83_FR_58949 83 FR 58724 - Large Financial Institution Rating System; Regulations K and LL

83 FR 58724 - Large Financial Institution Rating System; Regulations K and LL

FEDERAL RESERVE SYSTEM

Federal Register Volume 83, Issue 225 (November 21, 2018)

Page Range58724-58739
FR Document2018-25350

The Board is adopting a new rating system for large financial institutions in order to align with the Federal Reserve's current supervisory programs and practices for these firms. The final rating system applies to bank holding companies and non-insurance, non- commercial savings and loan holding companies with total consolidated assets of $100 billion or more, and U.S. intermediate holding companies of foreign banking organizations established under Regulation YY with total consolidated assets of $50 billion or more. The rating system will assign component ratings for capital planning and positions, liquidity risk management and positions, and governance and controls, and introduces a new rating scale. The Federal Reserve will assign initial ratings under the new rating system in 2019 for bank holding companies and U.S. intermediate holding companies subject to the Large Institution Supervision Coordinating Committee framework and in 2020 for all other large financial institutions. The Board is revising provisions in Regulations K and LL so they will remain consistent with certain features of the new rating system.

Federal Register, Volume 83 Issue 225 (Wednesday, November 21, 2018)
[Federal Register Volume 83, Number 225 (Wednesday, November 21, 2018)]
[Rules and Regulations]
[Pages 58724-58739]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-25350]


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FEDERAL RESERVE SYSTEM

12 CFR Parts 211 and 238

[Docket No. R-1569]
RIN 7100-AE82


Large Financial Institution Rating System; Regulations K and LL

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

ACTION: Final rule.

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SUMMARY: The Board is adopting a new rating system for large financial 
institutions in order to align with the Federal Reserve's current 
supervisory programs and practices for these firms. The final rating 
system applies to bank holding companies and non-insurance, non-
commercial savings and loan holding companies with total consolidated 
assets of $100 billion or more, and U.S. intermediate holding companies 
of foreign banking organizations established under Regulation YY with 
total consolidated assets of $50 billion or more. The rating system 
will assign component ratings for capital planning and positions, 
liquidity risk management and positions, and governance and controls, 
and introduces a new rating scale. The Federal Reserve will assign 
initial ratings under the new rating system in 2019 for bank holding 
companies and U.S. intermediate holding companies subject to the Large 
Institution Supervision Coordinating Committee framework and in 2020 
for all other large financial institutions. The Board is revising 
provisions in Regulations K and LL so they will remain consistent with 
certain features of the new rating system.

DATES: The final rule is effective on February 1, 2019.

FOR FURTHER INFORMATION CONTACT: Richard Naylor, Associate Director, 
(202) 728-5854, Molly Mahar, Associate Director, (202) 973-7360, 
Vaishali Sack, Assistant Director, (202) 452-5221, Christine Graham, 
Manager, (202) 452-3005, Division of Supervision and Regulation; Laurie 
Schaffer, Associate General Counsel, (202) 452-2272, Benjamin W. 
McDonough, Assistant General Counsel, (202) 452-2036, Scott Tkacz, 
Senior Counsel, (202) 452-2744, Keisha Patrick, Senior Counsel, (202) 
452-3559, or Christopher Callanan, Counsel, (202) 452-3594, Legal 
Division, Board of Governors of the Federal Reserve System, 20th and C 
Streets NW, Washington, DC 20551. Telecommunications Device for the 
Deaf (TDD) users may contact (202) 263-4869.

SUPPLEMENTARY INFORMATION:

Table of Contents

I. Background
II. Notice of Proposed Rulemaking and Overview of Comments
III. Overview of Final Rule and Modifications From the Proposal
IV. Final LFI Rating System
    A. Applicability
    B. Timing and Implementation
    C. LFI Rating Components
    D. LFI Rating Scale
    E. General Comments
V. Changes to Existing Regulations
VI. Comparison of the RFI and LFI Rating Systems
VII. Regulatory Analysis
    A. Paperwork Reduction Act
    B. Regulatory Flexibility Analysis
    C. Solicitation of Comments on Use of Plain Language
List of Subjects
Appendix A--Text of Large Financial Institution Rating System

I. Background

    The Board is adopting a new supervisory ratings framework for 
certain large financial institutions that is designed to:
     Align with the Federal Reserve's current supervisory 
programs and practices;
     Enhance the clarity and consistency of supervisory 
assessments and communications of supervisory findings and 
implications; and
     Provide transparency related to the supervisory 
consequences of a given rating.
    The final ratings framework applies to bank holding companies and 
non-insurance, non-commercial savings and loan holding companies with 
total consolidated assets of $100 billion or more, and U.S. 
intermediate holding companies of foreign banking organizations 
established under Regulation YY with total consolidated assets of $50 
billion or more.
    In the years following the 2007-2009 financial crisis, the Federal 
Reserve developed a supervisory program specifically designed to 
enhance resiliency and address the risks posed by large financial 
institutions to U.S. financial stability (LFI supervisory program). As 
set forth in SR letter 12-17/CA letter 12-14, the LFI supervisory 
program focuses supervisory attention on the core areas that are most 
likely to threaten the firm's financial and operational strength and 
resilience (capital, liquidity, and governance and controls).\1\ This 
orientation is intended to reduce the likelihood of the failure or 
material distress of a large financial institution, and reduce the risk 
to U.S. financial stability in the event of failure.
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    \1\ ``Financial strength and resilience'' is defined as 
maintaining effective capital and liquidity governance and planning 
processes, and sufficiency of related positions, to provide for 
continuity of the consolidated organization (including its critical 
operations and banking offices) through a range of conditions.
    ``Operational strength and resilience'' is defined as 
maintaining effective governance and controls to provide for 
continuity of the consolidated organization (including its critical 
operations and banking offices) and to promote compliance with laws 
and regulations, including those related to consumer protection, 
through a range of conditions.
    Under SR letter 12-17/CA letter 12-14, ``banking offices'' are 
defined as U.S. depository institution subsidiaries and the U.S. 
branches and agencies of foreign banking organizations.
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    The Federal Reserve coordinates its supervision of firms that pose 
the greatest risk to U.S. financial stability through the Large 
Institution Supervision Coordinating Committee (LISCC). The LISCC 
supervisory program conducts annual horizontal reviews of LISCC firms 
and firm-specific examination work focused on evaluating those firms' 
(i) capital adequacy under normal and stressed conditions; (ii) 
liquidity positions and risk management practices; (iii) recovery and 
resolution preparedness; and (iv) governance and controls.\2\ For large 
financial institutions that are not LISCC firms, the Federal

[[Page 58725]]

Reserve performs horizontal reviews and firm-specific supervisory work 
focused on capital, liquidity, and governance and control practices, 
which are tailored to reflect the risk characteristics of these 
institutions.
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    \2\ See the list of firms included in the LISCC supervisory 
program at https://www.federalreserve.gov/bankinforeg/large-institution-supervision.htm.
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    Since 2004, the Federal Reserve has used the ``RFI/C(D)'' rating 
system (referred to as the ``RFI rating system'') to communicate its 
supervisory assessment of every bank holding company regardless of its 
asset size, complexity, or systemic importance.\3\ The RFI rating 
system is focused on the risk management practices (R component) and 
financial condition (F component) of the consolidated organization, and 
includes an assessment of the potential impact (I component) of a bank 
holding company's nondepository entities on its subsidiary depository 
institution(s).
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    \3\ See SR letter 04-18, ``Bank Holding Company Rating System,'' 
69 FR 70444 (December 6, 2004), at https://www.federalreserve.gov/boarddocs/srletters/2004/sr0418.htm.
    The Federal Reserve adopted to apply the RFI rating system on a 
fully implemented basis to all savings and loan holding companies 
(SLHCs) with total consolidated assets of less than $100 billion, 
excluding SLHCs engaged in significant insurance or commercial 
activities. See 83 FR 56081 (November 9, 2018). The Federal Reserve 
had applied the RFI rating system to SLHCs on an indicative basis 
since assuming supervisory responsibility for those firms from the 
Office of Thrift Supervision in 2011.
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    The Federal Reserve has not modified the RFI rating system to 
reflect the substantial changes to the statutory and regulatory 
framework relating to large financial institutions, or the Federal 
Reserve's implementation of the LFI supervisory program in recent 
years. In light of these changes, the Board is adopting a new rating 
system applicable to these firms that is more closely aligned with the 
LFI supervisory program, so that the ratings more directly communicate 
the results of the Federal Reserve's supervisory assessment.
    Because the statutory, regulatory, and supervisory framework for 
community and regional bank holding companies has not undergone 
material changes since the financial crisis, the RFI rating system 
remains a relevant and effective tool for developing and communicating 
supervisory assessments for those firms. Therefore, the RFI rating 
system will continue to be used in the supervision of these 
organizations.

II. Notice of Proposed Rulemaking and Overview of Comments

    On August 17, 2017, the Board invited public comment on a notice of 
proposed rulemaking to adopt a new rating system for large financial 
institutions (proposed LFI rating system).\4\ The proposed LFI rating 
system would have applied to bank holding companies and non-insurance, 
non-commercial savings and loan holding companies with total 
consolidated assets of $50 billion or more, and U.S. intermediate 
holding companies (U.S. IHCs) of foreign banking organizations 
established under Regulation YY.\5\
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    \4\ 82 FR 39049 (August 17, 2017).
    \5\ 12 CFR 252.153.
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    Under the proposed LFI rating system, each banking organization 
would have been assigned ratings for three separate components: Capital 
Planning and Positions; Liquidity Risk Management and Positions; and 
Governance and Controls. The ratings would have been assigned using a 
four-point non-numeric scale (Satisfactory/Satisfactory Watch, 
Deficient-1, and Deficient-2).\6\ A firm would need a ``Satisfactory'' 
or ``Satisfactory Watch'' rating for each of the three component 
ratings to be considered ``well managed'' for various purposes under 
the Board's rules and federal law. The proposal would not have included 
the assignment of a standalone composite rating or any subcomponent 
ratings. In addition, the proposal would have amended certain 
provisions of the Board's existing regulations (Regulation K and 
Regulation LL) to make them compatible with the proposed rating scale.
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    \6\ In the proposed LFI rating system, Satisfactory Watch was a 
subcategory of ``Satisfactory.''
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    The Board received 16 comments on the proposal from supervised 
firms, trade associations, industry consultants, and individuals. In 
addition, Federal Reserve staff held several meetings on the proposal 
with members of the public and obtained supplementary information from 
certain commenters. Summaries of these meetings are available on the 
Board's public website.
    Most commenters generally supported the proposal to develop a new 
rating system that would be aligned with the Federal Reserve's LFI 
supervisory program. However, many commenters also expressed concerns 
regarding specific aspects of the proposal, including the applicability 
and implementation of the proposed LFI rating system and its underlying 
components, the lack of a standalone composite rating, the ratings 
scale, and the consequences of ratings assigned under the rating 
system.
    Separately, the Board invited comment on two other proposals 
closely related to the proposed LFI rating system. The first proposal 
addressed proposed guidance on supervisory expectations for boards of 
directors, which set forth attributes of an effective board of 
directors of LFIs,\7\ and the second proposal addressed an LFI's 
management of business lines and independent risk management and 
controls.\8\ The Board continues to consider comments on these 
proposals, and thus, is not adopting either proposal at this time.
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    \7\ 82 FR 37219 (August 9, 2017).
    \8\ 83 FR 1351 (January 11, 2018).
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III. Overview of Final Rule and Modifications From the Proposal

    The final rating system adopts the core elements of the proposed 
LFI rating system, with certain modifications to address commenter 
concerns. Consistent with the proposal, a banking organization will be 
assigned three component ratings: Capital Planning and Positions; 
Liquidity Risk Management and Positions; and Governance and Controls. 
In addition, although the final LFI rating system retains a four-
category, non-numeric rating scale, it identifies the top two 
categories as ``Broadly Meets Expectations'' and Conditionally Meets 
Expectations'' to align with the definitions of those categories.

IV. Final LFI Rating System

A. Applicability

    In the proposal, the LFI rating system would have applied to bank 
holding companies, non-insurance, non-commercial savings and loan 
holding companies, and U.S. IHCs of foreign banking organizations with 
$50 billion or more in total consolidated assets. The Board received 
several comments regarding the applicability of the LFI rating system. 
For example, one commenter suggested that the Board should use risk-
based factors instead of asset size to determine which firms are 
subject to the LFI rating system. Another commenter suggested that the 
$50 billion threshold should be raised.
    In addition to the comments received, the Board has taken into 
consideration that since the proposal, section 401 of the Economic 
Growth, Regulatory Relief, and Consumer Protection Act (EGRRCPA) 
amended section 165 of the Dodd-Frank Wall Street Reform and Consumer 
Protection Act (Dodd-Frank Act) to modify the $50 billion minimum asset 
threshold for general application of enhanced prudential standards.\9\ 
Effective immediately on the date of its enactment, bank holding 
companies with total consolidated assets equal to or greater than $50 
billion and less than

[[Page 58726]]

$100 billion were no longer subject to these standards.\10\
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    \9\ Public Law 115-174, section 401, 132 Stat. 1296 (2018).
    \10\ Section 401(f) of EGRRCPA also provides that any bank 
holding company, regardless of asset size, that has been identified 
as a Global Systemically Important Bank (GSIB) under the Board's 
GSIB capital surcharge rule shall be considered a bank holding 
company with $250 billion or more in total consolidated assets for 
purposes of applying the standards under section 165 and certain 
other provisions. EGRRCPA section 401.
    The Board issued two statements--one individually, and the other 
jointly with the FDIC and OCC--that provided information on Board-
administered regulations and associated reporting requirements that 
EGRRCPA immediately affected. See Board and Interagency statements 
regarding the impact of the Economic Growth, Regulatory Relief, and 
Consumer Protection Act (EGRRCPA), July 6, 2018, available at 
https://www.federalreserve.gov/newsevents/pressreleases/files/bcreg20180706a1.pdf; https://www.federalreserve.gov/newsevents/pressreleases/files/bcreg20180706b1.pdf. The statements describe 
interim positions that the Board and other agencies have taken until 
the agencies finalize amendments to their regulations to implement 
EGRRCPA.
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    In consideration of the comments received and the statutory changes 
under EGRRCPA, the final LFI rating system is being adopted for bank 
holding companies and, non-insurance and non-commercial savings and 
loan holding companies with total consolidated assets of $100 billion 
or more, and for U.S. IHCs of foreign banking organizations established 
under Regulation YY with total consolidated assets of $50 billion or 
more.\11\ The decision to increase the asset threshold to $100 billion 
for bank holding companies and non-insurance, non-commercial SLHCs is 
consistent with the minimum threshold for enhanced prudential standards 
established by EGRRCPA as well as the Board's intention to tailor 
certain of its regulations for domestic firms to implement EGRRCPA.\12\ 
The Board has retained the asset threshold of $50 billion for U.S. IHCs 
of foreign banking organizations as it continues to consider 
appropriate tailoring of its regulations for FBOs in light of EGRRCPA; 
however, the Board may adjust this asset threshold in the future if 
necessary.
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    \11\ For a bank holding company and savings and loan holding 
company, total consolidated assets of $100 billion or more will be 
calculated based on the average of the firm's total consolidated 
assets in the four most recent quarters as reported on the firm's 
quarterly financial reports filed with the Federal Reserve. A firm 
will continue to be rated under the final LFI rating system until it 
has less than $95 billion in total consolidated assets, based on the 
average total consolidated assets as reported on the firm's four 
most recent quarterly financial reports filed with the Federal 
Reserve. As noted in the proposal, the Federal Reserve may determine 
to apply the RFI rating system or another applicable rating system 
in certain limited circumstances.
    SLHCs are considered to be engaged in significant commercial 
activities if they derive 50 percent or more of their total 
consolidated assets or total revenues from activities that are not 
financial in nature under section 4(k) of the Bank Holding Company 
Act of 1956, as amended (12 U.S.C. 1843(k)). SLHCs are considered to 
be engaged in significant insurance underwriting activities if they 
are either insurance companies or hold 25 percent or more of their 
total consolidated assets in subsidiaries that are insurance 
companies. SLHCs that meet these criteria are excluded from the 
definition of ``covered savings and loan holding company'' in Sec.  
217.2 of the Board's Regulation Q. See 12 CFR 217.2.
    \12\ See 83 FR 56081 (November 9, 2018).
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    Bank holding companies with total consolidated assets of at least 
$50 billion but less than $100 billion will continue to be evaluated 
subject to the RFI rating system. The Board is currently reviewing 
existing supervisory guidance with respect to these firms to determine 
whether it is appropriate to make revisions to further distinguish 
supervisory expectations for firms with total consolidated assets of 
less than $100 billion.
    The proposed LFI rating system would not have applied to SLHCs that 
are predominantly engaged in insurance or commercial activities. The 
Board continues to consider the appropriate regulatory regime for these 
firms. As such, the Board will continue to rate these SLHCs on an 
indicative basis under the RFI rating system as it considers further 
the appropriate manner to assign supervisory ratings to such firms on a 
permanent basis.\13\
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    \13\ Concurrent with the issuance of this final LFI rating 
system, the Board adopted the RFI rating system for SLHCs that are 
depository in nature. See supra fn. 3. The RFI rating system will 
cease to apply to SLHCs with $100 billion or more in total 
consolidated assets upon the effective date of LFI rating system for 
such firms. The Board also continues to consider the appropriate 
regulatory regime for systemically important nonbank financial 
companies designated by the Financial Stability Oversight Council 
(FSOC) for supervision by the Federal Reserve.
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B. Timing and Implementation

    Under the proposal, the initial set of LFI ratings would have been 
assigned starting in 2018. Several commenters provided views regarding 
the timing and implementation of the final LFI rating system. For 
instance, commenters suggested that Federal Reserve delay 
implementation of the LFI rating system for firms with assets of less 
than $250 billion until the completion of regulatory reforms. Other 
commenters requested that the Board coordinate the implementation of 
the final LFI rating system with the related guidance setting forth 
attributes of effective boards and expectations for the management of 
business lines and independent risk management and controls, and the 
Federal Reserve provide more clarity regarding the implementation of 
the guidance.\14\ Another commenter requested that the Federal Reserve 
run a pilot program before implementing the final LFI rating system.
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    \14\ Comments related to implementation of the LFI rating system 
for FBOs are discussed below.
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    In light of the changes to the application of enhanced prudential 
standards under EGRRCPA, the Board is currently considering ways to 
tailor the regulatory and supervisory framework for firms that are not 
in the LISCC portfolio. Accordingly, in order to conduct that review 
and seek public comment on any proposed revisions to the Board's 
regulations, the Federal Reserve will continue to use the RFI rating 
system for ratings in 2019 for holding companies with assets of $100 
billion or more and U.S. intermediate holding companies of foreign 
banking organizations that are not subject to the LISCC framework. The 
Federal Reserve will assign ratings using the final LFI rating system 
beginning in early 2020.\15\
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    \15\ In early 2020, banking organizations that are not LISCC 
firms will receive all three component ratings under the LFI rating 
system; following the initial rating assignment, updates to 
individual rating components may be assigned and communicated to the 
firm on a rolling basis, but at least annually.
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    For bank holding companies and U.S. IHCs of foreign banking 
organizations subject to the LISCC framework, the Federal Reserve will 
begin assigning ratings using the final LFI rating system in early 
2019. In early 2019, LISCC firms will receive all three component 
ratings under the LFI rating system; following the initial rating 
assignment, updates to individual rating components may be assigned and 
communicated to the firm on a rolling basis, but at least annually.
    The Board believes that it is important to have the LFI rating 
system become effective soon in order to align the supervisory rating 
system with the Board's current consolidated supervisory framework for 
large financial institutions. This alignment will enhance the clarity 
of the Board's supervisory program, as both the Board's supervisory 
assessment of a firm and its related assignment of the firm's ratings 
will directly relate with the three core areas of focus in the 
consolidated supervisory framework: Capital, liquidity, and governance 
and controls. For example, supervisory assessments of a firm's capital 
and liquidity can be prominently reflected in the ratings assigned 
under the LFI rating system, whereas such assessments are less easily 
communicated within the structure of the RFI rating system. To ensure 
that ratings are assigned in a consistent and fair manner, the Federal 
Reserve is implementing staff training and will undertake a multi-level 
review and vetting before ratings are assigned.
    As noted above, the Board invited comment on two sets of guidance 
that

[[Page 58727]]

related to the governance and controls component rating--the first 
established principles regarding effective boards of directors focused 
on the performance of a board's core responsibilities, and the second 
set forth core principles of effective senior management, the 
management of business lines, and independent risk management and 
controls for large financial institutions. The Board continues to 
consider comments on both proposals, and thus, is not adopting either 
set of guidance at this time. Given that the guidance establishing 
principles regarding effective boards of directors is not finalized, 
the Federal Reserve intends to rely primarily on principles set forth 
in SR letter 12-17/CA letter 12-14 and safety and soundness to assess 
the effectiveness of a firm's board of directors. Given that the 
management of business lines and independent risk management and 
controls guidance is not finalized, the Federal Reserve will rely on 
existing risk management guidance to assess the effectiveness of a 
firm's management of business lines and independent risk management and 
controls.\16\
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    \16\ Existing risk management guidance includes, but is not 
limited to, SR letter 95-51, ``Rating the Adequacy of Risk 
Management Processes and Internal Controls at State Member Banks and 
Bank Holding Companies;'' SR letter 03-5, ``Amended Interagency 
Guidance on the Internal Audit Function and its Outsourcing;'' SR 
letter 12-17/CA letter 12-14, ``Consolidated Supervision Framework 
for Large Financial Institutions;'' SR letter 10-6, ``Interagency 
Policy Statement on Funding and Liquidity Risk Management,'' SR 
letter 13-1/CA letter 13-1, ``Supplemental Policy Statement on the 
Internal Audit Function and Its Outsourcing;'' SR letter 13-19/CA 
letter 13-21, ``Guidance on Managing Outsourcing Risk;'' SR letter 
15-18, ``Supervisory Assessment of Capital Planning and Positions 
for LISCC Firms and Large and Complex Firms;'' and SR letter 15-19, 
``Supervisory Assessment of Capital Planning and Positions for Large 
and Noncomplex Firms.'' In addition, Regulation YY sets forth risk 
management requirements, including liquidity risk management 
requirements.
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Reliance on other regulators
    Commenters requested that the Federal Reserve rely to a greater 
extent on the supervisory evaluations conducted by other regulators, 
including both domestic and foreign supervisors. Coordination with 
other domestic regulators and foreign supervisory authorities is a 
critical component of the LFI supervisory program. Federal Reserve 
staff meets regularly with counterparts at domestic and foreign 
regulatory agencies that have primary supervisory responsibility with 
respect to a banking organization or its subsidiaries, or its foreign 
bank parent, in order to leverage work and ensure effective 
coordination. In assigning LFI component ratings under the final LFI 
rating system, the Federal Reserve will continue to rely to the fullest 
extent possible on applicable information and assessments developed by 
other relevant supervisors and functional regulators.
Application to U.S. IHCs
    The proposed LFI rating system would have applied to U.S. IHCs of 
foreign banking organizations. Some commenters requested that the Board 
delay application of the LFI rating system to U.S. IHCs until the Board 
sought comment on governance and controls guidance designed 
specifically for U.S. IHCs. Commenters requested clarification on how 
the assignment of LFI ratings to U.S. IHCs would interact with other 
ratings assigned to the U.S. operations of foreign banking 
organizations (the combined U.S. operations assessment) and the ROCA 
rating for U.S. branches and agencies.
    Under the principle of national treatment, the Federal Reserve 
generally applies standards to the U.S. operations of a foreign banking 
organization consistent with those that apply to similarly situated 
U.S. banking organizations. The U.S. operations of a foreign banking 
organization are subject to regulatory standards set forth in 
Regulation YY, and expectations related to capital planning and 
positions, liquidity risk management and positions, and governance and 
controls, that are parallel to those that apply to a U.S. bank holding 
company. Applying the final LFI rating system to U.S. IHCs of foreign 
banking organizations would be consistent with national treatment and 
the Board's approach to regulating and supervising foreign banking 
organizations.
    As commenters note, the Board did not apply the guidance setting 
forth attributes of effective boards to U.S. IHCs, in recognition of 
the fact that a U.S. IHC is a subsidiary of a foreign banking 
organization. U.S. IHCs will not be subject to examinations solely 
focused on effectiveness of the U.S. IHC's board of directors.\17\ 
Rather, the Federal Reserve will indirectly assess the effectiveness of 
a U.S. IHC's board by considering whether weaknesses or deficiencies 
that are identified within the organization while conducting other 
supervisory work may be evidence of, or resulting from, governance-
related oversight deficiencies. For example, governance-related 
oversight deficiencies could be noted in the context of a significant 
risk management or control weakness that is identified during an 
examination of capital planning or business line management.
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    \17\ However, the Federal Reserve may consider the effectiveness 
of the IHC's board of directors in connection with other 
examinations. For example, the Federal Reserve may consider 
governance-related oversight deficiencies in the context of a 
significant risk management or control weakness that is identified 
during an examination of capital planning or business line 
management.
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    The Board will continue to evaluate the U.S. branches of foreign 
banks under the ROCA system, and assign a single component rating to 
the foreign banking organization's U.S. operations. As noted in the 
preamble to the proposal, the Board is considering adjustments to the 
ratings for U.S. branches and the U.S. operations to better align with 
the LFI framework.
    Commenters also requested clarity in how the LFI rating would 
impact the ``well managed'' status of a foreign banking organization 
that is a financial holding company. Under current law, a foreign 
banking organization that is a financial holding company must be well 
capitalized and must have a satisfactory composite rating of its U.S. 
branch and agency operations and a satisfactory rating of its U.S. 
combined operations, if one is given. As with the rating currently 
assigned to a U.S. IHC under the RFI system, the LFI rating assigned to 
the U.S. IHC would be an input into the rating of the combined U.S. 
operations of a foreign bank.

