Supervisory Guidance on Implementing Dodd-Frank Act Company-Run Stress Tests for Banking Organizations With Total Consolidated Assets of More Than…
| Federal Information & News Dispatch, Inc. |
Supervisory Guidance on Implementing Dodd-Frank Act Company-Run Stress Tests for Banking Organizations With Total Consolidated Assets of More Than
SUMMARY: The Board,
EFFECTIVE DATE: Effective dates are as follows:
For the Board:
For the
For the OCC:
FOR FURTHER INFORMATION CONTACT:
Board:
OCC:
SUPPLEMENTARY INFORMATION:
I. Background
In
FOOTNOTE 1 For the OCC, the term "company" is used in this guidance to refer to national banks and Federal savings associations that qualify as "covered institutions" under the OCC Annual Stress Test Rule. 12 CFR 46.2. For the Board, the term "company" is used in this guidance to refer to state member banks, bank holding companies, and savings and loan holding companies. See 12 CFR 252.13. For the
FOOTNOTE 2 See 77 FR 61238 (
FOOTNOTE 3 See 78 FR 47217 (
The proposed guidance was organized around the DFA stress test rule requirements. In the proposed guidance, the agencies indicated that they would expect
Consistent with the proposal, other relevant guidance includes "Supervisory Guidance on Stress Testing for Banking Organizations With More Than
FOOTNOTE 4
However, it is important to note that other guidance relevant for the
FOOTNOTE 5 See 12 CFR 225.8 (capital plan rule); Supervisory and Company-Run Stress Test Requirements for Covered Companies, 12 CFR part 252, subparts E and F; and the Capital Assessment and Stress Testing information collection (FR Y-14Q, FR
II. Summary of Comments
The agencies received 13 comments on the guidance from trade organizations, industry participants, vendors, and individuals. In addition to the comments, the agencies held a series of discussions with trade groups, state banking supervisors, and the banking organizations to raise awareness about the proposed guidance and solicit feedback. Some commenters expressed support for the proposed guidance. However, several commenters recommended changes to, or clarification of, certain provisions of the proposed guidance, as discussed below. In response to these comments, the agencies have clarified the principles set forth in the guidance and modified the proposed guidance in certain respects as described in this section of the SUPPLEMENTARY INFORMATION.
A. Overall Comments on the Proposed Guidance
Commenters provided several suggestions for clarifying or modifying the proposed guidance. Commenters requested additional clarity around what practices are commensurate with a company's size and complexity and what constitutes a larger or more sophisticated company. Some commenters requested that the agencies provide additional tailoring of expectations based on the size and complexity of companies, and on each company's familiarity with stress testing. Other commenters argued that the guidance adopted an approach that was too prescriptive and should provide each company with flexibility to focus its stress test on the company's assessment of its idiosyncratic risks. Commenters also recommended that the agencies consider requiring other types of stress testing besides scenario analysis and that a more comprehensive set of risks should be addressed in the guidance.
The final guidance retains the overall structure and content of the proposal. In addition, the final guidance provides additional detail about certain key requirements already established in the DFA stress testing rules. The proposed guidance emphasized that the expectations regarding stress testing for
Several commenters opposed stress testing for
Stress testing for companies with more than
--This is a summary of a
Final supervisory guidance.
CFR Part: "12 CFR Part 46"
Citation: "79 FR 14153"
Document Number: "Docket No. OCC-2013-0013"
Federal Register Page Number: "14153"
"Rules and Regulations"
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| Wordcount: | 1439 |


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