Policy for Setting the Normal Operating Level
Notice.
Citation: "86 FR 72279"
Page Number: "72279"
"Notices"
Agency: "
SUMMARY: In
FOR FURTHER INFORMATION CONTACT:
SUPPLEMENTARY INFORMATION:
I. Background On
FOOTNOTE 1 82 FR 46298 (
* Closing the
* Setting the NOL of the
FOOTNOTE 2 The Board last set the NOL at 1.38 percent on
* Adopting the policy for setting the NOL, as outlined below.
Policy for Setting the NOL
The policy for setting the NOL was adopted in 2017 and established a periodic review of the equity needs of the
FOOTNOTE 3 As noted, the Board adopted this policy for setting the NOL in 2017. The Board emphasizes that, as a general statement of the NCUA's policy regarding setting the NOL, the Board is not required to follow the notice-and-comment rulemaking process when revising this policy. See 5 U.S.C. 553(b)(3)(a). Nevertheless, the Board voluntarily solicited public input on this policy. END FOOTNOTE
FOOTNOTE 4 One basis point is one hundredth of one percent. END FOOTNOTE
* Retain public confidence in federal share insurance;
* Prevent impairment of the one percent contributed capital deposit; /5/ and
FOOTNOTE 5 Federally insured credit unions are required to maintain a deposit equal to one percent of their insured shares with the
* Ensure the
The current economic landscape and pending resolution of the obligations associated with the corporate credit union asset management estates and NCUA Guaranteed Notes (NGN) Program, discussed later in this document, warrant a re-evaluation of the NCUA's current NOL policy.
II. Legal Authority
Pursuant to the Federal Credit Union Act (Act), the NOL is an equity ratio specified by the Board, which may not be less than 1.20 percent and not more than 1.50 percent. /6/ The Board has historically set the NOL as the target equity ratio for the
FOOTNOTE 6 12 U.S.C. 1782(h)(4). END FOOTNOTE
FOOTNOTE 7 The equity ratio is also part of the statutory basis for determining whether a premium or
"The Board shall [ . . . ] effect a pro rata distribution to insured credit unions after each calendar year if, as of the end of that calendar year--
* Any loans to the Fund from the Federal Government, and any interest on those loans, have been repaid;
* The Fund's equity ratio exceeds the [NOL] and
* The Fund's available assets ratio exceeds 1.0 percent." /8/
FOOTNOTE 8 12 U.S.C. 1782(c)(3)(A). This section is also subject to 12 U.S.C. 1790e(e). END FOOTNOTE
The above provisions of the Act are generally implemented at 12 CFR part 741 of the NCUA's regulations.
III. Current Normal Operating Level Methodology and Process
To implement the current approved policy, the NCUA developed a calculation based on scenarios using the following factors:
* The modeled performance of the
* The modeled potential decline in value of the
* The projected equity ratio decline through the end of the following year, assuming no economic downturn.
The stress scenario entails estimating three primary drivers of outcomes: insurance losses, insured share growth, and yield on investments. Additionally, the risk associated with the
The NCUA's stress analysis is based on the
IV. Comments on Normal Operating Level and Responses
The Board sought comment on the policy and approach for setting the NOL of the
* Should a moderate recession be the basis for evaluating the
* What data source(s) should the NCUA use for determining the characteristics of a potential moderate or severe recession--the
* Should the NCUA continue modeling the performance of the
* How should the NCUA utilize the modeled potential decline in value of the
* Should the NCUA continue to incorporate in the NOL analysis the projected equity ratio decline through the end of the following year without an economic downturn? Should this period be longer or shorter, or not factored into the analysis at all?
* Given forecasting uncertainties and timing challenges, would it be reasonable for the NCUA to change the requirement to request public comment only if the NOL were to change by a larger amount than just one basis point?
* Should the NOL be re-evaluated in the midst of an economic downturn or should it be left unchanged until the onset of an economic recovery?
* Should the NOL be re-evaluated on qualitative factors based on the COVID-19 pandemic?