C. LFI Rating Components

    Under the proposed LFI rating system, the Federal Reserve would 
have evaluated and assigned ratings for the following three components: 
Capital Planning and Positions; Liquidity Risk Management and 
Positions; and Governance and Controls. The final LFI rating system 
adopts these component categories as proposed.
Capital Planning and Positions
    As proposed, the Capital Planning and Positions rating would have 
encompassed assessments of (i) the effectiveness of the governance and 
planning processes used by a firm to determine the amount of capital 
necessary to cover risks and exposures, and to support activities 
through a range of conditions; and (ii) the sufficiency of a firm's 
capital positions to comply with applicable regulatory requirements and 
to support the firm's ability to continue to serve as a financial 
intermediary through a range of conditions.
    Several commenters sought clarification regarding the relationship 
between a firm's compliance with regulatory capital requirements and a 
firm's Capital Planning and Positions rating. In addition, some 
commenters asserted that receipt of a non-objection

[[Page 58728]]

to a capital plan should result in (or create the presumption of) a 
firm receiving a ``Satisfactory'' rating for the Capital Planning and 
Positions component under the LFI rating system.
    The final LFI rating system adopts the description of the Capital 
Planning and Positions component rating used in the proposal. A firm's 
capital rating under the LFI rating system will reflect a broad 
assessment of the firm's capital planning and positions, based on 
horizontal reviews and firm-specific supervisory work focused on 
capital planning and positions. In consolidating supervisory findings 
into a comprehensive assessment of a firm's capital planning and 
positions, the Federal Reserve will take into account the materiality 
of a firm's outstanding and newly identified supervisory issues.
    A firm's compliance with minimum regulatory capital requirements 
will be considered in assigning the firm's Capital Planning and 
Positions component rating; however, the Federal Reserve may determine 
that a firm does not meet expectations regarding its capital position 
in light of its idiosyncratic activities and risks, even if the firm 
meets minimum regulatory capital requirements. Any findings from 
supervisory stress testing, such as CCAR or similar activities, will 
represent inputs into the Capital Planning and Positions component 
rating. However, with respect to any firm that may be subject to a 
qualitative review of its capital planning practices, there is no 
automatic link between the results of that review and the firm's 
capital rating.
    Some commenters argued that the Board should discontinue its 
practice of publicly objecting or not-objecting to a firm's capital 
plan. Last year, the Board exempted firms with less than $250 billion 
in assets and less than $75 billion in nonbank assets from the CCAR 
qualitative assessment, and in the recent stress capital buffer 
proposal, the Board sought comments on potential changes to the CCAR 
qualitative assessment.\18\ The Board is currently in the process of 
evaluating these comments.
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    \18\ 83 FR 9308 (February 3, 2017); 83 FR 18160 (April 25, 
2018).
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    In addition, commenters noted that the Board should clarify that 
the final LFI rating system does not create any new qualitative 
standards for capital planning, and others requested that the Board 
separately seek comment on the capital planning expectations included 
in SR letters 15-18 and 15-19. Consistent with the commenters' request, 
the Board confirms that the final LFI rating system does not create any 
new capital planning expectations applicable to LFIs. When the Board 
adopted SR letters 15-18 and 15-19, it did not seek comment on those 
letters, as they largely consolidated the Federal Reserve's existing 
capital planning guidance in one place. To the extent the Board 
considers adjustments to those letters in the future, the Board will 
take commenters' views into account.
Liquidity Risk Management and Positions
    As proposed, the Liquidity Risk Management and Positions component 
rating would have encompassed assessments of (i) the effectiveness of a 
firm's governance and risk management processes used to determine the 
amount of liquidity necessary to cover risks and exposures, and to 
support activities through a range of conditions; and (ii) the 
sufficiency of a firm's liquidity positions to comply with applicable 
regulatory requirements and to support the firm's ongoing obligations 
through a range of conditions.
    Several commenters requested that the Board clarify how the 
liquidity rating would be assigned and clarify the linkage between a 
firm's rating and its compliance with the minimum liquidity 
requirements. The final ratings system adopts the description of the 
Liquidity Risk Management and Positions component rating used in the 
proposal without change. In assessing the liquidity risk management and 
position of a banking organization, the Federal Reserve evaluates each 
firm's risk management practices by reviewing the processes that firms 
use to identify, measure, monitor, and manage liquidity risk and make 
funding decisions, and evaluating the firm's compliance with the 
liquidity risk management requirements of Regulation YY. The Federal 
Reserve evaluates a firm's liquidity positions against applicable 
regulatory requirements, and assesses the firm's ability to support its 
obligations through other means, such as its funding concentrations. A 
firm's liquidity rating will reflect the materiality of issues 
identified through the supervisory process.
    In addition, commenters requested additional detail on the 
relationship between the Liquidity Risk Management and Positions rating 
of a LISCC firm and its performance in the Comprehensive Liquidity 
Assessment Review (CLAR). As for all component ratings, horizontal and 
firm-specific examination work conducted under the LISCC liquidity 
program, which is inclusive of the horizontal work covered under the 
CLAR, will represent a material input into a firm's liquidity rating. 
Unlike CCAR, the LISCC liquidity program's assessment does not result 
in an objection or non-objection ; rather, it results in supervisory 
findings communicated to the firm, which may include ``matters 
requiring attention'' and ``matters requiring immediate attention,'' as 
applicable.
Governance and Controls
    The proposed Governance and Controls component rating would have 
evaluated the effectiveness of a firm's (i) board of directors,\19\ 
(ii) management of business lines and independent risk management and 
controls,\20\ and (iii) recovery planning (for domestic LISCC firms 
only).\21\
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    \19\ ``Board'' or ``board of directors'' also refers to the 
equivalent to a board of directors, as appropriate, as well as 
committees of the board of directors or the equivalent thereof, as 
appropriate.
    \20\ The final LFI rating system uses the term ``management of 
business lines'' instead of ``management of core business lines,'' 
in order to align with the proposed guidance on the management of 
business lines and independent risk management and controls.
    \21\ At this time, recovery planning expectations only apply to 
domestic bank holding companies subject to the Federal Reserve's 
LISCC supervisory framework. See SR letter 14-8, ``Consolidated 
Recovery Planning for Certain Large Domestic Bank Holding 
Companies.'' Should the Federal Reserve expand the scope of recovery 
planning expectations to encompass additional firms, this rating 
will reflect such expectations for the broader set of firms.
    There are eight domestic firms in the LISCC portfolio: (1) Bank 
of America Corporation; (2) Bank of New York Mellon Corporation; (3) 
Citigroup, Inc.; (4) Goldman Sachs Group, Inc.; (5) JP Morgan Chase 
& Co.; (6) Morgan Stanley; (7) State Street Corporation; and (8) 
Wells Fargo & Company.
---------------------------------------------------------------------------

    This component rating would have included consideration of a firm's 
compliance practices. One commenter suggested that the rating take into 
account only compliance matters that would have a material impact on a 
firm's financial and operational strength and resiliency. The Board 
expects all firms to comply fully with applicable laws and regulations, 
including those related to consumer protection. In assigning a 
supervisory rating, the Board will take into account the materiality of 
outstanding and identified supervisory issues, including the extent to 
which a matter would have a material impact on a firm's financial and 
operational strength and resiliency.
    The proposed Governance and Controls component rating would have 
included a consideration of recovery planning for domestic LISCC firms, 
given the heightened risks that LISCC firms present to financial 
stability. One commenter suggested that the governance and controls 
rating not include recovery planning for domestic LISCC firms, because 
related supervisory expectations are already

[[Page 58729]]

reflected in other aspects of the LFI rating system. The final LFI 
rating system maintains consideration of recovery planning in assessing 
the governance and controls of a LISCC firm, as effective recovery 
planning practices are central to ensuring that a LISCC firm has 
sufficient financial and operational strength to continue operations 
through a range of conditions.
    The Board requested comment on whether resolution planning should 
also be a component of, or otherwise factored into, the LFI rating 
system. Several commenters argued against inclusion of resolution 
planning, stating, for example, that adding a separate component rating 
for resolution planning would be duplicative in light the current 
public deficiency findings under the resolution plan rule. One 
commenter supported the inclusion of resolution planning in the LFI 
rating system.
    The Board has determined not to include a separate component rating 
for a firm's resolution planning as part of the final LFI rating 
system. The Board will continue to consider whether the LFI rating 
system should be modified in the future to include an assessment of the 
sufficiency of a firm's resolution planning efforts.

D. LFI Rating Scale

    Under the proposed LFI rating system, ratings would have been 
assigned based on a four-point scale, with the following categories: 
Satisfactory/Satisfactory Watch, Deficient-1, and Deficient-2. One 
commenter expressed concern that the reduction in the number of ratings 
categories from five, as in the current RFI framework, to four, would 
result in the new rating framework being less flexible and nuanced, and 
lead to inadvertent rating downgrades.
    A four-category rating scale is intended to increase the usability 
of the scale--under the RFI rating system, the highest rating of ``1'' 
and the lowest rating of ``5'' were rarely used when rating LFIs. 
Further, the ``Conditionally Meets Expectations'' rating category 
enables the Federal Reserve to identify certain material issues at a 
firm and provide a firm with notice and the ability to fix those issues 
before the firm experiences regulatory consequences as a result of the 
ratings downgrade.
    The final LFI rating system adopts a similar four-category scale, 
but uses different terminology to improve the descriptiveness of the 
rating categories. Specifically, the final rating categories are: 
Broadly Meets Expectations, Conditionally Meets Expectations, 
Deficient-1, and Deficient-2. The final LFI rating system also 
clarifies the definitions within each category to provide additional 
guidance to examiners and provide transparency to firms about the 
calibration of each category.
    Several commenters also expressed the need for the use of 
additional quantitative measures improve transparency and consistency 
in how ratings are derived. The Federal Reserve will continue to use 
quantitative measures, together with supervisory judgment, to inform a 
comprehensive assessment of a firm's Capital, Liquidity, and Governance 
and Controls.

Broadly Meets Expectations

    In the proposal, the highest rating category was ``Satisfactory.'' 
A ``Satisfactory'' rating would have indicated that a firm is 
considered safe and sound and broadly meets supervisory expectations.
    The final LFI rating system renames the rating category as 
``Broadly Meets Expectations,'' to align more closely with the 
underlying definition of the rating category.\22\ As with the proposal, 
the final ratings definition for ``Broadly Meets Expectations'' 
provides that a firm may have supervisory issues requiring corrective 
action; however, these issues are unlikely to present a threat to the 
firm's ability to maintain safe-and-sound operations through a range of 
conditions.
---------------------------------------------------------------------------

    \22\ References to ``safe and sound'' or ``safety and 
soundness'' in the LFI rating system apply to a firm's consolidated 
organization as well as to its critical operations and banking 
offices.
---------------------------------------------------------------------------

    Two commenters suggested that the rating scale should include a 
higher rating above the ``Satisfactory'' designation, similar to the 
``Strong'' rating utilized with the RFI, CAMELS, and other supervisory 
rating systems. The final LFI rating system does not include a 
``Strong'' rating, which may suggest that the Federal Reserve expects 
firms to exceed, not simply meet, supervisory expectations. In 
addition, a ``Strong'' rating would not enhance or clarify supervisory 
communications, as a ``Strong'' rating would have no supervisory 
consequences.\23\
---------------------------------------------------------------------------

    \23\ One comment requested removal of the term ``strong,'' which 
was used to describe practices related to controls. To provide the 
clarity requested by the commenter, the final terminology has been 
changed to use the term ``effective.''
---------------------------------------------------------------------------

    One commenter stated that the rule should clarify the circumstances 
under which MRAs or MRIAs would trigger a downgrade from the 
``Satisfactory'' rating. As noted above, in consolidating supervisory 
findings into a comprehensive assessment in each category, the Board 
will take into account the materiality of a firm's outstanding and 
newly identified supervisory issues. While a given ratings assessment 
will depend on the circumstances, the LFI rating scale is designed to 
clarify the relationship between supervisory issues and deficiencies, 
and a firm's progress in remediation and mitigation efforts.
Conditionally Meets Expectations
    In the proposed LFI rating system, the second highest rating 
category was ``Satisfactory Watch.'' This rating would have indicated 
that a firm was generally considered safe and sound; however, certain 
issues were sufficiently material that, if not resolved in a timely 
manner in the normal course of business, they would put the firm's 
prospects for remaining safe and sound through a range of conditions at 
risk. As noted in the proposal, the ``Satisfactory Watch'' rating was 
intended to be consistent with the Federal Reserve's practice of 
providing notice to firms that they are likely to be downgraded if 
identified weaknesses are not resolved in a timely manner.
    The preamble to the proposal noted that the ``Satisfactory Watch'' 
rating was not intended to be used for a prolonged period; rather, 
firms would have had a specified timeframe to fully resolve issues 
leading to that rating (as is the case with all supervisory issues), 
but generally no longer than 18 months. Several commenters noted that 
many supervisory issues take longer than 18 months to resolve, and that 
resolution of certain issues requires substantial infrastructure 
investment and changes in processes and controls. As such, these 
commenters argued that the specified remediation timeframes in the 
``Satisfactory Watch'' rating should be based on the specific facts and 
circumstances of the supervisory issue(s) in question, rather than 
limited to an 18-month period. These commenters also argued that a firm 
should not be downgraded provided the firm makes good faith efforts to 
remediate the issues and progress is made.
    As in the proposal, the final ratings framework states that the 
Federal Reserve does not intend for a firm to be rated ``Conditionally 
Meets Expectations'' for a prolonged period. However, unlike the 
proposal, the final ratings framework does not establish a fixed 
timeline for how long a firm can be rated ``Conditionally Meets 
Expectations.'' Instead, the final ratings framework reflects an 
understanding that timelines will be issues-specific, noting that the 
Federal Reserve will work with the firm to develop an

[[Page 58730]]

appropriate timeframe during which the firm would be expected to 
resolve each supervisory issue leading to the ``Conditionally Meets 
Expectations'' rating. Further, the final ratings framework reflects an 
understanding that completion and validation of remediation activities 
for selected supervisory issues--such as those involving information 
technology modifications--will require an extended time horizon. In all 
instances, appropriate and effective risk mitigation techniques must be 
utilized in the interim to maintain safe-and-sound operations under a 
range of conditions until remediation activities are completed, 
validated, and fully operational.
    One commenter recommended that the ``Satisfactory Watch'' rating 
should be permanent, rather than temporary, while another argued that 
the ``Satisfactory Watch'' rating should be used infrequently. The 
final LFI rating system acknowledges there are circumstances when a 
firm may be rated ``Conditionally Meets Expectations'' for a longer 
period of time if, for instance, the firm is close to completing 
resolution of the supervisory issues leading to the ``Conditionally 
Meets Expectations'' rating, but new issues may be identified that, 
taken alone, would be consistent with a ``Conditionally Meets 
Expectations'' rating. In this event, the firm may continue to be rated 
``Conditionally Meets Expectations,'' provided the new issues do not 
reflect a pattern of deeper or prolonged capital planning or position 
weaknesses consistent with a ``Deficient'' rating.
    The proposal would have provided that ``Satisfactory Watch'' would 
be appropriate when a firm could resolve the issue in a timely manner 
in the normal course of business. Commenters requested clarification on 
expectations regarding ``normal course of business.'' The final LFI 
rating system clarifies that ``normal course of business'' means that a 
firm has the ability to resolve these issues through measures that do 
not require a material change to the firm's business model or financial 
profile, or its governance, risk management, or internal control 
structures or practices.
    Several commenters also argued that a firm rated ``Deficient'' 
should be upgraded to the ``Satisfactory Watch'' rating if the firm has 
remediated identified deficiencies but a validation process had not yet 
been completed. As indicated in the Deficient-1 section below, the 
final LFI framework indicates that a firm previously rated 
``Deficient'' may be upgraded to ``Conditionally Meets Expectations'' 
if the firm's remediation and mitigation activities are sufficiently 
advanced so that its prospects for remaining safe and sound are no 
longer at significant risk, even if the firm has outstanding 
supervisory issues or is subject to an active enforcement action.
Deficient-1
    In the proposal, the third rating category was ``Deficient-1,'' 
which would have indicated that, although the firm's current condition 
is not considered to be materially threatened, there were financial 
and/or operational deficiencies that put its prospects for remaining 
safe and sound through a range of conditions at significant risk. The 
final ratings framework maintains the name of the third rating 
category.
    Under the proposed LFI rating system, a firm that received a rating 
of ``Deficient-1'' or ``Deficient-2'' in any component rating would not 
be considered ``well managed'' for purposes of the Bank Holding Company 
Act (BHC Act).\24\ Several commenters suggested that the ``well 
managed'' determination should be made on the basis of an assessment of 
the firm as a whole, rather than the automatic consequence of any one 
component rating. One commenter argued that the separate, standalone 
composite rating should form the sole basis for determining a firm's 
``well managed'' status.
---------------------------------------------------------------------------

    \24\ For purposes of determining whether a firm is considered to 
be ``well managed'' under section 2(o)(9) of the BHC Act, the 
Federal Reserve considers the three component ratings, taken 
together, to be equivalent to assigning a standalone composite 
rating. In addition, the RFI rating system designates the ``Risk 
Management'' rating as the ``management'' rating when making ``well 
managed'' determinations under section 2(o)(9)(A)(ii) of the BHC 
Act. See SR letter 04-8. In contrast, the LFI rating system would 
not designate any of the three component ratings as a ``management'' 
rating, because each component evaluates different areas of the 
firm's management.
---------------------------------------------------------------------------

    Conditioning a firm's ``well managed'' status on all three rating 
categories reflects the judgment that a banking organization is not in 
satisfactory condition overall unless it is considered sound in each of 
the key areas of capital, liquidity, and governance and controls. Each 
rating category includes assessments of key aspects of a firm's 
practices and capabilities, including management, that are necessary to 
operate in a safe-and-sound manner. A ``Deficient'' rating in any of 
the components reflects the supervisory conclusion that financial or 
operational deficiencies have placed the firm's safety and soundness at 
significant risk, which would not warrant a firm being deemed ``well 
managed.'' Accordingly, the final LFI rating system maintains the 
proposed approach to determining whether a firm is ``well managed.''
    Under current law, a firm must receive a ``Satisfactory'' risk 
management and composite rating in order to qualify as ``well 
managed.'' Several commenters argued that the proposed rating scale 
would introduce a more rigid standard compared with the RFI rating 
system, potentially making LFIs less likely to be considered ``well 
managed.'' In the Board's view, any rigidity is balanced by the 
introduction of the ``Conditionally Meets Expectations'' rating, which 
provides notice to firms that they are likely to be downgraded if 
identified weaknesses are not resolved in a timely manner.
    The proposal noted that a ``Deficient-1'' component rating would 
often be an indication that the firm should be subject to either an 
informal or formal enforcement action, and may also result in the 
designation of the firm as being in ``troubled condition.'' \25\ 
Several commenters requested clarity under what circumstances a 
``Deficient-1'' rating would result in ``troubled condition'' status or 
a formal enforcement action.
---------------------------------------------------------------------------

    \25\ See 12 CFR 225.71(d).
---------------------------------------------------------------------------

    Consistent with commenters' views, the final LFI rating system 
reflects that there is no presumption that a firm rated ``Deficient-1'' 
would be deemed to be in ``troubled condition.'' Whether a firm rated 
``Deficient-1'' receives a ``troubled condition'' designation will be 
determined by the facts and circumstances at that firm. However, firms 
rated ``Deficient-1'' due to financial weaknesses in either capital or 
liquidity would be more likely to be deemed in ``troubled condition'' 
than firms rated ``Deficient-1'' due solely to issues of governance or 
controls.
    While a commenter asked that a ``Deficient-1'' rating be an 
automatic bar to new or expansionary activity, others suggested that 
firms rated ``Deficient-1'' not be subject to any restrictions on 
growth. Consistent with the proposal, receiving a ``Deficient-1'' 
rating under the final LFI rating system would result in automatic 
consequences for a firm's ``well managed'' status, which would limit 
the firm's ability to engage in new or expansionary nonbanking 
activities. Further, as with the proposal, a ``Deficient-1'' rating in 
the final LFI rating system could be a barrier for a firm seeking the 
Federal Reserve's approval of a proposal to engage in new or 
expansionary activities, unless the firm can demonstrate that (i) it is 
making meaningful, sustained progress in resolving identified 
deficiencies and

[[Page 58731]]

issues; (ii) the proposed new or expansionary activities would not 
present a risk of exacerbating current deficiencies or issues or lead 
to new concerns; and (iii) the proposed activities would not distract 
the firm from remediating current deficiencies or issues.
Deficient-2
    A ``Deficient-2'' rating indicates that financial and/or 
operational deficiencies materially threaten the firm's safety and 
soundness, or have already put the firm in an unsafe and unsound 
condition. The proposal noted that a firm with a ``Deficient-2'' 
component rating would be required to immediately (i) implement 
comprehensive corrective measures sufficient to restore and maintain 
appropriate capital planning capabilities and adequate capital 
positions; and (ii) demonstrate the sufficiency, credibility and 
readiness of contingency planning in the event of further deterioration 
of the firm's financial or operational strength or resiliency. It also 
noted that there is a strong presumption that a firm rated ``Deficient-
2'' will be subject to a formal enforcement action by the Federal 
Reserve, and that the Federal Reserve would be unlikely to approve a 
proposal from a firm to engage in new or expansionary activities.
    The final LFI rating system adopts the ``Deficient-2'' ratings 
category without change.

E. General Comments

Eliminating Subcomponent Ratings
    The proposed LFI rating system described the areas of assessment 
under each component rating, but would not have assigned separate 
subcomponents for each area of assessment. A few commenters recommended 
that each of the three component ratings include subcomponent ratings, 
as used in the RFI rating system. These commenters argued that 
subcomponent ratings aid supervisory staff to consistently apply the 
component rating across institutions, and allow firms to more easily 
identify, communicate, and correct deficiencies across the 
organization.
    Communicating a single rating in each component is intended to 
reinforce the Board's view that the strength of a firm's capital and 
liquidity position is integrated with the effectiveness the firm's 
capital planning and liquidity risk management, respectively, and the 
strength of a firm's risk management depends on the effectiveness of 
the board oversight. In developing the rating, the Federal Reserve will 
rely on firm-specific and horizontal examination work. Throughout the 
year, and in connection with its rating, firms will receive feedback 
relating to the supervisory activities that inform the ratings, which 
will provide firms with specific feedback relating to the elements of 
the rating.
Composite Rating
    Several commenters asserted that the LFI rating system should 
include a separate, standalone composite rating in addition to the 
three component ratings. These commenters asserted that a composite 
rating would provide a fuller view of the health of each institution.
    Unlike other supervisory rating systems, including the RFI rating 
system, the Federal Reserve will not assign a standalone composite 
rating under the LFI rating system. As noted in the proposal, assigning 
a standalone composite rating is not necessary because the three 
component ratings are designed to clearly communicate supervisory 
assessments and associated consequences for each of the core areas 
(capital, liquidity, and governance and controls). Further, the 
components identify those core areas that are necessary and critical to 
a firm's strength and resilience. It is unlikely that the assignment of 
a standalone composite rating would convey new or additional 
information regarding these supervisory assessments not already 
communicated by the three component ratings, and a standalone composite 
rating could dilute the clarity and impact of the component ratings. As 
such, the final LFI rating system does not include a separate 
standalone composite rating.
Disclosure and Challenge to Ratings
    In accordance with the Federal Reserve's regulations governing 
confidential supervisory information,\26\ ratings assigned under the 
proposed LFI rating system would have been communicated by the Federal 
Reserve to the firm but not disclosed publicly. One commenter requested 
that LFI rating components be publicly disclosed, as the public would 
benefit from additional supervisory disclosure regarding individual 
firms. The Board has traditionally maintained the confidentiality of 
supervisory ratings in order to preserve candor in communication 
between supervised institutions and the Board. For this reason, in 
accordance with the Federal Reserve's regulations governing 
confidential supervisory information, ratings assigned under the LFI 
rating system will be communicated by the Federal Reserve to the firm, 
but individual ratings will not be disclosed publicly. The Federal 
Reserve will continue to think broadly in considering ways to enhance 
transparency across its processes and communications in support of 
improved supervisory approaches and outcomes.
---------------------------------------------------------------------------

    \26\ See 12 CFR 261.20.
---------------------------------------------------------------------------

    In addition, some commenters indicated that there should be a more 
effective process for firms to challenge and seek review of supervisory 
findings, such as additional opportunities to respond to adverse 
findings by examiners, and meetings with the Federal Reserve. The 
Federal Reserve is committed to engaging in ongoing dialogue with 
banking organizations regarding supervisory findings to ensure that 
firms understand supervisory expectations and that the Federal Reserve 
understands the way that firms think about their business and risks. 
The Board also is committed to maintaining an effective independent 
appellate process to allow institutions to seek review of material 
supervisory determinations. The Board recently issued a proposal that 
is out for comment and is currently considering comments on that 
proposal.\27\
---------------------------------------------------------------------------

    \27\ See 83 FR 8391 (February 27, 2018).
---------------------------------------------------------------------------

V. Changes to Existing Regulations

    References to holding company ratings are included in a number of 
the Federal Reserve's existing regulations. In certain cases, the 
regulations are narrowly constructed such that they contemplate only 
the assignment of a standalone composite rating using a numerical 
rating scale. This is consistent with the current RFI rating system but 
is not compatible with the LFI rating system. Three provisions in the 
Federal Reserve's existing regulations are written in this manner, 
including two in Regulation K and one in Regulation LL.
    In Regulation K, Sec.  211.2(z) includes a definition of ``well 
managed'' which, in part, requires a bank holding company to have 
received a composite rating of 1 or 2 at its most recent examination or 
review; and Sec.  211.9(a)(2) requires an investor (which by definition 
can be a bank holding company) to have received a composite rating of 
at least 2 at its most recent examination in order to make investments 
under the general consent or limited general consent procedures 
contained in Sec.  211.9(b) and (c).
    In Regulation LL, Sec.  238.54(a)(1) restricts savings and loan 
holding companies from commencing certain activities without the 
Federal Reserve's

[[Page 58732]]

prior approval unless the company received a composite rating of 1 or 2 
at its most recent examination.
    To ensure that the Federal Reserve's regulations are consistent and 
compatible with all aspects of both the RFI rating system as well as 
the LFI rating system, the Federal Reserve is amending those three 
regulatory provisions so that they will apply to entities which receive 
numerical composite ratings as well as to entities which do not receive 
numerical composite ratings (including firms subject to the LFI rating 
system).\28\ To satisfy the requirements of those provisions, firms 
that do not receive numerical composite ratings will have to be 
considered satisfactory under the LFI rating system. To be considered 
satisfactory, a firm would have to be rated ``Broadly Meets 
Expectations'' or ``Conditionally Meets Expectations'' for each 
component of the LFI rating system; a firm which is rated ``Deficient-
1'' or lower for any component would not be considered satisfactory. 
This standard applies to any provision contained in the Federal 
Reserve's regulations, which requires or refers to a firm having a 
satisfactory composite rating.
---------------------------------------------------------------------------

    \28\ The Board may propose additional necessary revisions to its 
regulations resulting from the adoption of a final LFI rating 
system.
---------------------------------------------------------------------------

VI. Comparison of the RFI and LFI Rating Systems

    As compared to the RFI rating system, the proposed LFI rating 
system did not include an explicit assessment of a banking 
organization's ability to protect depository institutions from the 
activities of non-depository or capital market subsidiaries. The 
commenter suggested the Board revise the proposal to recognize the 
importance of this concept.
    In response to the commenter, the final LFI rating system 
acknowledges that a banking organization is expected to ensure that the 
consolidated organization, including its critical operations and 
banking offices, remains safe and sound through a range of potentially 
stressful conditions.
    The final LFI rating system includes several structural changes 
from the RFI rating system. The following table provides a broad 
comparison between the two rating systems.

------------------------------------------------------------------------
           RFI rating system                    LFI rating system
------------------------------------------------------------------------
           R--Risk Management
An evaluation of the ability of the      Assessment of the effectiveness
 bank holding company's board of          of a firm's governance and
 directors and senior management to       risk management practices is
 identify, measure, monitor, and          central to the Governance and
 control risk.                            Controls component rating. The
                                          Governance and Controls
                                          component rating evaluates a
                                          firm's effectiveness in
                                          aligning strategic business
                                          objectives with risk
                                          management capabilities;
                                          maintaining effective and
                                          independent risk management
                                          and control functions,
                                          including internal audit;
                                          promoting compliance with laws
                                          and regulations, including
                                          those related to consumer
                                          protection; and otherwise
                                          providing for the ongoing
                                          resiliency of the firm.
The rating is supported by four          Governance and risk management
 subcomponent ratings.                    practices specifically related
 Board and Senior Management      to maintaining financial
 Oversight.                               strength and resilience are
 Policies, Procedures, and        also incorporated into the
 Limits.                                  Capital Planning and Positions
 Risk Monitoring and Management   and Liquidity Risk Management
 Information Systems.                     and Positions component
 Internal Controls.............   ratings.
         F--Financial Condition
An evaluation of the consolidated        Assessment of a firm's
 organization's financial strength.       financial strength and
                                          resilience is specifically
                                          evaluated through the Capital
                                          Planning and Positions and
                                          Liquidity Risk Management and
                                          Positions component ratings.
The rating is supported by four          These component ratings also
 subcomponent ratings.                    assess the effectiveness of
 Capital Adequacy..............   associated planning and risk
 Asset Quality.................   management processes, and the
 Earnings......................   sufficiency of related
 Liquidity.....................   positions.
                                         Although asset quality and
                                          earnings are not rated
                                          separately, they continue to
                                          be important elements in
                                          assessing a firm's safety and
                                          soundness and resiliency, and
                                          are important considerations
                                          within each of the LFI
                                          component ratings.
               I--Impact
An assessment of the potential impact    Although a separate ``Impact''
 of the firm's nondepository entities     rating will not be assigned,
 on its subsidiary depository             the LFI rating system will
 institution(s).                          assess a firm's ability to
                                          protect the safety and
                                          soundness of its subsidiary
                                          depository institutions,
                                          including whether the firm can
                                          provide financial and
                                          operational strength to its
                                          subsidiary depository
                                          institutions.\29\
       D--Depository Institutions
Generally reflects the composite CAMELS  The LFI rating system would not
 rating assigned by the primary           assign a separate rating for a
 supervisor of the subsidiary             firm's depository institution
 depository institution(s).\30\           subsidiaries. The Federal
                                          Reserve will continue to rely
                                          to the fullest extent possible
                                          on supervisory assessments
                                          developed by the primary
                                          supervisor of the subsidiary
                                          depository institution(s).

