                                                           Stress test exercise                                   Great        Housing
                                                                                                                                                                                                               recession b   recessions c
                                                                                                                          2011 a       2012 a       2013          2014            2015      2016      2017

                                                                                                                 Panel A: Developments as published in the supervisory scenarios
                                                 Nominal HPI:
                                                     Change Start-to-trough (pct.) .........................              ¥11      ¥21         ¥21         ¥26        ¥26        ¥25                     ¥25          ¥30                   2.5
                                                     Trough Level c ................................................       124      106         111         116        126       135                     134          130    ....................
                                                 HPI–DPI Ratio:
                                                     Change Start-to-trough (pct.) .........................              ¥11      ¥19         ¥18         ¥27        ¥25        ¥25                     ¥24          ¥41                ¥25
                                                     Trough Level c ................................................        89       76          78          75         79        82                      81           87                 95

                                                                                                                         Panel B: Developments as implied by the HPI–DPI Guide

                                                 Nominal HPI:
                                                     Change Start-to-trough (pct.) .........................                 ¥25          ¥27          ¥27             ¥24          ¥25       ¥25        ¥26          ¥30                   2.5
                                                     Trough Level c ................................................         104           98          102             119          127       134        134          130    ....................
                                                 HPI–DPI Ratio:
                                                     Change Start-to-trough (pct.) .........................                 ¥25          ¥25          ¥25             ¥25          ¥25       ¥25        ¥25          ¥41                ¥25
                                                     Trough Level d ................................................          75           70           72              76           80        82         79           87                 95
                                                    Note:
                                                    a In 2011 and 2012 the scenario was referred to as the ‘‘supervisory stress scenario.’’
                                                    b Great Recession is defined as that which occurred in Q4:2007–Q2:2009.
                                                    c Housing recessions are defined as the following date ranges: 1980–1985, 1989–1996, and 2006–2011. The date-ranges of housing recessions are based on the
                                                 timing of house-price retrenchments. These dates were also associated with sustained declines in real residential investment, although, the precise timings of housing
                                                 recessions would likely be slightly different were they to be classified based on real residential investment in addition to house prices.
                                                    d Both the nominal HPI and HPI–DPI ratios are indexed to 100 in 2000:Q1.




                                                    Based on this analysis, the Board                                       III. Proposed Amendments to the Policy                        severely adverse scenario as the greater
                                                 determined that its scenario design                                        Statement                                                     of a 3 to 5 percentage point increase
                                                 framework could be strengthened by (1)                                                                                                   from the unemployment rate at the
                                                                                                                              The proposal includes three                                 beginning of the stress test planning
                                                 enhancing the counter-cyclicality of the
                                                                                                                            modifications to the Board’s scenario                         horizon, or 10 percent. This approach
                                                 scenarios when conditions at the start of
                                                                                                                            design framework. First, the proposal                         introduces an element of counter-
                                                 the exercise already reflected stress; and                                 would modify the current guide in the
                                                 (2) improving the transparency of the                                                                                                    cyclicality to the scenario design
                                                                                                                            policy statement for the peak                                 process, as lower levels of the
                                                 scenario design framework by                                               unemployment rate in the severely
                                                 developing an explicit guide for                                                                                                         unemployment rate at the beginning of
                                                                                                                            adverse scenario to include a                                 the stress planning horizons imply a
                                                 formulating the path of house prices in                                    description of the circumstances in                           larger increase in unemployment over
                                                 the severely adverse scenario.                                             which an increase in the unemployment                         the severely adverse scenario to a level
                                                 B. Risk Coverage in Supervisory                                            rate at the lower end of the 3 to 5                           that is at least consistent with past
                                                 Scenarios                                                                  percentage point range suggested by the                       severe recessions.
                                                                                                                            guide would be warranted. Second, the                            Consistent with the current policy
                                                    The Board also has examined whether                                     proposal would add to the policy                              statement, the Board believes that the
                                                 there were important dimensions of risk                                    statement an explicit guide for house                         typical increase in the unemployment
                                                 that had not featured in supervisory                                       prices in the severely adverse scenario                       rate in the severely adverse scenario
                                                 scenarios to date. The review suggested                                    based on the HPI–DPI ratio that features                      will be about 4 percentage points, and
                                                 that a key risk dimension that had not                                     both a minimum level and a fixed                              that a lower increase may be appropriate
                                                 been directly addressed in the                                             change in the HPI–DPI ratio. Third, the                       in certain circumstances. In determining
                                                 supervisory stress test was banking                                        proposal would provide notice that the                        the increase in the unemployment rate,
                                                 organizations’ reliance on certain types                                   Board is exploring the inclusion of an                        the Board would consider the level of
                                                 of runnable liabilities, which has been                                    increase in the cost of funds for banking                     unemployment at the start of the
                                                                                                                            organizations as an explicit factor in the                    scenarios, the strength of the labor
                                                 an important source of financial stress
                                                                                                                            scenarios. Finally, the policy statement                      market, and the strength of firms’
                                                 on banking organizations, as well a
                                                                                                                            would be amended to update references                         balance sheets. The proposed
                                                 channel by which one firm’s distress                                       and remove obsolete text.                                     framework would clarify that the Board
                                                 affects other firms. For example, shocks
                                                                                                                            A. Unemployment Rate in the Severely                          may adopt an increase in the
                                                 to the costs of short-term wholesale
                                                                                                                            Adverse Scenario                                              unemployment rate of less than 4
                                                 funding played a prominent role in the
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                                                                                                                                                                                          percentage points when the
                                                 recent financial crisis, and had a notable                                    The proposal would include more                            unemployment rate at the start of the
                                                 effect on firms’ ability to operate as                                     specific guidance for the change in the                       scenarios is elevated but the labor
                                                 financial intermediaries. Accordingly,                                     unemployment rate when the stress test                        market is judged to be strengthening and
                                                 the Board is exploring incorporating an                                    is conducted during a period in which                         higher-than-usual credit losses
                                                 increase in the cost of short-term                                         the unemployment rate is already                              stemming from previously elevated
                                                 wholesale funding in its scenarios and                                     elevated. The Board currently calibrates                      unemployment rates were either already
                                                 stress tests.                                                              the peak unemployment rate in the                             realized—or are in the process of being


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                                                                       Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules                                               59537

                                                 realized—and thus removed from banks’                   severity that the ratio must reach is                    C. Incorporating Short-Term Wholesale
                                                 balance sheets. Evidence of a                           consistent with the rule for the path of                 Funding Costs in the Adverse and
                                                 strengthening labor market could                        the unemployment rate and would                          Severely Adverse Scenarios
                                                 include a declining unemployment rate,                  further the Board’s countercyclical goals                   To date, the Board’s adverse and
                                                 steadily expanding nonfarm payroll                      in scenario design.                                      severely adverse scenarios have not
                                                 employment, or improving labor force                                                                             incorporated stress to funding markets.
                                                                                                            In its analysis, the Board identified
                                                 participation. Evidence that credit                                                                              The proposal states that the Board may
                                                                                                         the HPI–DPI trough reached during the
                                                 losses are being realized could include                                                                          include variables or an additional
                                                 elevated charge-offs on loans and leases,               Great Recession as the lowest trough
                                                                                                         attained in housing recessions since                     components in the scenario to capture
                                                 loan-loss provisions in excess of gross
                                                                                                         1976, and considered this trough an                      the cost of funds, particularly wholesale
                                                 charge-offs, or losses being realized in
                                                                                                         appropriate basis for explicit guidance                  funds, to banking organizations.
                                                 securities portfolios that include
                                                                                                         for the path of house prices. Setting a                  Including stress to funding costs in the
                                                 securities that are subject to credit risk.
                                                    This proposed change would keep the                  minimum decline in the HPI–DPI ratio                     scenarios would account for the impact
                                                 unemployment rate in the                                would ensure that additional economic                    of increased costs of certain runnable
                                                 macroeconomic scenario broadly similar                  stress would be incorporated into the                    liabilities on net income and capital of
                                                 to that in previous scenarios except                    macroeconomic scenario, even if house                    banking organizations reliant on short-
                                                 during times when a smaller change                      prices were depressed at the outset of                   term wholesale funding. The Board
                                                 would be appropriate based on the                       the scenario. The Board would typically                  would not expect to incorporate
                                                 credit cycle. By adopting a smaller                     set a minimum decline in the HPI–DPI                     wholesale funding costs in the scenarios
                                                 change in the unemployment rate when                                                                             before 2019, and would expect to
                                                                                                         ratio of 25 percent from its starting
                                                 the economy was recovering and losses                                                                            include wholesale funding costs in the
                                                                                                         value. A decline of 25 percent is
                                                 had already been broadly recognized by                                                                           adverse scenario before the severely
                                                                                                         consistent with the average decline in
                                                 the industry, the proposal would                                                                                 adverse scenario. Accordingly, the
                                                                                                         housing recessions (see table 2 in the                   Board would not expect to include a
                                                 complement the current counter-                         Policy Statement) and with the path of
                                                 cyclical design elements.                                                                                        stress to funding costs in the severely
                                                                                                         house prices in the supervisory severely                 adverse scenario until 2020 at the
                                                    Question number 1: In connection                     adverse scenarios since 2015.
                                                 with this proposal, the Federal Reserve                                                                          earliest.
                                                 considered an alternative guide for the                    Procyclicality in house prices would                     Question number 3: What variable or
                                                 unemployment rate, in which the path                    be limited by setting a maximum level                    combinations of variables would best
                                                 of the unemployment rate would reach                    for the trough of the HPI–DPI ratio in                   represent stress to funding costs or
                                                 the lesser of a level 4 percentage points               the severely adverse scenario. This                      availability in the supervisory
                                                 above its level at the beginning of the                 would increase the severity of the                       scenarios?
                                                 scenario or 11 percent. On average, this                decline in house prices as house prices                     Question number 4: What, if any,
                                                 alternative would increase the severity                 rise relative to disposable personal                     other risks should the Federal Reserve
                                                 of severely adverse scenarios but also                  incomes, as is the case in times of                      consider capturing in the supervisory
                                                 would be more countercyclical than the                  economic expansion. When the HPI–DPI                     scenarios?
                                                 current guide. What are the advantages                  ratio rises above the level at which a 25                D. Impact Analysis
                                                 or disadvantages to this alternative                    percent decline would bring the ratio to
                                                 relative to the proposed guide?                                                                                     Generally, the proposed amendments
                                                                                                         its Great Recession trough, at the start of
                                                                                                                                                                  would not affect the severity of the
                                                 B. House Prices in the Severely Adverse                 the stress test, the change in the ratio
                                                                                                                                                                  scenarios in a manner that persists
                                                 Scenario                                                would be greater than 25 percent in
                                                                                                                                                                  throughout the economic cycle. The one
                                                                                                         order to bring the ratio to its Great                    exception is the introduction of an
                                                    The policy statement would also be
                                                                                                         Recession trough.8 This proposal would                   increase in the cost of certain runnable
                                                 amended to include guidance for the
                                                 path of the nominal house price index                   offer a more systematic approach to                      liabilities. Generally, the inclusion of a
                                                 in the severely adverse scenario. The                   specifying house price paths than does                   stress to wholesale funding would be
                                                 nominal house price index is a key                      the current approach, and would limit                    expected to increase the stringency of
                                                 scenario variable, and providing explicit               procyclicality while broadly preserving                  the stress test. The extent of the
                                                 guidance for its path over the planning                 the decline in the nominal HPI featured                  increased stringency would depend on
                                                 horizon would enhance the                               in recent stress testing cycles.                         the implementation of the stress, such
                                                 transparency and countercyclical design                    Question number 2: In connection                      as the type of liabilities stressed, and the
                                                 of the scenario design framework.                       with this proposal, the Federal Reserve                  duration and magnitude of the stress
                                                    The proposal would establish a                       considered alternative guides for                        considered.
                                                 quantitative guide for house prices. The                projecting house prices, including                          The proposed unemployment rate
                                                 guide for house prices would be                         guides based on the ratio of the nominal                 clarification would reduce the
                                                 informed by the ratio of the nominal                    house price index to an index of                         stringency of the scenario if the
                                                 house price index to nominal per capita                 nominal rent prices for residential                      economy had already experienced stress
                                                 disposable income (HPI–DPI ratio).                      housing. What are the advantages or                      and was recovering, and would not
                                                 Unlike the level of house prices, the                   disadvantages to such alternatives                       impact the stringency of the scenario in
                                                 HPI–DPI ratio does not exhibit a trend                  relative to the proposed guide?                          other points during the economic cycle.
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                                                 over time. Under most circumstances,                                                                             The house price guide would formalize
                                                 the decline in the HPI–DPI ratio in the                   8 The Great Recession trough depends on the            an approach that was previously
                                                 severely adverse scenario is expected to                reference date used for indexing. For example, with      judgmental with little persistent impact
                                                 be 25 percent from its starting value or                nominal HPI and HPI–DPI ratios indexed to 100 in         on the severity of the stress to house
                                                 enough to bring the ratio down to its                   2000:Q1, a decline in the HPI–DPI index of more          prices in the severely adverse scenarios.
                                                                                                         than 25 percent would be necessary to reach the
                                                 Great Recession trough, whichever is                    Great Recession trough of 87 when the HPI–DPI
                                                                                                                                                                  However, the countercyclical element of
                                                 greater. A rule with both a minimum                     ratio at the start of the supervisory scenario was 116   the guide would increase the severity of
                                                 change in the ratio and a level of                      or greater.                                              the stress to house prices when the ratio


