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Text of Bernanke speech
August 22, 2008
JACKSON HOLE, Wyo. (econ.la)
Reducing Systemic Risk
In
choosing the topic for this year's
symposium--maintaining stability in a changing financial
system--the Federal Reserve Bank of Kansas City staff
is, once again, right on target. Although we have seen
improved functioning in some markets, the financial
storm that reached gale force some weeks before our last
meeting here in Jackson Hole has not yet subsided, and
its effects on the broader economy are becoming apparent
in the form of softening economic activity and rising
unemployment. Add to this mix a jump in inflation, in
part the product of a global commodity boom, and the
result has been one of the most challenging economic and
policy environments in memory.
The Federal
Reserve's response to this crisis has consisted of three key elements. First, we
eased monetary policy substantially, particularly after indications of economic
weakness proliferated around the turn of the year. In easing rapidly and
proactively, we sought to offset, at least in part, the tightening of credit
conditions associated with the crisis and thus to mitigate the effects on the
broader economy. By cushioning the first-round economic impact of the financial
stress, we hoped also to minimize the risks of a so-called adverse feedback loop
in which economic weakness exacerbates financial stress, which, in turn, further
damages economic prospects.
In view of the weakening outlook and
the downside risks to growth, the Federal Open Market
Committee (FOMC) has maintained a relatively low target
for the federal funds rate despite an increase in
inflationary pressures. This strategy has been
conditioned on our expectation that the prices of oil
and other commodities would ultimately stabilize, in
part as the result of slowing global growth, and that
this outcome, together with well-anchored inflation
expectations and increased slack in resource
utilization, would foster a return to price stability in
the medium run. In this regard, the recent decline in
commodity prices, as well as the increased stability of
the dollar, has been encouraging. If not reversed, these
developments, together with a pace of growth that is
likely to fall short of potential for a time, should
lead inflation to moderate later this year and next
year. Nevertheless, the inflation outlook remains highly
uncertain, not least because of the difficulty of
predicting the future course of commodity prices, and we
will continue to monitor inflation and inflation
expectations closely. The FOMC is committed to achieving
medium-term price stability and will act as necessary to
attain that objective.
The second element of our response
has been to offer liquidity support to the financial
markets through a variety of collateralized lending
programs. I have discussed these lending facilities and
their rationale in some detail on other occasions.
Briefly, these programs are intended to mitigate what
have been, at times, very severe strains in short-term
funding markets and, by providing an additional source
of financing, to allow banks and other financial
institutions to deleverage in a more orderly manner. We
have recently extended our special programs for primary
dealers beyond the end of the year, based on our
assessment that financial conditions remain unusual and
exigent. We will continue to review all of our liquidity
facilities to determine if they are having their
intended effects or require modification.
The third element of our strategy
encompasses a range of activities and initiatives
undertaken in our role as financial regulator and
supervisor, some of which I will describe in more detail
later in my remarks. Briefly, these activities include
cooperating with other regulators to monitor the health
of individual financial institutions; working with the
private sector to reduce risks in some key markets;
developing new regulations, including new rules to
govern mortgage and credit card lending; taking an
active part in domestic and international efforts to
draw out the lessons of the recent experience; and
applying those lessons in our supervisory practices.
Closely related to this third group
of activities is a critical question that we as a
country now face: how to strengthen our financial
system, including our system of financial regulation and
supervision, to reduce the frequency and severity of
bouts of financial instability in the future. In this
regard, some particularly thorny issues are raised by
the existence of financial institutions that may be
perceived as "too big to fail" and the moral hazard
issues that may arise when governments intervene in a
financial crisis. As you know, in March the Federal
Reserve acted to prevent the default of the investment
bank Bear Stearns. For reasons that I will discuss
shortly, those actions were necessary and justified
under the circumstances that prevailed at that time.