[[Page 58733]]

 
          C--Composite Rating
The overall composite assessment of the  A standalone composite rating
 bank holding company as reflected by     will not be assigned. The
 the R, F, and I ratings, and supported   three LFI component ratings
 by examiner judgment with respect to     are designed to clearly
 the relative importance of each          communicate supervisory
 component to the safe and sound          assessments and associated
 operation of the bank holding company..  consequences for each of the
                                          core areas (capital,
                                          liquidity, and governance and
                                          controls) that are considered
                                          critical to an LFI's strength
                                          and resilience.
                                         For purposes of determining
                                          whether a firm is ``well
                                          managed,'' each component must
                                          be rated either ``Broadly
                                          Meets Expectations'' or
                                          ``Conditionally Meets
                                          Expectations'' in order for a
                                          firm to be deemed ``well
                                          managed.''
------------------------------------------------------------------------

VII. Regulatory Analysis
---------------------------------------------------------------------------

    \29\ See Sections 616 of Dodd-Frank Act (financial strength), 12 
CFR 225.4 of the Board's Regulation Y, and 12 CFR 238.8 of the 
Board's Regulation LL.
    \30\ See SR letter 96-38, ``Uniform Financial Institutions 
Rating System,'' at http://www.federalreserve.gov/boarddocs/srletters/1996/sr9638.htm.
---------------------------------------------------------------------------

A. Paperwork Reduction Act

    There is no collection of information required by this proposal 
that would be subject to the Paperwork Reduction Act of 1995, 44 U.S.C. 
3501 et seq.

B. Regulatory Flexibility Analysis

    The Regulatory Flexibility Act (RFA), 5 U.S.C. 601 et seq., 
generally requires that, in connection with a proposed rulemaking, an 
agency prepare and make available for public comment an initial 
regulatory flexibility analysis (IRFA). The Board solicited public 
comment on the LFI rating system in a notice of proposed rulemaking and 
has since considered the potential impact of this final rule on small 
entities in accordance with section 604 of the RFA. Based on the 
Board's analysis, and for the reasons stated below, the Board believes 
the final rule will not have a significant economic impact on a 
substantial number of small entities.
    The RFA requires an agency to prepare a final regulatory 
flexibility analysis (FRFA) unless the agency certifies that the rule 
will not, if promulgated, have a significant economic impact on a 
substantial number of small entities. The FRFA must contain: (1) A 
statement of the need for, and objectives of, the rule; (2) a statement 
of the significant issues raised by the public comments in response to 
the IRFA, a statement of the agency's assessment of such issues, and a 
statement of any changes made in the proposed rule as a result of such 
comments; (3) the response of the agency to any comments filed by the 
Chief Counsel for Advocacy of the Small Business Administration in 
response to the proposed rule, and a detailed statement of any changes 
made to the proposed rule in the final rule as a result of the 
comments; (4) a description of an estimate of the number of small 
entities to which the rule will apply or an explanation of why no such 
estimate is available; (5) a description of the projected reporting, 
recordkeeping and other compliance requirements of the rule, including 
an estimate of the classes of small entities which will be subject to 
the requirement and type of professional skills necessary for 
preparation of the report or record; and (6) a description of the steps 
the agency has taken to minimize the economic impact on small entities, 
including a statement for selecting or rejecting the other significant 
alternatives to the rule considered by the agency.
    The final rule adopts a new holding company rating system for large 
financial institutions, and amend the Board's Regulations K and LL to 
ensure the Board's regulations are compatible with all aspects of the 
LFI rating system, but will not change the operation of those 
regulations for any entity that is not subject to the LFI rating 
system. Commenters did not raise any issues in response to the IRFA. In 
addition, the Chief Counsel for Advocacy of the Small Business 
Administration did not file any comments in response to the proposed 
rule.
    Under regulations issued by the Small Business Administration 
(SBA), a ``small entity'' includes a depository institution, bank 
holding company, or savings and loan holding company with assets of 
$550 million or less (small banking organizations). As discussed in the 
SUPPLEMENTARY INFORMATION, the final rule will apply to all bank 
holding companies with total consolidated assets of $100 billion or 
more; all non-insurance, non-commercial savings and loan holding 
companies with total consolidated assets of $100 billion or more; and 
U.S. intermediate holding companies of foreign banking organizations 
with total consolidated assets of $50 billion or more.
    Companies that are subject to the final rule therefore 
substantially exceed the $550 million asset threshold at which a 
banking entity is considered a ``small entity'' under SBA regulations. 
Because the final rule does not apply to any company with assets of 
$550 million or less, the final rule would not apply to any ``small 
entity'' for purposes of the RFA.
    There are no projected reporting, recordkeeping, or other 
compliance requirements associated with the final rule. As discussed 
above, the final rule does not apply to small entities.
    The Board does not believe that the final rule duplicates, 
overlaps, or conflicts with any other Federal Rules. In addition, the 
Board does not believe there are significant alternatives to the final 
rule that have less economic impact on small entities. In light of the 
foregoing, the Board does not believe the final rule will have a 
significant economic impact on a substantial number of small entities.

C. Solicitation of Comments on Use of Plain Language

    Section 722 of the Gramm-Leach-Bliley Act requires the Board to use 
plain language in all proposed and final rules published after January 
1, 2000. The Board received no comments on these matters and believes 
that the final rule is written plainly and clearly.

List of Subjects

12 CFR Part 211

    Exports, Federal Reserve System, Foreign banking, Holding 
companies, Investments, Reporting and recordkeeping requirements.

12 CFR Part 238

    Administrative practice and procedure, Banks, Banking, Federal 
Reserve System, Holding companies, Reporting and recordkeeping 
requirements.

Authority and Issuance

    For the reasons stated in the preamble, the Board amends 12 CFR 
parts 211 and 238 as follows:

[[Page 58734]]

PART 211--INTERNATIONAL BANKING OPERATIONS (REGULATION K)

0
1. The authority citations for part 211 continues to read as follows:

    Authority: 12 U.S.C. 221 et seq., 1818, 1835a, 1841 et seq., 
3101 et seq., 3901 et seq., and 5101 et seq.; 15 U.S.C. 1681s, 
1681w, 6801 and 6805.


0
2. Section 211.2 is amended by revising paragraph (z) to read as 
follows:

Sec.  211.2  Definitions.

* * * * *
    (z) Well managed means that the Edge or agreement corporation, any 
parent insured bank, and the bank holding company either received a 
composite rating of 1 or 2 or is considered satisfactory under the 
applicable rating system, and has at least a satisfactory rating for 
management if such a rating is given, at their most recent examination 
or review.

0
3. Section 211.9 is amended by revising paragraph (a)(2) to read as 
follows:

Sec.  211.9  Investment procedures.

    (a) * * *
    (2) Composite rating. Except as the Board may otherwise determine, 
in order for an investor to make investments under the general consent 
or limited general consent procedures of paragraphs (b) and (c) of this 
section, at the most recent examination the investor and any parent 
insured bank must have either received a composite rating of at least 2 
or be considered satisfactory under the applicable rating system.
* * * * *

PART 238--SAVINGS AND LOAN HOLDING COMPANIES (REGULATION LL)

0
4. The authority citations for part 238 continues to read as follows:

    Authority: 5 U.S.C. 552, 559; 12 U.S.C. 1462, 1462a, 1463, 1464, 
1467, 1467a, 1468, 1813, 1817, 1829e, 1831i, 1972; 15 U.S.C. 78l.

0
5. Section 238.54 is amended by revising paragraph (a)(1) to read as 
follows:[FEDREG][VOL]*[/VOL][NO]*[/NO][DATE]*[/
DATE][RULES][RULE][PREAMB][AGENCY]*[/AGENCY][SUBJECT]*[/SUBJECT][/
PREAMB][SUPLINF][HED]*[/HED][REGTEXT][P]*[/P]


Sec.  238.54  Permissible bank holding company activities of savings 
and loan holding companies.

    (a) * * *
    (1) The holding company received a rating of satisfactory or above 
prior to January 1, 2008, or thereafter, either received a composite 
rating of ``1'' or ``2'' or be considered satisfactory under the 
applicable rating system in its most recent examination, and is not in 
a troubled condition as defined in Sec.  238.72, and the holding 
company does not propose to commence the activity by an acquisition (in 
whole or in part) of a going concern; or
* * * * *

    Note:  The following appendix will not appear in the Code of 
Federal Regulations.

Appendix A--Text of Large Financial Institution Rating System

A. Overview

    Each large financial institution (LFI) is expected to ensure 
that the consolidated organization (or the combined U.S. operations 
in the case of foreign banking organizations), including its 
critical operations and banking offices, remain safe and sound and 
in compliance with laws and regulations, including those related to 
consumer protection.\1\ The LFI rating system provides a supervisory 
evaluation of whether a covered firm possesses sufficient financial 
and operational strength and resilience to maintain safe-and-sound 
operations through a range of conditions, including stressful 
ones.\2\ The LFI rating system applies to bank holding companies 
with total consolidated assets of $100 billion or more; all non-
insurance, non-commercial savings and loan holding companies with 
total consolidated assets of $100 billion or more; and U.S. 
intermediate holding companies of foreign banking organizations with 
combined U.S. assets of $50 billion or more established pursuant to 
the Federal Reserve's Regulation YY.\3\
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    \1\ See SR letter 12-17/CA letter 12-14, ``Consolidated 
Supervisory Framework for Large Financial Institutions,'' at http://www.federalreserve.gov/bankinforeg/srletters/sr1217.htm.
    Hereinafter, when ``safe and sound'' or ``safety and soundness'' 
is used in this framework, related expectations apply to the 
consolidated organization and the firm's critical operations and 
banking offices.
    ``Critical operations'' are a firm's operations, including 
associated services, functions and support, the failure or 
discontinuance of which, in the view of the firm or the Federal 
Reserve, would pose a threat to the financial stability of the 
United States.
    ``Banking offices'' are defined as U.S. depository institution 
subsidiaries, as well as the U.S. branches and agencies of foreign 
banking organizations.
    \2\ ``Financial strength and resilience'' is defined as 
maintaining effective capital and liquidity governance and planning 
processes, and sufficiency of related positions, to provide for the 
continuity of the consolidated organization (including its critical 
operations and banking offices) through a range of conditions.
    ``Operational strength and resilience'' is defined as 
maintaining effective governance and controls to provide for the 
continuity of the consolidated organization (including its critical 
operations and banking offices) and to promote compliance with laws 
and regulations, including those related to consumer protection, 
through a range of conditions.
    References to ``financial or operational'' weaknesses or 
deficiencies implicate a firm's financial or operational strength 
and resilience.
    \3\ Total consolidated assets will be calculated based on the 
average of the firm's total consolidated assets in the four most 
recent quarters as reported on the firm's quarterly financial 
reports filed with the Federal Reserve. A firm will continue to be 
rated under the LFI rating system until it has less than $95 billion 
in total consolidated assets, based on the average total 
consolidated assets as reported on the firm's four most recent 
quarterly financial reports filed with the Federal Reserve. As noted 
in the proposal, the Federal Reserve may determine to apply the RFI 
rating system or another applicable rating system in certain limited 
circumstances.
---------------------------------------------------------------------------

    The LFI rating system is designed to:
     Fully align with the Federal Reserve's current 
supervisory programs and practices, which are based upon the LFI 
supervision framework's core objectives of reducing the probability 
of LFIs failing or experiencing material distress and reducing the 
risk to U.S. financial stability;
     Enhance the clarity and consistency of supervisory 
assessments and communications of supervisory findings and 
implications; and
     Provide transparency related to the supervisory 
consequences of a given rating.
    The LFI rating system is comprised of three components:
     Capital Planning and Positions: An evaluation of (i) 
the effectiveness of a firm's governance and planning processes used 
to determine the amount of capital necessary to cover risks and 
exposures, and to support activities through a range of conditions 
and events; and (ii) the sufficiency of a firm's capital positions 
to comply with applicable regulatory requirements and to support the 
firm's ability to continue to serve as a financial intermediary 
through a range of conditions.
     Liquidity Risk Management and Positions: An evaluation 
of (i) the effectiveness of a firm's governance and risk management 
processes used to determine the amount of liquidity necessary to 
cover risks and exposures, and to support activities through a range 
of conditions; and (ii) the sufficiency of a firm's liquidity 
positions to comply with applicable regulatory requirements and to 
support the firm's ongoing obligations through a range of 
conditions.
     Governance and Controls: An evaluation of the 
effectiveness of a firm's (i) board of directors,\4\ (ii) management 
of business lines and independent risk management and controls,\5\ 
and (iii) recovery planning (only for domestic firms that are 
subject to the Board's Large Institution Supervision Coordinating 
Committee (LISCC) Framework).\6\ This rating assesses a firm's

[[Page 58735]]

effectiveness in aligning strategic business objectives with the 
firm's risk appetite and risk management capabilities; maintaining 
effective and independent risk management and control functions, 
including internal audit; promoting compliance with laws and 
regulations, including those related to consumer protection; and 
otherwise planning for the ongoing resiliency of the firm.\7\
---------------------------------------------------------------------------

    \4\ References to ``board'' or ``board of directors'' in this 
framework includes the equivalent to a board of directors, as 
appropriate, as well as committees of the board of directors or the 
equivalent thereof, as appropriate.
    At this time, recovery planning expectations only apply to 
domestic bank holding companies subject to the Federal Reserve's 
LISCC supervisory framework. Should the Federal Reserve expand the 
scope of recovery planning expectations to encompass additional 
firms, this rating will reflect such expectations for the broader 
set of firms.
    \5\ The evaluation of the effectiveness of management of 
business lines would include management of critical operations.
    \6\ There are eight domestic firms in the LISCC portfolio: (1) 
Bank of America Corporation; (2) Bank of New York Mellon 
Corporation; (3) Citigroup, Inc.; (4) Goldman Sachs Group, Inc.; (5) 
JP Morgan Chase & Co.; (6) Morgan Stanley; (7) State Street 
Corporation; and (8) Wells Fargo & Company. In this guidance, these 
eight firms may collectively be referred to as ``domestic LISCC 
firms.''
    \7\ ``Risk appetite'' is defined as the aggregate level and 
types of risk the board and senior management are willing to assume 
to achieve the firm's strategic business objectives, consistent with 
applicable capital, liquidity, and other requirements and 
constraints.[FEDREG][VOL]*[/VOL][NO]*[/NO][DATE]*[/
DATE][RULES][RULE][PREAMB][AGENCY]*P[AGENCY][SUBJECT]*[/SUBJECT][/
PREAMB][SUPLINF][HED]*[/HED][REGTEXT]PAPPENDIX][HED]*P/HED]
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B. Assignment of the LFI Component Ratings

    Each LFI component rating is assigned along a four-level scale:
     Broadly Meets Expectations: A firm's practices and 
capabilities broadly meet supervisory expectations, and the firm 
possesses sufficient financial and operational strength and 
resilience to maintain safe-and-sound operations through a range of 
conditions. The firm may be subject to identified supervisory issues 
requiring corrective action. These issues are unlikely to present a 
threat to the firm's ability to maintain safe-and-sound operations 
through a range of conditions.
     Conditionally Meets Expectations: Certain, material 
financial or operational weaknesses in a firm's practices or 
capabilities may place the firm's prospects for remaining safe and 
sound through a range of conditions at risk if not resolved in a 
timely manner during the normal course of business.
    The Federal Reserve does not intend for a firm to be assigned a 
``Conditionally Meets Expectations'' rating for a prolonged period, 
and will work with the firm to develop an appropriate timeframe to 
fully resolve the issues leading to the rating assignment and merit 
upgrade to a ``Broadly Meets Expectations'' rating.
    A firm is assigned a ``Conditionally Meets Expectations'' 
rating--as opposed to a ``Deficient'' rating--when it has the 
ability to resolve these issues through measures that do not require 
a material change to the firm's business model or financial profile, 
or its governance, risk management or internal control structures or 
practices. Failure to resolve the issues in a timely manner would 
most likely result in the firm's downgrade to a ``Deficient'' 
rating, since the inability to resolve the issues would indicate 
that the firm does not possess sufficient financial or operational 
capabilities to maintain its safety and soundness through a range of 
conditions.
    It is recognized that completion and validation of remediation 
activities for select supervisory issues--such as those involving 
information technology modifications--may require an extended time 
horizon. In all instances, appropriate and effective risk mitigation 
techniques must be utilized in the interim to maintain safe-and-
sound operations under a range of conditions until remediation 
activities are completed, validated, and fully operational.
     Deficient-1: Financial or operational deficiencies in a 
firm's practices or capabilities put the firm's prospects for 
remaining safe and sound through a range of conditions at 
significant risk. The firm is unable to remediate these deficiencies 
in the normal course of business, and remediation would typically 
require the firm to make a material change to its business model or 
financial profile, or its practices or capabilities.
    A firm's failure to resolve the issues in a timely manner that 
gave rise to a ``Conditionally Meets Expectations'' rating would 
most likely result in its downgrade to a ``Deficient'' rating.
    A firm with a ``Deficient-1'' rating is required to take timely 
corrective action to correct financial or operational deficiencies 
and to restore and maintain its safety and soundness and compliance 
with laws and regulations, including those related to consumer 
protection. There is a strong presumption that a firm with a 
``Deficient-1'' rating will be subject to an informal or formal 
enforcement action, and this rating assignment could be a barrier 
for a firm seeking Federal Reserve approval to engage in new or 
expansionary activities.
     Deficient-2: Financial or operational deficiencies in a 
firm's practices or capabilities present a threat to the firm's 
safety and soundness, or have already put the firm in an unsafe and 
unsound condition.
    A firm with a ``Deficient-2'' rating is required to immediately 
implement comprehensive corrective measures, and demonstrate the 
sufficiency of contingency planning in the event of further 
deterioration. There is a strong presumption that a firm with a 
``Deficient-2'' rating will be subject to a formal enforcement 
action, and the Federal Reserve would be unlikely to approve any 
proposal from a firm with this rating to engage in new or 
expansionary activities.
    The Federal Reserve will take into account a number of 
individual elements of a firm's practices, capabilities and 
performance when making each component rating assignment. The 
weighting of an individual element in assigning a component rating 
will depend on its impact on the firm's safety, soundness and 
resilience as provided for in the LFI rating system definitions. For 
example, for purposes of the Governance and Controls rating, a 
limited number of significant deficiencies--or even just one 
significant deficiency--noted for management of a single material 
business line could be viewed as sufficiently important to warrant a 
``Deficient-1'' for the Governance and Controls component rating, 
even if the firm meets supervisory expectations under the Governance 
and Controls component in all other respects.
    Under the LFI rating system, a firm must be rated ``Broadly 
Meets Expectations'' or ``Conditionally Meets Expectations'' for 
each of the three component ratings (Capital, Liquidity, Governance 
and Controls) to be considered ``well managed'' in accordance with 
various statutes and regulations.\8\ A ``well managed'' firm has 
sufficient financial and operational strength and resilience to 
maintain safe-and-sound operations through a range of conditions, 
including stressful ones.
---------------------------------------------------------------------------

    \8\ 12 U.S.C. 1841 et seq. and 12 U.S.C. 1461 et seq. See, e.g., 
12 CFR 225.4(b)(6), 225.14, 225.22(a), 225.23, 225.85, and 225.86; 
12 CFR 211.9(b), 211.10(a)(14), and 211.34; and 12 CFR 223.41.
---------------------------------------------------------------------------

C. LFI Rating Components

    The LFI rating system is comprised of three component ratings: 
\9\
---------------------------------------------------------------------------

    \9\ There may be instances where deficiencies or supervisory 
issues may be relevant to the Federal Reserve's assessment of more 
than one component area. As such, the LFI rating will reflect these 
deficiencies or issues within multiple rating components when 
necessary to provide a comprehensive supervisory assessment.
---------------------------------------------------------------------------

1. Capital Planning and Positions Component Rating

    The Capital Planning and Positions component rating evaluates 
(i) the effectiveness of a firm's governance and planning processes 
used to determine the amount of capital necessary to cover risks and 
exposures, and to support activities through a range of conditions; 
and (ii) the sufficiency of a firm's capital positions to comply 
with applicable regulatory requirements and to support the firm's 
ability to continue to serve as a financial intermediary through a 
range of conditions.
    In developing this rating, the Federal Reserve evaluates:
     Capital Planning: The extent to which a firm maintains 
sound capital planning practices through effective governance and 
oversight; effective risk management and controls; maintenance of 
updated capital policies and contingency plans for addressing 
potential shortfalls; and incorporation of appropriately stressful 
conditions into capital planning and projections of capital 
positions; and
     Capital Positions: The extent to which a firm's capital 
is sufficient to comply with regulatory requirements, and to support 
its ability to meet its obligations to depositors, creditors, and 
other counterparties and continue to serve as a financial 
intermediary through a range of conditions.

Definitions for the Capital Planning and Positions Component Rating

Broadly Meets Expectations

    A firm's capital planning and positions broadly meet supervisory 
expectations and support maintenance of safe-and-sound operations. 
Specifically:
     The firm is capable of producing sound assessments of 
capital adequacy through a range of conditions; and
     The firm's current and projected capital positions 
comply with regulatory requirements, and support its ability to 
absorb current and potential losses, to meet obligations, and to 
continue to serve as a financial intermediary through a range of 
conditions.
    A firm rated ``Broadly Meets Expectations'' may be subject to 
identified supervisory issues requiring corrective action. However, 
these issues are unlikely to present a threat to the firm's ability 
to maintain safe-and-sound operations through a range of potentially 
stressful conditions. [FEDREG][VOL]*[/VOL][NO]*[/NO][DATE]*[/
DATE][RULES] [RULE][PREAMB][AGENCY]*P[AGENCY][SUBJECT]*[/SUBJECT][/
PREAMB] [SUPLINF][HED]*[/HED][REGTEXT]PAPPENDIX][HED]*P/HED]

[[Page 58736]]

    A firm that does not meet the capital planning and position 
expectations associated with a ``Broadly Meets Expectations'' rating 
will be rated ``Conditionally Meets Expectations,'' ``Deficient-1,'' 
or ``Deficient-2,'' and subject to potential consequences as 
outlined below.

Conditionally Meets Expectations

    Certain, material financial or operational weaknesses in a 
firm's capital planning or positions may place the firm's prospects 
for remaining safe and sound through a range of conditions at risk 
if not resolved in a timely manner during the normal course of 
business.
    Specifically, if left unresolved, these weaknesses:
     May threaten the firm's ability to produce sound 
assessments of capital adequacy through a range of conditions; and/
or
     May result in the firm's projected capital positions 
being insufficient to absorb potential losses, comply with 
regulatory requirements, and support the firm's ability to meet 
current and prospective obligations and to continue to serve as a 
financial intermediary through a range of conditions.
    The Federal Reserve does not intend for a firm to be rated 
``Conditionally Meets Expectations'' for a prolonged period. The 
firm has the ability to resolve these issues through measures that 
do not require a material change to the firm's business model or 
financial profile, or its governance, risk management, or internal 
control structures or practices. The Federal Reserve will work with 
the firm to develop an appropriate timeframe during which the firm 
would be required to resolve each supervisory issue leading to the 
``Conditionally Meets Expectations'' rating.
    The Federal Reserve will closely monitor the firm's remediation 
and mitigation activities; in most instances, the firm will either:
    (i) Resolve the issues in a timely manner and, if no new 
material supervisory issues arise, be upgraded to a ``Broadly Meets 
Expectations'' rating because the firm's capital planning practices 
and related positions would broadly meet supervisory expectations; 
or
    (ii) Fail to resolve the issues in a timely manner and be 
downgraded to a ``Deficient-1'' rating, because the inability to 
resolve the issues would indicate that the firm does not possess 
sufficient financial or operational capabilities to maintain its 
safety and soundness through a range of conditions.
    It is possible that a firm may be close to completing resolution 
of the supervisory issues leading to the ``Conditionally Meets 
Expectations'' rating, but new issues are identified that, taken 
alone, would be consistent with a ``Conditionally Meets 
Expectations'' rating. In this event, the firm may continue to be 
rated ``Conditionally Meets Expectations,'' provided the new issues 
do not reflect a pattern of deeper or prolonged capital planning or 
position weaknesses consistent with a ``Deficient'' rating.
    A ``Conditionally Meets Expectations'' rating may be assigned to 
a firm that meets the above definition regardless of its prior 
rating. A firm previously rated ``Deficient-1'' may be upgraded to 
``Conditionally Meets Expectations'' if the firm's remediation and 
mitigation activities are sufficiently advanced so that the firm's 
prospects for remaining safe and sound are no longer at significant 
risk, even if the firm has outstanding supervisory issues or is 
subject to an active enforcement action.

Deficient-1

    Financial or operational deficiencies in a firm's capital 
planning or positions put the firm's prospects for remaining safe 
and sound through a range of conditions at significant risk. The 
firm is unable to remediate these deficiencies in the normal course 
of business, and remediation would typically require a material 
change to the firm's business model or financial profile, or its 
capital planning practices.
    Specifically, although the firm's current condition is not 
considered to be materially threatened:
     Deficiencies in the firm's capital planning processes 
are not effectively mitigated. These deficiencies limit the firm's 
ability to effectively assess capital adequacy through a range of 
conditions; and/or
     The firm's projected capital positions may be 
insufficient to absorb potential losses and to support its ability 
to meet current and prospective obligations and serve as a financial 
intermediary through a range of conditions.
    Supervisory issues that place the firm's safety and soundness at 
significant risk, and where resolution is likely to require steps 
that clearly go beyond the normal course of business--such as issues 
requiring a material change to the firm's business model or 
financial profile, or its governance, risk management or internal 
control structures or practices--would generally warrant assignment 
of a ``Deficient-1'' rating.
    A ``Deficient-1'' rating may be assigned to a firm regardless of 
its prior rating. A firm previously rated ``Broadly Meets 
Expectations'' may be downgraded to ``Deficient-1'' when supervisory 
issues are identified that place the firm's prospects for 
maintaining safe-and-sound operations through a range of potentially 
stressful conditions at significant risk. A firm previously rated 
``Conditionally Meets Expectations'' may be downgraded to 
``Deficient-1'' when the firm's inability to resolve supervisory 
issues in a timely manner indicates that the firm does not possess 
sufficient financial or operational capabilities to maintain its 
safety and soundness through a range of conditions.
    To address these financial or operational deficiencies, the firm 
is required to take timely corrective action to restore and maintain 
its capital planning and positions consistent with supervisory 
expectations. There is a strong presumption that a firm rated 
``Deficient-1'' will be subject to an informal or formal enforcement 
action by the Federal Reserve.
    A firm rated ``Deficient-1'' for any rating component would not 
be considered ``well managed,'' which would subject the firm to 
various consequences. A ``Deficient-1'' rating could be a barrier 
for a firm seeking Federal Reserve approval of a proposal to engage 
in new or expansionary activities, unless the firm can demonstrate 
that (i) it is making meaningful, sustained progress in resolving 
identified deficiencies and issues; (ii) the proposed new or 
expansionary activities would not present a risk of exacerbating 
current deficiencies or issues or lead to new concerns; and (iii) 
the proposed activities would not distract the firm from remediating 
current deficiencies or issues.

Deficient-2

    Financial or operational deficiencies in a firm's capital 
planning or positions present a threat to the firm's safety and 
soundness, or have already put the firm in an unsafe and unsound 
condition.
    Specifically, as a result of these deficiencies:
     The firm's capital planning processes are insufficient 
to effectively assess the firm's capital adequacy through a range of 
conditions; and/or
     The firm's current or projected capital positions are 
insufficient to absorb current or potential losses, and to support 
the firm's ability to meet current and prospective obligations and 
serve as a financial intermediary through a range of conditions.
    To address these deficiencies, the firm is required to 
immediately (i) implement comprehensive corrective measures 
sufficient to restore and maintain appropriate capital planning 
capabilities and adequate capital positions; and (ii) demonstrate 
the sufficiency, credibility and readiness of contingency planning 
in the event of further deterioration of the firm's financial or 
operational strength or resiliency. There is a strong presumption 
that a firm rated ``Deficient-2'' will be subject to a formal 
enforcement action by the Federal Reserve.
    A firm rated ``Deficient-2'' for any rating component would not 
be considered ``well managed,'' which would subject the firm to 
various consequences. The Federal Reserve would be unlikely to 
approve any proposal from a firm rated ``Deficient-2'' to engage in 
new or expansionary activities.