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                                                 59538                   Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules

                                                 of house prices to disposable personal                    million or less in assets to $175 million             overlaps, or conflicts with any other
                                                 income was particularly elevated at the                   or less in assets.10 The Board believes               Federal rules. In light of the foregoing,
                                                 start of the stress test.                                 that the Finance and Insurance sector                 the Board does not believe that the
                                                   Question number 5: The Federal                          constitutes a reasonable universe of                  proposed policy statement, if adopted in
                                                 Reserve is proposing changes to the                       firms for these purposes because such                 final form, would have a significant
                                                 Scenario Design Policy Statement to                       firms generally engage in actives that are            economic impact on a substantial
                                                 enhance the countercyclicality, risk                      financial in nature. Consequently, bank               number of small entities supervised.
                                                 coverage, and transparency of the                         holding companies, savings and loan                   Nonetheless, the Board seeks comment
                                                 scenario development process. Are there                   holding companies, state member banks,                on whether the proposed policy
                                                 other modifications not included in this                  or nonbank financial companies with                   statement would impose undue burdens
                                                 proposal that could further enhance the                   assets sizes of $175 million or less are              on, or have unintended consequences
                                                 scenario development process?                             small entities for purposes of the RFA.               for, small organizations, and whether
                                                                                                              As discussed in the SUPPLEMENTARY                  there are ways such potential burdens or
                                                 IV. Administrative Law Matters
                                                                                                           INFORMATION, the proposed policy                      consequences could be minimized in a
                                                 A. Use of Plain Language                                  statement generally would affect the                  manner consistent its purpose.
                                                    Section 722 of the Gramm-Leach-                        scenario design framework used in
                                                                                                           regulations that apply to covered                     List of Subjects in 12 CFR Part 252
                                                 Bliley Act (Pub. L. 106–102, 113 Stat.
                                                 1338, 1471, 12 U.S.C. 4809) requires the                  companies, savings and loan holding                     Administrative practice and
                                                 Federal banking agencies to use plain                     companies, and state member banks                     procedure, Banks, Banking, Federal
                                                 language in all proposed and final rules                  with greater than $10 billion in total                Reserve System, Holding companies,
                                                 published after January 1, 2000. The                      consolidated assets and bank holding                  Nonbank financial companies
                                                 Board has sought to present the                           companies with assets of more than $10                supervised by the Board, Reporting and
                                                 proposed rule in a simple and                             billion but less than $50 billion.                    recordkeeping requirements, Securities,
                                                 straightforward manner, and invites                       Companies that are affected by the                    Stress testing.
                                                 comment on the use of plain language.                     proposed policy statement therefore
                                                                                                           substantially exceed the $175 million                 Authority and Issuance
                                                 B. Paperwork Reduction Act                                asset threshold at which a banking                      For the reasons stated in the
                                                   In accordance with the requirements                     entity is considered a ‘‘small entity’’               SUPPLEMENTARY INFORMATION, the Board
                                                 of the Paperwork Reduction Act of 1995                    under SBA regulations.11 The proposed                 of Governors of the Federal Reserve
                                                 (44 U.S.C. 3506), the Board has                           policy statement would affect a nonbank               System proposes to amend 12 CFR part
                                                 reviewed the proposed policy statement                    financial company designated by the                   252 as follows:
                                                 to assess any information collections.                    Council under section 113 of the Dodd-
                                                 There are no collections of information                   Frank Act regardless of such a                        PART 252—ENHANCED PRUDENTIAL
                                                 as defined by the Paperwork Reduction                     company’s asset size. Although the asset              STANDARDS (Regulation YY)
                                                 Act in the proposal.                                      size of nonbank financial companies                   ■ 1. The authority citation for part 252
                                                                                                           may not be the determinative factor of                continues to read as follows:
                                                 C. Regulatory Flexibility Act Analysis
                                                                                                           whether such companies may pose
                                                    In accordance with section 3(a) of the                 systemic risks and would be designated                  Authority: 12 U.S.C. 321–338a, 1467a(g),
                                                 Regulatory Flexibility Act (RFA), the                                                                           1818, 1831p–1, 1844(b), 1844(c), 5361, 5365,
                                                                                                           by the Council for supervision by the
                                                 Board is publishing an initial regulatory                                                                       5366.
                                                                                                           Board, it is an important
                                                 flexibility analysis of the proposed                      consideration.12 It is therefore unlikely             ■ 2. Appendix A to part 252 is revised
                                                 policy statement. The RFA, 5 U.S.C. 601                   that a financial firm that is at or below             to read as follows:
                                                 et seq., requires each federal agency to                  the $175 million asset threshold would                Appendix A to Part 252—Policy
                                                 prepare an initial regulatory flexibility                 be designated by the Council under                    Statement on the Scenario Design
                                                 analysis in connection with the                           section 113 of the Dodd-Frank Act
                                                 promulgation of a proposed rule, or                                                                             Framework for Stress Testing
                                                                                                           because material financial distress at
                                                 certify that the proposed rule will not                   such firms, or the nature, scope, size,               1. Background
                                                 have a significant economic impact on                     scale, concentration,                                    a. The Board has imposed stress testing
                                                 a substantial number of small entities.9                  interconnectedness, or mix of its                     requirements through its regulations (stress
                                                 The RFA requires an agency either to                      activities, are not likely to pose a threat           test rules) implementing section 165(i) of the
                                                 provide an initial regulatory flexibility                                                                       Dodd-Frank Wall Street Reform and
                                                                                                           to the financial stability of the United              Consumer Protection Act (Dodd-Frank Act or
                                                 analysis with a proposed rule for which                   States.
                                                 a general notice of proposed rulemaking                                                                         Act) and through its capital plan rule (12 CFR
                                                                                                              As noted above, because the proposed               225.8). Under the stress test rules issued
                                                 is required or to certify that the                        policy statement is not likely to apply               under section 165(i)(1) of the Act, the Board
                                                 proposed rule will not have a significant                 to any company with assets of $175                    conducts an annual stress test (supervisory
                                                 economic impact on a substantial                          million or less, if adopted in final form,            stress tests), on a consolidated basis, of each
                                                 number of small entities. Based on its                    it is not expected to affect any small                bank holding company with total
                                                 analysis and for the reasons stated                       entity for purposes of the RFA. The                   consolidated assets of $50 billion or more,
                                                 below, the Board believes that the                        Board does not believe that the                       intermediate holding company of a foreign
                                                 proposed policy statement would not                                                                             banking organization, and nonbank financial
                                                                                                           proposed policy statement duplicates,                 company that the Financial Stability
                                                 have a significant economic impact on
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                                                 a substantial number of small entities.                                                                         Oversight Council has designated for
                                                                                                             10 13 CFR 121.201.                                  supervision by the Board (together, covered
                                                    Under regulations issued by the Small                    11 The Dodd-Frank Act provides that the Board       companies).1 In addition, under the stress
                                                 Business Administration (SBA), a                          may, on the recommendation of the Council,
                                                                                                                                                                 test rules issued under section 165(i)(2) of the
                                                 ‘‘small entity’’ includes those firms                     increase the $50 billion asset threshold for the
                                                                                                           application of certain of the enhanced standards.     Act, covered companies must conduct stress
                                                 within the ‘‘Finance and Insurance’’                      See 12 U.S.C. 5365(a)(2)(B). However, neither the     tests semi-annually and other financial
                                                 sector with asset sizes that vary from $7                 Board nor the Council has the authority to lower
                                                                                                           such threshold.                                            1 12   U.S.C. 5365(i)(1); 12 CFR part 252, subpart
                                                   9 See   5 U.S.C. 603, 604 and 605.                        12 See 76 FR 4555 (January 26, 2011).               E.



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                                                                         Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules                                                59539

