Highlights:
- A covered bond is defined as a recourse debt obligation of an insured
depository institution (IDI) with a term greater than one year and no more than ten
years that is secured directly or indirectly by a pool of mortgage loans or AAA-
rated mortgage bonds.
- Generally, a bond holder of a failed IDI could be required to wait up to 90 days
to execute on the collateral or for payment from an FDIC receiver, or up to 45
days from an FDIC conservator. The policy statement provides that the covered
bond holder may obtain access to the collateral if the FDIC remains in monetary
default on the IDI's obligation on the covered bond for ten business days after
receiving notice of default, or if the FDIC does not pay statutory damages within
ten business days after the effective date of repudiation.
- The policy statement applies only to covered bond issuances that meet the
following criteria:
- The covered bond issuances must be made with the consent of the IDI's primary federal regulator.
- The IDI's total covered bond obligations at issuance comprise no more than four percent of the IDI's total liabilities.
- The collateral for the covered bonds is secured by perfected security interests under applicable state and federal law on performing mortgage loans on one- to four-family residential properties, underwritten at the fully indexed rate and relying on documented income in accordance with existing supervisory guidance governing the underwriting of residential mortgages.
- Up to ten percent of the collateral may consist of AAA-rated mortgage- backed securities backed solely by mortgage loans that are made in compliance with the policy statement. . The FDIC is also seeking comments on whether issuances of covered bonds should increase an IDI's assessment rates or be included in its assessment base and, more generally, whether an institution's percentage of secured liabilities to total liabilities should be factored into an institution's insurance assessment rate or whether the total secured liabilities should be included in the assessment base.
Distribution:
FDIC-Insured Institutions
Suggested Routing:
Chief Executive Officer
Chief Financial Officer
Chief Lending Officer
Board of Directors
Attachment:
Final Interim Policy Statement (PDF Help)
Contact:
Richard T. Aboussie, Associate General
Counsel, Legal Division (703) 562-2452;
Michael H. Krimminger, Special Advisor
for Policy (202) 898-8950
Printable Format:
FIL-34-2008 - PDF (PDF Help)
Note:
FDIC financial institution letters (FILs) may
be accessed from the FDIC's Web site at
www.fdic.gov/news/news/financial/2008/index.html
.
To receive FILs electronically, please visit
http://www.fdic.gov/about/subscriptions/fil.html
.
Paper copies of FDIC financial institution
letters may be obtained through the
FDIC's Public Information Center, 3501
Fairfax Drive, E-1002, Arlington, VA
22226 (1-877-275-3342 or 703-562-2200).
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