2. Liquidity Risk Management and Positions Component Rating

    The Liquidity Risk Management and Positions component rating 
evaluates (i) the effectiveness of a firm's governance and risk 
management processes used to determine the amount of liquidity 
necessary to cover risks and exposures, and to support activities 
through a range of conditions; and (ii) the sufficiency of a firm's 
liquidity positions to comply with applicable regulatory 
requirements and to support the firm's ongoing obligations through a 
range of conditions.
    In developing this rating, the Federal Reserve evaluates:
     Liquidity Risk Management: The extent to which a firm 
maintains sound liquidity risk management practices through 
effective governance and oversight; effective risk management and 
controls; maintenance of updated liquidity policies and contingency 
plans for addressing potential shortfalls; and incorporation of 
appropriately stressful conditions into liquidity planning and 
projections of liquidity positions; and
     Liquidity Positions: The extent to which a firm's 
liquidity is sufficient to comply with

[[Page 58737]]

regulatory requirements, and to support its ability to meet current 
and prospective obligations to depositors, creditors and other 
counterparties through a range of conditions.

Definitions for the Liquidity Risk Management and Positions Component 
Rating

Broadly Meets Expectations

    A firm's liquidity risk management and positions broadly meet 
supervisory expectations and support maintenance of safe-and-sound 
operations. Specifically:
     The firm is capable of producing sound assessments of 
liquidity adequacy through a range of conditions; and
     The firm's current and projected liquidity positions 
comply with regulatory requirements, and support its ability to meet 
current and prospective obligations and to continue to serve as a 
financial intermediary through a range of conditions.
    A firm rated ``Broadly Meets Expectations'' may be subject to 
identified supervisory issues requiring corrective action. However, 
these issues are unlikely to present a threat to the firm's ability 
to maintain safe-and-sound operations through a range of potentially 
stressful conditions.
    A firm that does not meet the liquidity risk management and 
position expectations associated with a ``Broadly Meets 
Expectations'' rating will be rated ``Conditionally Meets 
Expectations,'' ``Deficient-1,'' or ``Deficient-2,'' and subject to 
potential consequences as outlined below.

Conditionally Meets Expectations

    Certain, material financial or operational weaknesses in a 
firm's liquidity risk management or positions may place the firm's 
prospects for remaining safe and sound through a range of conditions 
at risk if not resolved in a timely manner during the normal course 
of business.
    Specifically, if left unresolved, these weaknesses:
     May threaten the firm's ability to produce sound 
assessments of liquidity adequacy through a range of conditions; 
and/or
     May result in the firm's projected liquidity positions 
being insufficient to comply with regulatory requirements, and 
support its ability to meet current and prospective obligations and 
to continue to serve as a financial intermediary through a range of 
conditions.
    The Federal Reserve does not intend for a firm to be rated 
``Conditionally Meets Expectations'' for a prolonged period. The 
firm has the ability to resolve these issues through measures that 
do not require a material change to the firm's business model or 
financial profile, or its governance, risk management or internal 
control structures or practices. The Federal Reserve will work with 
the firm to develop an appropriate timeframe during which the firm 
would be required to resolve each supervisory issue leading to the 
``Conditionally Meets Expectations'' rating.
    The Federal Reserve will closely monitor the firm's remediation 
and mitigation activities; in most instances, the firm will either:
    (i) Resolve the issues in a timely manner and, if no new 
material supervisory issues arise, and be upgraded to a ``Broadly 
Meets Expectations'' rating because the firm's liquidity risk 
management practices and related positions would broadly meet 
supervisory expectations; or
    (ii) Fail to resolve the issues in a timely manner and be 
downgraded to a ``Deficient-1'' rating, because the firm's inability 
to resolve those issues would indicate that the firm does not 
possess sufficient financial or operational capabilities to maintain 
its safety and soundness through a range of conditions.
    It is possible that a firm may be close to completing resolution 
of the supervisory issues leading to the ``Conditionally Meets 
Expectations'' rating, but new issues are identified that, taken 
alone, would be consistent with a ``Conditionally Meets 
Expectations'' rating. In this event, the firm may continue to be 
rated ``Conditionally Meets Expectations,'' provided the new issues 
do not reflect a pattern of deeper or prolonged capital planning or 
position weaknesses consistent with a ``Deficient'' rating.
    A ``Conditionally Meets Expectations'' rating may be assigned to 
a firm that meets the above definition regardless of its prior 
rating. A firm previously rated ``Deficient-1'' may be upgraded to 
``Conditionally Meets Expectations'' if the firm's remediation and 
mitigation activities are sufficiently advanced so that the firm's 
prospects for remaining safe and sound are no longer at significant 
risk, even if the firm has outstanding supervisory issues or is 
subject to an active enforcement action.

Deficient-1

    Financial or operational deficiencies in a firm's liquidity risk 
management or positions put the firm's prospects for remaining safe 
and sound through a range of conditions at significant risk. The 
firm is unable to remediate these deficiencies in the normal course 
of business, and remediation would typically require a material 
change to the firm's business model or financial profile, or its 
liquidity risk management practices.
    Specifically, although the firm's current condition is not 
considered to be materially threatened:
     Deficiencies in the firm's liquidity risk management 
processes are not effectively mitigated. These deficiencies limit 
the firm's ability to effectively assess liquidity adequacy through 
a range of conditions; and/or
     The firm's projected liquidity positions may be 
insufficient to support its ability to meet prospective obligations 
and serve as a financial intermediary through a range of conditions.
    Supervisory issues that place the firm's safety and soundness at 
significant risk, and where resolution is likely to require steps 
that clearly go beyond the normal course of business--such as issues 
requiring a material change to the firm's business model or 
financial profile, or its governance, risk management or internal 
control structures or practices--would generally warrant assignment 
of a ``Deficient-1'' rating.
    A ``Deficient-1'' rating may be assigned to a firm regardless of 
its prior rating. A firm previously rated ``Broadly Meets 
Expectations'' may be downgraded to ``Deficient-1'' when supervisory 
issues are identified that place the firm's prospects for 
maintaining safe-and-sound operations through a range of potentially 
stressful conditions at significant risk. A firm previously rated 
``Conditionally Meets Expectations'' may be downgraded to 
``Deficient-1'' when the firm's inability to resolve supervisory 
issues in a timely manner indicates that the firm does not possess 
sufficient financial or operational capabilities to maintain its 
safety and soundness through a range of conditions.
    To address these financial or operational deficiencies, the firm 
is required to take timely corrective action to restore and maintain 
its liquidity risk management and positions consistent with 
supervisory expectations. There is a strong presumption that a firm 
rated ``Deficient-1'' will be subject to an informal or formal 
enforcement action by the Federal Reserve.
    A firm rated ``Deficient-1'' for any rating component would not 
be considered ``well managed,'' which would subject the firm to 
various consequences. A ``Deficient-1'' rating could be a barrier 
for a firm seeking Federal Reserve approval of a proposal to engage 
in new or expansionary activities, unless the firm can demonstrate 
that (i) it is making meaningful, sustained progress in resolving 
identified deficiencies and issues; (ii) the proposed new or 
expansionary activities would not present a risk of exacerbating 
current deficiencies or issues or lead to new concerns; and (iii) 
the proposed activities would not distract the firm from remediating 
current deficiencies or issues.

Deficient-2

    Financial or operational deficiencies in a firm's liquidity risk 
management or positions present a threat to the firm's safety and 
soundness, or have already put the firm in an unsafe and unsound 
condition.
    Specifically, as a result of these deficiencies:
     The firm's liquidity risk management processes are 
insufficient to effectively assess the firm's liquidity adequacy 
through a range of conditions; and/or
     The firm's current or projected liquidity positions are 
insufficient to support the firm's ability to meet current and 
prospective obligations and serve as a financial intermediary 
through a range of conditions.
    To address these deficiencies, the firm is required to 
immediately (i) implement comprehensive corrective measures 
sufficient to restore and maintain appropriate liquidity risk 
management capabilities and adequate liquidity positions; and (ii) 
demonstrate the sufficiency, credibility and readiness of 
contingency planning in the event of further deterioration of the 
firm's financial or operational strength or resiliency. There is a 
strong presumption that a firm rated ``Deficient-2'' will be subject 
to a formal enforcement action by the Federal Reserve.
    A firm rated ``Deficient-2'' for any rating component would not 
be considered ``well managed,'' which would subject the firm to 
various consequences. The Federal Reserve would be unlikely to 
approve any proposal

[[Page 58738]]

from a firm rated ``Deficient-2'' to engage in new or expansionary 
activities.

3. Governance and Controls Component Rating

    The Governance and Controls component rating evaluates the 
effectiveness of a firm's (i) board of directors, (ii) management of 
business lines and independent risk management and controls, and 
(iii) recovery planning (for domestic LISCC firms only). This rating 
assesses a firm's effectiveness in aligning strategic business 
objectives with the firm's risk appetite and risk management 
capabilities; maintaining effective and independent risk management 
and control functions, including internal audit; promoting 
compliance with laws and regulations, including those related to 
consumer protection; and otherwise providing for the ongoing 
resiliency of the firm.
    In developing this rating, the Federal Reserve evaluates:
     Effectiveness of the Board of Directors: The extent to 
which the board exhibits attributes that are consistent with those 
of effective boards in carrying out its core roles and 
responsibilities, including: (i) Setting a clear, aligned, and 
consistent direction regarding the firm's strategy and risk 
appetite; (ii) directing senior management regarding the board's 
information; (iii) overseeing and holding senior management 
accountable, (iv) supporting the independence and stature of 
independent risk management and internal audit; and (v) maintaining 
a capable board composition and governance structure.
     Management of Business Lines and Independent Risk 
Management and Controls
    The extent to which:
    [cir] Senior management effectively and prudently manages the 
day-to-day operations of the firm and provides for ongoing 
resiliency; implements the firm's strategy and risk appetite; 
maintains an effective risk management framework and system of 
internal controls; and promotes prudent risk taking behaviors and 
business practices, including compliance with laws and regulations, 
including those related to consumer protection.
    [cir] Business line management executes business line activities 
consistent with the firm's strategy and risk appetite; identifies 
and manages risks; and ensures an effective system of internal 
controls for its operations.
    [cir] Independent risk management effectively evaluates whether 
the firm's risk appetite appropriately captures material risks and 
is consistent with the firm's risk management capacity; establishes 
and monitors risk limits that are consistent with the firm's risk 
appetite; identifies and measures the firm's risks; and aggregates, 
assesses and reports on the firm's risk profile and positions. 
Additionally, the firm demonstrates that its internal controls are 
appropriate and tested for effectiveness. Finally, internal audit 
effectively and independently assesses the firm's risk management 
framework and internal control systems, and reports findings to 
senior management and the firm's audit committee.
     Recovery Planning (domestic LISCC firms only): The 
extent to which recovery planning processes effectively identify 
options that provide a reasonable chance of a firm being able to 
remedy financial weakness and restore market confidence without 
extraordinary official sector support.

Definitions for the Governance and Controls Component Rating

Broadly Meets Expectations

    A firm's governance and controls broadly meet supervisory 
expectations and support maintenance of safe-and-sound operations.
    Specifically, the firm's practices and capabilities are 
sufficient to align strategic business objectives with its risk 
appetite and risk management capabilities,\10\ maintain effective 
and independent risk management and control functions, including 
internal audit; promote compliance with laws and regulations 
(including those related to consumer protection); and otherwise 
provide for the firm's ongoing financial and operational resiliency 
through a range of conditions.
---------------------------------------------------------------------------

    \10\ References to risk management capabilities includes risk 
management of business lines and independent risk management and 
control functions, including internal audit.
---------------------------------------------------------------------------

    A firm rated ``Broadly Meets Expectations'' may be subject to 
identified supervisory issues requiring corrective action. However, 
these issues are unlikely to present a threat to the firm's ability 
to maintain safe-and-sound operations through a range of potentially 
stressful conditions.
    A firm that does not meet supervisory expectations associated 
with a ``Broadly Meets Expectations'' rating will be rated 
``Conditionally Meets Expectations,'' ``Deficient-1,'' or 
``Deficient-2,'' and subject to potential consequences, as outlined 
below.

Conditionally Meets Expectations

    Certain, material financial or operational weaknesses in a 
firm's governance and controls practices may place the firm's 
prospects for remaining safe and sound through a range of conditions 
at risk if not resolved in a timely manner during the normal course 
of business.
    Specifically, if left unresolved, these weaknesses may threaten 
the firm's ability to align strategic business objectives with the 
firm's risk appetite and risk management capabilities; maintain 
effective and independent risk management and control functions, 
including internal audit; promote compliance with laws and 
regulations (including those related to consumer protection); or 
otherwise provide for the firm's ongoing resiliency through a range 
of conditions.
    The Federal Reserve does not intend for a firm to be rated 
``Conditionally Meets Expectations'' for a prolonged period. The 
firm has the ability to resolve these issues through measures that 
do not require a material change to the firm's business model or 
financial profile, or its governance, risk management or internal 
control structures or practices. The Federal Reserve will work with 
the firm to develop an appropriate timeframe during which the firm 
would be required to resolve each supervisory issue leading to the 
``Conditionally Meets Expectations'' rating.
    The Federal Reserve will closely monitor the firm's remediation 
and mitigation activities; in most instances, the firm will either:
    (i) Resolve the issues in a timely manner and, if no new 
material supervisory issues arise, and be upgraded to a ``Broadly 
Meets Expectations'' rating because the firm's governance and 
controls would broadly meet supervisory expectations; or
    (ii) Fail to resolve the issues in a timely manner and be 
downgraded to a ``Deficient-1'' rating, because the firm's inability 
to resolve those issues would indicate that the firm does not 
possess sufficient financial or operational capabilities to maintain 
its safety and soundness through a range of conditions.
    It is possible that a firm may be close to completing resolution 
of the supervisory issues leading to the ``Conditionally Meets 
Expectations'' rating, but new issues are identified that, taken 
alone, would be consistent with a ``Conditionally Meets 
Expectations'' rating. In this event, the firm may continue to be 
rated ``Conditionally Meets Expectations,'' provided the new issues 
do not reflect a pattern of deeper or prolonged capital planning or 
position weaknesses consistent with a ``Deficient'' rating.
    A ``Conditionally Meets Expectations'' rating may be assigned to 
a firm that meets the above definition regardless of its prior 
rating. A firm previously rated ``Deficient'' may be upgraded to 
``Conditionally Meets Expectations'' if the firm's remediation and 
mitigation activities are sufficiently advanced so that the firm's 
prospects for remaining safe and sound are no longer at significant 
risk, even if the firm has outstanding supervisory issues or is 
subject to an active enforcement action.

Deficient-1

    Financial or operational deficiencies in a firm's governance and 
controls put the firm's prospects for remaining safe and sound 
through a range of conditions at significant risk. The firm is 
unable to remediate these deficiencies in the normal course of 
business, and remediation would typically require a material change 
to the firm's business model or financial profile, or its 
governance, risk management or internal control structures or 
practices.
    Specifically, although the firm's current condition is not 
considered to be materially threatened, these deficiencies limit the 
firm's ability to align strategic business objectives with its risk 
appetite and risk management capabilities; maintain effective and 
independent risk management and control functions, including 
internal audit; promote compliance with laws and regulations 
(including those related to consumer protection); or otherwise 
provide for the firm's ongoing resiliency through a range of 
conditions.
    A ``Deficient-1'' rating may be assigned to a firm regardless of 
its prior rating. A firm previously rated ``Broadly Meets 
Expectations'' may be downgraded to ``Deficient-1'' when supervisory 
issues are identified that place the firm's prospects for 
maintaining safe-and-sound operations through a range of potentially 
stressful conditions at significant risk. A firm

[[Page 58739]]

previously rated ``Conditionally Meets Expectations'' may be 
downgraded to ``Deficient-1'' when the firm's inability to resolve 
supervisory issues in a timely manner indicates that the firm does 
not possess sufficient financial or operational capabilities to 
maintain its safety and soundness through a range of conditions.
    To address these financial or operational deficiencies, the firm 
is required to take timely corrective action to restore and maintain 
its governance and controls consistent with supervisory 
expectations. There is a strong presumption that a firm rated 
``Deficient-1'' will be subject to an informal or formal enforcement 
action by the Federal Reserve.
    A firm rated ``Deficient-1'' for any rating component would not 
be considered ``well managed,'' which would subject the firm to 
various consequences. A ``Deficient-1'' rating could be a barrier 
for a firm seeking Federal Reserve approval of a proposal to engage 
in new or expansionary activities, unless the firm can demonstrate 
that (i) it is making meaningful, sustained progress in resolving 
identified deficiencies and issues; (ii) the proposed new or 
expansionary activities would not present a risk of exacerbating 
current deficiencies or issues or lead to new concerns; and (iii) 
the proposed activities would not distract the firm from remediating 
current deficiencies or issues.

Deficient-2

    Financial or operational deficiencies in governance or controls 
present a threat to the firm's safety and soundness, or have already 
put the firm in an unsafe and unsound condition. Specifically, as a 
result of these deficiencies, the firm is unable to align strategic 
business objectives with its risk appetite and risk management 
capabilities; maintain effective and independent risk management and 
control functions, including internal audit; promote compliance with 
laws and regulations (including those related to consumer 
protection); or otherwise provide for the firm's ongoing resiliency.
    To address these deficiencies, the firm is required to 
immediately (i) implement comprehensive corrective measures 
sufficient to restore and maintain appropriate governance and 
control capabilities; and (ii) demonstrate the sufficiency, 
credibility, and readiness of contingency planning in the event of 
further deterioration of the firm's financial or operational 
strength or resiliency. There is a strong presumption that a firm 
rated ``Deficient-2'' will be subject to a formal enforcement action 
by the Federal Reserve.
    A firm rated ``Deficient-2'' for any rating component would not 
be considered ``well managed,'' which would subject the firm to 
various consequences. The Federal Reserve would be unlikely to 
approve any proposal from a firm rated ``Deficient-2'' to engage in 
new or expansionary activities.

    By order of the Board of Governors of the Federal Reserve 
System, November 2, 2018.
Ann Misback,
Secretary of the Board.

[FR Doc. 2018-25350 Filed 11-19-18; 11:15 am]
BILLING CODE P



                                             58724        Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations

                                             PART 95—FACILITY SECURITY                               2019 for bank holding companies and                   communications of supervisory findings
                                             CLEARANCE AND SAFEGUARDING                              U.S. intermediate holding companies                   and implications; and
                                             OF NATIONAL SECURITY                                    subject to the Large Institution                         • Provide transparency related to the
                                             INFORMATION AND RESTRICTED                              Supervision Coordinating Committee                    supervisory consequences of a given
                                             DATA                                                    framework and in 2020 for all other                   rating.
                                                                                                     large financial institutions. The Board is               The final ratings framework applies to
                                             ■ 22. The authority citation for part 95                revising provisions in Regulations K and              bank holding companies and non-
                                             continues to read as follows:                           LL so they will remain consistent with                insurance, non-commercial savings and
                                               Authority: Atomic Energy Act of 1954,                 certain features of the new rating                    loan holding companies with total
                                             secs. 145, 161, 223, 234 (42 U.S.C. 2165,               system.                                               consolidated assets of $100 billion or
                                             2201, 2273, 2282); Energy Reorganization Act                                                                  more, and U.S. intermediate holding
                                             of 1974, sec. 201 (42 U.S.C. 5841); 44 U.S.C.
                                                                                                     DATES:  The final rule is effective on                companies of foreign banking
                                             3504 note; E.O. 10865, as amended, 25 FR                February 1, 2019.                                     organizations established under
                                             1583, 3 CFR, 1959–1963 Comp., p. 398; E.O.              FOR FURTHER INFORMATION CONTACT:                      Regulation YY with total consolidated
                                             12829, 58 FR 3479, 3 CFR, 1993 Comp., p.                Richard Naylor, Associate Director,                   assets of $50 billion or more.
                                             570; E.O. 12968, 60 FR 40245, 3 CFR, 1995               (202) 728–5854, Molly Mahar, Associate                   In the years following the 2007–2009
                                             Comp., p. 391; E.O. 13526, 75 FR 707, 3 CFR,            Director, (202) 973–7360, Vaishali Sack,              financial crisis, the Federal Reserve
                                             2009 Comp., p. 298.                                                                                           developed a supervisory program
                                                                                                     Assistant Director, (202) 452–5221,
                                             § 95.9   [Amended]                                      Christine Graham, Manager, (202) 452–                 specifically designed to enhance
                                                                                                     3005, Division of Supervision and                     resiliency and address the risks posed
                                             ■  23. In § 95.9(a), remove the title                                                                         by large financial institutions to U.S.
                                                                                                     Regulation; Laurie Schaffer, Associate
                                             ‘‘Division of Security Operations,’’.                                                                         financial stability (LFI supervisory
                                                                                                     General Counsel, (202) 452–2272,
                                               Dated at Rockville, Maryland, this 16th day           Benjamin W. McDonough, Assistant                      program). As set forth in SR letter 12–
                                             of November 2018.                                       General Counsel, (202) 452–2036, Scott                17/CA letter 12–14, the LFI supervisory
                                               For the Nuclear Regulatory Commission.                Tkacz, Senior Counsel, (202) 452–2744,                program focuses supervisory attention
                                             Pamela J. Shepherd-Vladimir,                            Keisha Patrick, Senior Counsel, (202)                 on the core areas that are most likely to
                                             Acting Chief, Regulatory Analysis and                   452–3559, or Christopher Callanan,                    threaten the firm’s financial and
                                             Rulemaking Support Branch, Office of                    Counsel, (202) 452–3594, Legal                        operational strength and resilience
                                             Nuclear Material Safety and Safeguards.                 Division, Board of Governors of the                   (capital, liquidity, and governance and
                                             [FR Doc. 2018–25378 Filed 11–20–18; 8:45 am]            Federal Reserve System, 20th and C                    controls).1 This orientation is intended
                                             BILLING CODE 7590–01–P                                  Streets NW, Washington, DC 20551.                     to reduce the likelihood of the failure or
                                                                                                     Telecommunications Device for the Deaf                material distress of a large financial
                                                                                                     (TDD) users may contact (202) 263–                    institution, and reduce the risk to U.S.
                                                                                                     4869.                                                 financial stability in the event of failure.
                                             FEDERAL RESERVE SYSTEM                                                                                           The Federal Reserve coordinates its
                                                                                                     SUPPLEMENTARY INFORMATION:                            supervision of firms that pose the
                                             12 CFR Parts 211 and 238
                                                                                                     Table of Contents                                     greatest risk to U.S. financial stability
                                             [Docket No. R–1569]                                                                                           through the Large Institution
                                                                                                     I. Background                                         Supervision Coordinating Committee
                                             RIN 7100–AE82                                           II. Notice of Proposed Rulemaking and                 (LISCC). The LISCC supervisory
                                                                                                           Overview of Comments                            program conducts annual horizontal
                                             Large Financial Institution Rating                      III. Overview of Final Rule and Modifications
                                             System; Regulations K and LL                                                                                  reviews of LISCC firms and firm-specific
                                                                                                           From the Proposal
                                                                                                     IV. Final LFI Rating System                           examination work focused on evaluating
                                             AGENCY:  Board of Governors of the                         A. Applicability                                   those firms’ (i) capital adequacy under
                                             Federal Reserve System (Board).                            B. Timing and Implementation                       normal and stressed conditions; (ii)
                                             ACTION: Final rule.                                        C. LFI Rating Components                           liquidity positions and risk management
                                                                                                        D. LFI Rating Scale                                practices; (iii) recovery and resolution
                                             SUMMARY:   The Board is adopting a new                     E. General Comments                                preparedness; and (iv) governance and
                                             rating system for large financial                       V. Changes to Existing Regulations                    controls.2 For large financial institutions
                                             institutions in order to align with the                 VI. Comparison of the RFI and LFI Rating              that are not LISCC firms, the Federal
                                             Federal Reserve’s current supervisory                         Systems
                                                                                                     VII. Regulatory Analysis
                                             programs and practices for these firms.                                                                         1 ‘‘Financial strength and resilience’’ is defined as
                                                                                                        A. Paperwork Reduction Act                         maintaining effective capital and liquidity
                                             The final rating system applies to bank                    B. Regulatory Flexibility Analysis                 governance and planning processes, and sufficiency
                                             holding companies and non-insurance,                       C. Solicitation of Comments on Use of              of related positions, to provide for continuity of the
                                             non-commercial savings and loan                               Plain Language                                  consolidated organization (including its critical
                                             holding companies with total                            List of Subjects                                      operations and banking offices) through a range of
                                             consolidated assets of $100 billion or                  Appendix A—Text of Large Financial                    conditions.
                                                                                                           Institution Rating System                         ‘‘Operational strength and resilience’’ is defined
                                             more, and U.S. intermediate holding                                                                           as maintaining effective governance and controls to
                                             companies of foreign banking                            I. Background                                         provide for continuity of the consolidated
                                             organizations established under                                                                               organization (including its critical operations and
                                             Regulation YY with total consolidated                     The Board is adopting a new                         banking offices) and to promote compliance with
                                                                                                     supervisory ratings framework for                     laws and regulations, including those related to
                                             assets of $50 billion or more. The rating                                                                     consumer protection, through a range of conditions.
khammond on DSK30JT082PROD with RULES




                                             system will assign component ratings                    certain large financial institutions that is
                                                                                                                                                             Under SR letter 12–17/CA letter 12–14, ‘‘banking
                                             for capital planning and positions,                     designed to:                                          offices’’ are defined as U.S. depository institution
                                             liquidity risk management and                             • Align with the Federal Reserve’s                  subsidiaries and the U.S. branches and agencies of
                                             positions, and governance and controls,                 current supervisory programs and                      foreign banking organizations.
                                                                                                                                                             2 See the list of firms included in the LISCC
                                             and introduces a new rating scale. The                  practices;
                                                                                                                                                           supervisory program at https://
                                             Federal Reserve will assign initial                       • Enhance the clarity and consistency               www.federalreserve.gov/bankinforeg/large-
                                             ratings under the new rating system in                  of supervisory assessments and                        institution-supervision.htm.