                                                 companies with total consolidated assets of              when a financial institution’s capital ratios            c. The remainder of this policy statement
                                                 more than $10 billion and for which the                  were in excess of regulatory minimums. This           is organized as follows. Section 3 provides a
                                                 Board is the primary regulatory agency must              is because the institution’s capital ratios were      broad description of the baseline, adverse,
                                                 conduct stress tests on an annual basis                  perceived as lagging indicators of its                and severely adverse scenarios and describes
                                                 (together, company-run stress tests).2 The               financial condition, particularly when                the types of variables that the Board expects
                                                 Board will provide for at least three different          conditions were changing.                             to include in the macroeconomic scenarios
                                                 sets of conditions (each set, a scenario),                  e. The stress tests required under the stress      and the market shock component of the stress
                                                 including baseline, adverse, and severely                test rules and capital plan rule are a valuable       test scenarios applicable to companies with
                                                 adverse scenarios for both supervisory and               supervisory tool that provide a forward-              significant trading activity. Section 4
                                                 company-run stress tests (macroeconomic                  looking assessment of large financial                 describes the Board’s approach for
                                                 scenarios).3                                             companies’ capital adequacy under                     developing the macroeconomic scenarios,
                                                    b. The stress test rules provide that the             hypothetical economic and financial market            and section 5 describes the approach for the
                                                 Board will notify covered companies by no                conditions. Currently, these stress tests             market shocks. Section 6 describes the
                                                 later than February 15 of each year of the               primarily focus on credit risk and market             relationship between the macroeconomic
                                                 scenarios it will use to conduct its annual              risk—that is, risk of mark-to-market losses           scenario and the market shock components.
                                                 supervisory stress tests and provide, also by            associated with companies’ trading and                Section 7 provides a timeline for the
                                                 no later than February 15, covered companies             counterparty positions—and not on other               formulation and publication of the
                                                 and other financial companies subject to the             types of risk, such as liquidity risk. Pressures      macroeconomic assumptions and market
                                                 final rules the set of scenarios they must use           stemming from these sources are considered            shocks.
                                                 to conduct their annual company-run stress               in separate supervisory exercises. No single
                                                 tests.4 Under the stress test rules, the Board           supervisory tool, including the stress tests,         3. Content of the Stress Test Scenarios
                                                 may require certain companies to use                     can provide an assessment of a company’s                 a. The Board will publish a minimum of
                                                 additional components in the adverse or                  ability to withstand every potential source of        three different scenarios, including baseline,
                                                 severely adverse scenario or additional                  risk.                                                 adverse, and severely adverse conditions, for
                                                 scenarios. For example, the Board expects to                f. Selecting appropriate scenarios is an           use in stress tests required in the stress test
                                                 require large banking organizations with                 especially significant consideration for stress       rules.8 In general, the Board anticipates that
                                                 significant trading activities to include a              tests required under the capital plan rule,           it will not issue additional scenarios. Specific
                                                 trading and counterparty component (market               which ties the review of a company’s                  circumstances or vulnerabilities that in any
                                                 shock, described in the following sections) in           performance under stress scenarios to its             given year the Board determines require
                                                 their adverse and severely adverse scenarios.            ability to make capital distributions. More           particular vigilance to ensure the resilience
                                                 The Board will provide any additional                    severe scenarios, all other things being equal,       of the banking sector will be captured in
                                                 components or scenario by no later than                  generally translate into larger projected             either the adverse or severely adverse
                                                 March 1 of each year.5 The Board expects                 declines in banks’ capital. Thus, a company           scenarios. A greater number of scenarios
                                                 that the scenarios it will require the                   would need more capital today to meet its             could be needed in some years—for example,
                                                 companies to use will be the same as those               minimum capital requirements in more                  because the Board identifies a large number
                                                 the Board will use to conduct its supervisory            stressful scenarios and have the ability to           of unrelated and uncorrelated but
                                                 stress tests (together, stress test scenarios).          continue making capital distributions, such           nonetheless significant risks.
                                                    c. In addition, § 225.8 of the Board’s                as common dividend payments. This                        b. While the Board generally expects to use
                                                 Regulation Y (capital plan rule) requires                translation is far from mechanical, however;          the same scenarios for all companies subject
                                                 covered companies to submit annual capital               it will depend on factors that are specific to        to the final rule, it may require a subset of
                                                 plans, including stress test results, to the             a given company, such as underwriting                 companies—depending on a company’s
                                                 Board to allow the Board to assess whether               standards and the company’s business                  financial condition, size, complexity, risk
                                                 they have robust, forward-looking capital                model, which would also greatly affect                profile, scope of operations, or activities, or
                                                 planning processes and have sufficient                   projected revenue, losses, and capital.               risks to the U.S. economy—to include
                                                 capital to continue operations throughout                                                                      additional scenario components or additional
                                                 times of economic and financial stress.6                 2. Overview and Scope                                 scenarios that are designed to capture
                                                    d. Stress tests required under the stress test           a. This policy statement provides more             different effects of adverse events on revenue,
                                                 rules and under the capital plan rule require            detail on the characteristics of the stress test      losses, and capital. One example of such
                                                 the Board and financial companies to                     scenarios and explains the considerations             components is the market shock that applies
                                                 calculate pro-forma capital levels—rather                and procedures that underlie the approach             only to companies with significant trading
                                                 than ‘‘current’’ or actual levels—over a                 for formulating these scenarios. The                  activity. Additional components or scenarios
                                                 specified planning horizon under baseline                considerations and procedures described in            may also include other stress factors that may
                                                 and stressful scenarios. This approach                   this policy statement apply to the Board’s            not necessarily be directly correlated to
                                                 integrates key lessons of the 2007–2009                  stress testing framework, including to the            macroeconomic or financial assumptions but
                                                 financial crisis into the Board’s supervisory            stress tests required under 12 CFR part 252,          nevertheless can materially affect companies’
                                                 framework. During the financial crisis,                  subparts B, E, and F, as well as the Board’s          risks, such as the unexpected default of a
                                                 investor and counterparty confidence in the
                                                                                                          capital plan rule (12 CFR 225.8).7                    major counterparty.
                                                 capitalization of financial companies eroded
                                                                                                             b. Although the Board does not envision               c. Early in each stress testing cycle, the
                                                 rapidly in the face of changes in the current
                                                                                                          that the broad approach used to develop               Board plans to publish the macroeconomic
                                                 and expected economic and financial
                                                                                                          scenarios will change from year to year, the          scenarios along with a brief narrative
                                                 conditions, and this loss in market
                                                                                                          stress test scenarios will reflect changes in         summary that provides a description of the
                                                 confidence imperiled companies’ ability to
                                                                                                          the outlook for economic and financial                economic situation underlying the scenario
                                                 access funding, continue operations, serve as
                                                                                                          conditions and changes to specific risks or           and explains how the scenarios have changed
                                                 a credit intermediary, and meet obligations to
                                                                                                          vulnerabilities that the Board, in consultation       relative to the previous year. In addition, to
                                                 creditors and counterparties. Importantly,
                                                 such a loss in confidence occurred even                  with the other federal banking agencies,              assist companies in projecting the paths of
                                                                                                          determines should be considered in the                additional variables in a manner consistent
                                                    2 12 U.S.C. 5365(i)(2); 12 CFR part 252, subparts
                                                                                                          annual stress tests. The stress test scenarios        with the scenario, the narrative will also
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                                                                                                          should not be regarded as forecasts; rather,          provide descriptions of the general path of
                                                 B and F.
                                                    3 The stress test rules define scenarios, baseline
                                                                                                          they are hypothetical paths of economic               some additional variables. These descriptions
                                                 scenario, adverse scenario, and severely adverse         variables that will be used to assess the             will be general—that is, they will describe
                                                 scenario. See 12 CFR 252.12(b), (f), (p), and (q); 12    strength and resilience of the companies’             developments for broad classes of variables
                                                 CFR 252.42(b), (e), (n), and (o); 12 CFR 252.52(b),      capital in various economic and financial             rather than for specific variables—and will
                                                 (e), (o), and (p).                                       environments.                                         specify the intensity and direction of variable
                                                    4 Id.
                                                    5 Id.                                                   7 12 CFR 252.14(a), 12 CFR 252.44(a), 12 CFR          8 12 CFR 252.14(b), 12 CFR 252.44(b), 12 CFR
                                                    6 See 12 CFR 225.8.                                   252.54(a).                                            252.54(b).



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                                                 59540                  Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules

                                                 changes but not numeric magnitudes. These               adverse economic climates that can have                   component consists of large moves in market
                                                 descriptions should provide guidance that               unfavorable implications for companies’ net               prices and rates that would be expected to
                                                 will be useful to companies in specifying the           income and, thus, capital positions.                      generate losses. Market shocks differ from
                                                 paths of the additional variables for their                d. The economic variables included in the              macroeconomic scenarios in a number of
                                                 company-run stress tests. Note that in                  scenario may change over time. For example,               ways, both in their design and application.
                                                 practice it will not be possible for the                the Board may add variables to a scenario if              For instance, market shocks that might
                                                 narrative to include descriptions on all of the         the international footprint of companies that             typically be observed over an extended
                                                 additional variables that companies may                 are subject to the stress testing rules changed           period (e.g., 6 months) are assumed to be an
                                                 need for their company-run stress tests. In             notably over time such that the variables                 instantaneous event which immediately
                                                 cases where scenarios are designed to reflect           already included in the scenario no longer                affects the market value of the companies’
                                                 particular risks and vulnerabilities, the               sufficiently capture the material risks of these          trading assets and liabilities. In addition,
                                                 narrative will also explain the underlying              companies. Alternatively, historical                      under the stress test rules, the as-of date for
                                                 motivation for these features of the scenario.          relationships between macroeconomic                       market shocks will differ from the quarter-
                                                 The Board also plans to release a broad                 variables could change over time such that                end, and the Board will provide the as-of
                                                 description of the market shock components.             one variable (e.g., disposable personal                   date for market shocks no later than February
                                                                                                         income growth) that previously provided a                 1 of each year. Finally, as described in
                                                 3.1 Macroeconomic Scenarios                             good proxy for another (e.g., light vehicle               section 4, the market shock includes a much
                                                    a. The macroeconomic scenarios will                  sales) in modeling companies’ pre-provision               larger set of risk factors than the set of
                                                 consist of the future paths of a set of                 net revenue or credit losses ceases to do so,             economic and financial variables included in
                                                 economic and financial variables.9 The                  resulting in the need to create a separate                macroeconomic scenarios. Broadly, these risk
                                                 economic and financial variables included in            path, or alternative proxy, for the other                 factors include shocks to financial market
                                                 the scenarios will likely comprise those                variable. However, recognizing the amount of              variables that affect asset prices, such as a
                                                 included in the ‘‘2014 Supervisory Scenarios            work required for companies to incorporate                credit spread or the yield on a bond, and, in
                                                 for Annual Stress Tests Required under the              the scenario variables into their stress testing          some cases, the value of the position itself
                                                 Dodd-Frank Act Stress Testing Rules and the             models, the Board expects to eliminate                    (e.g., the market value of private equity
                                                 Capital Plan Rule’’ (2013 supervisory                   variables from the scenarios only in rare                 positions).
                                                 scenarios). The domestic U.S. variables                 instances.                                                   b. The Board envisions that the market
                                                 provided for in the 2013 supervisory                       e. The Board expects that the company                  shocks will include shocks to a broad range
                                                 scenarios included:                                     may not use all of the variables provided in              of risk factors that are similar in granularity
                                                    i. Six measures of economic activity and             the scenario, if those variables are not                  to those risk factors trading companies use
                                                 prices: Real and nominal gross domestic                 appropriate to the company’s line of                      internally to produce profit and loss
                                                 product (GDP) growth, the unemployment                  business, or may add additional variables, as             estimates, under stressful market scenarios,
                                                 rate of the civilian non-institutional                  appropriate. The Board expects the                        for all asset classes that are considered
                                                 population aged 16 and over, real and                   companies will ensure that the paths of such              trading assets, including equities, credit,
                                                 nominal disposable personal income growth,              additional variables are consistent with the              interest rates, foreign exchange rates, and
                                                 and the Consumer Price Index (CPI) inflation            scenarios the Board provided. For example,                commodities. Examples of risk factors
                                                 rate;                                                   the companies may use, as part of their                   include, but are not limited to:
                                                    ii. Four measures of developments in                 internal stress test models, local-level                     i. Equity indices of all developed markets,
                                                 equity and property markets: The Core Logic             variables, such as state-level unemployment               and of developing and emerging market
                                                 National House Price Index, the National                rates or city-level house prices. While the               nations to which companies with significant
                                                 Council for Real Estate Investment                      Board does not plan to include local-level                trading activity may have exposure, along
                                                 Fiduciaries Commercial Real Estate Price                macro variables in the stress test scenarios it           with term structures of implied volatilities;
                                                 Index, the Dow Jones Total Stock Market                 provides, it expects the companies to                        ii. Cross-currency FX rates of all major and
                                                 Index, and the Chicago Board Options                    evaluate the paths of local-level macro                   many minor currencies, along term structures
                                                 Exchange Market Volatility Index; and                   variables as needed for their internal models,            of implied volatilities;
                                                    iii. Six measures of interest rates: The rate        and ensure internal consistency between                      iii. Term structures of government rates
                                                 on the three-month Treasury bill, the yield             these variables and their aggregate, macro-               (e.g., U.S. Treasuries), interbank rates (e.g.,
                                                 on the 5-year Treasury bond, the yield on the           economic counterparts. The Board will                     swap rates) and other key rates (e.g.,
                                                 10-year Treasury bond, the yield on a 10-year           provide the macroeconomic scenario                        commercial paper) for all developed markets
                                                 BBB corporate security, the prime rate, and             component of the stress test scenarios for a              and for developing and emerging market
                                                 the interest rate associated with a                     period that spans a minimum of 13 quarters.               nations to which companies may have
                                                 conforming, conventional, fixed-rate, 30-year           The scenario horizon reflects the supervisory             exposure;
                                                 mortgage.                                               stress test approach that the Board plans to                 iv. Term structures of implied volatilities
                                                    b. The international variables provided for          use. Under the stress test rules, the Board               that are key inputs to the pricing of interest
                                                 in the 2014 supervisory scenarios included,             will assess the effect of different scenarios on          rate derivatives;
                                                 for the euro area, the United Kingdom,                  the consolidated capital of each company                     v. Term structures of futures prices for
                                                 developing Asia, and Japan:                             over a forward-looking planning horizon of at             energy products including crude oil
                                                    i. Percent change in real GDP;                       least nine quarters.                                      (differentiated by country of origin), natural
                                                    ii. Percent change in the Consumer Price                                                                       gas, and power;
                                                                                                         3.2 Market Shock Component                                   vi. Term structures of futures prices for
                                                 Index or local equivalent; and
                                                    iii. The U.S./foreign currency exchange                 a. The market shock component of the                   metals and agricultural commodities;
                                                 rate.10                                                 adverse and severely adverse scenarios will                  vii. ‘‘Value-drivers’’ (credit spreads or
                                                    c. The economic variables included in the            only apply to companies with significant                  instrument prices themselves) for credit-
                                                 scenarios influence key items affecting                 trading activity and their subsidiaries.11 The            sensitive product segments including:
                                                 financial companies’ net income, including                                                                        Corporate bonds, credit default swaps, and
                                                 pre-provision net revenue and credit losses               11 Currently, companies with significant trading        collateralized debt obligations by risk; non-
                                                 on loans and securities. Moreover, these                activity include any bank holding company or              agency residential mortgage-backed securities
                                                 variables exhibit fairly typical trends in              intermediate holding company that (1) has                 and commercial mortgage-backed securities
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                                                                                                         aggregate trading assets and liabilities of $50 billion   by risk and vintage; sovereign debt; and,
                                                                                                         or more, or aggregate trading assets and liabilities      municipal bonds; and
                                                   9 The future path of a variable refers to its
                                                                                                         equal to 10 percent or more of total consolidated            viii. Shocks to the values of private equity
                                                 specification over a given time period. For example,    assets, and (2) is not a large and noncomplex firm.
                                                 the path of unemployment can be described in            The Board may also subject a state member bank
                                                                                                                                                                   positions.
                                                 percentage terms on a quarterly basis over the stress   subsidiary of any such bank holding company to            4. Approach for Formulating the
                                                 testing time horizon.                                   the market shock component. The set of companies
                                                   10 The Board may increase the range of countries
                                                                                                                                                                   Macroeconomic Assumptions for Scenarios
                                                                                                         subject to the market shock component could
                                                 or regions included in future scenarios, as             change over time as the size, scope, and complexity          a. This section describes the Board’s
                                                 appropriate.                                            of financial company’s trading activities evolve.         approach for formulating macroeconomic