* Is there any other information that the Board should consider when setting the NOL?
The Board received 23 comment letters from credit union leagues, trade associations, credit unions, and credit union service organizations.
Moderate or Severe Recession
Most commenters stated a moderate recession is an appropriate basis for evaluating the
Data Sources
Commenters emphasized the need for NCUA to use an independent source to provide data for NCUA's modeling of a potential moderate or severe recession. The majority of commenters supported continuing to use the
Several commenters did express concern that the
Modeling Period
While commenters supported the current use of a moderate recession in the modeling process, many commenters recommended the Board shorten its modeling period from the current policy of five years to a shorter period of 18 months to three years. Commenters suggested the current five-year period is no longer applicable because it was put in place in 2017 to account for the remaining maturity of the NGN Program, which was set to mature in 2021. Commenters expressed that a shorter modeling period is also more appropriate because the duration of economic recessions was less than five years. Commenters emphasized the applicability of a shorter period, noting the
The Board disagrees with commenters that state the
Though a recession may end, the economy may remain weak during the recovery period. A struggling economy also poses risks to credit unions, and a thorough analysis of the
Potential Decline in Value of the
Many commenters recommended eliminating the modeled potential decline in value of the
The Board agrees with the commenters. The last NGN certificate matured in June of 2021. The remaining assets of the corporate asset management estates have not been fully liquidated yet, but the Board agrees this component in the NOL calculation can be eliminated as the exposure has significantly declined and will be fully resolved within the next modeling period.
Decline in the Equity Ratio Through the End of the Following Year Without an Economic Downturn
The majority of comments on this issue supported eliminating the projected equity ratio decline from the NOL analysis through the end of the following year without an economic downturn. The rationale provided was the near completion of the NGN Program, which negates the need to analyze the projected equity ratio decline through the end of the following year as a backstop to ensure the
The Board agrees with the commenters. This component of the NOL calculation was originally intended to protect against a decline in the equity ratio while the NGNs were outstanding. The NGNs have all matured, and while there are remaining Legacy Assets, the impact of a decline in their value is no longer significant to this analysis.
Public Comment Only if the Normal Operating Level Were To Change by a
Fourteen commenters offered comments on NCUA's current policy of notifying and requesting public comment in the event the NOL changes by more than one basis point. Nine of these commenters favored keeping this requirement in the policy, with most citing the potential impact on credit unions and transparency as the basis for their view. One commenter expressed that even one basis point reflects a large dollar amount and has a material impact on individual credit unions.
The current policy to notify and request comment is necessary to provide transparency involving actions taken regarding the management of the
Two commenters stated public comment is warranted any time the NOL calculation results in an NOL above 1.3 percent. Individual commenters expressed the following:
* NCUA eliminating the comment requirement for a one basis point change is concerning because it may trigger NCUA to make a series of one basis point increases without the opportunity for public comment.
* Public comment is only necessary if the change prompts a required premium for all credit unions.
* Public comment should be required for all NOL changes, regardless of amount.
Many of the commenters stressed the importance for the Board to consider setting the NOL at a level that achieves a balance between a stable
Many commenters expressed the prolonged history and adequacy of a NOL of 1.3 percent, stating the Board is provided sufficient tools within the Act (premiums and distributions) to manage the
Other commenters expressed concern over NCUA's budget. These commenters focused on the agency's need to manage expenses to reduce the Share Insurance Funds' obligation to fund a portion of NCUA's operating budget, thus maintaining higher levels of equity in the
The Board agrees public comment, although not required, could be helpful when considering a change to the NOL policy or methodology. The Board also wishes to clarify two points that may have confused some commenters. Several commenters stated public comment should be requested anytime the NOL results in a premium or potential premium. The NOL does not trigger a premium, but rather establishes the point above which a distribution is required. The actual equity ratio is measured against the NOL to determine if a distribution is required. The Board may only levy premiums when the
The Board believes the NOL must be set based on a quantitative and qualitative analysis, with the quantitative analysis being the primary driver in setting the NOL and the qualitative factors considered by the Board, as appropriate. The Board agrees with commenters that a request for public comment, although not required, is helpful if the NOL changes. The Board will continue seeking public comment when the NOL changes by more than one basis point.
