The Use of Volatile or Special Funding Sources by Financial
Institutions That are in a Weakened Condition
Directors and officers of institutions that are in a weakened financial condition are expected to oversee the operations of these institutions in a way that stabilizes the risk profile and strengthens the financial condition. Actions taken by a weak financial institution to increase its risk profile are inconsistent with this expectation.
The FDIC monitors "1"- and "2"-rated institutions to identify characteristics that may indicate heightened risk of future problems. Aggressive asset growth strategies or reliance on non-core liabilities to fund riskier asset classes will result in heightened off-site monitoring and on-site examinations that are more extensive than those applicable to other institutions. Such strategies, in specific circumstances, may result in higher deposit insurance premiums.
Institutions rated "3," "4," or "5" that aggressively grow assets or significantly shift balance sheet composition to riskier asset classes may be engaging in unsafe and unsound practices. Concern is elevated when such activities are funded by soliciting high-cost brokered or internet deposits, deposits or other funds that are newly insured or guaranteed pursuant to temporary FDIC programs, secured borrowings or other volatile wholesale funding sources. Heavy reliance on non-core funding sources can increase a bank's liquidity risk profile, reduce an institution's franchise value, and increase the FDIC's resolution costs in the event of failure.
FDIC-supervised institutions rated "3," "4," or "5" are expected to implement a plan to stabilize or reduce their risk exposure and limit growth. This plan should not include the use of volatile liabilities or temporarily expanded FDIC insurance or liability guarantees to fund aggressive asset growth or otherwise materially increase the institution's risk profile. Continuation of prudent lending practices generally would not be considered as increasing the risk profile.
Corrective programs may include requirements for notification to the appropriate Regional Director before undertaking asset growth or material changes in asset or liability composition.
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Sandra L. Thompson Director Division of Supervision and Consumer Protection |
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