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                                                                       Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules                                                   59541

                                                 assumptions for each scenario. The                      assessment of the forecast that is deemed to          inform its recession dates.12 Third and
                                                 methodologies for formulating this part of              be most plausible. In setting the paths of            finally, the growth rate of potential output
                                                 each scenario differ by scenario, so these              variables in the baseline scenario, particular        can cause the size of the decline in GDP to
                                                 methodologies for the baseline, severely                care will be taken to ensure that, together, the      vary between recessions. While changes in
                                                 adverse, and the adverse scenarios are                  paths present a coherent and plausible                the unemployment rate can also vary over
                                                 described separately in each of the following           outlook for the U.S. and global economy,              time due to demographic factors, this seems
                                                 subsections.                                            given the economic climate in which they are          to have more limited implications over time
                                                    b. In general, the baseline scenario will            formulated.                                           relative to changes in potential output
                                                 reflect the most recently available consensus                                                                 growth. The unemployment rate used in the
                                                 views of the macroeconomic outlook                      4.2 Approach for Formulating the                      severely adverse scenario will reflect an
                                                 expressed by professional forecasters,                  Macroeconomic Assumptions in the Severely             unemployment rate that has been observed in
                                                 government agencies, and other public-sector            Adverse Scenario                                      severe post-war U.S. recessions, measuring
                                                 organizations as of the beginning of the                                                                      severity by the absolute level of and relative
                                                                                                            The stress test rules define a severely
                                                 annual stress-test cycle. The severely adverse                                                                increase in the unemployment rate.13
                                                                                                         adverse scenario as a set of conditions that
                                                 scenario will consist of a set of economic and                                                                   c. The Board believes that the severely
                                                                                                         affect the U.S. economy or the financial              adverse scenario should also reflect a
                                                 financial conditions that reflect the                   condition of a financial company and that
                                                 conditions of post-war U.S. recessions. The                                                                   housing recession. The house prices path set
                                                                                                         overall are more severe than those associated         in the severely adverse scenario will reflect
                                                 adverse scenario will consist of a set of
                                                                                                         with the adverse scenario. The financial              developments that have been observed in
                                                 economic and financial conditions that are
                                                                                                         company will be required to publicly                  post-war U.S. housing recessions, measuring
                                                 more adverse than those associated with the
                                                                                                         disclose a summary of the results of its stress       severity by the absolute level of and relative
                                                 baseline scenario but less severe than those
                                                 associated with the severely adverse                    test under the severely adverse scenario, and         decrease in the house prices.
                                                 scenario.                                               the Board intends to publicly disclose the               d. The Board will specify the paths of most
                                                    c. Each of these scenarios is described              results of its analysis of the financial              other macroeconomic variables based on the
                                                 further in sections below as follows: Baseline          company under the adverse scenario and the            paths of unemployment, income, house
                                                 (subsection 4.1), severely adverse (subsection          severely adverse scenario.                            prices, and activity. Some of these other
                                                 4.2), and adverse (subsection 4.3).                                                                           variables, however, have taken wildly
                                                                                                         4.2.1 General Approach: The Recession                 divergent paths in previous recessions (e.g.,
                                                 4.1 Approach for Formulating                            Approach                                              foreign GDP), requiring the Board to use its
                                                 Macroeconomic Assumptions in the Baseline                  a. The Board intends to use a recession            informed judgment in selecting appropriate
                                                 Scenario                                                approach to develop the severely adverse              paths for these variables. In general, the path
                                                    a. The stress test rules define the baseline         scenario. In the recession approach, the              for these other variables will be based on
                                                 scenario as a set of conditions that affect the         Board will specify the future paths of                their underlying structure at the time that the
                                                 U.S. economy or the financial condition of a            variables to reflect conditions that                  scenario is designed (e.g., economic or
                                                 banking organization, and that reflect the              characterize post-war U.S. recessions,                financial-system vulnerabilities in other
                                                 consensus views of the economic and                     generating either a typical or specific               countries).
                                                                                                         recreation of a post-war U.S. recession. The             e. The Board considered alternative
                                                 financial outlook. Projections under a
                                                                                                         Board chose this approach because it has              methods for scenario design of the severely
                                                 baseline scenario are used to evaluate how
                                                                                                                                                               adverse scenario, including a probabilistic
                                                 companies would perform in more likely                  observed that the conditions that typically
                                                                                                                                                               approach. The probabilistic approach
                                                 economic and financial conditions. The                  occur in recessions—such as increasing
                                                                                                                                                               constructs a baseline forecast from a large-
                                                 baseline serves also as a point of comparison           unemployment, declining asset prices, and
                                                                                                                                                               scale macroeconomic model and identifies a
                                                 to the severely adverse and adverse                     contracting loan demand—can put significant           scenario that would have a specific
                                                 scenarios, giving some sense of how much of             stress on companies’ balance sheets. This             probabilistic likelihood given the baseline
                                                 the company’s capital decline could be                  stress can occur through a variety of                 forecast. The Board believes that, at this time,
                                                 ascribed to the scenario as opposed to the              channels, including higher loss provisions            the recession approach is better suited for
                                                 company’s capital adequacy under expected               due to increased delinquencies and defaults;          developing the severely adverse scenario
                                                 conditions.                                             losses on trading positions through sharp             than a probabilistic approach because it
                                                    b. The baseline scenario will be developed           moves in market prices; and lower bank                guarantees a recession of some specified
                                                 around a macroeconomic projection that                  income through reduced loan originations.             severity. In contrast, the probabilistic
                                                 captures the prevailing views of private-               For these reasons, the Board believes that the        approach requires the choice of an extreme
                                                 sector forecasters (e.g. Blue Chip Consensus            paths of economic and financial variables in          tail outcome—relative to baseline—to
                                                 Forecasts and the Survey of Professional                the severely adverse scenario should, at a            characterize the severely adverse scenario
                                                 Forecasters), government agencies, and other            minimum, resemble the paths of those                  (e.g., a 5 percent or a 1 percent tail outcome).
                                                 public-sector organizations (e.g., the                  variables observed during a recession.                In practice, this choice is difficult as adverse
                                                 International Monetary Fund and the                        b. This approach requires consideration of         economic outcomes are typically thought of
                                                 Organization for Economic Co-operation and              the type of recession to feature. All post-war        in terms of how variables evolve in an
                                                 Development) near the beginning of the                  U.S. recessions have not been identical:              absolute sense rather than how far away they
                                                 annual stress-test cycle. The baseline                  Some recessions have been associated with             lie in the probability space away from the
                                                 scenario is designed to represent a consensus           very elevated interest rates, some have been          baseline. In this sense, a scenario featuring a
                                                 expectation of certain economic variables                                                                     recession may be somewhat clearer and more
                                                                                                         associated with sizable asset price declines,
                                                 over the time period of the tests and it is not                                                               straightforward to communicate. Finally, the
                                                                                                         and some have been relatively more global.
                                                 the Board’s internal forecast for those
                                                                                                         The most common features of recessions,
                                                 economic variables. For example, the                                                                            12 More recently, a monthly measure of GDP has
                                                                                                         however, are increases in the unemployment
                                                 baseline path of short-term interest rates is                                                                 been added to the list of indicators.
                                                                                                         rate and contractions in aggregate incomes
                                                 constructed from consensus forecasts and                                                                        13 Even though all recessions feature increases in
                                                 may differ from that implied by the FOMC’s              and economic activity. For this and the
                                                                                                         following reasons, the Board intends to use           the unemployment rate and contractions in incomes
                                                 Summary of Economic Projections.                                                                              and economic activity, the size of this change has
                                                                                                         the unemployment rate as the primary basis
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                                                    c. For some scenario variables—such as                                                                     varied over post-war U.S. recessions. Table 1 of this
                                                 U.S. real GDP growth, the unemployment                  for specifying the severely adverse scenario.         appendix documents the variability in the depth of
                                                 rate, and the consumer price index—there                First, the unemployment rate is likely the            post-war U.S. recessions. Some recessions—labeled
                                                 will be a large number of different forecasts           most representative single summary indicator          mild in Table 1—have been relatively modest with
                                                                                                         of adverse economic conditions. Second, in            GDP edging down just slightly and the
                                                 available to project the paths of these                                                                       unemployment rate moving up about a percentage
                                                 variables in the baseline scenario. For others,         comparison to GDP, labor market data have
                                                                                                                                                               point. Other recessions—labeled severe in Table 1—
                                                 a more limited number of forecasts will be              traditionally featured more prominently than
                                                                                                                                                               have been much harsher with GDP dropping 33⁄4
                                                 available. If available forecasts diverge               GDP in the set of indicators that the National        percent and the unemployment rate moving up a
                                                 notably, the baseline scenario will reflect an          Bureau of Economic Research reviews to                total of about 4 percentage points.