However, those events also have consequences that must
be addressed. In particular, if no countervailing
actions are taken, what would be perceived as an
implicit expansion of the safety net could exacerbate
the problem of "too big to fail," possibly resulting in
excessive risk-taking and yet greater systemic risk in
the future. Mitigating that problem is one of the design
challenges that we face as we consider the future
evolution of our system.
As both the nation's central bank and
a financial regulator, the Federal Reserve must be well
prepared to make constructive contributions to the
coming national debate on the future of the financial
system and financial regulation. Accordingly, we have
set up a number of internal working groups, consisting
of governors, Reserve Bank presidents, and staff, to
study these and related issues. That work is ongoing,
and I do not want to prejudge the outcomes. However, in
the remainder of my remarks today I will raise, in a
preliminary way, what I see as some promising approaches
for reducing systemic risk. I will begin by discussing
steps that are already under way to strengthen the
financial infrastructure in a manner that should
increase the resilience of our financial system. I will
then turn to a discussion of regulatory and supervisory
practice, with particular attention to whether a more
comprehensive, systemwide perspective in financial
supervision is warranted. For the most part, I will
leave for another occasion the issues of broader
structural and statutory change, such as those raised by
the Treasury's blueprint for regulatory reform.
Strengthening the Financial
Infrastructure
An effective means of increasing the resilience of the
financial system is to strengthen its infrastructure.
For my purposes today, I want to construe "financial
infrastructure" very broadly, to include not only the
"hardware" components of that infrastructure--the
physical systems on which market participants rely for
the quick and accurate execution, clearing, and
settlement of transactions--but also the associated
"software," including the statutory, regulatory, and
contractual frameworks and the business practices that
govern the actions and obligations of market
participants on both sides of each transaction. Of
course, a robust financial infrastructure has many
benefits even in normal times, including lower
transactions costs and greater market liquidity. In
periods of extreme stress, however, the quality of the
financial infrastructure may prove critical. For
example, it greatly affects the ability of market
participants to quickly determine their own positions
and exposures, including exposures to key
counterparties, and to adjust their positions as
necessary. When positions and exposures cannot be
determined rapidly--as was the case, for example, when
program trades overwhelmed the system during the 1987
stock market crash--potential outcomes include highly
risk-averse behavior by market participants, sharp
declines in market liquidity, and high volatility in
asset prices. The financial infrastructure also has
important effects on how market participants respond to
perceived changes in counterparty risk. For example,
during a period of heightened stress, participants may
be willing to provide liquidity to a market if a strong
central counterparty is present but not otherwise.
Considerations of this type were very
much in our minds during the Bear Stearns episode in
March. The collapse of Bear Stearns was triggered by a
run of its creditors and customers, analogous to the run
of depositors on a commercial bank. This run was
surprising, however, in that Bear Stearns's borrowings
were largely secured--that is, its lenders held
collateral to ensure repayment even if the company
itself failed. However, the illiquidity of markets in
mid-March was so severe that creditors lost confidence
that they could recoup their loans by selling the
collateral. Many short-term lenders declined to renew
their loans, driving Bear to the brink of default.
Although not an extraordinarily large
company by many metrics, Bear Stearns was deeply
involved in a number of critical markets, including (as
I have noted) markets for short-term secured funding as
well as those for over-the-counter (OTC) derivatives.
One of our concerns was that the infrastructures of
those markets and the risk- and liquidity-management
practices of market participants would not be adequate
to deal in an orderly way with the collapse of a major
counterparty. With financial conditions already quite
fragile, the sudden, unanticipated failure of Bear
Stearns would have led to a sharp unwinding of positions
in those markets that could have severely shaken the
confidence of market participants. The company's failure
could also have cast doubt on the financial conditions
of some of Bear Stearns's many counterparties or of
companies with similar businesses and funding practices,
impairing the ability of those firms to meet their
funding needs or to carry out normal transactions. As
more firms lost access to funding, the vicious circle of
forced selling, increased volatility, and higher
haircuts and margin calls that was already well advanced
at the time would likely have intensified. The broader
economy could hardly have remained immune from such
severe financial disruptions. Largely because of these
concerns, the Federal Reserve took actions that
facilitated the purchase of Bear Stearns and the
assumption of Bear's financial obligations by JPMorgan
Chase & Co.