                                        VerDate Sep<11>2014   15:51 Nov 20, 2018   Jkt 247001   PO 00000   Frm 00004   Fmt 4700   Sfmt 4700   E:\FR\FM\21NOR1.SGM   21NOR1


                                                           Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations                                                58725

                                             Reserve performs horizontal reviews                     LFI rating system).4 The proposed LFI                 which set forth attributes of an effective
                                             and firm-specific supervisory work                      rating system would have applied to                   board of directors of LFIs,7 and the
                                             focused on capital, liquidity, and                      bank holding companies and non-                       second proposal addressed an LFI’s
                                             governance and control practices, which                 insurance, non-commercial savings and                 management of business lines and
                                             are tailored to reflect the risk                        loan holding companies with total                     independent risk management and
                                             characteristics of these institutions.                  consolidated assets of $50 billion or                 controls.8 The Board continues to
                                                Since 2004, the Federal Reserve has                  more, and U.S. intermediate holding                   consider comments on these proposals,
                                             used the ‘‘RFI/C(D)’’ rating system                     companies (U.S. IHCs) of foreign                      and thus, is not adopting either proposal
                                             (referred to as the ‘‘RFI rating system’’)              banking organizations established under               at this time.
                                             to communicate its supervisory                          Regulation YY.5
                                                                                                        Under the proposed LFI rating system,              III. Overview of Final Rule and
                                             assessment of every bank holding
                                                                                                     each banking organization would have                  Modifications From the Proposal
                                             company regardless of its asset size,
                                             complexity, or systemic importance.3                    been assigned ratings for three separate                 The final rating system adopts the
                                             The RFI rating system is focused on the                 components: Capital Planning and                      core elements of the proposed LFI rating
                                             risk management practices (R                            Positions; Liquidity Risk Management                  system, with certain modifications to
                                             component) and financial condition (F                   and Positions; and Governance and                     address commenter concerns.
                                             component) of the consolidated                          Controls. The ratings would have been                 Consistent with the proposal, a banking
                                             organization, and includes an                           assigned using a four-point non-numeric               organization will be assigned three
                                             assessment of the potential impact (I                   scale (Satisfactory/Satisfactory Watch,               component ratings: Capital Planning
                                             component) of a bank holding                            Deficient-1, and Deficient-2).6 A firm                and Positions; Liquidity Risk
                                             company’s nondepository entities on its                 would need a ‘‘Satisfactory’’ or                      Management and Positions; and
                                             subsidiary depository institution(s).                   ‘‘Satisfactory Watch’’ rating for each of             Governance and Controls. In addition,
                                                The Federal Reserve has not modified                 the three component ratings to be                     although the final LFI rating system
                                             the RFI rating system to reflect the                    considered ‘‘well managed’’ for various               retains a four-category, non-numeric
                                             substantial changes to the statutory and                purposes under the Board’s rules and                  rating scale, it identifies the top two
                                             regulatory framework relating to large                  federal law. The proposal would not                   categories as ‘‘Broadly Meets
                                             financial institutions, or the Federal                  have included the assignment of a                     Expectations’’ and Conditionally Meets
                                             Reserve’s implementation of the LFI                     standalone composite rating or any                    Expectations’’ to align with the
                                             supervisory program in recent years. In                 subcomponent ratings. In addition, the                definitions of those categories.
                                             light of these changes, the Board is                    proposal would have amended certain
                                                                                                     provisions of the Board’s existing                    IV. Final LFI Rating System
                                             adopting a new rating system applicable
                                             to these firms that is more closely                     regulations (Regulation K and                         A. Applicability
                                             aligned with the LFI supervisory                        Regulation LL) to make them compatible
                                                                                                                                                             In the proposal, the LFI rating system
                                             program, so that the ratings more                       with the proposed rating scale.
                                                                                                        The Board received 16 comments on                  would have applied to bank holding
                                             directly communicate the results of the                                                                       companies, non-insurance, non-
                                             Federal Reserve’s supervisory                           the proposal from supervised firms,
                                                                                                     trade associations, industry consultants,             commercial savings and loan holding
                                             assessment.                                                                                                   companies, and U.S. IHCs of foreign
                                                Because the statutory, regulatory, and               and individuals. In addition, Federal
                                                                                                     Reserve staff held several meetings on                banking organizations with $50 billion
                                             supervisory framework for community                                                                           or more in total consolidated assets. The
                                             and regional bank holding companies                     the proposal with members of the public
                                                                                                     and obtained supplementary                            Board received several comments
                                             has not undergone material changes                                                                            regarding the applicability of the LFI
                                             since the financial crisis, the RFI rating              information from certain commenters.
                                                                                                     Summaries of these meetings are                       rating system. For example, one
                                             system remains a relevant and effective                                                                       commenter suggested that the Board
                                             tool for developing and communicating                   available on the Board’s public website.
                                                                                                        Most commenters generally supported                should use risk-based factors instead of
                                             supervisory assessments for those firms.                                                                      asset size to determine which firms are
                                             Therefore, the RFI rating system will                   the proposal to develop a new rating
                                                                                                     system that would be aligned with the                 subject to the LFI rating system. Another
                                             continue to be used in the supervision                                                                        commenter suggested that the $50
                                             of these organizations.                                 Federal Reserve’s LFI supervisory
                                                                                                     program. However, many commenters                     billion threshold should be raised.
                                             II. Notice of Proposed Rulemaking and                   also expressed concerns regarding                       In addition to the comments received,
                                             Overview of Comments                                    specific aspects of the proposal,                     the Board has taken into consideration
                                               On August 17, 2017, the Board invited                 including the applicability and                       that since the proposal, section 401 of
                                             public comment on a notice of proposed                  implementation of the proposed LFI                    the Economic Growth, Regulatory
                                             rulemaking to adopt a new rating system                 rating system and its underlying                      Relief, and Consumer Protection Act
                                             for large financial institutions (proposed              components, the lack of a standalone                  (EGRRCPA) amended section 165 of the
                                                                                                     composite rating, the ratings scale, and              Dodd-Frank Wall Street Reform and
                                                3 See SR letter 04–18, ‘‘Bank Holding Company        the consequences of ratings assigned                  Consumer Protection Act (Dodd-Frank
                                             Rating System,’’ 69 FR 70444 (December 6, 2004),        under the rating system.                              Act) to modify the $50 billion minimum
                                             at https://www.federalreserve.gov/boarddocs/               Separately, the Board invited                      asset threshold for general application
                                             srletters/2004/sr0418.htm.                                                                                    of enhanced prudential standards.9
                                                                                                     comment on two other proposals closely
                                                The Federal Reserve adopted to apply the RFI                                                               Effective immediately on the date of its
                                             rating system on a fully implemented basis to all       related to the proposed LFI rating
                                                                                                     system. The first proposal addressed                  enactment, bank holding companies
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                                             savings and loan holding companies (SLHCs) with
                                             total consolidated assets of less than $100 billion,    proposed guidance on supervisory                      with total consolidated assets equal to
                                             excluding SLHCs engaged in significant insurance        expectations for boards of directors,                 or greater than $50 billion and less than
                                             or commercial activities. See 83 FR 56081
                                             (November 9, 2018). The Federal Reserve had
                                                                                                       4 82 FR 39049 (August 17, 2017).                      7 82FR 37219 (August 9, 2017).
                                             applied the RFI rating system to SLHCs on an
                                                                                                       5 12 CFR 252.153.                                     8 83FR 1351 (January 11, 2018).
                                             indicative basis since assuming supervisory
                                             responsibility for those firms from the Office of        6 In the proposed LFI rating system, Satisfactory      9 Public Law 115–174, section 401, 132 Stat. 1296

                                             Thrift Supervision in 2011.                             Watch was a subcategory of ‘‘Satisfactory.’’          (2018).



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                                             58726         Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations

                                             $100 billion were no longer subject to                   implement EGRRCPA.12 The Board has                     a pilot program before implementing the
                                             these standards.10                                       retained the asset threshold of $50                    final LFI rating system.
                                               In consideration of the comments                       billion for U.S. IHCs of foreign banking                  In light of the changes to the
                                             received and the statutory changes                       organizations as it continues to consider              application of enhanced prudential
                                             under EGRRCPA, the final LFI rating                      appropriate tailoring of its regulations               standards under EGRRCPA, the Board is
                                             system is being adopted for bank                         for FBOs in light of EGRRCPA; however,                 currently considering ways to tailor the
                                             holding companies and, non-insurance                     the Board may adjust this asset                        regulatory and supervisory framework
                                             and non-commercial savings and loan                      threshold in the future if necessary.                  for firms that are not in the LISCC
                                             holding companies with total                               Bank holding companies with total                    portfolio. Accordingly, in order to
                                             consolidated assets of $100 billion or                   consolidated assets of at least $50                    conduct that review and seek public
                                             more, and for U.S. IHCs of foreign                       billion but less than $100 billion will                comment on any proposed revisions to
                                             banking organizations established under                  continue to be evaluated subject to the                the Board’s regulations, the Federal
                                             Regulation YY with total consolidated                    RFI rating system. The Board is                        Reserve will continue to use the RFI
                                             assets of $50 billion or more.11 The                     currently reviewing existing supervisory               rating system for ratings in 2019 for
                                             decision to increase the asset threshold                 guidance with respect to these firms to                holding companies with assets of $100
                                             to $100 billion for bank holding                         determine whether it is appropriate to                 billion or more and U.S. intermediate
                                             companies and non-insurance, non-                        make revisions to further distinguish                  holding companies of foreign banking
                                             commercial SLHCs is consistent with                      supervisory expectations for firms with                organizations that are not subject to the
                                             the minimum threshold for enhanced                       total consolidated assets of less than                 LISCC framework. The Federal Reserve
                                             prudential standards established by                      $100 billion.                                          will assign ratings using the final LFI
                                             EGRRCPA as well as the Board’s                             The proposed LFI rating system                       rating system beginning in early 2020.15
                                             intention to tailor certain of its                       would not have applied to SLHCs that                      For bank holding companies and U.S.
                                             regulations for domestic firms to                        are predominantly engaged in insurance                 IHCs of foreign banking organizations
                                                                                                      or commercial activities. The Board                    subject to the LISCC framework, the
                                                10 Section 401(f) of EGRRCPA also provides that       continues to consider the appropriate                  Federal Reserve will begin assigning
                                             any bank holding company, regardless of asset size,      regulatory regime for these firms. As                  ratings using the final LFI rating system
                                             that has been identified as a Global Systemically        such, the Board will continue to rate                  in early 2019. In early 2019, LISCC firms
                                             Important Bank (GSIB) under the Board’s GSIB
                                             capital surcharge rule shall be considered a bank        these SLHCs on an indicative basis                     will receive all three component ratings
                                             holding company with $250 billion or more in total       under the RFI rating system as it                      under the LFI rating system; following
                                             consolidated assets for purposes of applying the         considers further the appropriate                      the initial rating assignment, updates to
                                             standards under section 165 and certain other            manner to assign supervisory ratings to                individual rating components may be
                                             provisions. EGRRCPA section 401.
                                                The Board issued two statements—one
                                                                                                      such firms on a permanent basis.13                     assigned and communicated to the firm
                                             individually, and the other jointly with the FDIC        B. Timing and Implementation                           on a rolling basis, but at least annually.
                                             and OCC—that provided information on Board-                                                                        The Board believes that it is important
                                             administered regulations and associated reporting          Under the proposal, the initial set of               to have the LFI rating system become
                                             requirements that EGRRCPA immediately affected.          LFI ratings would have been assigned                   effective soon in order to align the
                                             See Board and Interagency statements regarding the       starting in 2018. Several commenters
                                             impact of the Economic Growth, Regulatory Relief,                                                               supervisory rating system with the
                                             and Consumer Protection Act (EGRRCPA), July 6,           provided views regarding the timing                    Board’s current consolidated
                                             2018, available at https://www.federalreserve.gov/       and implementation of the final LFI                    supervisory framework for large
                                             newsevents/pressreleases/files/                          rating system. For instance, commenters                financial institutions. This alignment
                                             bcreg20180706a1.pdf; https://                            suggested that Federal Reserve delay
                                             www.federalreserve.gov/newsevents/pressreleases/                                                                will enhance the clarity of the Board’s
                                             files/bcreg20180706b1.pdf. The statements describe       implementation of the LFI rating system                supervisory program, as both the
                                             interim positions that the Board and other agencies      for firms with assets of less than $250                Board’s supervisory assessment of a firm
                                             have taken until the agencies finalize amendments        billion until the completion of                        and its related assignment of the firm’s
                                             to their regulations to implement EGRRCPA.               regulatory reforms. Other commenters
                                                11 For a bank holding company and savings and                                                                ratings will directly relate with the three
                                                                                                      requested that the Board coordinate the                core areas of focus in the consolidated
                                             loan holding company, total consolidated assets of
                                             $100 billion or more will be calculated based on the     implementation of the final LFI rating                 supervisory framework: Capital,
                                             average of the firm’s total consolidated assets in the   system with the related guidance setting               liquidity, and governance and controls.
                                             four most recent quarters as reported on the firm’s      forth attributes of effective boards and               For example, supervisory assessments of
                                             quarterly financial reports filed with the Federal       expectations for the management of
                                             Reserve. A firm will continue to be rated under the                                                             a firm’s capital and liquidity can be
                                             final LFI rating system until it has less than $95       business lines and independent risk                    prominently reflected in the ratings
                                             billion in total consolidated assets, based on the       management and controls, and the                       assigned under the LFI rating system,
                                             average total consolidated assets as reported on the     Federal Reserve provide more clarity                   whereas such assessments are less easily
                                             firm’s four most recent quarterly financial reports      regarding the implementation of the
                                             filed with the Federal Reserve. As noted in the                                                                 communicated within the structure of
                                             proposal, the Federal Reserve may determine to           guidance.14 Another commenter                          the RFI rating system. To ensure that
                                             apply the RFI rating system or another applicable        requested that the Federal Reserve run                 ratings are assigned in a consistent and
                                             rating system in certain limited circumstances.
                                                                                                                                                             fair manner, the Federal Reserve is
                                                SLHCs are considered to be engaged in significant       12 See 83 FR 56081 (November 9, 2018).
                                             commercial activities if they derive 50 percent or         13 Concurrent  with the issuance of this final LFI
                                                                                                                                                             implementing staff training and will
                                             more of their total consolidated assets or total         rating system, the Board adopted the RFI rating        undertake a multi-level review and
                                             revenues from activities that are not financial in       system for SLHCs that are depository in nature. See    vetting before ratings are assigned.
                                             nature under section 4(k) of the Bank Holding            supra fn. 3. The RFI rating system will cease to          As noted above, the Board invited
                                             Company Act of 1956, as amended (12 U.S.C.               apply to SLHCs with $100 billion or more in total
                                                                                                                                                             comment on two sets of guidance that
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                                             1843(k)). SLHCs are considered to be engaged in          consolidated assets upon the effective date of LFI
                                             significant insurance underwriting activities if they    rating system for such firms. The Board also
                                             are either insurance companies or hold 25 percent        continues to consider the appropriate regulatory         15 In early 2020, banking organizations that are

                                             or more of their total consolidated assets in            regime for systemically important nonbank              not LISCC firms will receive all three component
                                             subsidiaries that are insurance companies. SLHCs         financial companies designated by the Financial        ratings under the LFI rating system; following the
                                             that meet these criteria are excluded from the           Stability Oversight Council (FSOC) for supervision     initial rating assignment, updates to individual
                                             definition of ‘‘covered savings and loan holding         by the Federal Reserve.                                rating components may be assigned and
                                             company’’ in § 217.2 of the Board’s Regulation Q.           14 Comments related to implementation of the LFI    communicated to the firm on a rolling basis, but at
                                             See 12 CFR 217.2.                                        rating system for FBOs are discussed below.            least annually.



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                                                          Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations                                         58727

                                             related to the governance and controls                  assigning LFI component ratings under                 resulting from, governance-related
                                             component rating—the first established                  the final LFI rating system, the Federal              oversight deficiencies. For example,
                                             principles regarding effective boards of                Reserve will continue to rely to the                  governance-related oversight
                                             directors focused on the performance of                 fullest extent possible on applicable                 deficiencies could be noted in the
                                             a board’s core responsibilities, and the                information and assessments developed                 context of a significant risk management
                                             second set forth core principles of                     by other relevant supervisors and                     or control weakness that is identified
                                             effective senior management, the                        functional regulators.                                during an examination of capital
                                             management of business lines, and                                                                             planning or business line management.
                                             independent risk management and                         Application to U.S. IHCs                                 The Board will continue to evaluate
                                             controls for large financial institutions.                 The proposed LFI rating system                     the U.S. branches of foreign banks under
                                             The Board continues to consider                         would have applied to U.S. IHCs of                    the ROCA system, and assign a single
                                             comments on both proposals, and thus,                   foreign banking organizations. Some                   component rating to the foreign banking
                                             is not adopting either set of guidance at               commenters requested that the Board                   organization’s U.S. operations. As noted
                                             this time. Given that the guidance                      delay application of the LFI rating                   in the preamble to the proposal, the
                                             establishing principles regarding                       system to U.S. IHCs until the Board                   Board is considering adjustments to the
                                             effective boards of directors is not                    sought comment on governance and                      ratings for U.S. branches and the U.S.
                                             finalized, the Federal Reserve intends to               controls guidance designed specifically               operations to better align with the LFI
                                             rely primarily on principles set forth in               for U.S. IHCs. Commenters requested                   framework.
                                             SR letter 12–17/CA letter 12–14 and                     clarification on how the assignment of                   Commenters also requested clarity in
                                             safety and soundness to assess the                      LFI ratings to U.S. IHCs would interact               how the LFI rating would impact the
                                             effectiveness of a firm’s board of                      with other ratings assigned to the U.S.               ‘‘well managed’’ status of a foreign
                                             directors. Given that the management of                 operations of foreign banking                         banking organization that is a financial
                                             business lines and independent risk                     organizations (the combined U.S.                      holding company. Under current law, a
                                             management and controls guidance is                     operations assessment) and the ROCA                   foreign banking organization that is a
                                             not finalized, the Federal Reserve will                 rating for U.S. branches and agencies.                financial holding company must be well
                                             rely on existing risk management                           Under the principle of national                    capitalized and must have a satisfactory
                                             guidance to assess the effectiveness of a               treatment, the Federal Reserve generally              composite rating of its U.S. branch and
                                             firm’s management of business lines and                 applies standards to the U.S. operations              agency operations and a satisfactory
                                             independent risk management and                         of a foreign banking organization                     rating of its U.S. combined operations,
                                             controls.16                                             consistent with those that apply to                   if one is given. As with the rating
                                                                                                     similarly situated U.S. banking                       currently assigned to a U.S. IHC under
                                             Reliance on other regulators                            organizations. The U.S. operations of a               the RFI system, the LFI rating assigned
                                               Commenters requested that the                         foreign banking organization are subject              to the U.S. IHC would be an input into
                                             Federal Reserve rely to a greater extent                to regulatory standards set forth in                  the rating of the combined U.S.
                                             on the supervisory evaluations                          Regulation YY, and expectations related               operations of a foreign bank.
                                             conducted by other regulators,                          to capital planning and positions,                    C. LFI Rating Components
                                             including both domestic and foreign                     liquidity risk management and
                                             supervisors. Coordination with other                    positions, and governance and controls,                 Under the proposed LFI rating system,
                                             domestic regulators and foreign                         that are parallel to those that apply to              the Federal Reserve would have
                                             supervisory authorities is a critical                   a U.S. bank holding company. Applying                 evaluated and assigned ratings for the
                                             component of the LFI supervisory                        the final LFI rating system to U.S. IHCs              following three components: Capital
                                             program. Federal Reserve staff meets                    of foreign banking organizations would                Planning and Positions; Liquidity Risk
                                             regularly with counterparts at domestic                 be consistent with national treatment                 Management and Positions; and
                                             and foreign regulatory agencies that                    and the Board’s approach to regulating                Governance and Controls. The final LFI
                                             have primary supervisory responsibility                 and supervising foreign banking                       rating system adopts these component
                                             with respect to a banking organization                  organizations.                                        categories as proposed.
                                             or its subsidiaries, or its foreign bank                   As commenters note, the Board did                  Capital Planning and Positions
                                             parent, in order to leverage work and                   not apply the guidance setting forth
                                             ensure effective coordination. In                       attributes of effective boards to U.S.                   As proposed, the Capital Planning
                                                                                                     IHCs, in recognition of the fact that a               and Positions rating would have
                                                16 Existing risk management guidance includes,
                                                                                                     U.S. IHC is a subsidiary of a foreign                 encompassed assessments of (i) the
                                             but is not limited to, SR letter 95–51, ‘‘Rating the    banking organization. U.S. IHCs will not              effectiveness of the governance and
                                             Adequacy of Risk Management Processes and
                                                                                                     be subject to examinations solely                     planning processes used by a firm to
                                             Internal Controls at State Member Banks and Bank                                                              determine the amount of capital
                                             Holding Companies;’’ SR letter 03–5, ‘‘Amended          focused on effectiveness of the U.S.
                                             Interagency Guidance on the Internal Audit              IHC’s board of directors.17 Rather, the               necessary to cover risks and exposures,
                                             Function and its Outsourcing;’’ SR letter 12–17/CA      Federal Reserve will indirectly assess                and to support activities through a range
                                             letter 12–14, ‘‘Consolidated Supervision Framework
                                                                                                     the effectiveness of a U.S. IHC’s board               of conditions; and (ii) the sufficiency of
                                             for Large Financial Institutions;’’ SR letter 10–6,                                                           a firm’s capital positions to comply with
                                             ‘‘Interagency Policy Statement on Funding and           by considering whether weaknesses or
                                             Liquidity Risk Management,’’ SR letter 13–1/CA          deficiencies that are identified within               applicable regulatory requirements and
                                             letter 13–1, ‘‘Supplemental Policy Statement on the     the organization while conducting other               to support the firm’s ability to continue
                                             Internal Audit Function and Its Outsourcing;’’ SR
                                                                                                     supervisory work may be evidence of, or               to serve as a financial intermediary
                                             letter 13–19/CA letter 13–21, ‘‘Guidance on                                                                   through a range of conditions.
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                                             Managing Outsourcing Risk;’’ SR letter 15–18,
                                             ‘‘Supervisory Assessment of Capital Planning and           17 However, the Federal Reserve may consider the      Several commenters sought
                                             Positions for LISCC Firms and Large and Complex         effectiveness of the IHC’s board of directors in      clarification regarding the relationship
                                             Firms;’’ and SR letter 15–19, ‘‘Supervisory             connection with other examinations. For example,      between a firm’s compliance with
                                             Assessment of Capital Planning and Positions for        the Federal Reserve may consider governance-          regulatory capital requirements and a
                                             Large and Noncomplex Firms.’’ In addition,              related oversight deficiencies in the context of a
                                             Regulation YY sets forth risk management                significant risk management or control weakness
                                                                                                                                                           firm’s Capital Planning and Positions
                                             requirements, including liquidity risk management       that is identified during an examination of capital   rating. In addition, some commenters
                                             requirements.                                           planning or business line management.                 asserted that receipt of a non-objection


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                                             58728        Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations

                                             to a capital plan should result in (or                  any new capital planning expectations                 CCAR, the LISCC liquidity program’s
                                             create the presumption of) a firm                       applicable to LFIs. When the Board                    assessment does not result in an
                                             receiving a ‘‘Satisfactory’’ rating for the             adopted SR letters 15–18 and 15–19, it                objection or non-objection ; rather, it
                                             Capital Planning and Positions                          did not seek comment on those letters,                results in supervisory findings
                                             component under the LFI rating system.                  as they largely consolidated the Federal              communicated to the firm, which may
                                                The final LFI rating system adopts the               Reserve’s existing capital planning                   include ‘‘matters requiring attention’’
                                             description of the Capital Planning and                 guidance in one place. To the extent the              and ‘‘matters requiring immediate
                                             Positions component rating used in the                  Board considers adjustments to those                  attention,’’ as applicable.
                                             proposal. A firm’s capital rating under                 letters in the future, the Board will take
                                             the LFI rating system will reflect a broad                                                                    Governance and Controls
                                                                                                     commenters’ views into account.
                                             assessment of the firm’s capital                                                                                 The proposed Governance and
                                             planning and positions, based on                        Liquidity Risk Management and                         Controls component rating would have
                                             horizontal reviews and firm-specific                    Positions                                             evaluated the effectiveness of a firm’s (i)
                                             supervisory work focused on capital                        As proposed, the Liquidity Risk                    board of directors,19 (ii) management of
                                             planning and positions. In consolidating                Management and Positions component                    business lines and independent risk
                                             supervisory findings into a                             rating would have encompassed                         management and controls,20 and (iii)
                                             comprehensive assessment of a firm’s                    assessments of (i) the effectiveness of a             recovery planning (for domestic LISCC
                                             capital planning and positions, the                     firm’s governance and risk management                 firms only).21
                                             Federal Reserve will take into account                  processes used to determine the amount                   This component rating would have
                                             the materiality of a firm’s outstanding                 of liquidity necessary to cover risks and             included consideration of a firm’s
                                             and newly identified supervisory issues.                exposures, and to support activities                  compliance practices. One commenter
                                                A firm’s compliance with minimum                     through a range of conditions; and (ii)               suggested that the rating take into
                                             regulatory capital requirements will be                 the sufficiency of a firm’s liquidity                 account only compliance matters that
                                             considered in assigning the firm’s                      positions to comply with applicable                   would have a material impact on a
                                             Capital Planning and Positions                          regulatory requirements and to support                firm’s financial and operational strength
                                             component rating; however, the Federal                  the firm’s ongoing obligations through a              and resiliency. The Board expects all
                                             Reserve may determine that a firm does                  range of conditions.                                  firms to comply fully with applicable
                                             not meet expectations regarding its                        Several commenters requested that                  laws and regulations, including those
                                             capital position in light of its                        the Board clarify how the liquidity                   related to consumer protection. In
                                             idiosyncratic activities and risks, even if             rating would be assigned and clarify the              assigning a supervisory rating, the Board
                                             the firm meets minimum regulatory                       linkage between a firm’s rating and its               will take into account the materiality of
                                             capital requirements. Any findings from                 compliance with the minimum liquidity                 outstanding and identified supervisory
                                             supervisory stress testing, such as CCAR                requirements. The final ratings system                issues, including the extent to which a
                                             or similar activities, will represent                   adopts the description of the Liquidity               matter would have a material impact on
                                             inputs into the Capital Planning and                    Risk Management and Positions                         a firm’s financial and operational
                                             Positions component rating. However,                    component rating used in the proposal                 strength and resiliency.
                                             with respect to any firm that may be                    without change. In assessing the                         The proposed Governance and
                                             subject to a qualitative review of its                  liquidity risk management and position                Controls component rating would have
                                             capital planning practices, there is no                 of a banking organization, the Federal                included a consideration of recovery
                                             automatic link between the results of                   Reserve evaluates each firm’s risk                    planning for domestic LISCC firms,
                                             that review and the firm’s capital rating.              management practices by reviewing the                 given the heightened risks that LISCC
                                                Some commenters argued that the                      processes that firms use to identify,                 firms present to financial stability. One
                                             Board should discontinue its practice of                measure, monitor, and manage liquidity                commenter suggested that the
                                             publicly objecting or not-objecting to a                risk and make funding decisions, and                  governance and controls rating not
                                             firm’s capital plan. Last year, the Board               evaluating the firm’s compliance with                 include recovery planning for domestic
                                             exempted firms with less than $250                      the liquidity risk management                         LISCC firms, because related
                                             billion in assets and less than $75                     requirements of Regulation YY. The                    supervisory expectations are already
                                             billion in nonbank assets from the                      Federal Reserve evaluates a firm’s
                                             CCAR qualitative assessment, and in the                 liquidity positions against applicable                   19 ‘‘Board’’ or ‘‘board of directors’’ also refers to

                                                                                                     regulatory requirements, and assesses                 the equivalent to a board of directors, as
                                             recent stress capital buffer proposal, the                                                                    appropriate, as well as committees of the board of
                                             Board sought comments on potential                      the firm’s ability to support its                     directors or the equivalent thereof, as appropriate.
                                             changes to the CCAR qualitative                         obligations through other means, such                    20 The final LFI rating system uses the term

                                             assessment.18 The Board is currently in                 as its funding concentrations. A firm’s               ‘‘management of business lines’’ instead of
                                                                                                     liquidity rating will reflect the                     ‘‘management of core business lines,’’ in order to
                                             the process of evaluating these                                                                               align with the proposed guidance on the
                                             comments.                                               materiality of issues identified through              management of business lines and independent risk
                                                In addition, commenters noted that                   the supervisory process.                              management and controls.
                                             the Board should clarify that the final                    In addition, commenters requested                     21 At this time, recovery planning expectations

                                                                                                     additional detail on the relationship                 only apply to domestic bank holding companies
                                             LFI rating system does not create any                                                                         subject to the Federal Reserve’s LISCC supervisory
                                             new qualitative standards for capital                   between the Liquidity Risk Management                 framework. See SR letter 14–8, ‘‘Consolidated
                                             planning, and others requested that the                 and Positions rating of a LISCC firm and              Recovery Planning for Certain Large Domestic Bank
                                             Board separately seek comment on the                    its performance in the Comprehensive                  Holding Companies.’’ Should the Federal Reserve
                                                                                                     Liquidity Assessment Review (CLAR).                   expand the scope of recovery planning expectations
                                             capital planning expectations included
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                                                                                                                                                           to encompass additional firms, this rating will
                                             in SR letters 15–18 and 15–19.                          As for all component ratings, horizontal              reflect such expectations for the broader set of
                                             Consistent with the commenters’                         and firm-specific examination work                    firms.
                                             request, the Board confirms that the                    conducted under the LISCC liquidity                      There are eight domestic firms in the LISCC
                                                                                                     program, which is inclusive of the                    portfolio: (1) Bank of America Corporation; (2) Bank
                                             final LFI rating system does not create                                                                       of New York Mellon Corporation; (3) Citigroup,
                                                                                                     horizontal work covered under the                     Inc.; (4) Goldman Sachs Group, Inc.; (5) JP Morgan
                                               18 83 FR 9308 (February 3, 2017); 83 FR 18160         CLAR, will represent a material input                 Chase & Co.; (6) Morgan Stanley; (7) State Street
                                             (April 25, 2018).                                       into a firm’s liquidity rating. Unlike                Corporation; and (8) Wells Fargo & Company.