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                                                 59542                  Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules

                                                 probabilistic approach relies on estimates of           severely adverse scenario will be about 4                the stress test and the associated supervisory
                                                 uncertainty around the baseline scenario and            percentage points. However, the Board will               actions to sustain confidence in financial
                                                 such estimates are in practice model-                   calibrate the increase in unemployment                   institutions.
                                                 dependent.                                              based on its views of the status of cyclical                g. While the approach to specifying the
                                                                                                         systemic risk. The Board intends to set the              severely adverse scenario is designed to
                                                 4.2.2 Setting the Unemployment Rate                     unemployment rate at the higher end of the               avoid adding sources of procyclicality to the
                                                 Under the Severely Adverse Scenario                     range if the Board believed that cyclical                financial system, it is not designed to
                                                    a. The Board anticipates that the severely           systemic risks were high (as it would be after           explicitly offset any existing procyclical
                                                 adverse scenario will feature an                        a sustained long expansion), and to the lower            tendencies in the financial system. The
                                                 unemployment rate that increases between 3              end of the range if cyclical systemic risks              purpose of the stress test scenarios is to make
                                                 to 5 percentage points from its initial level           were low (as it would be in the earlier stages           sure that the companies are properly
                                                 over the course of 6 to 8 calendar quarters.14          of a recovery). This may result in a scenario            capitalized to withstand severe economic and
                                                 The initial level will be set based on the              that is slightly more intense than normal if             financial conditions, not to serve as an
                                                 conditions at the time that the scenario is             the Board believed that cyclical systemic                explicit countercyclical offset to the financial
                                                 designed. However, if a 3 to 5 percentage               risks were increasing in a period of robust              system.
                                                 point increase in the unemployment rate                 expansion.15 Conversely, it will allow the                  h. In developing the approach to the
                                                 does not raise the level of the unemployment            Board to specify a scenario that is slightly             unemployment rate, the Board also
                                                 rate to at least 10 percent—the average level           less intense than normal in an environment               considered a method that would increase the
                                                 to which it has increased in the most recent            where systemic risks appeared subdued, such              unemployment rate to some fairly elevated
                                                 three severe recessions—the path of the                 as in the early stages of an expansion. Indeed,          fixed level over the course of 6 to 8 quarters.
                                                 unemployment rate in most cases will be                 the Board expects that, in general, it will              This will result in scenarios being more
                                                 specified so as to raise the unemployment               adopt a change in the unemployment rate of               severe in robust expansions (when the
                                                 rate to at least 10 percent.                            less than 4 percentage points when the                   unemployment rate is low) and less severe in
                                                    b. This methodology is intended to                   unemployment rate at the start of the                    the early stages of a recovery (when the
                                                 generate scenarios that feature stressful               scenarios is elevated but the labor market is            unemployment rate is high) and so would not
                                                 outcomes but do not induce greater                      judged to be strengthening and higher-than-              result in pro-cyclicality. Depending on the
                                                 procyclicality in the financial system and              usual credit losses stemming from previously             initial level of the unemployment rate, this
                                                 macroeconomy. When the economy is in the                elevated unemployment rates were either                  approach could lead to only a very modest
                                                 early stages of a recovery, the unemployment            already realized—or are in the process of
                                                                                                                                                                  increase in the unemployment rate—or even
                                                 rate in a baseline scenario generally trends            being realized—and thus removed from
                                                                                                                                                                  a decline. As a result, this approach—while
                                                 downward, resulting in a larger difference              banks’ balance sheets.16 However, even at the
                                                                                                                                                                  not procyclical—could result in scenarios not
                                                 between the path of the unemployment rate               lower end of the range of unemployment-rate
                                                                                                                                                                  featuring stressful macroeconomic outcomes.
                                                 in the severely adverse scenario and the                increases, the scenario will still feature an
                                                 baseline scenario and a severely adverse                increase in the unemployment rate similar to             4.2.3 Setting the Other Variables in the
                                                 scenario that is relatively more intense.               what has been seen in about half of the                  Severely Adverse Scenario
                                                 Conversely, in a sustained strong                       severe recessions of the last 50 years.                    a. Generally, all other variables in the
                                                 expansion—when the unemployment rate                       e. As indicated previously, if a 3 to 5               severely adverse scenario will be specified to
                                                 may be below the level consistent with full             percentage point increase in the                         be consistent with the increase in the
                                                 employment—the unemployment in a                        unemployment rate does not raise the level
                                                                                                                                                                  unemployment rate. The approach for
                                                 baseline scenario generally trends upward,              of the unemployment rate to 10 percent—the
                                                                                                                                                                  specifying the paths of these variables in the
                                                 resulting in a smaller difference between the           average level to which it has increased in the
                                                                                                                                                                  scenario will be a combination of (1) how
                                                 path of the unemployment rate in the                    most recent three severe recessions—the path
                                                                                                                                                                  economic models suggest that these variables
                                                 severely adverse scenario and the baseline              of the unemployment rate will be specified
                                                                                                                                                                  should evolve given the path of the
                                                 scenario and a severely adverse scenario that           so as to raise the unemployment rate to 10
                                                                                                                                                                  unemployment rate, (2) how these variables
                                                 is relatively less intense. Historically, a 3 to        percent. Setting a floor for the unemployment
                                                                                                                                                                  have typically evolved in past U.S.
                                                 5 percentage point increase in                          rate at 10 percent recognizes the fact that not
                                                                                                                                                                  recessions, and (3) and evaluation of these
                                                 unemployment rate is reflective of stressful            only do cyclical systemic risks build up at
                                                                                                         financial intermediaries during robust                   and other factors.
                                                 conditions. As illustrated in Table 1 of this                                                                      b. Economic models—such as medium-
                                                 appendix, over the last half-century, the U.S.          expansions but that these risks are also easily
                                                                                                         obscured by the buoyant environment.                     scale macroeconomic models—should be
                                                 economy has experienced four severe post-                                                                        able to generate plausible paths consistent
                                                 war recessions. In all four of these recessions            f. In setting the increase in the
                                                                                                         unemployment rate, the Board will consider               with the unemployment rate for a number of
                                                 the unemployment rate increased 3 to 5                                                                           scenario variables, such as real GDP growth,
                                                 percentage points and in the three most                 the extent to which analysis by economists,
                                                                                                         supervisors, and financial market experts                CPI inflation and short-term interest rates,
                                                 recent of these recessions the unemployment
                                                                                                         finds cyclical systemic risks to be elevated             which have relatively stable (direct or
                                                 rate reached a level between 9 percent and
                                                                                                         (but difficult to be captured more precisely             indirect) relationships with the
                                                 11 percent.
                                                                                                         in one of the scenario’s other variables). In            unemployment rate (e.g., Okun’s Law, the
                                                    c. Under this method, if the initial
                                                                                                         addition, the Board—in light of impending                Phillips Curve, and interest rate feedback
                                                 unemployment rate were low—as it would be
                                                                                                         shocks to the economy and financial                      rules). For some other variables, specifying
                                                 after a sustained long expansion—the
                                                                                                         system—will also take into consideration the             their paths will require a case-by-case
                                                 unemployment rate in the scenario would
                                                                                                         extent to which a scenario of some increased             consideration.
                                                 increase to a level as high as what has been
                                                                                                         severity might be necessary for the results of             c. Declining house prices, which are an
                                                 seen in past severe recessions. However, if
                                                                                                                                                                  important source of stress to a company’s
                                                 the initial unemployment rate were already
                                                                                                                                                                  balance sheet, are not a steadfast feature of
                                                 high—as would be the case in the early stages              15 Note, however, that the severity of the scenario

                                                                                                         would not exceed an implausible level: even at the       recessions, and the historical relationship of
                                                 of a recovery—the unemployment rate would
                                                                                                         upper end of the range of unemployment-rate              house prices with the unemployment rate is
                                                 exhibit a change as large as what has been
                                                                                                         increases, the path of the unemployment rate would       not strong. Simply adopting their typical
                                                 seen in past severe recessions.
                                                                                                         still be consistent with severe post-war U.S.            path in a severe recession would likely
                                                    d. The Board believes that the typical
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                                                                                                         recessions.                                              underestimate risks stemming from the
                                                 increase in the unemployment rate in the                   16 Evidence of a strengthening labor market could
                                                                                                                                                                  housing sector. In specifying the path for
                                                                                                         include a declining unemployment rate, steadily          nominal house prices, the Board will
                                                   14 Six to eight quarters is the average number of     expanding nonfarm payroll employment, or                 consider the ratio of the nominal house price
                                                 quarters for which a severe recession lasts plus the    improving labor force participation. Evidence that
                                                                                                                                                                  index (HPI) to nominal, per capita,
                                                 average number of subsequent quarters over which        credit losses are being realized could include
                                                 the unemployment rate continues to rise. The            elevated charge-offs on loans and leases, loan-loss      disposable income (DPI). The Board believes
                                                 variable length of the timeframe reflects the           provisions in excess of gross charge-offs, or losses     that the typical decline in the HPI–DPI ratio
                                                 different paths to the peak unemployment rate           being realized in securities portfolios that include     will be at a minimum 25 percent from its
                                                 depending on the severity of the scenario.              securities that are subject to credit risk.              starting value, or enough to bring the ratio



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                                                                        Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules                                                 59543

                                                 down to its Great Recession trough. As                   macroeconomic and financial variables in the            were simply one-half of or two-thirds of the
                                                 illustrated in Table 2 of this appendix,                 scenario to reflect these risks.                        deviations of the paths of the variables
                                                 housing recessions have on average featured                 d. Detecting risks that have the potential to        relative to the baseline in the severely
                                                 HPI–DPI ratio declines of about 25 percent               weaken the banking sector is particularly               adverse scenario. A priori, specifying the
                                                 and the HPI–DPI ratio fell to its Great                  difficult when economic conditions are                  adverse scenario in this way may appear
                                                 Recession trough.17                                      buoyant, as a boom can obscure the                      unlikely to provide the greatest possible
                                                    d. In addition, judgment is necessary in              weaknesses present in the system. In                    informational value to supervisors—given
                                                 projecting the path of a scenario’s                      sustained robust expansions, therefore, the             that it is just a less severe version of the
                                                 international variables. Recessions that occur           selection of salient risks to augment the               severely adverse scenario. However, to the
                                                 simultaneously across countries are an                   scenario will err on the side of including              extent that the effect of macroeconomic
                                                 important source of stress to the balance                risks of uncertain significance.                        variables on company loss positions and
                                                 sheets of companies with notable                            e. The Board will factor in particular risks         incomes are nonlinear, there could be
                                                 international exposures but are not an                   to the domestic and international                       potential value from this approach.
                                                 invariable feature of the international                  macroeconomic outlook identified by its                    c. Another method to specify the adverse
                                                 economy. As a result, simply adopting the                economists, bank supervisors, and financial             scenario is to capture risks in the adverse
                                                 typical path of international variables in a             market experts and make appropriate                     scenario that the Board believes should be
                                                 severe U.S. recession would likely                       adjustments to the paths of specific economic           understood better or should be monitored,
                                                 underestimate the risks stemming from the                variables. These adjustments will not be                but does not believe should be included in
                                                 international economy. Consequently, an                  reflected in the general severity of the                the severely adverse scenario, perhaps
                                                 approach that uses both judgment and                     recession and, thus, all macroeconomic                  because these risks would render the
                                                 economic models informs the path of                      variables; rather, the adjustments will apply           scenario implausibly severe. For instance, the
                                                 international variables.                                 to a subset of variables to reflect co-                 adverse scenario could feature sizable
                                                 4.2.4 Adding Salient Risks to the Severely               movements in these variables that are                   increases in oil or natural gas prices or shifts
                                                 Adverse Scenario                                         historically less typical. The Board plans to           in the yield curve that are atypical in a
                                                                                                          discuss the motivation for the adjustments              recession. The adverse scenario might also
                                                    a. The severely adverse scenario will be              that it makes to variables to highlight                 feature less acute, but still consequential,
                                                 developed to reflect specific risks to the               systemic risks in the narrative describing the          adverse outcomes, such as a disruptive
                                                 economic and financial outlook that are                  scenarios.18                                            slowdown in growth from emerging-market
                                                 especially salient but will feature minimally                                                                    economies.
                                                 in the scenario if the Board were only to use            4.3 Approach for Formulating                               d. Under the Board’s stress test rules,
                                                 approaches that looked to past recessions or             Macroeconomic Assumptions in the Adverse                covered companies are required to develop
                                                 relied on historical relationships between               Scenario                                                their own scenarios for mid-cycle company-
                                                 variables.                                                 a. The adverse scenario can be developed              run stress tests.20 A particular combination of
                                                    b. There are some important instances                 in a number of different ways, and the                  risks included in these scenarios may inform
                                                 when it will be appropriate to augment the               selected approach will depend on a number               the design of the adverse scenario for annual
                                                 recession approach with salient risks. For               of factors, including how the Board intends             stress tests. In this same vein, another
                                                 example, if an asset price were especially               to use the results of the adverse scenario.19           possibility would be to use modified versions
                                                 elevated and thus potentially vulnerable to              Generally, the Board believes that the                  of the circumstances that companies describe
                                                 an abrupt and potentially destabilizing                  companies should consider multiple adverse              in their living wills as being able to cause
                                                 decline, it would be appropriate to include              scenarios for their internal capital planning           their failures.
                                                 such a decline in the scenario even if such              purposes, and likewise, it is appropriate that             e. It might also be informative to
                                                 a large drop were not typical in a severe                the Board consider more than one adverse                periodically use a stable adverse scenario, at
                                                 recession. Likewise, if economic                         scenario to assess a company’s ability to               least for a few consecutive years. Even if the
                                                 developments abroad were particularly                    withstand stress. Accordingly, the Board                scenario used for the stress test does not
                                                 unfavorable, assuming a weakening in                     does not identify a single approach for                 change over the credit cycle, if companies
                                                 international conditions larger than what                specifying the adverse scenario. Rather, the            tighten and relax lending standards over the
                                                 typically occurs in severe U.S. recessions               adverse scenario will be formulated                     cycle, their loss rates under the adverse
                                                 would likely also be appropriate.                        according to one of the possibilities listed            scenario—and indirectly the projected
                                                    c. Clearly, while the recession component             below. The Board may vary the approach it               changes to capital—would decrease and
                                                 of the severely adverse scenario is within               uses for the adverse scenario each year so              increase, respectively. A consistent scenario
                                                 some predictable range, the salient risk                 that the results of the scenario provide the            would allow the direct observation of how
                                                 aspect of the scenario is far less so, and               most value to supervisors, in light of current          capital fluctuates to reflect growing cyclical
                                                 therefore, needs an annual assessment. Each              condition of the economy and the financial              risks.
                                                 year, the Board will identify the risks to the           services industry.                                         f. The Board may consider specifying the
                                                 financial system and the domestic and                      b. The simplest method to specify the                 adverse scenario using the probabilistic
                                                 international economic outlooks that appear              adverse scenario is to develop a less severe            approach described in section 4.2.1 (that is,
                                                 more elevated than usual, using its internal             version of the severely adverse scenario. For           with a specified lower probability of
                                                 analysis and supervisory information and in              example, the adverse scenario could be                  occurring than the severely adverse scenario
                                                 consultation with the Federal Deposit                    formulated such that the deviations of the              but a greater probability of occurring than the
                                                 Insurance Corporation (FDIC) and the Office              paths of the variables relative to the baseline         baseline scenario). The approach has some
                                                 of the Comptroller of the Currency (OCC).
                                                 Using the same information, the Board will                                                                       intuitive appeal despite its shortcomings. For
                                                                                                             18 The means of effecting an adjustment to the
                                                 then calibrate the paths of the                                                                                  example, using this approach for the adverse
                                                                                                          severely adverse scenario to address salient            scenario could allow the Board to explore an
                                                                                                          systemic risks differs from the means used to adjust
                                                                                                                                                                  alternative approach to develop stress testing
                                                    17 The house-price retrenchments that occurred        the unemployment rate. For example, in adjusting
                                                                                                          the scenario for an increased unemployment rate,        scenarios and their effect on a company’s net
                                                 over the periods 1980–1985, 1989–1996, 2006–2011
                                                 (as detailed in Table 2 of this appendix) are referred   the Board would modify all variables such that the      income and capital.
                                                 to in this document as housing recessions. The           future paths of the variables are similar to how           g. Finally, the Board could design the
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                                                 date-ranges of housing recessions are based on the       these variables have moved historically. In contrast,   adverse scenario based on a menu of
                                                 timing of house-price retrenchments. These dates         to address salient risks, the Board may only modify     historical experiences—such as, a moderate
                                                 were also associated with sustained declines in real     a small number of variables in the scenario and, as     recession (e.g., the 1990–1991 recession); a
                                                 residential investment, although, the precise            such, their future paths in the scenario would be       stagflation event (e.g., stagflation during
                                                 timings of housing recessions would likely be            somewhat more atypical, albeit not implausible,
                                                                                                                                                                  1974); an emerging markets crisis (e.g., the
                                                 slightly different were they to be classified based on   given existing risks.
                                                                                                                                                                  Asian currency crisis of 1997–1998); an oil
                                                 real residential investment in addition to house            19 For example, in the context of CCAR, the Board