This experience has led me to believe
that one of the best ways to protect the financial
system against future systemic shocks, including the
possible failure of a major counterparty, is by
strengthening the financial infrastructure, including
both the "hardware" and the "software" components. The
Federal Reserve, in collaboration with the private
sector and other regulators, is intensively engaged in
such efforts. For example, since September 2005, the
Federal Reserve Bank of New York has been leading a
joint public-private initiative to improve arrangements
for clearing and settling trades in credit default swaps
and other OTC derivatives. These efforts include gaining
commitments from private-sector participants to automate
and standardize the clearing and settlement process,
encouraging improved netting and cash settlement
arrangements, and supporting the development of a
central counterparty for credit default swaps. More
generally, although customized derivatives contracts
between sophisticated counterparties will continue to be
appropriate in many situations, on the margin it appears
that a migration of derivatives trading toward
more-standardized instruments and the increased use of
well-managed central counterparties, either linked to or
independent of exchanges, could have a systemic benefit.
The Federal Reserve and other
authorities also are focusing on enhancing the
resilience of the markets for triparty repurchase
agreements (repos). In the triparty repo market, primary
dealers and other large banks and broker-dealers obtain
very large amounts of secured financing from money funds
and other short-term, risk-averse investors. We are
encouraging firms to improve their management of
liquidity risk and to reduce over time their reliance on
triparty repos for overnight financing of less-liquid
forms of collateral. In the longer term, we need to
ensure that there are robust contingency plans for
managing, in an orderly manner, the default of a major
participant. We should also explore possible means of
reducing this market's dependence on large amounts of
intraday credit from the banks that facilitate the
settlement of triparty repos. The attainment of these
objectives might be facilitated by the introduction of a
central counterparty but may also be achievable under
the current framework for clearing and settlement.
Of course, like other central banks,
the Federal Reserve continues to monitor systemically
important payment and settlement systems and to compare
their performance with international standards for
reliability, efficiency, and safety. Unlike most other
central banks, however, the Federal Reserve does not
have general statutory authority to oversee these
systems. Instead, we rely on a patchwork of authorities,
largely derived from our role as a banking supervisor,
as well as on moral suasion, to help ensure that the
various payment and settlement systems have the
necessary procedures and controls in place to manage the
risks they face. As part of any larger reform, the
Congress should consider granting the Federal Reserve
explicit oversight authority for systemically important
payment and settlement systems.
Yet another key component of the
software of the financial infrastructure is the set of
rules and procedures used to resolve claims on a market
participant that has defaulted on its obligations. In
the overwhelming majority of cases, the bankruptcy laws
and contractual agreements serve this function well.
However, in the rare circumstances in which the
impending or actual failure of an institution imposes
substantial systemic risks, the standard procedures for
resolving institutions may be inadequate. In the Bear
Stearns case, the government's response was severely
complicated by the lack of a clear statutory framework
for dealing with such a situation. As I have suggested
on other occasions, the Congress may wish to consider
whether such a framework should be set up for a defined
set of nonbank institutions.
A possible approach would be to
give an agency--the Treasury seems an appropriate
choice--the responsibility and the resources, under
carefully specified conditions and in consultation with
the appropriate supervisors, to intervene in cases in
which an impending default by a major nonbank financial
institution is judged to carry significant systemic
risks. The implementation of such a resolution scheme
does raise a number of complex issues, however, and
further study will be needed to develop specific,
workable proposals.
A stronger infrastructure would help
to reduce systemic risk. Importantly, as my FOMC
colleague Gary Stern has pointed out, it would also
mitigate moral hazard and the problem of "too big to
fail" by reducing the range of circumstances in which
systemic stability concerns might be expected by markets
to prompt government intervention. A statutory
resolution regime for nonbanks, besides reducing
uncertainty, would also limit moral hazard by allowing
the government to resolve failing firms in a way that is
orderly but also wipes out equity holders and haircuts
some creditors, analogous to what happens when a
commercial bank fails.