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                                                          Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations                                            58729

                                             reflected in other aspects of the LFI                   LFI rating system also clarifies the                     account the materiality of a firm’s
                                             rating system. The final LFI rating                     definitions within each category to                      outstanding and newly identified
                                             system maintains consideration of                       provide additional guidance to                           supervisory issues. While a given
                                             recovery planning in assessing the                      examiners and provide transparency to                    ratings assessment will depend on the
                                             governance and controls of a LISCC                      firms about the calibration of each                      circumstances, the LFI rating scale is
                                             firm, as effective recovery planning                    category.                                                designed to clarify the relationship
                                             practices are central to ensuring that a                   Several commenters also expressed                     between supervisory issues and
                                             LISCC firm has sufficient financial and                 the need for the use of additional                       deficiencies, and a firm’s progress in
                                             operational strength to continue                        quantitative measures improve                            remediation and mitigation efforts.
                                             operations through a range of                           transparency and consistency in how                      Conditionally Meets Expectations
                                             conditions.                                             ratings are derived. The Federal Reserve
                                                The Board requested comment on                       will continue to use quantitative                           In the proposed LFI rating system, the
                                             whether resolution planning should also                 measures, together with supervisory                      second highest rating category was
                                             be a component of, or otherwise                         judgment, to inform a comprehensive                      ‘‘Satisfactory Watch.’’ This rating would
                                             factored into, the LFI rating system.                   assessment of a firm’s Capital, Liquidity,               have indicated that a firm was generally
                                             Several commenters argued against                       and Governance and Controls.                             considered safe and sound; however,
                                             inclusion of resolution planning,                                                                                certain issues were sufficiently material
                                             stating, for example, that adding a                     Broadly Meets Expectations                               that, if not resolved in a timely manner
                                             separate component rating for resolution                   In the proposal, the highest rating                   in the normal course of business, they
                                             planning would be duplicative in light                  category was ‘‘Satisfactory.’’ A                         would put the firm’s prospects for
                                             the current public deficiency findings                  ‘‘Satisfactory’’ rating would have                       remaining safe and sound through a
                                             under the resolution plan rule. One                     indicated that a firm is considered safe                 range of conditions at risk. As noted in
                                             commenter supported the inclusion of                    and sound and broadly meets                              the proposal, the ‘‘Satisfactory Watch’’
                                             resolution planning in the LFI rating                   supervisory expectations.                                rating was intended to be consistent
                                             system.                                                    The final LFI rating system renames                   with the Federal Reserve’s practice of
                                                The Board has determined not to                      the rating category as ‘‘Broadly Meets                   providing notice to firms that they are
                                             include a separate component rating for                 Expectations,’’ to align more closely                    likely to be downgraded if identified
                                             a firm’s resolution planning as part of                 with the underlying definition of the                    weaknesses are not resolved in a timely
                                             the final LFI rating system. The Board                  rating category.22 As with the proposal,                 manner.
                                             will continue to consider whether the                   the final ratings definition for ‘‘Broadly                  The preamble to the proposal noted
                                             LFI rating system should be modified in                 Meets Expectations’’ provides that a                     that the ‘‘Satisfactory Watch’’ rating was
                                             the future to include an assessment of                  firm may have supervisory issues                         not intended to be used for a prolonged
                                             the sufficiency of a firm’s resolution                  requiring corrective action; however,                    period; rather, firms would have had a
                                             planning efforts.                                       these issues are unlikely to present a                   specified timeframe to fully resolve
                                                                                                     threat to the firm’s ability to maintain                 issues leading to that rating (as is the
                                             D. LFI Rating Scale                                                                                              case with all supervisory issues), but
                                                                                                     safe-and-sound operations through a
                                                Under the proposed LFI rating system,                range of conditions.                                     generally no longer than 18 months.
                                             ratings would have been assigned based                     Two commenters suggested that the                     Several commenters noted that many
                                             on a four-point scale, with the following               rating scale should include a higher                     supervisory issues take longer than 18
                                             categories: Satisfactory/Satisfactory                   rating above the ‘‘Satisfactory’’                        months to resolve, and that resolution of
                                             Watch, Deficient-1, and Deficient-2. One                designation, similar to the ‘‘Strong’’                   certain issues requires substantial
                                             commenter expressed concern that the                    rating utilized with the RFI, CAMELS,                    infrastructure investment and changes
                                             reduction in the number of ratings                      and other supervisory rating systems.                    in processes and controls. As such,
                                             categories from five, as in the current                 The final LFI rating system does not                     these commenters argued that the
                                             RFI framework, to four, would result in                                                                          specified remediation timeframes in the
                                                                                                     include a ‘‘Strong’’ rating, which may
                                             the new rating framework being less                                                                              ‘‘Satisfactory Watch’’ rating should be
                                                                                                     suggest that the Federal Reserve expects
                                             flexible and nuanced, and lead to                                                                                based on the specific facts and
                                                                                                     firms to exceed, not simply meet,
                                             inadvertent rating downgrades.                                                                                   circumstances of the supervisory
                                                                                                     supervisory expectations. In addition, a
                                                A four-category rating scale is                                                                               issue(s) in question, rather than limited
                                                                                                     ‘‘Strong’’ rating would not enhance or
                                             intended to increase the usability of the                                                                        to an 18-month period. These
                                                                                                     clarify supervisory communications, as
                                             scale—under the RFI rating system, the                                                                           commenters also argued that a firm
                                                                                                     a ‘‘Strong’’ rating would have no
                                             highest rating of ‘‘1’’ and the lowest                                                                           should not be downgraded provided the
                                                                                                     supervisory consequences.23
                                             rating of ‘‘5’’ were rarely used when                                                                            firm makes good faith efforts to
                                                                                                        One commenter stated that the rule
                                             rating LFIs. Further, the ‘‘Conditionally                                                                        remediate the issues and progress is
                                                                                                     should clarify the circumstances under
                                             Meets Expectations’’ rating category                                                                             made.
                                                                                                     which MRAs or MRIAs would trigger a                         As in the proposal, the final ratings
                                             enables the Federal Reserve to identify
                                                                                                     downgrade from the ‘‘Satisfactory’’                      framework states that the Federal
                                             certain material issues at a firm and
                                                                                                     rating. As noted above, in consolidating                 Reserve does not intend for a firm to be
                                             provide a firm with notice and the
                                                                                                     supervisory findings into a                              rated ‘‘Conditionally Meets
                                             ability to fix those issues before the firm
                                                                                                     comprehensive assessment in each                         Expectations’’ for a prolonged period.
                                             experiences regulatory consequences as
                                                                                                     category, the Board will take into                       However, unlike the proposal, the final
                                             a result of the ratings downgrade.
                                                The final LFI rating system adopts a                                                                          ratings framework does not establish a
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                                                                                                        22 References to ‘‘safe and sound’’ or ‘‘safety and
                                             similar four-category scale, but uses                   soundness’’ in the LFI rating system apply to a          fixed timeline for how long a firm can
                                             different terminology to improve the                    firm’s consolidated organization as well as to its       be rated ‘‘Conditionally Meets
                                             descriptiveness of the rating categories.               critical operations and banking offices.                 Expectations.’’ Instead, the final ratings
                                                                                                        23 One comment requested removal of the term
                                             Specifically, the final rating categories                                                                        framework reflects an understanding
                                                                                                     ‘‘strong,’’ which was used to describe practices
                                             are: Broadly Meets Expectations,                        related to controls. To provide the clarity requested
                                                                                                                                                              that timelines will be issues-specific,
                                             Conditionally Meets Expectations,                       by the commenter, the final terminology has been         noting that the Federal Reserve will
                                             Deficient-1, and Deficient-2. The final                 changed to use the term ‘‘effective.’’                   work with the firm to develop an


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                                             58730        Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations

                                             appropriate timeframe during which the                  remediation and mitigation activities are               the final LFI rating system maintains the
                                             firm would be expected to resolve each                  sufficiently advanced so that its                       proposed approach to determining
                                             supervisory issue leading to the                        prospects for remaining safe and sound                  whether a firm is ‘‘well managed.’’
                                             ‘‘Conditionally Meets Expectations’’                    are no longer at significant risk, even if                 Under current law, a firm must
                                             rating. Further, the final ratings                      the firm has outstanding supervisory                    receive a ‘‘Satisfactory’’ risk
                                             framework reflects an understanding                     issues or is subject to an active                       management and composite rating in
                                             that completion and validation of                       enforcement action.                                     order to qualify as ‘‘well managed.’’
                                             remediation activities for selected                                                                             Several commenters argued that the
                                             supervisory issues—such as those                        Deficient-1                                             proposed rating scale would introduce a
                                             involving information technology                           In the proposal, the third rating                    more rigid standard compared with the
                                             modifications—will require an extended                  category was ‘‘Deficient-1,’’ which                     RFI rating system, potentially making
                                             time horizon. In all instances,                         would have indicated that, although the                 LFIs less likely to be considered ‘‘well
                                             appropriate and effective risk mitigation               firm’s current condition is not                         managed.’’ In the Board’s view, any
                                             techniques must be utilized in the                      considered to be materially threatened,                 rigidity is balanced by the introduction
                                             interim to maintain safe-and-sound                      there were financial and/or operational                 of the ‘‘Conditionally Meets
                                             operations under a range of conditions                  deficiencies that put its prospects for                 Expectations’’ rating, which provides
                                             until remediation activities are                        remaining safe and sound through a                      notice to firms that they are likely to be
                                             completed, validated, and fully                         range of conditions at significant risk.                downgraded if identified weaknesses
                                             operational.                                            The final ratings framework maintains                   are not resolved in a timely manner.
                                                One commenter recommended that                       the name of the third rating category.                     The proposal noted that a ‘‘Deficient-
                                             the ‘‘Satisfactory Watch’’ rating should                   Under the proposed LFI rating system,                1’’ component rating would often be an
                                             be permanent, rather than temporary,                    a firm that received a rating of                        indication that the firm should be
                                             while another argued that the                           ‘‘Deficient-1’’ or ‘‘Deficient-2’’ in any               subject to either an informal or formal
                                             ‘‘Satisfactory Watch’’ rating should be                 component rating would not be                           enforcement action, and may also result
                                             used infrequently. The final LFI rating                 considered ‘‘well managed’’ for                         in the designation of the firm as being
                                             system acknowledges there are                           purposes of the Bank Holding Company                    in ‘‘troubled condition.’’ 25 Several
                                             circumstances when a firm may be rated                  Act (BHC Act).24 Several commenters                     commenters requested clarity under
                                             ‘‘Conditionally Meets Expectations’’ for                suggested that the ‘‘well managed’’                     what circumstances a ‘‘Deficient-1’’
                                             a longer period of time if, for instance,               determination should be made on the                     rating would result in ‘‘troubled
                                             the firm is close to completing                         basis of an assessment of the firm as a                 condition’’ status or a formal
                                             resolution of the supervisory issues                    whole, rather than the automatic                        enforcement action.
                                             leading to the ‘‘Conditionally Meets                    consequence of any one component                           Consistent with commenters’ views,
                                             Expectations’’ rating, but new issues                   rating. One commenter argued that the                   the final LFI rating system reflects that
                                             may be identified that, taken alone,                    separate, standalone composite rating                   there is no presumption that a firm rated
                                             would be consistent with a                              should form the sole basis for                          ‘‘Deficient-1’’ would be deemed to be in
                                             ‘‘Conditionally Meets Expectations’’                                                                            ‘‘troubled condition.’’ Whether a firm
                                                                                                     determining a firm’s ‘‘well managed’’
                                             rating. In this event, the firm may                                                                             rated ‘‘Deficient-1’’ receives a ‘‘troubled
                                                                                                     status.
                                             continue to be rated ‘‘Conditionally                                                                            condition’’ designation will be
                                                                                                        Conditioning a firm’s ‘‘well managed’’
                                             Meets Expectations,’’ provided the new                                                                          determined by the facts and
                                                                                                     status on all three rating categories
                                             issues do not reflect a pattern of deeper                                                                       circumstances at that firm. However,
                                                                                                     reflects the judgment that a banking
                                             or prolonged capital planning or                                                                                firms rated ‘‘Deficient-1’’ due to
                                                                                                     organization is not in satisfactory
                                             position weaknesses consistent with a                                                                           financial weaknesses in either capital or
                                                                                                     condition overall unless it is considered
                                             ‘‘Deficient’’ rating.                                                                                           liquidity would be more likely to be
                                                                                                     sound in each of the key areas of capital,
                                                The proposal would have provided                                                                             deemed in ‘‘troubled condition’’ than
                                                                                                     liquidity, and governance and controls.
                                             that ‘‘Satisfactory Watch’’ would be                                                                            firms rated ‘‘Deficient-1’’ due solely to
                                                                                                     Each rating category includes                           issues of governance or controls.
                                             appropriate when a firm could resolve
                                                                                                     assessments of key aspects of a firm’s                     While a commenter asked that a
                                             the issue in a timely manner in the
                                                                                                     practices and capabilities, including                   ‘‘Deficient-1’’ rating be an automatic bar
                                             normal course of business. Commenters
                                                                                                     management, that are necessary to                       to new or expansionary activity, others
                                             requested clarification on expectations
                                                                                                     operate in a safe-and-sound manner. A                   suggested that firms rated ‘‘Deficient-1’’
                                             regarding ‘‘normal course of business.’’
                                                                                                     ‘‘Deficient’’ rating in any of the                      not be subject to any restrictions on
                                             The final LFI rating system clarifies that
                                                                                                     components reflects the supervisory                     growth. Consistent with the proposal,
                                             ‘‘normal course of business’’ means that
                                             a firm has the ability to resolve these                 conclusion that financial or operational                receiving a ‘‘Deficient-1’’ rating under
                                             issues through measures that do not                     deficiencies have placed the firm’s                     the final LFI rating system would result
                                             require a material change to the firm’s                 safety and soundness at significant risk,               in automatic consequences for a firm’s
                                             business model or financial profile, or                 which would not warrant a firm being                    ‘‘well managed’’ status, which would
                                             its governance, risk management, or                     deemed ‘‘well managed.’’ Accordingly,                   limit the firm’s ability to engage in new
                                             internal control structures or practices.                 24 For purposes of determining whether a firm is
                                                                                                                                                             or expansionary nonbanking activities.
                                                Several commenters also argued that                  considered to be ‘‘well managed’’ under section         Further, as with the proposal, a
                                             a firm rated ‘‘Deficient’’ should be                    2(o)(9) of the BHC Act, the Federal Reserve             ‘‘Deficient-1’’ rating in the final LFI
                                             upgraded to the ‘‘Satisfactory Watch’’                  considers the three component ratings, taken            rating system could be a barrier for a
                                             rating if the firm has remediated                       together, to be equivalent to assigning a standalone    firm seeking the Federal Reserve’s
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                                                                                                     composite rating. In addition, the RFI rating system
                                             identified deficiencies but a validation                designates the ‘‘Risk Management’’ rating as the        approval of a proposal to engage in new
                                             process had not yet been completed. As                  ‘‘management’’ rating when making ‘‘well                or expansionary activities, unless the
                                             indicated in the Deficient-1 section                    managed’’ determinations under section                  firm can demonstrate that (i) it is
                                             below, the final LFI framework indicates                2(o)(9)(A)(ii) of the BHC Act. See SR letter 04–8. In   making meaningful, sustained progress
                                                                                                     contrast, the LFI rating system would not designate
                                             that a firm previously rated ‘‘Deficient’’              any of the three component ratings as a                 in resolving identified deficiencies and
                                             may be upgraded to ‘‘Conditionally                      ‘‘management’’ rating, because each component
                                             Meets Expectations’’ if the firm’s                      evaluates different areas of the firm’s management.      25 See   12 CFR 225.71(d).



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                                                          Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations                                                     58731

                                             issues; (ii) the proposed new or                        firm-specific and horizontal                           system will be communicated by the
                                             expansionary activities would not                       examination work. Throughout the year,                 Federal Reserve to the firm, but
                                             present a risk of exacerbating current                  and in connection with its rating, firms               individual ratings will not be disclosed
                                             deficiencies or issues or lead to new                   will receive feedback relating to the                  publicly. The Federal Reserve will
                                             concerns; and (iii) the proposed                        supervisory activities that inform the                 continue to think broadly in considering
                                             activities would not distract the firm                  ratings, which will provide firms with                 ways to enhance transparency across its
                                             from remediating current deficiencies or                specific feedback relating to the                      processes and communications in
                                             issues.                                                 elements of the rating.                                support of improved supervisory
                                                                                                                                                            approaches and outcomes.
                                             Deficient-2                                             Composite Rating                                          In addition, some commenters
                                                A ‘‘Deficient-2’’ rating indicates that                 Several commenters asserted that the                indicated that there should be a more
                                             financial and/or operational deficiencies               LFI rating system should include a                     effective process for firms to challenge
                                             materially threaten the firm’s safety and               separate, standalone composite rating in               and seek review of supervisory findings,
                                             soundness, or have already put the firm                 addition to the three component ratings.               such as additional opportunities to
                                             in an unsafe and unsound condition.                     These commenters asserted that a                       respond to adverse findings by
                                             The proposal noted that a firm with a                   composite rating would provide a fuller                examiners, and meetings with the
                                             ‘‘Deficient-2’’ component rating would                  view of the health of each institution.                Federal Reserve. The Federal Reserve is
                                             be required to immediately (i)                             Unlike other supervisory rating                     committed to engaging in ongoing
                                             implement comprehensive corrective                      systems, including the RFI rating                      dialogue with banking organizations
                                             measures sufficient to restore and                      system, the Federal Reserve will not                   regarding supervisory findings to ensure
                                             maintain appropriate capital planning                   assign a standalone composite rating                   that firms understand supervisory
                                             capabilities and adequate capital                       under the LFI rating system. As noted in               expectations and that the Federal
                                             positions; and (ii) demonstrate the                     the proposal, assigning a standalone                   Reserve understands the way that firms
                                             sufficiency, credibility and readiness of               composite rating is not necessary                      think about their business and risks.
                                             contingency planning in the event of                    because the three component ratings are                The Board also is committed to
                                             further deterioration of the firm’s                     designed to clearly communicate                        maintaining an effective independent
                                             financial or operational strength or                    supervisory assessments and associated                 appellate process to allow institutions to
                                             resiliency. It also noted that there is a               consequences for each of the core areas                seek review of material supervisory
                                             strong presumption that a firm rated                    (capital, liquidity, and governance and                determinations. The Board recently
                                             ‘‘Deficient-2’’ will be subject to a formal             controls). Further, the components                     issued a proposal that is out for
                                             enforcement action by the Federal                       identify those core areas that are                     comment and is currently considering
                                             Reserve, and that the Federal Reserve                   necessary and critical to a firm’s                     comments on that proposal.27
                                             would be unlikely to approve a proposal                 strength and resilience. It is unlikely
                                                                                                     that the assignment of a standalone                    V. Changes to Existing Regulations
                                             from a firm to engage in new or
                                             expansionary activities.                                composite rating would convey new or                      References to holding company
                                                The final LFI rating system adopts the               additional information regarding these                 ratings are included in a number of the
                                             ‘‘Deficient-2’’ ratings category without                supervisory assessments not already                    Federal Reserve’s existing regulations.
                                             change.                                                 communicated by the three component                    In certain cases, the regulations are
                                                                                                     ratings, and a standalone composite                    narrowly constructed such that they
                                             E. General Comments                                     rating could dilute the clarity and                    contemplate only the assignment of a
                                             Eliminating Subcomponent Ratings                        impact of the component ratings. As                    standalone composite rating using a
                                                                                                     such, the final LFI rating system does                 numerical rating scale. This is
                                                The proposed LFI rating system                       not include a separate standalone                      consistent with the current RFI rating
                                             described the areas of assessment under                 composite rating.                                      system but is not compatible with the
                                             each component rating, but would not                                                                           LFI rating system. Three provisions in
                                             have assigned separate subcomponents                    Disclosure and Challenge to Ratings
                                                                                                                                                            the Federal Reserve’s existing
                                             for each area of assessment. A few                        In accordance with the Federal                       regulations are written in this manner,
                                             commenters recommended that each of                     Reserve’s regulations governing                        including two in Regulation K and one
                                             the three component ratings include                     confidential supervisory information,26                in Regulation LL.
                                             subcomponent ratings, as used in the                    ratings assigned under the proposed LFI                   In Regulation K, § 211.2(z) includes a
                                             RFI rating system. These commenters                     rating system would have been                          definition of ‘‘well managed’’ which, in
                                             argued that subcomponent ratings aid                    communicated by the Federal Reserve to                 part, requires a bank holding company
                                             supervisory staff to consistently apply                 the firm but not disclosed publicly. One               to have received a composite rating of
                                             the component rating across                             commenter requested that LFI rating                    1 or 2 at its most recent examination or
                                             institutions, and allow firms to more                   components be publicly disclosed, as                   review; and § 211.9(a)(2) requires an
                                             easily identify, communicate, and                       the public would benefit from                          investor (which by definition can be a
                                             correct deficiencies across the                         additional supervisory disclosure                      bank holding company) to have received
                                             organization.                                           regarding individual firms. The Board                  a composite rating of at least 2 at its
                                                Communicating a single rating in each                has traditionally maintained the                       most recent examination in order to
                                             component is intended to reinforce the                  confidentiality of supervisory ratings in              make investments under the general
                                             Board’s view that the strength of a firm’s              order to preserve candor in                            consent or limited general consent
                                             capital and liquidity position is                       communication between supervised                       procedures contained in § 211.9(b) and
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                                             integrated with the effectiveness the                   institutions and the Board. For this                   (c).
                                             firm’s capital planning and liquidity                   reason, in accordance with the Federal                    In Regulation LL, § 238.54(a)(1)
                                             risk management, respectively, and the                  Reserve’s regulations governing                        restricts savings and loan holding
                                             strength of a firm’s risk management                    confidential supervisory information,                  companies from commencing certain
                                             depends on the effectiveness of the                     ratings assigned under the LFI rating                  activities without the Federal Reserve’s
                                             board oversight. In developing the
                                             rating, the Federal Reserve will rely on                  26 See   12 CFR 261.20.                                27 See   83 FR 8391 (February 27, 2018).



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                                             58732        Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations

                                             prior approval unless the company                       LFI rating system. To be considered                   depository institutions from the
                                             received a composite rating of 1 or 2 at                satisfactory, a firm would have to be                 activities of non-depository or capital
                                             its most recent examination.                            rated ‘‘Broadly Meets Expectations’’ or               market subsidiaries. The commenter
                                                                                                     ‘‘Conditionally Meets Expectations’’ for              suggested the Board revise the proposal
                                               To ensure that the Federal Reserve’s
                                                                                                     each component of the LFI rating                      to recognize the importance of this
                                             regulations are consistent and
                                                                                                     system; a firm which is rated ‘‘Deficient-            concept.
                                             compatible with all aspects of both the
                                                                                                     1’’ or lower for any component would                     In response to the commenter, the
                                             RFI rating system as well as the LFI                    not be considered satisfactory. This
                                             rating system, the Federal Reserve is                                                                         final LFI rating system acknowledges
                                                                                                     standard applies to any provision
                                             amending those three regulatory                                                                               that a banking organization is expected
                                                                                                     contained in the Federal Reserve’s
                                             provisions so that they will apply to                                                                         to ensure that the consolidated
                                                                                                     regulations, which requires or refers to
                                             entities which receive numerical                                                                              organization, including its critical
                                                                                                     a firm having a satisfactory composite
                                             composite ratings as well as to entities                                                                      operations and banking offices, remains
                                                                                                     rating.
                                             which do not receive numerical                                                                                safe and sound through a range of
                                             composite ratings (including firms                      VI. Comparison of the RFI and LFI                     potentially stressful conditions.
                                             subject to the LFI rating system).28 To                 Rating Systems                                          The final LFI rating system includes
                                             satisfy the requirements of those                         As compared to the RFI rating system,               several structural changes from the RFI
                                             provisions, firms that do not receive                   the proposed LFI rating system did not                rating system. The following table
                                             numerical composite ratings will have                   include an explicit assessment of a                   provides a broad comparison between
                                             to be considered satisfactory under the                 banking organization’s ability to protect             the two rating systems.

                                                                           RFI rating system                                                                  LFI rating system

                                                                     R—Risk Management
                                             An evaluation of the ability of the bank holding company’s board of di-              Assessment of the effectiveness of a firm’s governance and risk man-
                                               rectors and senior management to identify, measure, monitor, and                     agement practices is central to the Governance and Controls compo-
                                               control risk.                                                                        nent rating. The Governance and Controls component rating evalu-
                                                                                                                                    ates a firm’s effectiveness in aligning strategic business objectives
                                                                                                                                    with risk management capabilities; maintaining effective and inde-
                                                                                                                                    pendent risk management and control functions, including internal
                                                                                                                                    audit; promoting compliance with laws and regulations, including
                                                                                                                                    those related to consumer protection; and otherwise providing for the
                                                                                                                                    ongoing resiliency of the firm.
                                             The rating is supported by four subcomponent ratings ...........................     Governance and risk management practices specifically related to
                                             • Board and Senior Management Oversight                                                maintaining financial strength and resilience are also incorporated
                                             • Policies, Procedures, and Limits                                                     into the Capital Planning and Positions and Liquidity Risk Manage-
                                             • Risk Monitoring and Management Information Systems                                   ment and Positions component ratings.
                                             • Internal Controls
                                                                     F—Financial Condition
                                             An evaluation of the consolidated organization’s financial strength ........         Assessment of a firm’s financial strength and resilience is specifically
                                                                                                                                    evaluated through the Capital Planning and Positions and Liquidity
                                                                                                                                    Risk Management and Positions component ratings.
                                             The rating is supported by four subcomponent ratings ...........................     These component ratings also assess the effectiveness of associated
                                             • Capital Adequacy                                                                     planning and risk management processes, and the sufficiency of re-
                                             • Asset Quality                                                                        lated positions.
                                             • Earnings                                                                           Although asset quality and earnings are not rated separately, they con-
                                             • Liquidity                                                                            tinue to be important elements in assessing a firm’s safety and
                                                                                                                                    soundness and resiliency, and are important considerations within
                                                                                                                                    each of the LFI component ratings.
                                                                             I—Impact
                                             An assessment of the potential impact of the firm’s nondepository enti-              Although a separate ‘‘Impact’’ rating will not be assigned, the LFI rating
                                               ties on its subsidiary depository institution(s).                                    system will assess a firm’s ability to protect the safety and sound-
                                                                                                                                    ness of its subsidiary depository institutions, including whether the
                                                                                                                                    firm can provide financial and operational strength to its subsidiary
                                                                                                                                    depository institutions.29
                                                                   D—Depository Institutions
                                             Generally reflects the composite CAMELS rating assigned by the pri-                  The LFI rating system would not assign a separate rating for a firm’s
                                              mary supervisor of the subsidiary depository institution(s).30                        depository institution subsidiaries. The Federal Reserve will continue
                                                                                                                                    to rely to the fullest extent possible on supervisory assessments de-
                                                                                                                                    veloped by the primary supervisor of the subsidiary depository insti-
                                                                                                                                    tution(s).
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                                               28 The Board may propose additional necessary

                                             revisions to its regulations resulting from the
                                             adoption of a final LFI rating system.

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                                                          Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations                                            58733

                                                                           RFI rating system                                                                 LFI rating system

                                                                     C—Composite Rating
                                             The overall composite assessment of the bank holding company as re-                  A standalone composite rating will not be assigned. The three LFI
                                               flected by the R, F, and I ratings, and supported by examiner judg-                  component ratings are designed to clearly communicate supervisory
                                               ment with respect to the relative importance of each component to                    assessments and associated consequences for each of the core
                                               the safe and sound operation of the bank holding company..                           areas (capital, liquidity, and governance and controls) that are con-
                                                                                                                                    sidered critical to an LFI’s strength and resilience.
                                                                                                                                  For purposes of determining whether a firm is ‘‘well managed,’’ each
                                                                                                                                    component must be rated either ‘‘Broadly Meets Expectations’’ or
                                                                                                                                    ‘‘Conditionally Meets Expectations’’ in order for a firm to be deemed
                                                                                                                                    ‘‘well managed.’’



