FDIC Chairman McWilliams Issues Remarks at Community Bankers Symposium: Banking on Future
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Thank you for your participation in this symposium. Though I wish we could have held this event in person, I am grateful to everyone who helped to organize and who participated in this event. Especially in times like these, it is critical for us to come together to celebrate the successes of our community banks and address the challenges they face.
At the
Along these lines, community banks held almost one-third of commercial real estate (CRE) loans in 2019, and held a whopping 70 percent of farm loans at commercial banks./2 We also saw that among the banks participating in the Paycheck Protection Program (PPP), community banks in particular had an outsized impact on their customers and communities./3
To say that community banks are often the financial lifeblood of minority, rural, and low- and moderate-income communities is not an exaggeration. Today, there are 608 counties in
Despite their notable lending strengths and presence through our country, we know that many community banks struggle to remain competitive given technological changes and the demands of increasingly tech-savvy consumers. At the same time, many disadvantaged communities continue to struggle economically, including as a result of the disproportionate impact of the pandemic. And despite much improvement over the past decade, we continue to have 7 million unbanked households in
Earlier in my tenure as Chairman, I spoke about how important recognizing, and adapting to, changes in technology and evolving consumer demands would be to our community banks' survival and their ability to thrive./6 Today, as we think about the regulatory system we want to build coming out of the pandemic, innovation will be even more critical to fostering financial inclusion and the competitiveness of our community banks . . . challenges that I believe are intertwined.
Let me describe how we are addressing these dual challenges head on.
Achieving inclusion
The
I was thrilled to announce last month the launch of the
So I challenged the
The fund will support MDIs and CDFIs to build size, scale, and capacity that will in turn allow them to provide affordable financial products and services to individuals and businesses. The
Inclusion tech sprint
The
In June, we announced a tech sprint that was designed as a public challenge to banks, non-profits, private companies, and others to help us identify ways community banks can meet the needs of the unbanked in a cost-effective manner./7
Eight teams came together for a demonstration day on
Reexamining our impediments to employment
Thinking outside the box to support financial inclusion also requires us to assess where our rules may cause impediments in other ways. Section 19 of the Federal Deposit Insurance Act (FDI Act), for example, prohibits any person who has been convicted of certain types of crimes from working at a bank.
Banks can apply for the prior written consent of the
Therefore, we took a fresh look at our policy implementing Section 19, to see where we should narrow the scope of the restrictions. In 2020, the
For example, the final rule excluded all offenses that have been expunged or sealed - rather than only certain types of expungements - from the scope of Section 19./9 The final rule also eliminated the five-year waiting period following a first "de minimis" offense, meaning individuals convicted of one minor offense no longer need to wait five years to work at a bank without an application to the
The changes themselves are not major, but nonetheless will have a major impact on individuals who no longer need to obtain written consent from the
Fostering competitiveness
To say that the COVID-19 pandemic and the related personal and professional challenges have been unprecedented is to understate the momentous shift that many societies around the world have experienced over the past year. Those challenges have forced us to remember that old idiom that necessity is the mother of invention. We had to adjust everyday activities - from how we work to how we procure food - to protect ourselves and those around us. That rapid transformation amplified how critical innovation is, and showed us that when we must turn on a dime, we can.
I want to instill the same sense of urgency for adopting innovation to support the ability of community banks to compete and to thrive in the modern banking sector. As I have mentioned before, innovation for our community banks - and our financial system more broadly - is no longer a question of "shall we; shall we not" but "how can we do it because we must."
Let me give you a sampling of how the
Modernizing Engagement
We are challenging external parties to develop tools for providing more timely and granular financial data to the
To engage technology firms to help us solve this problem, we used a "rapid phased prototyping competition." More than 30 technology firms were invited to participate in this competition./11 Last month, we asked four participants to propose a proof of concept for their technologies./12
Our goal is to conduct a pilot program with up to nine
Partnerships with Fintechs
We have also been working on several initiatives to facilitate partnerships between fintechs and banks that can allow banks to reach new customers and offer new products.
At the end of 2020, we updated our brokered deposits regulations, the first substantial update in approximately 30 years, which removed regulatory hurdles to certain types of innovative partnerships between banks and fintechs./13
In addition, last year we asked stakeholders to comment on a groundbreaking approach to facilitate technology partnerships. The on-boarding and due diligence process can be costly and time consuming for both banks and their potential technology vendors. Our request for information proposed a public/private standard-setting organization to establish standards for due diligence of vendors and for the technologies they develop./14
Standardizing the due diligence process could fundamentally improve the ability of banks to partner with technology firms, while allowing the
We received many supportive comments in response to the request for information and continue to pursue the concept actively./15
Conclusion
It has been my goal as Chairman that the
Thank you all for joining us here, and thank you for taking part in these important conversations about the future of our community banks. I hope you can see that we at the
Footnotes:
1/ FDIC Community Bank Study (
2/ Id.
3/ See FDIC, Quarterly Banking Profile: Third Quarter 2020, Volume 14, No. 4 (2020), at 31, available at https://www.fdic.gov/bank/analytical/quarterly/2020-vol14-4/fdic-v14n4-3q2020.pdf.
4/
5/ See How America Banks: Household Use of Banking and Financial Services, 2019
6/ See Keynote Remarks by
7/ See FDIC, FDITECH Launches Tech Sprint to Reach More Unbanked People, FIL-43-2021 (
8/ See FDIC, FDITECH Selects Eight Teams in Tech Sprint to Reach the Unbanked (
9/ See Statement by
10/ Id.
11/ See FDIC,
12/ See FDIC, FDIC Requests Four Companies to Submit Pilot Proposals in Next Phase of
13/ See Unsafe and Unsound Banking Practices: Brokered Deposits and Interest Rate Restrictions, 86 Fed. Reg. 6742, (
14/ See FDIC, FDIC Seeks Input on Voluntary Certification Program to Promote New Technologies (
15/ Comments received in response to the request for information are available at https://www.fdic.gov/regulations/laws/federal/2020/2020-request-for-info-standard-setting-3064-za18.html.
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