                                                 prices. The ratios described in Table 2 are              currently uses the adverse scenario as one              price shock (e.g., the shock during the run up
                                                 calculated based on nominal HPI and HPI–DPI              consideration in evaluating a firm’s capital
                                                 ratios indexed to 100 in 2000:Q1.                        adequacy.                                                 20 12   CFR 252.55.



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                                                 59544                 Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules

                                                 to the 1990–1991 recession); or high inflation          5.2.1 Design Considerations for Market                maturity positions, adding further
                                                 shock (e.g., the inflation pressures of 1977–           Shocks                                                complexity.
                                                 1979). The Board believes these are                        a. The general market practice for stressing         e. The instantaneous nature of market
                                                 important stresses that should be understood;           a trading portfolio is to specify market shocks       shocks and the immediate recognition of
                                                 however, there may be notable benefits from             either in terms of extreme moves in                   mark-to-market losses add another element to
                                                 formulating the adverse scenario following              observable, broad market indicators and risk          the design of market shocks, and to
                                                 other approaches—specifically, those                    factors or directly as large changes to the           determining the appropriate severity of
                                                 described previously in this section—and                mark-to-market values of financial                    shocks. For instance, in previous stress tests,
                                                 consequently the Board does not believe that            instruments. These moves can be specified             the Board assumed that market moves that
                                                 the adverse scenario should be limited to               either in relative terms or absolute terms.           occurred over the six-month period in late
                                                 historical episodes only.                               Supplying values of risk factors after a              2008 would occur instantaneously. The
                                                    h. With the exception of cases in which the          ‘‘shock’’ is roughly equivalent to the                design of the market shocks must factor in
                                                 probabilistic approach is used to generate the          macroeconomic scenarios, which supply                 appropriate assumptions around the period
                                                 adverse scenario, the adverse scenario will at          values for a set of economic and financial            of time during which market events will
                                                                                                         variables; however, trading stress testing            unfold and any associated market responses.
                                                 a minimum contain a mild to moderate
                                                 recession. This is because most of the value            differs from macroeconomic stress testing in          5.2.2 Approaches to Market Shock Design
                                                 from investigating the implications of the              several critical ways.
                                                                                                            b. In the past, the Board used one of two             a. As an additional component of the
                                                 risks described above is likely to be obtained                                                                adverse and severely adverse scenarios, the
                                                 from considering them in the context of                 approaches to specify market shocks. During
                                                                                                         SCAP and CCAR in 2011, the Board used a               Board plans to use a standardized set of
                                                 balance sheets of companies that are under                                                                    market shocks that apply to all companies
                                                 some stress.                                            very general approach to market shocks and
                                                                                                         required companies to stress their trading            with significant trading activity. The market
                                                 5. Approach for Formulating the Market                  positions using changes in market prices and          shocks could be based on a single historical
                                                 Shock Component                                         rates experienced during the second half of           episode, multiple historical periods,
                                                                                                         2008, without specifying risk factor shocks.          hypothetical (but plausible) events, or some
                                                    a. This section discusses the approach the                                                                 combination of historical episodes and
                                                 Board proposes to adopt for developing the              This broad guidance resulted in
                                                                                                         inconsistency across companies both in                hypothetical events (hybrid approach).
                                                 market shock component of the adverse and                                                                     Depending on the type of hypothetical
                                                 severely adverse scenarios appropriate for              terms of the severity and the application of
                                                                                                         shocks. In certain areas companies were               events, a scenario based on such events may
                                                 companies with significant trading activities.                                                                result in changes in risk factors that were not
                                                                                                         permitted to use their own experience during
                                                 The design and specification of the market                                                                    previously observed. In the supervisory
                                                                                                         the second half of 2008 to define shocks. This
                                                 shock component differs from that of the                                                                      scenarios for 2012 and 2013, the shocks were
                                                                                                         resulted in significant variation in shock
                                                 macroeconomic scenarios because profits and             severity across companies.                            largely based on relative moves in asset
                                                 losses from trading are measured in mark-to-               c. To enhance the consistency and                  prices and rates during the second half of
                                                 market terms, while revenues and losses from            comparability in market shocks for the stress         2008, but also included some additional
                                                 traditional banking are generally measured              tests in 2012 and 2013, the Board provided            considerations to factor in the widening of
                                                 using the accrual method. As noted above,               to each trading company more than 35,000              spreads for European sovereigns and
                                                 another critical difference is the time-                specific risk factor shocks, primarily based          financial companies based on actual
                                                 evolution of the market shock component.                on market moves in the second half of 2008.           observation during the latter part of 2011.
                                                 The market shock component consists of an               While the number of risk factors used in                 b. For the market shock component in the
                                                 instantaneous ‘‘shock’’ to a large number of            companies’ pricing and stress-testing models          severely adverse scenario, the Board plans to
                                                 risk factors that determine the mark-to-                still typically exceed that provided in the           use the hybrid approach to develop shocks.
                                                 market value of trading positions, while the            Board’s scenarios, the greater specificity            The hybrid approach allows the Board to
                                                 macroeconomic scenarios supply a projected              resulted in more consistency in the scenario          maintain certain core elements of consistency
                                                 path of economic variables that affect                  across companies. The benefit of the                  in market shocks each year while providing
                                                 traditional banking activities over the entire          comprehensiveness of risk factor shocks is at         flexibility to add hypothetical elements based
                                                 planning period.                                        least partly offset by potential difficulty in        on market conditions at the time of the stress
                                                    b. The development of the market shock               creating shocks that are coherent and                 tests. In addition, this approach will help
                                                 component that are detailed in this section             internally consistent, particularly as the            ensure internal consistency in the scenario
                                                 are as follows: baseline (subsection 5.1),              framework for developing market shocks                because of its basis in historical episodes;
                                                 severely adverse (subsection 5.2), and                  deviates from historical events.                      however, combining the historical episode
                                                 adverse (subsection 5.3).                                  d. Also importantly, the ultimate losses           and hypothetical events may require small
                                                                                                         associated with a given market shock will             adjustments to ensure mutual consistency of
                                                 5.1 Approach for Formulating the Market                 depend on a company’s trading positions,              the joint moves. In general, the hybrid
                                                 Shock Component Under the Baseline                      which can make it difficult to rank order, ex         approach provides considerable flexibility in
                                                 Scenario                                                ante, the severity of the scenarios. In certain       developing scenarios that are relevant each
                                                   By definition, market shocks are large,               instances, market shocks that include large           year, and by introducing variations in the
                                                 previously unanticipated moves in asset                 market moves may not be particularly                  scenario, the approach will also reduce the
                                                 prices and rates. Because asset prices should,          stressful for a given company. Aligning the           ability of companies with significant trading
                                                 broadly speaking, reflect consensus opinions            market shock with the macroeconomic                   activity to modify or shift their portfolios to
                                                 about the future evolution of the economy,              scenario for consistency may result in certain        minimize expected losses in the severely
                                                 large price movements, as envisioned in the             companies actually benefiting from risk               adverse market shock.
                                                 market shock, should not occur along the                factor moves of larger magnitude in the                  c. The Board has considered a number of
                                                 baseline path. As a result, the market shock            market scenario if the companies are hedging          alternative approaches for the design of
                                                 will not be included in the baseline scenario.          against salient risks to other parts of their         market shocks. For example, the Board
                                                                                                         business. Thus, the severity of market shocks         explored an option of providing tailored
                                                 5.2 Approach for Formulating the Market                 must be calibrated to take into account how           market shocks for each trading company,
                                                 Shock Component Under the Severely
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                                                                                                         a complex set of risks, such as directional           using information on the companies’
                                                 Adverse Scenario                                        risks and basis risks, interacts with each            portfolio gathered through ongoing
                                                   This section addresses possible approaches            other, given the companies’ trading positions         supervision, or other means. By specifically
                                                 to designing the market shock component in              at the time of stress. For instance, a large          targeting known or potential vulnerabilities
                                                 the severely adverse scenario, including                depreciation in a foreign currency would              in a company’s trading position, the tailored
                                                 important considerations for scenario design,           benefit companies with net short positions in         approach will be useful in assessing each
                                                 possible approaches to designing scenarios,             the currency while hurting those with net             company’s capital adequacy as it relates to
                                                 and a development strategy for implementing             long positions. In addition, longer maturity          the company’s idiosyncratic risk. However,
                                                 the preferred approach.                                 positions may move differently from shorter           the Board does not believe this approach to



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                                                                       Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules                                              59545

