Title: The State of the FHLBanks
1- The State of the FHLBanks
- May 2006
- By John von Seggern
- President of the Council of FHLBanks
2 Overview
- The FHLBank Systems Basics
- Brief FHLBank Legislative History
- Current Regulatory Issues
- Wrap-up
3Map of the System
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52005 Operating Highlights
- 998 billion in combined total assets
- 620 billion in advances
- 105 billion in mortgage loans
- 4.45 capital to assets ratio
- 280 million in AHP contributions
6Who Are The FHLBanks?
- 12 regional Banks with a mission to meet credit
needs of local communities through more than
8,100 member institutions - Congressionally chartered in 1932 to promote a
healthy mortgage finance system - Privately owned, wholesale Banks without publicly
traded stock - Unique cooperative structure
7Community Financial Institutions
- Institutions with assets of 587 million or less
- CFIs make up over 80 of FHLBank membership
- GLB expanded collateral small business,
agriculture, community development loans - Enabled CFIs to better meet diverse funding needs
of their communities - Increased borrowing capacity
- Half of our members were able to increase use of
advances under new collateral requirements
8How Do The FHLBanks Work?
- Advances
- Loans to member institutions
- Primary funding process of the FHLBanks
- Backed primarily by housing collateral
- Asset Purchase Programs
9How Do the FHLBanks Work?
- Advances
- Asset Purchase Programs
- FHLBanks purchase loans/share the risk
- Members retain credit risk
- FHLBanks hold interest rate risk
- Strategic alternative for Member banks in the
secondary market - Mortgage programs includes
- Mortgage Partnership Finance (MPF)
- Mortgage Purchase Program (MPP)
10FHLB Mortgage Programs
- More profitable alternative for FHLB members
selling fixed-rate, conforming mortgages - As cooperatives, FHLBs have much lower ROE
expectations than Fannie/Freddie resulting in
better pricing for members - Mortgage risks are allocated between lenders and
FHLBs - Lenders credit risk customer relationships
- FHLBs interest rate funding risk
11FHLB Mortgage Program Key Statistics
As of 12/31/05
12 Overview
- The FHLBank Systems Basics
- Brief FHLBank Legislative History
- Current Regulatory Issues
- Wrap-up
13Legislative History
- FIRREA (1989)
- REFCorp. (300 million)
- AHP (10 of earnings)
- FHFB
- Expanded Membership
- Retained Earnings Taken
14Legislative History
- Gramm-Leach-Bliley (1999)
- New Capital Structure
- REFCorp. (20)
- Expanded Access for CFIs
- Voluntary Membership
- Governance Changes
15Legislative History
- GSEs in the Headlines
- March 22, 2000 Treasury Undersecretary Gary
Gensler testifies before the House Banking
Subcommittee on Capital Markets, Securities and
Government Sponsored Enterprises and says Thus,
as part of a package of reforms, we would support
repeal of the line of credit.
16Legislative History
- Housing Finance Regulatory Improvement Act of
2000 introduced by Cong. Baker (never enacted) - Elimination of FHLBanks Super lien Authority
- Repeal of Treasury Backup Line-of-Credit
- Regulatory Limits on Non-Mission Assets
- New Approval Requirements for Business Activities
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18Senate Banking (108th) GSE Bill
-
- One regulator, but two divisions
- Single head of agency with an advisory board
- Receivership measures for FF
- Affordable housing program for FF
- Requires SEC Registration
- Board Structure Changes
- FHLBank Act essentially retained
19GSE Bill (109th)
-
- One regulator, but three divisions
- Single head of agency with an advisory board
- Receivership measures for FF and the FHLBanks
- Portfolio caps for FF?
- Affordable housing program for FF?
- Requires SEC Registration
- Board Structure Changes
- FHLBank Act essentially retained
20 Overview
- The FHLBank Systems Basics
- Brief FHLBank Legislative History
- Current Regulatory Issues
- Wrap-up
21SEC Registration
- Nine banks have registered with or have filed
Form 10s - Atlanta, Boston, Chicago, Cincinnati, Dallas,
Indianapolis, New York, San Francisco, Seattle - Three banks in the process of restating
financials - Des Moines, Pittsburgh, Topeka
22Key Elements of Proposed Regulation
- Excess Stock
- Excess stock limited to 1 of assets
- Sale of excess stock prohibited
- Payment of stock dividends prohibited
- FHFB Stated Objectives
- Avoid the use of excess stock to fund long-term
assets that are not readily saleable - Reduce non-mission related assets
23Key Elements of Proposed Regulation
- Retained Earnings and Dividends
- Retained earnings requirement equals 50 million
plus 1 of non-advances assets (total assets
minus advances) - FHFB Stated Objective
- Protect against potential impairment of the par
value of capital stock
24Key Elements of Proposed Regulation
- Retained Earnings and Dividends
- Dividends limited to 50 of current net earnings
until target is reached (transition period)
there is no set transition period - Dividends only with FHFB approval if retained
earnings drop below the target after the target
is reached
25Key Challenges Excess Stock
- The limitation on excess stock impacts several
FHLBanks mortgage loan programs - Prohibition of stock dividends is a take-away of
a significant benefit to members in the form of
tax-deferred stock dividends - Prohibition of stock dividends seems unnecessary
in light of the 1 excess stock limitation
26Key Challenges Retained Earnings and
Dividends
- Effectively increases the cost of advances
- Potential shifts in FHLBank and member
competitive landscape - Formula is very simplistic.
- Formula will not stimulate additional discussions
among management and boards around the riskiness
of particular asset classes - Money market investments, MBS, and mortgage loans
all treated the same - Changes in credit risk composition of
non-advances asset balances will not affect
retained earnings - Changes in market risk will not affect retained
earnings
27Suggestions for Revision
- Withdraw the present proposal and re-propose, if
necessary - Allow each Bank to develop its own plan
- Drop the prohibition on stock dividends
- Fix the flawed formulas to address risk
- Allow a minimum of a five year transition period
28Current Regulatory Issues
- Anti-predatory lending guidance
- Policies must address
- HOEPA
- Single-premium credit life insurance
- Prepayment penalties
- Mandatory arbitration
- Can the FHLBanks accept loans with any of those
provisions even if legal and not prohibited by a
members regulator? - Can the FHLBanks rely on findings from members
regulators?
29Current Regulatory Issues
- Proposed rule on director elections
- Purpose is to ensure Boards have necessary skills
and expertise - Annual assessment of current attributes and needs
- Notice to members alerting them to Boards needs
- Permits statements concerning each nominees
skills and experience
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