Should the NOL be re-evaluated in the midst of an economic downturn or should it be left unchanged until the onset of an economic recovery?
Ten commenters responded to the issue of whether the NCUA should reevaluate the NOL in an economic downturn or leave it unchanged until the onset of an economic recovery. Three commenters stated the NOL should be continuously evaluated and one stated the NOL should not be changed. The remaining commenters emphasized the need for the process to be standardized and for NCUA to strike a balance between safeguarding the
The Board believes the current process is standardized and based on the risk inherent in the
Should the Normal Operating Level be re-evaluated on qualitative factors based on the COVID-19 pandemic?
Ten commenters responded to the question regarding whether the NOL should be re-evaluated on qualitative factors based on the COVID-19 pandemic. Seven commenters stated the NCUA should not re-evaluate the NOL based on abnormal events with a high level of uncertainty. Several commenters stated they were opposed to the inclusion of qualitative factors as it would reduce transparency. Three commenters stated some support for evaluating factors due to an economic downturn. One commenter stated the NOL should be evaluated holistically, accounting for both data and environmental factors. Another commenter expressed support for a policy that is based on historical record that all
The Board agrees the NOL policy should not be constructed to react to single events such as the current pandemic and the methodology should be quantitative and qualitative, with the quantitative analysis being the primary driver in setting the NOL and the qualitative factors considered by the Board, as appropriate. In terms of qualitative factors, the Board reserves the right to consider environmental factors in the decision to change the NOL or retain it at its current level given all available information. Unusual non-quantitative factors affecting the decision regarding the NOL may be disclosed if the impact is material.
Is there any other information that the Board should consider when setting the NOL?
Fourteen commenters offered responses regarding additional information the Board should consider when setting the NOL. Nine commenters suggested the Board set the NOL at the pre-2017 level of 1.30 percent. The rationales presented include:
* The risk from the merger of the
* The Board cannot assess a premium when the equity ratio is above 1.30 percent, and
* The NCUA should not hold more equity than legally required, except for identifiable losses.
Commenters also voiced opposition to any statutory changes removing the 1.50 percent NOL ceiling or removing the restriction on premiums when the equity ratio is at or above 1.30 percent. Several commenters stated the NCUA should convert all
The Board does not agree with arbitrarily setting the NOL. The NOL represents the level of equity the
While commenters provided feedback opposing any statutory changes removing the 1.50 percent ceiling on the equity ratio or the 1.30 percent cap on the Board's ability to charge a premium, the Board has determined these comments are outside the scope of this request. These changes would be a matter for
Regarding changing the accounting methodology for the
With respect to the audit, the
With regard to the comments stating that if the NCUA wanted to manage to an NOL higher than 1.30 percent there would be a couple of options, including cutting operating expenses, increasing investment yields, or using its borrowing authority, the Board notes that it controls operating expenses to the extent possible consistent with having sufficient resources to achieve the agency's mission. The Board has limited options to increase investment yields, as those are determined by the market and the
FOOTNOTE 9 12 U.S.C. 1783(c). END FOOTNOTE
Regarding the commenter who offered specific comments on the NOL policy objectives, the Board offers the following responses: The Board believes having a robust methodology to determine what level of equity the
Final Action
The Board will retain the current objectives for setting the NOL. When setting the NOL, the Board will seek to satisfy the following objectives:
* Retain public confidence in federal share insurance;
* Prevent impairment of the one percent contributed capital deposit; and
* Maintain the
The impact of changes in value of the corporate asset management estates and the decline in the equity ratio through the end of the following year without an economic downturn will be removed from the NOL calculation. The Board will continue to use a decline in the
By the National Credit Union Administration Board on
Secretary of the Board.
[FR Doc. 2021-27639 Filed 12-20-21;
BILLING CODE 7535-01-P



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