                                                 be well-suited for the stress tests required by         hypothetical but plausible outcomes, based            to the one used for the market shock in 2012,
                                                 regulation. Consistency and comparability               on financial stability reports, supervisory           where the market shock component was
                                                 are key features of annual supervisory stress           information, and internal and external                largely based on the second half of 2008, but
                                                 tests and annual company-run stress tests               assessments of market risks and potential             also included a number of risk factor shocks
                                                 required in the stress test rules. It would be          flash points. The hypothetical outcomes               that reflected the significant widening of
                                                 difficult to use the information on the                 could originate from major geopolitical,              spreads for European sovereigns and
                                                 companies’ portfolio to design a common set             economic, or financial market events with             financials in late 2011. This approach will
                                                 of shocks that are universally stressful for all        potentially significant impacts on market risk        provide some consistency each year and
                                                 covered companies. As a result, this                    factors. The severity of these hypothetical           provide an internally consistent scenario
                                                 approach will be better suited to more                  moves will likely be guided by similar                with minimal implementation burden.
                                                 customized, tailored stress tests that are part         historical events, assumptions embedded in            Having a relatively consistent adverse
                                                 of the company’s internal capital planning              the companies’ internal stress tests or market        scenario may be useful as it potentially
                                                 process or to other supervisory efforts outside         participants, and other available information.        serves as a benchmark against the results of
                                                 of the stress tests conducted under the capital            d. Once broad market scenarios are agreed          the severely adverse scenario and can be
                                                 rule and the stress test rules.                         upon, specific risk factor groups will be             compared to past stress tests.
                                                                                                         targeted as the source of the trading stress.            d. Another approach is to have an adverse
                                                 5.2.3 Development of the Market Shock                   For example, a scenario involving the failure         scenario that is identical to the severely
                                                    a. Consistent with the approach described            of a large, interconnected globally active            adverse scenario, except that the shocks are
                                                 above, the market shock component for the               financial institution could begin with a sharp        smaller in magnitude (e.g., 100 basis points
                                                 severely adverse scenario will incorporate              increase in credit default swap spreads and           for adverse versus 200 basis points for
                                                 key elements of market developments during              a precipitous decline in asset prices across          severely adverse). This ‘‘scaling approach’’
                                                 the second half of 2008, but also incorporate           multiple markets, as investors become more            generally fits well with an intuitive
                                                 observations from other periods or price and            risk averse and market liquidity evaporates.          interpretation of ‘‘adverse’’ and ‘‘severely
                                                 rate movements in certain markets that the              These broad market movements will be                  adverse.’’ Moreover, since the nature of the
                                                 Board deems to be plausible though such                 extrapolated to the granular level for all risk       moves will be identical between the two
                                                 movements may not have been observed                    factors by examining transmission channels            classes of scenarios, there will be at least
                                                 historically. Over time the Board also expects          and the historical relationships between              directional consistency in the risk factor
                                                 to rely less on market events of the second             variables, though in some cases, the                  inputs between scenarios. While under this
                                                 half of 2008 and more on hypothetical events            movement in particular risk factors may be            approach the adverse scenario will be
                                                 or other historical episodes to develop the             amplified based on theoretical relationships,         superficially identical to the severely
                                                 market shock.                                           market observations, or the saliency to               adverse, the logic underlying the severely
                                                    b. The developments in the credit markets            company trading books. If there is a                  adverse scenario may not be applicable. For
                                                 during the second half of 2008 were                     disagreement between the risk factor
                                                 unprecedented, providing a reasonable basis                                                                   example, if the severely adverse scenario was
                                                                                                         movements in the historical event used in the
                                                 for market shocks in the severely adverse                                                                     based on a historical scenario, the same
                                                                                                         scenario and the hypothetical event, the
                                                 scenario. During this period, key risk factors                                                                could not be said of the adverse scenario. It
                                                                                                         Board will reconcile the differences by
                                                 in virtually all asset classes experienced                                                                    is also remains possible, although unlikely,
                                                                                                         assessing a priori expectation based on
                                                 extremely large shocks; the collective breadth                                                                that a scaled adverse scenario actually will
                                                                                                         financial and economic theory and the
                                                 and intensity of the moves have no parallels                                                                  result in greater losses, for some companies,
                                                                                                         importance of the risk factors to the trading
                                                 in modern financial history and, on that                                                                      than the severely adverse scenario with
                                                                                                         positions of the covered companies.
                                                 basis, it seems likely that this episode will                                                                 similar moves of greater magnitude. For
                                                 continue to be the most relevant historical             5.3 Approach for Formulating the Market               example, if some companies are hedging
                                                 scenario, although experience during other              Shock Under the Adverse Scenario                      against tail outcomes then the more extreme
                                                 historical episodes may also guide the                     a. The market shock component included             trading book dollar losses may not
                                                 severity of the market shock component of               in the adverse scenario will feature risk factor      correspond to the most extreme market
                                                 the severely adverse scenario. Moreover, the            movements that are generally less significant         moves. The market shock component of the
                                                 risk factor moves during this episode are               than the market shock component of the                adverse scenario in 2013 was largely based
                                                 directly consistent with the ‘‘recession’’              severely adverse scenario. However, the               on the scaling approach where a majority of
                                                 approach that underlies the macroeconomic               adverse market shock may also feature risk            risk factor shocks were smaller in magnitude
                                                 assumptions. However, market shocks based               factor shocks that are substantively different        than the severely adverse scenario, but it also
                                                 only on historical events could become stale            from those included in the severely adverse           featured long-term interest rate shocks that
                                                 and less relevant over time as the company’s            scenario, in order to provide useful                  were not part of the severely adverse market
                                                 positions change, particularly if more salient          information to supervisors. As in the case of         shock.
                                                 features are not added each year.                       the macroeconomic scenario, the market                   e. Alternatively, the market shock
                                                    c. While the market shocks based on the              shock component in the adverse scenario can           component of an adverse scenario could
                                                 second half of 2008 are of unparalleled                 be developed in a number of different ways.           differ substantially from the severely adverse
                                                 magnitude, the shocks may become less                      b. The adverse scenario could be                   scenario with respect to the sizes and nature
                                                 relevant over time as the companies’ trading            differentiated from the severely adverse              of the shocks. Under this approach, the
                                                 positions change. In addition, more recent              scenario by the absolute size of the shock, the       market shock component could be
                                                 events could highlight the companies’                   scenario design process (e.g., historical             constructed using some combination of
                                                 vulnerability to certain market events. For             events versus hypothetical events), or some           historical and hypothetical events, similar to
                                                 example, in 2011, Eurozone credit spreads in            other criteria. The Board expects that as the         the severely adverse scenario. As a result, the
                                                 the sovereign and financial sectors surpassed           market shock component of the adverse                 market shock component of the adverse
                                                 those observed during the second half of                scenario may differ qualitatively from the            scenario could be viewed as an alternative to
                                                 2008, necessitating the modification of the             market shock component of the severely                the severely adverse scenario and, therefore,
                                                 severely adverse market shock in 2012 and               adverse scenario, the results of adverse              it is possible that the adverse scenario could
                                                 2013 to reflect a salient source of stress to           scenarios may be useful in identifying a              have larger losses for some companies than
                                                                                                                                                               the severely adverse scenario.
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                                                 trading positions. As a result, it is important         particularly vulnerable area in a trading
                                                 to incorporate both historical and                      company’s positions.                                     f. Finally, the design of the adverse
                                                 hypothetical outcomes into market shocks for               c. There are several possibilities for the         scenario for annual stress tests could be
                                                 the severely adverse scenario. For the time             adverse scenario and the Board may use a              informed by the companies’ own trading
                                                 being, the development of market shocks in              different approach each year to better explore        scenarios used for their BHC-designed
                                                 the severely adverse scenario will begin with           the vulnerabilities of companies with                 scenarios in CCAR and in their mid-cycle
                                                 the risk factor movements in a particular               significant trading activity. One approach is         company-run stress tests.21
                                                 historical period, such as the second half of           to use a scenario based on some combination
                                                 2008. The Board will then consider                      of historical events. This approach is similar          21 12   CFR 252.55.



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                                                 59546                        Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules

                                                 6. Consistency Between the Macroeconomic                               rapidly in unexpected directions, and the                                  7. Timeline for Scenario Publication
                                                 Scenarios and the Market Shock                                         macroeconomic assumptions can simulate                                        a. The Board will provide a description of
                                                    a. As discussed earlier, the market shock                           the severe recession that follows. Indeed, the                             the macroeconomic scenarios by no later
                                                 comprises a set of movements in a very large                           pattern of a financial crisis, characterized by                            than February 15. During the period
                                                 number of risk factors that are realized                               a short period of wild swings in asset prices                              immediately preceding the publication of the
                                                 instantaneously. Among the risk factors                                followed by a prolonged period of moribund                                 scenarios, the Board will collect and consider
                                                 specified in the market shock are several                              activity, and a subsequent severe recession is                             information from academics, professional
                                                 variables also specified in the                                        familiar and plausible.                                                    forecasters, international organizations,
                                                 macroeconomic scenarios, such as short- and                               c. As discussed in section 4.2.4, the Board                             domestic and foreign supervisors, and other
                                                 long-maturity interest rates on Treasury and                           may feature a particularly salient risk in the                             private-sector analysts that regularly conduct
                                                 corporate debt, the level and volatility of U.S.                       macroeconomic assumptions for the severely                                 stress tests based on U.S. and global
                                                 stock prices, and exchange rates.                                      adverse scenario, such as a fall in an elevated                            economic and financial scenarios, including
                                                    b. The market shock component is an add-                            asset price. In such instances, the Board may                              analysts at the covered companies. In
                                                 on to the macroeconomic scenarios that is                              also seek to reflect the same risk in one of                               addition, the Board will consult with the
                                                 applied to a subset of companies, with no                              the market shocks. For example, if the                                     FDIC and the OCC on the salient risks to be
                                                 assumed effect on other aspects of the stress                          macroeconomic scenario were to feature a                                   considered in the scenarios. The Board
                                                 tests such as balances, revenues, or other                             substantial decline in house prices, it may                                expects to conduct this process in October
                                                 losses. As a result, the market shock                                  seem plausible for the market shock to also                                and November of each year and to update the
                                                 component may not be always directionally                              feature a significant decline in market values                             scenarios based on incoming macroeconomic
                                                 consistent with the macroeconomic scenario.                            of any securities that are closely tied to the                             data releases and other information through
                                                 Because the market shock is designed, in                               housing sector or residential mortgages.                                   the end of January.
                                                 part, to mimic the effects of a sudden market                             d. In addition, as discussed in section 4.3,                               b. The Board expects to provide a broad
                                                 dislocation, while the macroeconomic                                   the Board may specify the macroeconomic                                    overview of the market shock component
                                                 scenarios are designed to provide a                                    assumptions in the adverse scenario in such                                along with the macroeconomic scenarios.
                                                 description of the evolution of the real                               a way as to explore risks qualitatively                                    The Board will publish the market shock
                                                 economy over two or more years, assumed                                different from those in the severely adverse                               templates by no later than March 1 of each
                                                 economic conditions can move in                                        scenario. Depending on the nature and type                                 year, and intends to publish the market shock
                                                 significantly different ways. In effect, the                           of such risks, the Board may also seek to                                  earlier in the stress test and capital plan
                                                 market shock can simulate a market panic,                              reflect these risks in one of the market shocks                            cycles to allow companies more time to
                                                 during which financial asset prices move                               as appropriate.                                                            conduct their stress tests.

