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Regulation and supervision: Agencies preview forthcoming priorities

Key upcoming areas of focus

September 2022

As the 2023 regulatory and supervisory agenda takes shape (and the fall conference season ensues), speeches from the banking and financial service regulators serve as a key indicator for regulatory priorities and focus. Collectively, their remarks indicate a focus on certain key areas, including:

  • Digitalization
  • Crypto assets
  • Climate-related risks
  • Merger activities
  • Fairness/financial access/inclusion

Key points raised by officials from the FRB, OCC, SEC, and Treasury are outlined below.

1

Federal Reserve Board (FRB)

Newly sworn-in Vice Chair for Supervision Michael Barr outlined 鈥渘ear-term goals鈥� in a recent聽speech聽that he said aimed to make the financial system 鈥渟afer and fairer.鈥� These goals and priorities include:

  • Examining聽capital聽tools and their support of resiliency in the financial system. Taking an 鈥渉olistic approach,鈥� the FRB will:
    • Consider potential adjustments to the supplementary leverage ratio, countercyclical capital buffer, and stress testing聽
    • Implement enhanced regulatory capital requirements that align with the 鈥渇inal set of 鈥楤asel III鈥� standards鈥� (FRB, OCC, and FDIC each聽reaffirmed聽their commitment to Basel III and expect to jointly publish proposed new capital standards for large banking organizations later this year).
  • 鈥淩igorously reviewing,鈥� alongside the FDIC, firms鈥櫬爎esolution plans聽or聽living wills, including clarifying expectations and pursuing remediation when necessary. The agencies will also look at the resolvability of large non-GSIB institutions 鈥渁s they grow and as their significance in the financial system increases.鈥�
  • Improving聽bank merger analysis, including consideration of advantages to be gained weighed against the risks posed to competition, financial stability, and consumers and communities.
  • Bringing聽stablecoins聽within the prudential regulatory perimeter, through legislation. Further, expecting banks engaging in crypto-related activities to manage their associated novel risks and ensure compliance with all relevant laws and guidance, including those related to money laundering.
  • Providing聽climate change-related guidance to large institutions in conjunction with OCC and FDIC covering identification, measurement, monitoring, and management of the financial risks of climate change. FRB will launch a pilot micro-prudential scenario analysis exercise in 2023 to assess the long-term climate risks facing large banks.
  • Focusing on聽fairness聽across聽financial capability,聽financial access聽(or inclusion), and聽consumer protection聽and聽鈥渂asing policy on a deeper understanding of human decision-making, and the contexts in which households and businesses make those choices."

2

Office of the Comptroller of the Currency (OCC)

Acting Comptroller Hsu provided updates and elaborated on what the OCC sees as key long-term threats to trust in banking, including digitalization, climate-related risks, inequality, and complacency. For each of these threats, the OCC鈥檚聽, include:

  • Adapting to Digitalization
    • Taking a 鈥渃areful and cautious鈥� approach to crypto-related activities, including requiring banks to obtain supervisory non-objection before engaging in certain crypto-related activities (FRB and FDIC has similar requirements).聽
    • Subdividing bank-fintech arrangements into cohorts with similar safety and soundness risk profiles and attributes to clarify focus on risks and risk management expectations.聽
    • Understanding how bank and fintech business models are reconciled in partnerships and the impacts to consumers, competition, compliance, and the overall industry.聽
    • Incorporating digitalization into the agency鈥檚 five-year strategic plan.
  • Managing Climate-related Risks
    • Determining next steps, in coordination with the FRB and FDIC, regarding聽principles聽for climate-related financial risk management for large banks; imperatives include: 1) coordinating and harmonizing across jurisdictions (OCC believes convergence among domestic and international regulators is achievable in the near- to medium-term), and 2) operationalizing scenario analyses and prioritizing diverse approaches to such efforts over 鈥渙ne-size-fits-all鈥� stress tests.
    • Engaging with state trade associations and community banks regarding supervisory and regulatory actions related to climate-related risk management.聽
    • Establishing a new Office of Climate Risk with direct reporting responsibility to the Acting Comptroller.
  • Addressing Inequality
    • Working with FRB and FDIC to move forward on the CRA proposal.聽
    • Encouraging banks to reform overdraft programs.聽
    • Focusing on compliance with fair lending laws.聽
    • Reducing structural barriers to financial inclusion, including through multiple workstreams under the Project REACh initiative: 1) affordable homeownership, 2) inclusion for 鈥渃redit invisibles鈥�, 3) revitalization of minority depository institutions, and 4) access to capital for small and minority-owned businesses.
  • Guarding against Complacency
    • Recommending boards and senior management focus on both novel, complex, long-term risks, as well as basic, shorter-term risks, such as those associated with the current rate outlook and mixed market signals impacting credit risk.聽
    • Engaging with FRB, FDIC, and DOJ on review of the bank merger framework, with particular focus on merger impacts to communities, concentration risks, potential for firms to become 鈥渢oo big to manage,鈥� and financial stability concerns.

3

Securities and Exchange Commission (SEC)
SEC Chair Gensler provided聽remarks聽on crypto tokens and intermediaries:
  • SEC is working directly with crypto 鈥渆ntrepreneurs鈥� to register and regulate crypto tokens as securities, as appropriate. SEC suggests most tokens in the crypto market, including stablecoins, likely meet the definition of聽鈥渟ecurities鈥澛爑nder the Howey test, which requires registration and regulation by the SEC, as well as disclosures to investors.
  • Flexibility, such as 鈥渢ailoring,鈥� in the application of existing disclosure requirements may be warranted.
  • Intermediaries, whether centralized or 鈥渄ecentralized鈥� (DeFi), must register with the SEC if they provide crypto-related services such as exchange, broker-dealer, custodial and clearing, and/or lending functions; registration could result in entities needing to disaggregate some of these functions to mitigate conflicts of interest and enhance investor protections.
  • To the extent CFTC needs greater authorities to oversee and regulate聽crypto 鈥渘on-security鈥� tokens聽and related intermediaries, 鈥淪EC will work with Congress to achieve that goal consistent with maintaining the regulation of crypto security tokens and related intermediaries at the SEC.鈥� Certain crypto intermediaries may require dual registration.

4

Treasury

Assistant Secretary for Terrorist Financing and Financial Crimes Elizabeth Rosenberg provided聽remarks聽on Treasury鈥檚 three areas of work related to countering corruption:

  • Analyzing the risks聽associated with corruption.聽Treasury鈥檚 2022聽Money Laundering Risk Assessment聽outlined persistent themes of corruption and their impacts on the financial system, including fraud, embezzlement, bribery, extortion, and others
  • Employing the right聽regulatory framework聽to counter corruption in our financial system.聽Efforts include establishing forthcoming rules around beneficial ownership and disclosures for large, all-cash residential real estate purchases as well as work, through the FATF, to strengthen global beneficial ownership standards.
  • Implementing聽targeted measures,聽(e.g., sanctions) to expose and hold corrupt individuals and their facilitators accountable.

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Amy S. Matsuo

Principal, U.S. Regulatory Insights & Compliance Transformation Lead, 乐鱼(Leyu)体育官网 LLP

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