A Systemwide Approach to
Supervisory Oversight
The regulation and supervisory oversight of financial
institutions is another critical tool for limiting
systemic risk. In general, effective government
oversight of individual institutions increases financial
resilience and reduces moral hazard by attempting to
ensure that all financial firms with access to some sort
of federal safety net--including those that creditors
may believe are too big to fail--maintain adequate
buffers of capital and liquidity and develop
comprehensive approaches to risk and liquidity
management. Importantly, a well-designed supervisory
regime complements rather than supplants market
discipline. Indeed, regulation can serve to strengthen
market discipline, for example, by mandating a
transparent disclosure regime for financial firms.
Going forward, a critical question
for regulators and supervisors is what their appropriate
"field of vision" should be. Under our current system of
safety-and-soundness regulation, supervisors often focus
on the financial conditions of individual institutions
in isolation. An alternative approach, which has been
called systemwide or macroprudential oversight, would
broaden the mandate of regulators and supervisors to
encompass consideration of potential systemic risks and
weaknesses as well.
At least informally, financial
regulation and supervision in the United States already
include some macroprudential elements. As one
illustration, many of the supervisory guidances issued
by federal bank regulators have been motivated, at least
in part, by concerns that a particular industry trend
posed risks to the stability of the banking system as a
whole, not just to individual institutions. For example,
following lengthy comment periods, in 2006, the federal
banking supervisors issued formal guidance on
underwriting and managing the risks of nontraditional
mortgages, such as interest-only and negative
amortization mortgages, as well as guidance warning
banks against excessive concentrations in commercial
real estate lending. These guidances likely would not
have been issued if the federal regulators had viewed
the issues they addressed as being isolated to a few
banks. The regulators were concerned not only about
individual banks but also about the systemic risks
associated with excessive industry-wide concentrations
(of commercial real estate or nontraditional mortgages)
or an industry-wide pattern of certain practices (for
example, in underwriting exotic mortgages). Note that,
in warning against excessive concentrations or common
exposures across the banking system, regulators need not
make a judgment about whether a particular asset class
is mispriced--although rapid changes in asset prices or
risk premiums may increase the level of concern. Rather,
their task is to determine the risks imposed on the
system as a whole if common exposures significantly
increase the correlation of returns across institutions.
The development of supervisory
guidances is a process which often involves soliciting
comments from the industry and the public and, where
applicable, developing a consensus among the banking
regulators. In that respect, the process is not always
as nimble as we might like. For that reason, less-formal
processes may sometimes be more effective and timely. As
a case in point, the Federal Reserve--in close
cooperation with other domestic and foreign
regulators--regularly conducts so-called horizontal
reviews of large financial institutions, focused on
specific issues and practices. Recent reviews have
considered topics such as leveraged loans,
enterprise-wide risk management, and liquidity
practices. The lessons learned from these reviews are
shared with both the institutions participating in these
reviews as well as other institutions for which the
information might be beneficial. Like supervisory
guidance, these reviews help increase the safety and
soundness of individual institutions but they may also
identify common weaknesses and risks that may have
implications for broader systemic stability. In my view,
making the systemic risk rationale for guidances and
reviews more explicit is certainly feasible and would be
a useful step toward a more systemic orientation for
financial regulation and supervision.