                                             VII. Regulatory Analysis                                of an estimate of the number of small                 the final rule does not apply to any
                                                                                                     entities to which the rule will apply or              company with assets of $550 million or
                                             A. Paperwork Reduction Act
                                                                                                     an explanation of why no such estimate                less, the final rule would not apply to
                                               There is no collection of information                 is available; (5) a description of the                any ‘‘small entity’’ for purposes of the
                                             required by this proposal that would be                 projected reporting, recordkeeping and                RFA.
                                             subject to the Paperwork Reduction Act                  other compliance requirements of the
                                             of 1995, 44 U.S.C. 3501 et seq.                                                                                  There are no projected reporting,
                                                                                                     rule, including an estimate of the classes
                                                                                                                                                           recordkeeping, or other compliance
                                             B. Regulatory Flexibility Analysis                      of small entities which will be subject
                                                                                                     to the requirement and type of                        requirements associated with the final
                                                The Regulatory Flexibility Act (RFA),                professional skills necessary for                     rule. As discussed above, the final rule
                                             5 U.S.C. 601 et seq., generally requires                preparation of the report or record; and              does not apply to small entities.
                                             that, in connection with a proposed                     (6) a description of the steps the agency                The Board does not believe that the
                                             rulemaking, an agency prepare and
                                                                                                     has taken to minimize the economic                    final rule duplicates, overlaps, or
                                             make available for public comment an
                                                                                                     impact on small entities, including a                 conflicts with any other Federal Rules.
                                             initial regulatory flexibility analysis
                                                                                                     statement for selecting or rejecting the              In addition, the Board does not believe
                                             (IRFA). The Board solicited public
                                                                                                     other significant alternatives to the rule            there are significant alternatives to the
                                             comment on the LFI rating system in a
                                                                                                     considered by the agency.                             final rule that have less economic
                                             notice of proposed rulemaking and has
                                                                                                        The final rule adopts a new holding                impact on small entities. In light of the
                                             since considered the potential impact of
                                                                                                     company rating system for large                       foregoing, the Board does not believe
                                             this final rule on small entities in
                                                                                                     financial institutions, and amend the                 the final rule will have a significant
                                             accordance with section 604 of the RFA.
                                                                                                     Board’s Regulations K and LL to ensure                economic impact on a substantial
                                             Based on the Board’s analysis, and for
                                                                                                     the Board’s regulations are compatible                number of small entities.
                                             the reasons stated below, the Board
                                                                                                     with all aspects of the LFI rating system,
                                             believes the final rule will not have a
                                                                                                     but will not change the operation of                  C. Solicitation of Comments on Use of
                                             significant economic impact on a
                                                                                                     those regulations for any entity that is              Plain Language
                                             substantial number of small entities.
                                                The RFA requires an agency to                        not subject to the LFI rating system.
                                                                                                     Commenters did not raise any issues in                  Section 722 of the Gramm-Leach-
                                             prepare a final regulatory flexibility                                                                        Bliley Act requires the Board to use
                                             analysis (FRFA) unless the agency                       response to the IRFA. In addition, the
                                                                                                     Chief Counsel for Advocacy of the Small               plain language in all proposed and final
                                             certifies that the rule will not, if
                                                                                                     Business Administration did not file                  rules published after January 1, 2000.
                                             promulgated, have a significant
                                             economic impact on a substantial                        any comments in response to the                       The Board received no comments on
                                             number of small entities. The FRFA                      proposed rule.                                        these matters and believes that the final
                                             must contain: (1) A statement of the                       Under regulations issued by the Small              rule is written plainly and clearly.
                                             need for, and objectives of, the rule; (2)              Business Administration (SBA), a
                                                                                                     ‘‘small entity’’ includes a depository                List of Subjects
                                             a statement of the significant issues
                                             raised by the public comments in                        institution, bank holding company, or                 12 CFR Part 211
                                             response to the IRFA, a statement of the                savings and loan holding company with
                                             agency’s assessment of such issues, and                 assets of $550 million or less (small                   Exports, Federal Reserve System,
                                             a statement of any changes made in the                  banking organizations). As discussed in               Foreign banking, Holding companies,
                                             proposed rule as a result of such                       the SUPPLEMENTARY INFORMATION, the                    Investments, Reporting and
                                             comments; (3) the response of the                       final rule will apply to all bank holding             recordkeeping requirements.
                                             agency to any comments filed by the                     companies with total consolidated
                                                                                                     assets of $100 billion or more; all non-              12 CFR Part 238
                                             Chief Counsel for Advocacy of the Small
                                             Business Administration in response to                  insurance, non-commercial savings and                   Administrative practice and
                                             the proposed rule, and a detailed                       loan holding companies with total                     procedure, Banks, Banking, Federal
                                             statement of any changes made to the                    consolidated assets of $100 billion or                Reserve System, Holding companies,
                                             proposed rule in the final rule as a                    more; and U.S. intermediate holding
                                                                                                                                                           Reporting and recordkeeping
                                             result of the comments; (4) a description               companies of foreign banking
                                                                                                                                                           requirements.
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                                                                                                     organizations with total consolidated
                                                29 See Sections 616 of Dodd-Frank Act (financial     assets of $50 billion or more.                        Authority and Issuance
                                             strength), 12 CFR 225.4 of the Board’s Regulation          Companies that are subject to the final
                                             Y, and 12 CFR 238.8 of the Board’s Regulation LL.       rule therefore substantially exceed the                 For the reasons stated in the
                                                30 See SR letter 96–38, ‘‘Uniform Financial
                                                                                                     $550 million asset threshold at which a               preamble, the Board amends 12 CFR
                                             Institutions Rating System,’’ at http://
                                             www.federalreserve.gov/boarddocs/srletters/1996/        banking entity is considered a ‘‘small                parts 211 and 238 as follows:
                                             sr9638.htm.                                             entity’’ under SBA regulations. Because


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                                             58734        Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations

                                             PART 211—INTERNATIONAL                                  recent examination, and is not in a                           The LFI rating system is designed to:
                                             BANKING OPERATIONS                                      troubled condition as defined in                              • Fully align with the Federal Reserve’s
                                                                                                     § 238.72, and the holding company does                     current supervisory programs and practices,
                                             (REGULATION K)                                                                                                     which are based upon the LFI supervision
                                                                                                     not propose to commence the activity by                    framework’s core objectives of reducing the
                                             ■ 1. The authority citations for part 211               an acquisition (in whole or in part) of                    probability of LFIs failing or experiencing
                                             continues to read as follows:                           a going concern; or                                        material distress and reducing the risk to U.S.
                                               Authority: 12 U.S.C. 221 et seq., 1818,               *     *    *     *    *                                    financial stability;
                                             1835a, 1841 et seq., 3101 et seq., 3901 et seq.,                                                                      • Enhance the clarity and consistency of
                                                                                                       Note: The following appendix will not                    supervisory assessments and
                                             and 5101 et seq.; 15 U.S.C. 1681s, 1681w,               appear in the Code of Federal Regulations.
                                             6801 and 6805.                                                                                                     communications of supervisory findings and
                                                                                                                                                                implications; and
                                             ■ 2. Section 211.2 is amended by                        Appendix A—Text of Large Financial                            • Provide transparency related to the
                                             revising paragraph (z) to read as follows:              Institution Rating System                                  supervisory consequences of a given rating.
                                                                                                     A. Overview                                                   The LFI rating system is comprised of three
                                             § 211.2   Definitions.                                                                                             components:
                                                                                                        Each large financial institution (LFI) is                  • Capital Planning and Positions: An
                                             *      *     *     *     *                              expected to ensure that the consolidated                   evaluation of (i) the effectiveness of a firm’s
                                                (z) Well managed means that the Edge                 organization (or the combined U.S.                         governance and planning processes used to
                                             or agreement corporation, any parent                    operations in the case of foreign banking                  determine the amount of capital necessary to
                                             insured bank, and the bank holding                      organizations), including its critical                     cover risks and exposures, and to support
                                             company either received a composite                     operations and banking offices, remain safe                activities through a range of conditions and
                                             rating of 1 or 2 or is considered                       and sound and in compliance with laws and                  events; and (ii) the sufficiency of a firm’s
                                                                                                     regulations, including those related to                    capital positions to comply with applicable
                                             satisfactory under the applicable rating                consumer protection.1 The LFI rating system
                                             system, and has at least a satisfactory                                                                            regulatory requirements and to support the
                                                                                                     provides a supervisory evaluation of whether               firm’s ability to continue to serve as a
                                             rating for management if such a rating                  a covered firm possesses sufficient financial              financial intermediary through a range of
                                             is given, at their most recent                          and operational strength and resilience to                 conditions.
                                             examination or review.                                  maintain safe-and-sound operations through                    • Liquidity Risk Management and
                                             ■ 3. Section 211.9 is amended by
                                                                                                     a range of conditions, including stressful                 Positions: An evaluation of (i) the
                                                                                                     ones.2 The LFI rating system applies to bank               effectiveness of a firm’s governance and risk
                                             revising paragraph (a)(2) to read as                    holding companies with total consolidated
                                             follows:                                                                                                           management processes used to determine the
                                                                                                     assets of $100 billion or more; all non-                   amount of liquidity necessary to cover risks
                                                                                                     insurance, non-commercial savings and loan                 and exposures, and to support activities
                                             § 211.9   Investment procedures.                        holding companies with total consolidated                  through a range of conditions; and (ii) the
                                               (a) * * *                                             assets of $100 billion or more; and U.S.                   sufficiency of a firm’s liquidity positions to
                                               (2) Composite rating. Except as the                   intermediate holding companies of foreign                  comply with applicable regulatory
                                             Board may otherwise determine, in                       banking organizations with combined U.S.                   requirements and to support the firm’s
                                             order for an investor to make                           assets of $50 billion or more established                  ongoing obligations through a range of
                                                                                                     pursuant to the Federal Reserve’s Regulation               conditions.
                                             investments under the general consent                   YY.3
                                             or limited general consent procedures of                                                                              • Governance and Controls: An evaluation
                                             paragraphs (b) and (c) of this section, at                                                                         of the effectiveness of a firm’s (i) board of
                                                                                                        1 See SR letter 12–17/CA letter 12–14,
                                                                                                                                                                directors,4 (ii) management of business lines
                                             the most recent examination the                         ‘‘Consolidated Supervisory Framework for Large
                                                                                                                                                                and independent risk management and
                                             investor and any parent insured bank                    Financial Institutions,’’ at http://
                                                                                                                                                                controls,5 and (iii) recovery planning (only
                                             must have either received a composite                   www.federalreserve.gov/bankinforeg/srletters/
                                                                                                     sr1217.htm.                                                for domestic firms that are subject to the
                                             rating of at least 2 or be considered                      Hereinafter, when ‘‘safe and sound’’ or ‘‘safety        Board’s Large Institution Supervision
                                             satisfactory under the applicable rating                and soundness’’ is used in this framework, related         Coordinating Committee (LISCC)
                                             system.                                                 expectations apply to the consolidated organization        Framework).6 This rating assesses a firm’s
                                                                                                     and the firm’s critical operations and banking
                                             *     *      *     *     *                              offices.                                                   assets in the four most recent quarters as reported
                                                                                                        ‘‘Critical operations’’ are a firm’s operations,        on the firm’s quarterly financial reports filed with
                                             PART 238—SAVINGS AND LOAN                               including associated services, functions and               the Federal Reserve. A firm will continue to be
                                             HOLDING COMPANIES (REGULATION                           support, the failure or discontinuance of which, in        rated under the LFI rating system until it has less
                                             LL)                                                     the view of the firm or the Federal Reserve, would         than $95 billion in total consolidated assets, based
                                                                                                     pose a threat to the financial stability of the United     on the average total consolidated assets as reported
                                             ■ 4. The authority citations for part 238               States.                                                    on the firm’s four most recent quarterly financial
                                                                                                        ‘‘Banking offices’’ are defined as U.S. depository      reports filed with the Federal Reserve. As noted in
                                             continues to read as follows:                           institution subsidiaries, as well as the U.S. branches     the proposal, the Federal Reserve may determine to
                                               Authority: 5 U.S.C. 552, 559; 12 U.S.C.               and agencies of foreign banking organizations.             apply the RFI rating system or another applicable
                                             1462, 1462a, 1463, 1464, 1467, 1467a, 1468,                2 ‘‘Financial strength and resilience’’ is defined as   rating system in certain limited circumstances.
                                             1813, 1817, 1829e, 1831i, 1972; 15 U.S.C. 78l.          maintaining effective capital and liquidity                   4 References to ‘‘board’’ or ‘‘board of directors’’ in

                                                                                                     governance and planning processes, and sufficiency         this framework includes the equivalent to a board
                                             ■ 5. Section 238.54 is amended by                       of related positions, to provide for the continuity of     of directors, as appropriate, as well as committees
                                             revising paragraph (a)(1) to read as                    the consolidated organization (including its critical      of the board of directors or the equivalent thereof,
                                             follows:                                                operations and banking offices) through a range of         as appropriate.
                                                                                                     conditions.                                                   At this time, recovery planning expectations only
                                             § 238.54 Permissible bank holding                          ‘‘Operational strength and resilience’’ is defined      apply to domestic bank holding companies subject
                                             company activities of savings and loan                  as maintaining effective governance and controls to        to the Federal Reserve’s LISCC supervisory
                                             holding companies.                                      provide for the continuity of the consolidated             framework. Should the Federal Reserve expand the
                                                                                                     organization (including its critical operations and        scope of recovery planning expectations to
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                                                (a) * * *                                            banking offices) and to promote compliance with            encompass additional firms, this rating will reflect
                                                (1) The holding company received a                   laws and regulations, including those related to           such expectations for the broader set of firms.
                                             rating of satisfactory or above prior to                consumer protection, through a range of conditions.           5 The evaluation of the effectiveness of

                                             January 1, 2008, or thereafter, either                     References to ‘‘financial or operational’’              management of business lines would include
                                                                                                     weaknesses or deficiencies implicate a firm’s              management of critical operations.
                                             received a composite rating of ‘‘1’’ or                 financial or operational strength and resilience.             6 There are eight domestic firms in the LISCC
                                             ‘‘2’’ or be considered satisfactory under                  3 Total consolidated assets will be calculated          portfolio: (1) Bank of America Corporation; (2) Bank
                                             the applicable rating system in its most                based on the average of the firm’s total consolidated      of New York Mellon Corporation; (3) Citigroup,



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                                                           Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations                                                   58735

                                             effectiveness in aligning strategic business              remediation activities are completed,                   ‘‘well managed’’ firm has sufficient financial
                                             objectives with the firm’s risk appetite and              validated, and fully operational.                       and operational strength and resilience to
                                             risk management capabilities; maintaining                    • Deficient-1: Financial or operational              maintain safe-and-sound operations through
                                             effective and independent risk management                 deficiencies in a firm’s practices or                   a range of conditions, including stressful
                                             and control functions, including internal                 capabilities put the firm’s prospects for               ones.
                                             audit; promoting compliance with laws and                 remaining safe and sound through a range of
                                                                                                                                                               C. LFI Rating Components
                                             regulations, including those related to                   conditions at significant risk. The firm is
                                             consumer protection; and otherwise planning               unable to remediate these deficiencies in the              The LFI rating system is comprised of three
                                             for the ongoing resiliency of the firm.7                  normal course of business, and remediation              component ratings: 9
                                                                                                       would typically require the firm to make a              1. Capital Planning and Positions Component
                                             B. Assignment of the LFI Component Ratings                material change to its business model or                Rating
                                                Each LFI component rating is assigned                  financial profile, or its practices or
                                             along a four-level scale:                                                                                            The Capital Planning and Positions
                                                                                                       capabilities.
                                                • Broadly Meets Expectations: A firm’s                                                                         component rating evaluates (i) the
                                                                                                          A firm’s failure to resolve the issues in a
                                             practices and capabilities broadly meet                                                                           effectiveness of a firm’s governance and
                                                                                                       timely manner that gave rise to a
                                                                                                                                                               planning processes used to determine the
                                             supervisory expectations, and the firm                    ‘‘Conditionally Meets Expectations’’ rating             amount of capital necessary to cover risks
                                             possesses sufficient financial and operational            would most likely result in its downgrade to            and exposures, and to support activities
                                             strength and resilience to maintain safe-and-             a ‘‘Deficient’’ rating.                                 through a range of conditions; and (ii) the
                                             sound operations through a range of                          A firm with a ‘‘Deficient-1’’ rating is              sufficiency of a firm’s capital positions to
                                             conditions. The firm may be subject to                    required to take timely corrective action to            comply with applicable regulatory
                                             identified supervisory issues requiring                   correct financial or operational deficiencies           requirements and to support the firm’s ability
                                             corrective action. These issues are unlikely to           and to restore and maintain its safety and              to continue to serve as a financial
                                             present a threat to the firm’s ability to                 soundness and compliance with laws and                  intermediary through a range of conditions.
                                             maintain safe-and-sound operations through                regulations, including those related to                    In developing this rating, the Federal
                                             a range of conditions.                                    consumer protection. There is a strong                  Reserve evaluates:
                                                • Conditionally Meets Expectations:                    presumption that a firm with a ‘‘Deficient-1’’             • Capital Planning: The extent to which a
                                             Certain, material financial or operational                rating will be subject to an informal or formal         firm maintains sound capital planning
                                             weaknesses in a firm’s practices or                       enforcement action, and this rating                     practices through effective governance and
                                             capabilities may place the firm’s prospects               assignment could be a barrier for a firm                oversight; effective risk management and
                                             for remaining safe and sound through a range              seeking Federal Reserve approval to engage              controls; maintenance of updated capital
                                             of conditions at risk if not resolved in a                in new or expansionary activities.                      policies and contingency plans for
                                             timely manner during the normal course of                    • Deficient-2: Financial or operational              addressing potential shortfalls; and
                                             business.                                                 deficiencies in a firm’s practices or                   incorporation of appropriately stressful
                                                The Federal Reserve does not intend for a              capabilities present a threat to the firm’s             conditions into capital planning and
                                             firm to be assigned a ‘‘Conditionally Meets               safety and soundness, or have already put the           projections of capital positions; and
                                             Expectations’’ rating for a prolonged period,             firm in an unsafe and unsound condition.                   • Capital Positions: The extent to which a
                                             and will work with the firm to develop an                    A firm with a ‘‘Deficient-2’’ rating is              firm’s capital is sufficient to comply with
                                             appropriate timeframe to fully resolve the                required to immediately implement                       regulatory requirements, and to support its
                                             issues leading to the rating assignment and               comprehensive corrective measures, and                  ability to meet its obligations to depositors,
                                             merit upgrade to a ‘‘Broadly Meets                        demonstrate the sufficiency of contingency              creditors, and other counterparties and
                                             Expectations’’ rating.                                    planning in the event of further deterioration.         continue to serve as a financial intermediary
                                                A firm is assigned a ‘‘Conditionally Meets             There is a strong presumption that a firm               through a range of conditions.
                                             Expectations’’ rating—as opposed to a                     with a ‘‘Deficient-2’’ rating will be subject to        Definitions for the Capital Planning and
                                             ‘‘Deficient’’ rating—when it has the ability to           a formal enforcement action, and the Federal            Positions Component Rating
                                             resolve these issues through measures that do             Reserve would be unlikely to approve any
                                             not require a material change to the firm’s               proposal from a firm with this rating to                Broadly Meets Expectations
                                             business model or financial profile, or its               engage in new or expansionary activities.                  A firm’s capital planning and positions
                                             governance, risk management or internal                      The Federal Reserve will take into account           broadly meet supervisory expectations and
                                             control structures or practices. Failure to               a number of individual elements of a firm’s             support maintenance of safe-and-sound
                                             resolve the issues in a timely manner would               practices, capabilities and performance when            operations. Specifically:
                                             most likely result in the firm’s downgrade to             making each component rating assignment.                   • The firm is capable of producing sound
                                             a ‘‘Deficient’’ rating, since the inability to            The weighting of an individual element in               assessments of capital adequacy through a
                                             resolve the issues would indicate that the                assigning a component rating will depend on             range of conditions; and
                                             firm does not possess sufficient financial or             its impact on the firm’s safety, soundness and             • The firm’s current and projected capital
                                             operational capabilities to maintain its safety           resilience as provided for in the LFI rating            positions comply with regulatory
                                             and soundness through a range of conditions.              system definitions. For example, for purposes           requirements, and support its ability to
                                                It is recognized that completion and                   of the Governance and Controls rating, a                absorb current and potential losses, to meet
                                             validation of remediation activities for select           limited number of significant deficiencies—             obligations, and to continue to serve as a
                                             supervisory issues—such as those involving                or even just one significant deficiency—                financial intermediary through a range of
                                             information technology modifications—may                  noted for management of a single material               conditions.
                                             require an extended time horizon. In all                  business line could be viewed as sufficiently              A firm rated ‘‘Broadly Meets Expectations’’
                                             instances, appropriate and effective risk                 important to warrant a ‘‘Deficient-1’’ for the          may be subject to identified supervisory
                                             mitigation techniques must be utilized in the             Governance and Controls component rating,               issues requiring corrective action. However,
                                             interim to maintain safe-and-sound                        even if the firm meets supervisory                      these issues are unlikely to present a threat
                                             operations under a range of conditions until              expectations under the Governance and                   to the firm’s ability to maintain safe-and-
                                                                                                       Controls component in all other respects.               sound operations through a range of
                                             Inc.; (4) Goldman Sachs Group, Inc.; (5) JP Morgan           Under the LFI rating system, a firm must             potentially stressful conditions.
                                             Chase & Co.; (6) Morgan Stanley; (7) State Street         be rated ‘‘Broadly Meets Expectations’’ or
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                                             Corporation; and (8) Wells Fargo & Company. In            ‘‘Conditionally Meets Expectations’’ for each           225.23, 225.85, and 225.86; 12 CFR 211.9(b),
                                             this guidance, these eight firms may collectively be      of the three component ratings (Capital,                211.10(a)(14), and 211.34; and 12 CFR 223.41.
                                             referred to as ‘‘domestic LISCC firms.’’                                                                            9 There may be instances where deficiencies or
                                               7 ‘‘Risk appetite’’ is defined as the aggregate level
                                                                                                       Liquidity, Governance and Controls) to be
                                                                                                                                                               supervisory issues may be relevant to the Federal
                                                                                                       considered ‘‘well managed’’ in accordance
                                             and types of risk the board and senior management                                                                 Reserve’s assessment of more than one component
                                             are willing to assume to achieve the firm’s strategic     with various statutes and regulations.8 A               area. As such, the LFI rating will reflect these
                                             business objectives, consistent with applicable                                                                   deficiencies or issues within multiple rating
                                             capital, liquidity, and other requirements and              8 12 U.S.C. 1841 et seq. and 12 U.S.C. 1461 et seq.   components when necessary to provide a
                                             constraints.                                              See, e.g., 12 CFR 225.4(b)(6), 225.14, 225.22(a),       comprehensive supervisory assessment.



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                                             58736        Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations

                                                A firm that does not meet the capital                rating. A firm previously rated ‘‘Deficient-1’’       new or expansionary activities, unless the
                                             planning and position expectations                      may be upgraded to ‘‘Conditionally Meets              firm can demonstrate that (i) it is making
                                             associated with a ‘‘Broadly Meets                       Expectations’’ if the firm’s remediation and          meaningful, sustained progress in resolving
                                             Expectations’’ rating will be rated                     mitigation activities are sufficiently advanced       identified deficiencies and issues; (ii) the
                                             ‘‘Conditionally Meets Expectations,’’                   so that the firm’s prospects for remaining safe       proposed new or expansionary activities
                                             ‘‘Deficient-1,’’ or ‘‘Deficient-2,’’ and subject        and sound are no longer at significant risk,          would not present a risk of exacerbating
                                             to potential consequences as outlined below.            even if the firm has outstanding supervisory          current deficiencies or issues or lead to new
                                             Conditionally Meets Expectations                        issues or is subject to an active enforcement         concerns; and (iii) the proposed activities
                                                                                                     action.                                               would not distract the firm from remediating
                                                Certain, material financial or operational                                                                 current deficiencies or issues.
                                             weaknesses in a firm’s capital planning or              Deficient-1
                                                                                                        Financial or operational deficiencies in a         Deficient-2
                                             positions may place the firm’s prospects for
                                             remaining safe and sound through a range of             firm’s capital planning or positions put the             Financial or operational deficiencies in a
                                             conditions at risk if not resolved in a timely          firm’s prospects for remaining safe and sound         firm’s capital planning or positions present a
                                             manner during the normal course of                      through a range of conditions at significant          threat to the firm’s safety and soundness, or
                                             business.                                               risk. The firm is unable to remediate these           have already put the firm in an unsafe and
                                                Specifically, if left unresolved, these              deficiencies in the normal course of business,        unsound condition.
                                             weaknesses:                                             and remediation would typically require a                Specifically, as a result of these
                                                • May threaten the firm’s ability to                 material change to the firm’s business model          deficiencies:
                                             produce sound assessments of capital                    or financial profile, or its capital planning            • The firm’s capital planning processes are
                                             adequacy through a range of conditions; and/            practices.                                            insufficient to effectively assess the firm’s
                                             or                                                         Specifically, although the firm’s current          capital adequacy through a range of
                                                • May result in the firm’s projected capital         condition is not considered to be materially          conditions; and/or
                                             positions being insufficient to absorb                  threatened:                                              • The firm’s current or projected capital
                                             potential losses, comply with regulatory                   • Deficiencies in the firm’s capital               positions are insufficient to absorb current or
                                             requirements, and support the firm’s ability            planning processes are not effectively                potential losses, and to support the firm’s
                                             to meet current and prospective obligations             mitigated. These deficiencies limit the firm’s        ability to meet current and prospective
                                             and to continue to serve as a financial                 ability to effectively assess capital adequacy        obligations and serve as a financial
                                             intermediary through a range of conditions.             through a range of conditions; and/or                 intermediary through a range of conditions.
                                                The Federal Reserve does not intend for a               • The firm’s projected capital positions              To address these deficiencies, the firm is
                                             firm to be rated ‘‘Conditionally Meets                  may be insufficient to absorb potential losses        required to immediately (i) implement
                                             Expectations’’ for a prolonged period. The              and to support its ability to meet current and        comprehensive corrective measures sufficient
                                             firm has the ability to resolve these issues            prospective obligations and serve as a                to restore and maintain appropriate capital
                                             through measures that do not require a                  financial intermediary through a range of             planning capabilities and adequate capital
                                             material change to the firm’s business model            conditions.                                           positions; and (ii) demonstrate the
                                             or financial profile, or its governance, risk              Supervisory issues that place the firm’s           sufficiency, credibility and readiness of
                                             management, or internal control structures or           safety and soundness at significant risk, and         contingency planning in the event of further
                                             practices. The Federal Reserve will work                where resolution is likely to require steps           deterioration of the firm’s financial or
                                             with the firm to develop an appropriate                 that clearly go beyond the normal course of           operational strength or resiliency. There is a
                                             timeframe during which the firm would be                business—such as issues requiring a material          strong presumption that a firm rated
                                             required to resolve each supervisory issue              change to the firm’s business model or                ‘‘Deficient-2’’ will be subject to a formal
                                             leading to the ‘‘Conditionally Meets                    financial profile, or its governance, risk            enforcement action by the Federal Reserve.
                                                                                                     management or internal control structures or             A firm rated ‘‘Deficient-2’’ for any rating
                                             Expectations’’ rating.
                                                                                                     practices—would generally warrant                     component would not be considered ‘‘well
                                                The Federal Reserve will closely monitor
                                                                                                     assignment of a ‘‘Deficient-1’’ rating.               managed,’’ which would subject the firm to
                                             the firm’s remediation and mitigation
                                                                                                                                                           various consequences. The Federal Reserve
                                             activities; in most instances, the firm will               A ‘‘Deficient-1’’ rating may be assigned to
                                                                                                                                                           would be unlikely to approve any proposal
                                             either:                                                 a firm regardless of its prior rating. A firm
                                                                                                                                                           from a firm rated ‘‘Deficient-2’’ to engage in
                                                (i) Resolve the issues in a timely manner            previously rated ‘‘Broadly Meets
                                                                                                                                                           new or expansionary activities.
                                             and, if no new material supervisory issues              Expectations’’ may be downgraded to
                                             arise, be upgraded to a ‘‘Broadly Meets                 ‘‘Deficient-1’’ when supervisory issues are           2. Liquidity Risk Management and Positions
                                             Expectations’’ rating because the firm’s                identified that place the firm’s prospects for        Component Rating
                                             capital planning practices and related                  maintaining safe-and-sound operations                    The Liquidity Risk Management and
                                             positions would broadly meet supervisory                through a range of potentially stressful              Positions component rating evaluates (i) the
                                             expectations; or                                        conditions at significant risk. A firm                effectiveness of a firm’s governance and risk
                                                (ii) Fail to resolve the issues in a timely          previously rated ‘‘Conditionally Meets                management processes used to determine the
                                             manner and be downgraded to a ‘‘Deficient-              Expectations’’ may be downgraded to                   amount of liquidity necessary to cover risks
                                             1’’ rating, because the inability to resolve the        ‘‘Deficient-1’’ when the firm’s inability to          and exposures, and to support activities
                                             issues would indicate that the firm does not            resolve supervisory issues in a timely manner         through a range of conditions; and (ii) the
                                             possess sufficient financial or operational             indicates that the firm does not possess              sufficiency of a firm’s liquidity positions to
                                             capabilities to maintain its safety and                 sufficient financial or operational capabilities      comply with applicable regulatory
                                             soundness through a range of conditions.                to maintain its safety and soundness through          requirements and to support the firm’s
                                                It is possible that a firm may be close to           a range of conditions.                                ongoing obligations through a range of
                                             completing resolution of the supervisory                   To address these financial or operational          conditions.
                                             issues leading to the ‘‘Conditionally Meets             deficiencies, the firm is required to take               In developing this rating, the Federal
                                             Expectations’’ rating, but new issues are               timely corrective action to restore and               Reserve evaluates:
                                             identified that, taken alone, would be                  maintain its capital planning and positions              • Liquidity Risk Management: The extent
                                             consistent with a ‘‘Conditionally Meets                 consistent with supervisory expectations.             to which a firm maintains sound liquidity
                                             Expectations’’ rating. In this event, the firm          There is a strong presumption that a firm             risk management practices through effective
                                             may continue to be rated ‘‘Conditionally                rated ‘‘Deficient-1’’ will be subject to an           governance and oversight; effective risk
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                                             Meets Expectations,’’ provided the new                  informal or formal enforcement action by the          management and controls; maintenance of
                                             issues do not reflect a pattern of deeper or            Federal Reserve.                                      updated liquidity policies and contingency
                                             prolonged capital planning or position                     A firm rated ‘‘Deficient-1’’ for any rating        plans for addressing potential shortfalls; and
                                             weaknesses consistent with a ‘‘Deficient’’              component would not be considered ‘‘well              incorporation of appropriately stressful
                                             rating.                                                 managed,’’ which would subject the firm to            conditions into liquidity planning and
                                                A ‘‘Conditionally Meets Expectations’’               various consequences. A ‘‘Deficient-1’’ rating        projections of liquidity positions; and
                                             rating may be assigned to a firm that meets             could be a barrier for a firm seeking Federal            • Liquidity Positions: The extent to which
                                             the above definition regardless of its prior            Reserve approval of a proposal to engage in           a firm’s liquidity is sufficient to comply with