                                                                                      TABLE 1 TO APPENDIX A OF PART 252—CLASSIFICATION OF U.S. RECESSIONS
                                                                                                                                                                                                                                       Total change
                                                                                                                                                                                                                    Change in the          in the
                                                                                                                                                                           Duration              Decline in real    unemployment      unemployment
                                                                          Peak                                       Trough                    Severity                   (quarters)                  GDP           rate during the      rate (incl.
                                                                                                                                                                                                                       recession          after the
                                                                                                                                                                                                                                        recession)

                                                 1957Q3 ....................................................   1958Q2 ..........          Severe ...........         4   (Medium) ....                    ¥3.6                  3.2              3.2
                                                 1960Q2 ....................................................   1961Q1 ..........          Moderate ........          4   (Medium) ....                    ¥1.0                  1.6              1.8
                                                 1969Q4 ....................................................   1970Q4 ..........          Moderate ........          5   (Medium) ....                    ¥0.2                  2.2              2.4
                                                 1973Q4 ....................................................   1975Q1 ..........          Severe ...........         6   (Long) .........                 ¥3.1                  3.4              4.1
                                                 1980Q1 ....................................................   1980Q3 ..........          Moderate ........          3   (Short) .........                ¥2.2                  1.4              1.4
                                                 1981Q3 ....................................................   1982Q4 ..........          Severe ...........         6   (Long) .........                 ¥2.8                  3.3              3.3
                                                 1990Q3 ....................................................   1991Q1 ..........          Mild ................      3   (Short) .........                ¥1.3                  0.9              1.9
                                                 2001Q1 ....................................................   2001Q4 ..........          Mild ................      4   (Medium) ....                     0.2                  1.3              2.0
                                                 2007Q4 ....................................................   2009Q2 ..........          Severe ...........         7   (Long) .........                 ¥4.3                  4.5              5.1
                                                 Average ...................................................   ........................   Severe ...........         6   .....................            ¥3.5                  3.7              3.9
                                                 Average ...................................................   ........................   Moderate ........          4   .....................            ¥1.1                  1.8              1.8
                                                 Average ...................................................   ........................   Mild ................      3   .....................            ¥0.6                  1.1              1.9
                                                    Source: Bureau of Economic Analysis, National Income and Product Accounts, Comprehensive Revision on July 31, 2013.

                                                                                   TABLE 2 TO APPENDIX A OF PART 252—HOUSE PRICES IN HOUSING RECESSIONS
                                                                                                                                                                                                                                        HPI–DPI
                                                                                                                                                                                                    Percent            Percent
                                                                                                                                                                           Duration                                                   Trough Level
                                                                          Peak                                       Trough                    Severity                                            change in          change in
                                                                                                                                                                          (quarters)                                                   (2000:Q1 =
                                                                                                                                                                                                     NHPI              HPI–DPI            100)

                                                 1980Q2 ....................................................   1985Q2 ..........          Moderate ........          20 (long) ........                   26.6              ¥15.9             102.1
                                                 1989Q4 ....................................................   1997Q1 ..........          Moderate ........          29 (long) ........                   10.5              ¥17.0              94.9
                                                 2005Q4 ....................................................   2012Q1 ..........          Severe ...........         25 (long) ........                  ¥29.6              ¥41.3              86.9
                                                 Average ...................................................   ........................   ........................   24.7 ................                 2.5              ¥24.7              94.6
                                                    Source: CoreLogic, BEA.
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                                                    Note: The date-ranges of housing recessions listed in this table are based on the timing of house-price retrenchments.




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                                                                       Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Proposed Rules                                                     59547

                                                   By order of the Board of Governors of the             on weekdays. For security reasons, the                supervisory stress test in 2009, many
                                                 Federal Reserve System, December 7, 2017.               Board requires that visitors make an                  analysts and institutions cautioned
                                                 Ann E. Misback,                                         appointment to inspect comments. You                  against these disclosures, arguing that
                                                 Secretary of the Board.                                 may do so by calling (202) 452–3684.                  releasing bank-specific loss estimates to
                                                 [FR Doc. 2017–26858 Filed 12–14–17; 8:45 am]            Upon arrival, visitors will be required to            the public would be destabilizing.
                                                 BILLING CODE 6210–01–P
                                                                                                         present valid government-issued photo                 However, experience to date has shown
                                                                                                         identification and to submit to security              the opposite to be true—disclosing these
                                                                                                         screening in order to inspect and                     details to the public has garnered public
                                                 FEDERAL RESERVE SYSTEM                                  photocopy comments.                                   and market confidence in the process.
                                                                                                         FOR FURTHER INFORMATION CONTACT: Lisa                    The Federal Reserve routinely reviews
                                                 12 CFR Chapter II                                       Ryu, Associate Director, (202) 263–4833,              its stress testing and capital planning
                                                                                                         Kathleen Johnson, Assistant Director,                 programs, and during those reviews the
                                                 [Docket No. OP–1586]                                                                                          Federal Reserve has received feedback
                                                                                                         (202) 452–3644, Robert Sarama,
                                                                                                         Manager (202) 973–7436, Division of                   regarding the transparency of the
                                                 Enhanced Disclosure of the Models
                                                                                                         Supervision and Regulation; Benjamin                  supervisory stress test models.3 Some of
                                                 Used in the Federal Reserve’s
                                                                                                         W. McDonough, Assistant General                       those providing feedback requested
                                                 Supervisory Stress Test
                                                                                                         Counsel, (202) 452–2036, or Julie                     more detail on modeling methodologies
                                                 AGENCY:  Board of Governors of the                      Anthony, Counsel, (202) 475–6682,                     with a focus on year-over-year changes
                                                 Federal Reserve System (Board).                         Legal Division, Board of Governors of                 in the supervisory models.4 Others,
                                                 ACTION: Notification with request for                   the Federal Reserve System, 20th Street               however, cautioned against disclosing
                                                 public comment.                                         and Constitution Avenue NW,                           too much information about the
                                                                                                         Washington, DC 20551. Users of                        supervisory models because doing so
                                                 SUMMARY:   The Board is inviting                        Telecommunication Device for Deaf                     could permit firms to reverse-engineer
                                                 comment on an enhanced disclosure of                    (TDD) only, call (202) 263–4869.                      the stress test.
                                                 the models used in the Federal                                                                                   The Federal Reserve recognizes that
                                                                                                         SUPPLEMENTARY INFORMATION:                            disclosing additional information about
                                                 Reserve’s supervisory stress test
                                                 conducted under the Board’s Regulation                  Table of Contents                                     supervisory models and methodologies
                                                 YY pursuant to the Dodd-Frank Wall                                                                            has significant public benefits, and is
                                                                                                         I. Overview
                                                 Street Reform and Consumer Protection                   II. Description of Enhanced Model Disclosure
                                                                                                                                                               committed to finding ways to further
                                                 Act (Dodd-Frank Act) and the Board’s                       A. Enhanced Description of Models                  increase the transparency of the
                                                 capital plan rule.                                         B. Modeled Loss Rates on Pools of Loans            supervisory stress test. More detailed
                                                                                                            C. Portfolios of Hypothetical Loans and            disclosures could further enhance the
                                                 DATES: Comments must be received by
                                                                                                               Associated Loss Rates                           credibility of the stress test by providing
                                                 January 22, 2018.                                          D. Explanatory Notes on Enhanced Model             the public with information on the
                                                 ADDRESSES: You may submit comments,                           Disclosures                                     fundamental soundness of the models
                                                 identified by Docket No. OP–1586 by                     III. Request for Comment                              and their alignment with best modeling
                                                 any of the following methods:                           IV. Example of Enhanced Model Disclosure
                                                                                                                                                               practices. These disclosures would also
                                                    • Agency website: http://                               A. Enhanced Description of Models
                                                                                                                                                               facilitate comments on the models from
                                                 www.federalreserve.gov. Follow the                         B. Modeled Loss Rates on Pools of Loans
                                                                                                            C. Portfolios of Hypothetical Loans and            the public, including academic experts.
                                                 instructions for submitting comments at                       Associated Loss Rates                           These comments could lead to
                                                 http://www.federalreserve.gov/                                                                                improvements, particularly in the data
                                                 generalinfo/foia/ProposedRegs.aspx.                     I. Overview                                           most useful to understanding the risks
                                                    • Federal eRulemaking Portal: http://                   Each year the Federal Reserve                      of particular loan types. More detailed
                                                 www.regulations.gov. Follow the                         publicly discloses the results of the                 disclosures could also help the public
                                                 instructions for submitting comments.                   supervisory stress test.1 The disclosures             understand and interpret the results of
                                                    • Email: regs.comments@                              include revenues, expenses, losses, pre-              the stress test, furthering the goal of
                                                 federalreserve.gov. Include the docket                  tax net income, and capital ratios that               maintaining market and public
                                                 number and RIN number in the subject                    would result under two sets of adverse                confidence in the U.S. financial system.
                                                 line of the message.                                    economic and financial conditions. As                 Finally, more detailed disclosures of
                                                    • Fax: (202) 452–2819 or (202) 452–                  part of the disclosures, the Federal                  how the Federal Reserve’s models
                                                 3102.                                                   Reserve also describes the broad                      assign losses to particular positions
                                                    • Mail: Ann Misback, Secretary,                      framework and methodology used in the
                                                 Board of Governors of the Federal                       supervisory stress test, including                    about its scenario design framework and annual
                                                 Reserve System, 20th Street and                         information about the models used to                  letters detailing material model changes. The
                                                 Constitution Avenue NW, Washington,                                                                           Federal Reserve also hosts an annual symposium in
                                                                                                         estimate the revenues, losses, and                    which supervisors and financial industry
                                                 DC 20551.                                               capital ratios in the stress test. The                practitioners share best practices in modeling,
                                                    All public comments will be made                     annual disclosures of both the stress test            model risk management, and governance.
                                                 available on the Board’s website at                     results and supervisory model
                                                                                                                                                                  3 During a review that began in 2015, the Federal

                                                 http://www.federalreserve.gov/                                                                                Reserve received feedback from senior management
                                                                                                         framework and methodology represent a                 at firms subject to the Board’s capital plan rule, debt
                                                 generalinfo/foia/ProposedRegs.aspx as                   significant increase in the public                    and equity market analysts, representatives from
                                                 submitted, unless modified for technical                transparency of large bank supervision                public interest groups, and academics in the fields
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                                                 reasons. Accordingly, your comments                                                                           of economics and finance. That review also
                                                                                                         in the U.S.2 Indeed, prior to the first               included an internal assessment.
                                                 will not be edited to remove any                                                                                 4 Some of the comments in favor of additional
                                                 identifying or contact information.                       1 See, for example, Dodd-Frank Act Stress Test
                                                                                                                                                               disclosure included requests that the Federal
                                                 Public comments may also be viewed                      2017: Supervisory Stress Test Methodology and         Reserve provide additional information to firms
                                                 electronically or in paper form in Room                 Results, June 2017 and Comprehensive Capital          only, without making the additional disclosures
                                                                                                         Analysis and Review 2017: Assessment Framework        public. Doing so would be contrary to the Federal
                                                 3515, 1801 K St. NW (between 18th and                   and Results, June 2017.                               Reserve’s established practice of not disclosing
                                                 19th Streets NW), Washington, DC                          2 In addition to those public disclosures, the      information related to the stress test to firms if that
                                                 20006 between 9:00 a.m. and 5:00 p.m.                   Federal Reserve has published detailed information    information is not also publicly disclosed.



                                            VerDate Sep<11>2014   19:43 Dec 14, 2017   Jkt 244001   PO 00000   Frm 00020   Fmt 4702   Sfmt 4702   E:\FR\FM\15DEP1.SGM   15DEP1



Document Created: 2017-12-15 03:37:43
Document Modified: 2017-12-15 03:37:43
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule; policy statement with request for public comment.
DatesComments must be received by January 22, 2018.
ContactLisa Ryu, Associate Director, (202) 263-4833, Joseph Cox, Supervisory Financial Analyst, (202) 452-3216, or Aurite Werman, Financial Analyst (202) 263-4802, Division of Supervision and Regulation; Benjamin W. McDonough, Assistant General Counsel, (202) 452-2036, or Julie Anthony, Counsel, (202) 475-6682, Legal Division; or William Bassett, Associate Director, (202) 736-5644, Luca Guerrieri, Deputy Associate Director, (202) 452-2550, or Bora Durdu, Chief, (202) 452-3755, Division of Financial Stability.
FR Citation82 FR 59533 
CFR AssociatedAdministrative Practice and Procedure; Banks; Banking; Federal Reserve System; Holding Companies; Nonbank Financial Companies Supervised by the Board; Reporting and Recordkeeping Requirements; Securities and Stress Testing

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