A systemwide focus for financial
regulation would also increase attention to how the
incentives and constraints created by regulations affect
behavior, especially risk-taking, through the credit
cycle. During a period of economic weakness, for
example, a prudential supervisor concerned only with the
safety and soundness of a particular institution will
tend to push for very conservative lending policies. In
contrast, the macroprudential supervisor would recognize
that, for the system as a whole, excessively
conservative lending policies could prove
counterproductive if they contribute to a weaker
economic and credit environment. Similarly, risk
concentrations that might be acceptable at a single
institution in a period of economic expansion could be
dangerous if they existed at a large number of
institutions simultaneously. I do not have the time
today to do justice to the question of the
procyclicality of, say, capital regulations and
accounting rules. This topic has received a great deal
of attention elsewhere and has also engaged the
attention of regulators; in particular, the framers of
the Basel II capital accord have made significant
efforts to measure regulatory capital needs "through the
cycle" to mitigate procyclicality. However, as we
consider ways to strengthen the system for the future in
light of what we have learned over the past year, we
should critically examine capital regulations,
provisioning policies, and other rules applied to
financial institutions to determine whether,
collectively, they increase the procyclicality of credit
extension beyond the point that is best for the system
as a whole.
A yet more ambitious approach to
macroprudential regulation would involve an attempt by
regulators to develop a more fully integrated overview
of the entire financial system. In principle, such an
approach would appear well justified, as our financial
system has become less bank-centered and because
activities or risk-taking not permitted to regulated
institutions have a way of migrating to other financial
firms or markets. Some caution is in order, however, as
this more comprehensive approach would be technically
demanding and possibly very costly both for the
regulators and the firms they supervise. It would likely
require at least periodic surveillance and
information-gathering from a wide range of nonbank
institutions. Increased coordination would be required
among the private- and public-sector supervisors of
exchanges and other financial markets to keep up to date
with evolving practices and products and to try to
identify those which may pose risks outside the purview
of each individual regulator. International regulatory
coordination, already quite extensive, would need to be
expanded further.
One might imagine also conducting
formal stress tests, not at the firm level as occurs
now, but for a range of firms and markets
simultaneously. Doing so might reveal important
interactions that are missed by stress tests at the
level of the individual firm. For example, such an
exercise might suggest that a sharp change in asset
prices would not only affect the value of a particular
firm's holdings but also impair liquidity in key
markets, with adverse consequences for the ability of
the firm to adjust its risk positions or obtain funding.
Systemwide stress tests might also highlight common
exposures and "crowded trades" that would not be visible
in tests confined to one firm. Again, however, we should
not underestimate the technical and information
requirements of conducting such exercises effectively.
Financial markets move swiftly, firms' holdings and
exposures change every day, and financial transactions
do not respect national boundaries. Thus, the
information requirements for conducting truly
comprehensive macroprudential surveillance could be
daunting indeed.
Macroprudential supervision also
presents communication issues. For example, the
expectations of the public and of financial market
participants would have to be managed carefully, as such
an approach would never eliminate financial crises
entirely. Indeed, an expectation by financial market
participants that financial crises will never occur
would create its own form of moral hazard and encourage
behavior that would make financial crises more, rather
than less, likely.
With all these caveats, I believe
that an increased focus on systemwide risks by
regulators and supervisors is inevitable and desirable.
However, as we proceed in that direction, we would be
wise to maintain a realistic appreciation of the
difficulties of comprehensive oversight in a financial
system as large, diverse, and globalized as ours.
Conclusion
Although we at the Federal Reserve remain focused on
addressing the current risks to economic and financial
stability, we have also begun thinking about the lessons
for the future. I have discussed today two strategies
for reducing systemic risk: strengthening the financial
infrastructure, broadly construed, and increasing the
systemwide focus of financial regulation and
supervision. Work on the financial infrastructure is
already well under way, and I expect further progress as
the public and private sectors cooperate to address
common concerns. The adoption of a regulatory and
supervisory approach with a heavier macroprudential
focus has a strong rationale, but we should be careful
about over-promising, as we are still rather far from
having the capacity to implement such an approach in a
thoroughgoing way. The Federal Reserve will continue to
work with the Congress, other regulators, and the
private sector to explore this and other strategies to
increase financial stability.
When we last met here in Jackson
Hole, the nature of the financial crisis and its
implications for the economy were just coming into view.
A year later, many challenges remain. I look forward to
the insights into this experience that will be provided
by the papers at this conference.
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