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                                                          Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations                                               58737

                                             regulatory requirements, and to support its                (i) Resolve the issues in a timely manner          previously rated ‘‘Broadly Meets
                                             ability to meet current and prospective                 and, if no new material supervisory issues            Expectations’’ may be downgraded to
                                             obligations to depositors, creditors and other          arise, and be upgraded to a ‘‘Broadly Meets           ‘‘Deficient-1’’ when supervisory issues are
                                             counterparties through a range of conditions.           Expectations’’ rating because the firm’s              identified that place the firm’s prospects for
                                             Definitions for the Liquidity Risk                      liquidity risk management practices and               maintaining safe-and-sound operations
                                             Management and Positions Component                      related positions would broadly meet                  through a range of potentially stressful
                                             Rating                                                  supervisory expectations; or                          conditions at significant risk. A firm
                                                                                                        (ii) Fail to resolve the issues in a timely        previously rated ‘‘Conditionally Meets
                                             Broadly Meets Expectations                              manner and be downgraded to a ‘‘Deficient-            Expectations’’ may be downgraded to
                                                A firm’s liquidity risk management and               1’’ rating, because the firm’s inability to           ‘‘Deficient-1’’ when the firm’s inability to
                                             positions broadly meet supervisory                      resolve those issues would indicate that the          resolve supervisory issues in a timely manner
                                             expectations and support maintenance of                 firm does not possess sufficient financial or         indicates that the firm does not possess
                                             safe-and-sound operations. Specifically:                operational capabilities to maintain its safety       sufficient financial or operational capabilities
                                                • The firm is capable of producing sound             and soundness through a range of conditions.          to maintain its safety and soundness through
                                             assessments of liquidity adequacy through a                It is possible that a firm may be close to         a range of conditions.
                                             range of conditions; and                                completing resolution of the supervisory                 To address these financial or operational
                                                • The firm’s current and projected                   issues leading to the ‘‘Conditionally Meets           deficiencies, the firm is required to take
                                             liquidity positions comply with regulatory              Expectations’’ rating, but new issues are             timely corrective action to restore and
                                             requirements, and support its ability to meet           identified that, taken alone, would be                maintain its liquidity risk management and
                                             current and prospective obligations and to              consistent with a ‘‘Conditionally Meets               positions consistent with supervisory
                                             continue to serve as a financial intermediary           Expectations’’ rating. In this event, the firm        expectations. There is a strong presumption
                                             through a range of conditions.                          may continue to be rated ‘‘Conditionally              that a firm rated ‘‘Deficient-1’’ will be subject
                                                A firm rated ‘‘Broadly Meets Expectations’’          Meets Expectations,’’ provided the new                to an informal or formal enforcement action
                                             may be subject to identified supervisory                issues do not reflect a pattern of deeper or          by the Federal Reserve.
                                             issues requiring corrective action. However,            prolonged capital planning or position                   A firm rated ‘‘Deficient-1’’ for any rating
                                                                                                     weaknesses consistent with a ‘‘Deficient’’            component would not be considered ‘‘well
                                             these issues are unlikely to present a threat
                                                                                                     rating.                                               managed,’’ which would subject the firm to
                                             to the firm’s ability to maintain safe-and-
                                                                                                        A ‘‘Conditionally Meets Expectations’’             various consequences. A ‘‘Deficient-1’’ rating
                                             sound operations through a range of
                                                                                                     rating may be assigned to a firm that meets
                                             potentially stressful conditions.                                                                             could be a barrier for a firm seeking Federal
                                                                                                     the above definition regardless of its prior
                                                A firm that does not meet the liquidity risk                                                               Reserve approval of a proposal to engage in
                                                                                                     rating. A firm previously rated ‘‘Deficient-1’’
                                             management and position expectations                                                                          new or expansionary activities, unless the
                                                                                                     may be upgraded to ‘‘Conditionally Meets
                                             associated with a ‘‘Broadly Meets                                                                             firm can demonstrate that (i) it is making
                                                                                                     Expectations’’ if the firm’s remediation and
                                             Expectations’’ rating will be rated                                                                           meaningful, sustained progress in resolving
                                                                                                     mitigation activities are sufficiently advanced
                                             ‘‘Conditionally Meets Expectations,’’                                                                         identified deficiencies and issues; (ii) the
                                                                                                     so that the firm’s prospects for remaining safe
                                             ‘‘Deficient-1,’’ or ‘‘Deficient-2,’’ and subject                                                              proposed new or expansionary activities
                                                                                                     and sound are no longer at significant risk,
                                             to potential consequences as outlined below.                                                                  would not present a risk of exacerbating
                                                                                                     even if the firm has outstanding supervisory
                                             Conditionally Meets Expectations                        issues or is subject to an active enforcement         current deficiencies or issues or lead to new
                                                                                                     action.                                               concerns; and (iii) the proposed activities
                                                Certain, material financial or operational                                                                 would not distract the firm from remediating
                                             weaknesses in a firm’s liquidity risk                   Deficient-1                                           current deficiencies or issues.
                                             management or positions may place the                      Financial or operational deficiencies in a
                                             firm’s prospects for remaining safe and sound                                                                 Deficient-2
                                                                                                     firm’s liquidity risk management or positions
                                             through a range of conditions at risk if not            put the firm’s prospects for remaining safe              Financial or operational deficiencies in a
                                             resolved in a timely manner during the                  and sound through a range of conditions at            firm’s liquidity risk management or positions
                                             normal course of business.                              significant risk. The firm is unable to               present a threat to the firm’s safety and
                                                Specifically, if left unresolved, these              remediate these deficiencies in the normal            soundness, or have already put the firm in an
                                             weaknesses:                                             course of business, and remediation would             unsafe and unsound condition.
                                                • May threaten the firm’s ability to                 typically require a material change to the               Specifically, as a result of these
                                             produce sound assessments of liquidity                  firm’s business model or financial profile, or        deficiencies:
                                             adequacy through a range of conditions; and/            its liquidity risk management practices.                 • The firm’s liquidity risk management
                                             or                                                         Specifically, although the firm’s current          processes are insufficient to effectively assess
                                                • May result in the firm’s projected                 condition is not considered to be materially          the firm’s liquidity adequacy through a range
                                             liquidity positions being insufficient to               threatened:                                           of conditions; and/or
                                             comply with regulatory requirements, and                   • Deficiencies in the firm’s liquidity risk           • The firm’s current or projected liquidity
                                             support its ability to meet current and                 management processes are not effectively              positions are insufficient to support the
                                             prospective obligations and to continue to              mitigated. These deficiencies limit the firm’s        firm’s ability to meet current and prospective
                                             serve as a financial intermediary through a             ability to effectively assess liquidity               obligations and serve as a financial
                                             range of conditions.                                    adequacy through a range of conditions; and/          intermediary through a range of conditions.
                                                The Federal Reserve does not intend for a            or                                                       To address these deficiencies, the firm is
                                             firm to be rated ‘‘Conditionally Meets                     • The firm’s projected liquidity positions         required to immediately (i) implement
                                             Expectations’’ for a prolonged period. The              may be insufficient to support its ability to         comprehensive corrective measures sufficient
                                             firm has the ability to resolve these issues            meet prospective obligations and serve as a           to restore and maintain appropriate liquidity
                                             through measures that do not require a                  financial intermediary through a range of             risk management capabilities and adequate
                                             material change to the firm’s business model            conditions.                                           liquidity positions; and (ii) demonstrate the
                                             or financial profile, or its governance, risk              Supervisory issues that place the firm’s           sufficiency, credibility and readiness of
                                             management or internal control structures or            safety and soundness at significant risk, and         contingency planning in the event of further
                                             practices. The Federal Reserve will work                where resolution is likely to require steps           deterioration of the firm’s financial or
                                             with the firm to develop an appropriate                 that clearly go beyond the normal course of           operational strength or resiliency. There is a
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                                             timeframe during which the firm would be                business—such as issues requiring a material          strong presumption that a firm rated
                                             required to resolve each supervisory issue              change to the firm’s business model or                ‘‘Deficient-2’’ will be subject to a formal
                                             leading to the ‘‘Conditionally Meets                    financial profile, or its governance, risk            enforcement action by the Federal Reserve.
                                             Expectations’’ rating.                                  management or internal control structures or             A firm rated ‘‘Deficient-2’’ for any rating
                                                The Federal Reserve will closely monitor             practices—would generally warrant                     component would not be considered ‘‘well
                                             the firm’s remediation and mitigation                   assignment of a ‘‘Deficient-1’’ rating.               managed,’’ which would subject the firm to
                                             activities; in most instances, the firm will               A ‘‘Deficient-1’’ rating may be assigned to        various consequences. The Federal Reserve
                                             either:                                                 a firm regardless of its prior rating. A firm         would be unlikely to approve any proposal



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                                             58738        Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations

                                             from a firm rated ‘‘Deficient-2’’ to engage in          planning processes effectively identify                  The Federal Reserve will closely monitor
                                             new or expansionary activities.                         options that provide a reasonable chance of           the firm’s remediation and mitigation
                                             3. Governance and Controls Component                    a firm being able to remedy financial                 activities; in most instances, the firm will
                                             Rating                                                  weakness and restore market confidence                either:
                                                                                                     without extraordinary official sector support.           (i) Resolve the issues in a timely manner
                                                The Governance and Controls component                                                                      and, if no new material supervisory issues
                                             rating evaluates the effectiveness of a firm’s          Definitions for the Governance and Controls
                                                                                                     Component Rating                                      arise, and be upgraded to a ‘‘Broadly Meets
                                             (i) board of directors, (ii) management of                                                                    Expectations’’ rating because the firm’s
                                             business lines and independent risk                     Broadly Meets Expectations                            governance and controls would broadly meet
                                             management and controls, and (iii) recovery                                                                   supervisory expectations; or
                                                                                                        A firm’s governance and controls broadly
                                             planning (for domestic LISCC firms only).                                                                        (ii) Fail to resolve the issues in a timely
                                                                                                     meet supervisory expectations and support
                                             This rating assesses a firm’s effectiveness in                                                                manner and be downgraded to a ‘‘Deficient-
                                                                                                     maintenance of safe-and-sound operations.
                                             aligning strategic business objectives with the                                                               1’’ rating, because the firm’s inability to
                                                                                                        Specifically, the firm’s practices and
                                             firm’s risk appetite and risk management                                                                      resolve those issues would indicate that the
                                                                                                     capabilities are sufficient to align strategic
                                             capabilities; maintaining effective and                                                                       firm does not possess sufficient financial or
                                                                                                     business objectives with its risk appetite and
                                             independent risk management and control                                                                       operational capabilities to maintain its safety
                                                                                                     risk management capabilities,10 maintain
                                             functions, including internal audit;                                                                          and soundness through a range of conditions.
                                                                                                     effective and independent risk management
                                             promoting compliance with laws and                                                                               It is possible that a firm may be close to
                                                                                                     and control functions, including internal
                                             regulations, including those related to                                                                       completing resolution of the supervisory
                                                                                                     audit; promote compliance with laws and
                                             consumer protection; and otherwise                      regulations (including those related to               issues leading to the ‘‘Conditionally Meets
                                             providing for the ongoing resiliency of the             consumer protection); and otherwise provide           Expectations’’ rating, but new issues are
                                             firm.                                                   for the firm’s ongoing financial and                  identified that, taken alone, would be
                                                In developing this rating, the Federal               operational resiliency through a range of             consistent with a ‘‘Conditionally Meets
                                             Reserve evaluates:                                      conditions.                                           Expectations’’ rating. In this event, the firm
                                                • Effectiveness of the Board of Directors:              A firm rated ‘‘Broadly Meets Expectations’’        may continue to be rated ‘‘Conditionally
                                             The extent to which the board exhibits                  may be subject to identified supervisory              Meets Expectations,’’ provided the new
                                             attributes that are consistent with those of            issues requiring corrective action. However,          issues do not reflect a pattern of deeper or
                                             effective boards in carrying out its core roles         these issues are unlikely to present a threat         prolonged capital planning or position
                                             and responsibilities, including: (i) Setting a          to the firm’s ability to maintain safe-and-           weaknesses consistent with a ‘‘Deficient’’
                                             clear, aligned, and consistent direction                sound operations through a range of                   rating.
                                             regarding the firm’s strategy and risk                  potentially stressful conditions.                        A ‘‘Conditionally Meets Expectations’’
                                             appetite; (ii) directing senior management                 A firm that does not meet supervisory              rating may be assigned to a firm that meets
                                             regarding the board’s information; (iii)                expectations associated with a ‘‘Broadly              the above definition regardless of its prior
                                             overseeing and holding senior management                Meets Expectations’’ rating will be rated             rating. A firm previously rated ‘‘Deficient’’
                                             accountable, (iv) supporting the                        ‘‘Conditionally Meets Expectations,’’                 may be upgraded to ‘‘Conditionally Meets
                                             independence and stature of independent                 ‘‘Deficient-1,’’ or ‘‘Deficient-2,’’ and subject      Expectations’’ if the firm’s remediation and
                                             risk management and internal audit; and (v)             to potential consequences, as outlined below.         mitigation activities are sufficiently advanced
                                             maintaining a capable board composition and                                                                   so that the firm’s prospects for remaining safe
                                             governance structure.                                   Conditionally Meets Expectations
                                                                                                                                                           and sound are no longer at significant risk,
                                                • Management of Business Lines and                      Certain, material financial or operational         even if the firm has outstanding supervisory
                                             Independent Risk Management and Controls                weaknesses in a firm’s governance and                 issues or is subject to an active enforcement
                                                The extent to which:                                 controls practices may place the firm’s               action.
                                                Æ Senior management effectively and                  prospects for remaining safe and sound
                                             prudently manages the day-to-day operations                                                                   Deficient-1
                                                                                                     through a range of conditions at risk if not
                                             of the firm and provides for ongoing                    resolved in a timely manner during the                   Financial or operational deficiencies in a
                                             resiliency; implements the firm’s strategy and          normal course of business.                            firm’s governance and controls put the firm’s
                                             risk appetite; maintains an effective risk                 Specifically, if left unresolved, these            prospects for remaining safe and sound
                                             management framework and system of                      weaknesses may threaten the firm’s ability to         through a range of conditions at significant
                                             internal controls; and promotes prudent risk            align strategic business objectives with the          risk. The firm is unable to remediate these
                                             taking behaviors and business practices,                firm’s risk appetite and risk management              deficiencies in the normal course of business,
                                             including compliance with laws and                      capabilities; maintain effective and                  and remediation would typically require a
                                             regulations, including those related to                 independent risk management and control               material change to the firm’s business model
                                             consumer protection.                                    functions, including internal audit; promote          or financial profile, or its governance, risk
                                                Æ Business line management executes                  compliance with laws and regulations                  management or internal control structures or
                                             business line activities consistent with the            (including those related to consumer                  practices.
                                             firm’s strategy and risk appetite; identifies           protection); or otherwise provide for the                Specifically, although the firm’s current
                                             and manages risks; and ensures an effective             firm’s ongoing resiliency through a range of          condition is not considered to be materially
                                             system of internal controls for its operations.         conditions.                                           threatened, these deficiencies limit the firm’s
                                                Æ Independent risk management                           The Federal Reserve does not intend for a          ability to align strategic business objectives
                                             effectively evaluates whether the firm’s risk           firm to be rated ‘‘Conditionally Meets                with its risk appetite and risk management
                                             appetite appropriately captures material risks          Expectations’’ for a prolonged period. The            capabilities; maintain effective and
                                             and is consistent with the firm’s risk                  firm has the ability to resolve these issues          independent risk management and control
                                             management capacity; establishes and                    through measures that do not require a                functions, including internal audit; promote
                                             monitors risk limits that are consistent with           material change to the firm’s business model          compliance with laws and regulations
                                             the firm’s risk appetite; identifies and                or financial profile, or its governance, risk         (including those related to consumer
                                             measures the firm’s risks; and aggregates,              management or internal control structures or          protection); or otherwise provide for the
                                             assesses and reports on the firm’s risk profile         practices. The Federal Reserve will work              firm’s ongoing resiliency through a range of
                                             and positions. Additionally, the firm                   with the firm to develop an appropriate               conditions.
                                             demonstrates that its internal controls are             timeframe during which the firm would be                 A ‘‘Deficient-1’’ rating may be assigned to
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                                             appropriate and tested for effectiveness.               required to resolve each supervisory issue            a firm regardless of its prior rating. A firm
                                             Finally, internal audit effectively and                 leading to the ‘‘Conditionally Meets                  previously rated ‘‘Broadly Meets
                                             independently assesses the firm’s risk                  Expectations’’ rating.                                Expectations’’ may be downgraded to
                                             management framework and internal control                                                                     ‘‘Deficient-1’’ when supervisory issues are
                                             systems, and reports findings to senior                   10 References to risk management capabilities       identified that place the firm’s prospects for
                                             management and the firm’s audit committee.              includes risk management of business lines and        maintaining safe-and-sound operations
                                                • Recovery Planning (domestic LISCC                  independent risk management and control               through a range of potentially stressful
                                             firms only): The extent to which recovery               functions, including internal audit.                  conditions at significant risk. A firm



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                                                          Federal Register / Vol. 83, No. 225 / Wednesday, November 21, 2018 / Rules and Regulations                                       58739

                                             previously rated ‘‘Conditionally Meets                  DEPARTMENT OF TRANSPORTATION                             Privacy: The FAA will post all
                                             Expectations’’ may be downgraded to                                                                           comments it receives, without change,
                                             ‘‘Deficient-1’’ when the firm’s inability to            Federal Aviation Administration                       to http://www.regulations.gov/,
                                             resolve supervisory issues in a timely manner
                                                                                                                                                           including any personal information the
                                             indicates that the firm does not possess
                                                                                                     14 CFR Part 25                                        commenter provides. Using the search
                                             sufficient financial or operational capabilities
                                             to maintain its safety and soundness through            [Docket No. FAA–2018–0782; Special                    function of the docket website, anyone
                                             a range of conditions.                                  Conditions No. 25–736–SC]                             can find and read the electronic form of
                                                To address these financial or operational                                                                  all comments received into any FAA
                                             deficiencies, the firm is required to take              Special Conditions: Garmin                            docket, including the name of the
                                             timely corrective action to restore and                 International, Textron Aviation Inc.                  individual sending the comment (or
                                             maintain its governance and controls                    Model 560XL; Airplane Electronic-                     signing the comment for an association,
                                             consistent with supervisory expectations.
                                                                                                     System Security Protection From                       business, labor union, etc.). DOT’s
                                             There is a strong presumption that a firm
                                             rated ‘‘Deficient-1’’ will be subject to an             Unauthorized Internal Access                          complete Privacy Act Statement can be
                                             informal or formal enforcement action by the                                                                  found in the Federal Register published
                                                                                                     AGENCY:  Federal Aviation
                                             Federal Reserve.                                                                                              on April 11, 2000 (65 FR 19477–19478).
                                                                                                     Administration (FAA), DOT.
                                                A firm rated ‘‘Deficient-1’’ for any rating                                                                   Docket: Background documents or
                                             component would not be considered ‘‘well                ACTION: Final special conditions; request             comments received may be read at
                                             managed,’’ which would subject the firm to              for comments.                                         http://www.regulations.gov/ at any time.
                                             various consequences. A ‘‘Deficient-1’’ rating                                                                Follow the online instructions for
                                             could be a barrier for a firm seeking Federal           SUMMARY:    These special conditions are
                                                                                                     issued for the Textron Aviation Inc.                  accessing the docket or go to Docket
                                             Reserve approval of a proposal to engage in
                                             new or expansionary activities, unless the              (Textron) Model 560XL, formerly                       Operations in Room W12–140 of the
                                             firm can demonstrate that (i) it is making              known as, prior to July 29, 2015, the                 West Building Ground Floor at 1200
                                             meaningful, sustained progress in resolving             Cessna Model 560XL. This airplane, as                 New Jersey Avenue SE., Washington,
                                             identified deficiencies and issues; (ii) the            modified by Garmin International                      DC, between 9 a.m. and 5 p.m., Monday
                                             proposed new or expansionary activities                 (Garmin), will have a novel or unusual                through Friday, except Federal holidays.
                                             would not present a risk of exacerbating                design feature when compared to the                   FOR FURTHER INFORMATION CONTACT:
                                             current deficiencies or issues or lead to new
                                                                                                     state of technology envisioned in the                 Varun Khanna, Airplane and Flightcrew
                                             concerns; and (iii) the proposed activities
                                             would not distract the firm from remediating            airworthiness standards for transport                 Interface Section, AIR–671, Transport
                                             current deficiencies or issues.                         category airplanes. This design feature               Standards Branch, Policy and
                                                                                                     is Garmin G5000 avionics that allow                   Innovation Division, Aircraft
                                             Deficient-2
                                                                                                     internal connection to previously                     Certification Service, Federal Aviation
                                                Financial or operational deficiencies in             isolated data networks, which are                     Administration, 2200 South 216th
                                             governance or controls present a threat to the
                                                                                                     connected to systems that perform                     Street, Des Moines, Washington 98198;
                                             firm’s safety and soundness, or have already
                                             put the firm in an unsafe and unsound                   functions required for the safe operation             telephone and fax 206–231–3159; email
                                             condition. Specifically, as a result of these           of the airplane. The applicable                       varun.khanna@faa.gov.
                                             deficiencies, the firm is unable to align               airworthiness regulations do not contain              SUPPLEMENTARY INFORMATION: The
                                             strategic business objectives with its risk             adequate or appropriate safety standards              substance of these special conditions
                                             appetite and risk management capabilities;              for this design feature. These special                has been published in the Federal
                                             maintain effective and independent risk                 conditions contain the additional safety              Register for public comment in several
                                             management and control functions, including             standards that the Administrator                      prior instances with no substantive
                                             internal audit; promote compliance with                 considers necessary to establish a level
                                             laws and regulations (including those related                                                                 comments received. The FAA therefore
                                             to consumer protection); or otherwise
                                                                                                     of safety equivalent to that established              finds it unnecessary to delay the
                                             provide for the firm’s ongoing resiliency.              by the existing airworthiness standards.              effective date and finds that good cause
                                                To address these deficiencies, the firm is           DATES: This action is effective on                    exists for making these special
                                             required to immediately (i) implement                   Garmin on November 21, 2018. Send                     conditions effective upon publication in
                                             comprehensive corrective measures sufficient            comments on or before January 7, 2019.                the Federal Register.
                                             to restore and maintain appropriate                     ADDRESSES: Send comments identified
                                             governance and control capabilities; and (ii)                                                                 Comments Invited
                                                                                                     by docket no. FAA–2018–0782 using
                                             demonstrate the sufficiency, credibility, and                                                                   We invite interested people to take
                                             readiness of contingency planning in the                any of the following methods:
                                             event of further deterioration of the firm’s               • Federal eRegulations Portal: Go to               part in this rulemaking by sending
                                             financial or operational strength or                    http://www.regulations.gov/ and follow                written comments, data, or views. The
                                             resiliency. There is a strong presumption that          the online instructions for sending your              most helpful comments reference a
                                             a firm rated ‘‘Deficient-2’’ will be subject to         comments electronically.                              specific portion of the special
                                             a formal enforcement action by the Federal                 • Mail: Send comments to Docket                    conditions, explain the reason for any
                                             Reserve.                                                Operations, M–30, U.S. Department of                  recommended change, and include
                                                A firm rated ‘‘Deficient-2’’ for any rating          Transportation (DOT), 1200 New Jersey                 supporting data.
                                             component would not be considered ‘‘well                Avenue SE, Room W12–140, West                           We will consider all comments we
                                             managed,’’ which would subject the firm to              Building Ground Floor, Washington, DC                 receive by the closing date for
                                             various consequences. The Federal Reserve
                                                                                                     20590–0001.                                           comments. We may change these special
                                             would be unlikely to approve any proposal
                                             from a firm rated ‘‘Deficient-2’’ to engage in
                                                                                                        • Hand Delivery or Courier: Take                   conditions based on the comments we
                                             new or expansionary activities.                         comments to Docket Operations in                      receive.
khammond on DSK30JT082PROD with RULES




                                                By order of the Board of Governors of the
                                                                                                     Room W12–140 of the West Building
                                                                                                                                                           Background
                                             Federal Reserve System, November 2, 2018.               Ground Floor at 1200 New Jersey
                                                                                                     Avenue SE, Washington, DC, between 9                    On March 21, 2017, Garmin applied
                                             Ann Misback,
                                                                                                     a.m. and 5 p.m., Monday through                       for a supplemental type certificate to
                                             Secretary of the Board.
                                                                                                     Friday, except Federal holidays.                      install Garmin G5000 avionics
                                             [FR Doc. 2018–25350 Filed 11–19–18; 11:15 am]              • Fax: Fax comments to Docket                      connected to the aircraft-control domain
                                             BILLING CODE P                                          Operations at 202–493–2251.                           and airline information-services domain


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Document Created: 2018-11-21 03:11:16
Document Modified: 2018-11-21 03:11:16
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThe final rule is effective on February 1, 2019.
ContactRichard Naylor, Associate Director, (202) 728-5854, Molly Mahar, Associate Director, (202) 973-7360, Vaishali Sack, Assistant Director, (202) 452-5221, Christine Graham, Manager, (202) 452-3005, Division of Supervision and Regulation; Laurie Schaffer, Associate General Counsel, (202) 452-2272, Benjamin W. McDonough, Assistant General Counsel, (202) 452-2036, Scott Tkacz, Senior Counsel, (202) 452-2744, Keisha Patrick, Senior Counsel, (202) 452-3559, or Christopher Callanan, Counsel, (202) 452-3594, Legal Division, Board of Governors of the Federal Reserve System, 20th and C Streets NW, Washington, DC 20551. Telecommunications Device for the Deaf (TDD) users may contact (202) 263-4869.
FR Citation83 FR 58724 
RIN Number7100-AE82
CFR Citation12 CFR 211
12 CFR 238
CFR AssociatedExports; Federal Reserve System; Foreign Banking; Holding Companies; Investments; Reporting and Recordkeeping Requirements; Administrative Practice and Procedure; Banks and Banking

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