Remarks by Assistant Secretary for Financial Institutions Graham Steele at the George Washington University Law School Business & Finance Law Program
As Prepared for Delivery
Thank you, Professor Bearer-Friend, for that kind introduction. It is nice to be back at GW Law for the first time in a long time. I want to thank the friends and colleagues who are here today, particularly Bharat, who was gracious enough to agree to join me for a conversation about the
My connection to GW Law has helped to cement my long-held belief that I wanted to dedicate my career to public service. I still recall Professor
I have similarly benefitted from the wisdom of former colleagues like Professor Bearer-Friend, who was a fellow tax staffer in the
Finally, while I regret never having taken a class with him during my time at GW Law, I want to express my immense gratitude to Professor Emeritus
Turning to the topic of my remarks today, my reflections on the experience of serving for two years as the Assistant Secretary for Financial Institutions at the
I'll begin with community. With all that has happened in the world since
We are proud to have achieved a historically rapid recovery from an economic crisis, but that was not the end of our work. This Administration recognizes that a lack of economic opportunity for communities of color, low-income communities, and rural areas impedes economic progress for our nation overall, and we have been focused on building a more equitable economy for the long term. We have implemented programs that have made available historic funding to mission-driven organizations for the purpose of opening access to capital and financial services for financially underserved borrowers and economically distressed places. Investing in financially underserved communities is not only consistent with our highest ideals; it is essential to our shared economic growth and prosperity.
This is a transformational moment in community finance, not only because of the scale of federal investments, but also because
Next, I will turn to climate. In
Also pursuant to the climate financial risk Executive Order, following a recommendation from the
Treating only the symptoms of climate change will not be sufficient. That is why, in addition to the Inflation Reduction Act and the other historic investments that the
Addressing the social and economic impacts of climate change will require mobilizing the financial system to both address risks and mitigate harms. That is why climate change is a priority for the
Moving ahead to the third "C," cybersecurity,
That does not mean that all has been quiet in terms of malicious cyber activity. In October, for example, several cloud service providers reported that they had withstood the internet's largest-known distributed denial-of-service (DDoS) attack, with one cloud service provider reporting that it experienced an attack more than seven times larger than the previous largest known attack. Industry sources have also reported a substantial resurgence in ransomware attacks in the past year. To cite two notable recent public examples, in February and March, a ransomware attack on the trading firm Ion disrupted its cleared derivatives business for several days. In November, the
While none of the recent events that I have noted have resulted in catastrophic cyber incidents, they are increasing in their frequency and impact. Indeed, it is likely a matter of when--not if--we experience a catastrophic cyber event. The increasing adoption of cloud services and AI will further raise the stakes for public- and private-sector efforts to ensure operational and cyber resilience. That is why
Turning to the next "C," crypto-assets have occupied an outsized amount of policymakers' bandwidth over the past three years relative to the value of their demonstrated use cases. In the spring of 2022, the President issued the Executive Order on
That report noted that consumers, investors, and businesses engaging with crypto-assets are exposed to conduct, operational, and intermediation risks, and risks from regulatory non-compliance. These factors contribute to frequent instances of operational failures, market manipulation, fraud, thefts, and scams. There are also unique risks associated with crypto-asset offerings, such as data privacy and security risks, cost structure concerns, and other risks related to new forms of discrimination and unfair and deceptive acts and practices. We also focused on the claims that crypto-assets can advance financial inclusion, concluding that although some have argued that digital assets have the potential to improve access to financial services for financially underserved communities, that vision has not materialized. Our report noted that the
Less than two months after we released the report, one of the leading crypto-asset exchanges, FTX, filed for bankruptcy. While consumers and investors have suffered meaningful and unnecessary harms as the crypto hype met the cold reality of "crypto winter," so far crypto-assets have not undermined
Our nation's long history of financial booms and busts has repeatedly shown the failures of race-to-the-bottom regulatory approaches, which lead to consumer manipulation, threats to financial stability, and recessions. After every financial crisis, we have adopted a set of fixes, from the National Bank Act to the New Deal banking legislation to the Dodd-Frank Act. For crypto-assets, policymakers have a chance to act before a crisis to adopt high standards that support responsible innovation. At the same time, it is critical that any legislative proposals not undermine the already robust regulatory foundations that apply to financial institutions and capital markets.
The next "C" is capital, meaning the shareholder equity and other loss-absorbing funding that enables banks to fund customers and businesses resiliently throughout periods of economic ups and downs. The issue of bank capital was front and center during the Global Financial Crisis of 2007-09, and it has again come to the fore in the wake of the rapid failure in early March of
Nonetheless, over the course of two months last spring, we experienced the second, third, and fourth largest bank failures in
The President has urged the banking regulators, in consultation with the
The banking agencies have taken significant steps to address some of the underlying causes of the 2023 regional bank stress, but there are a few items that could warrant additional scrutiny. First, while the
The events last spring were severe, but some of the causes and consequences have already faded from the memories of many--a condition that my former boss in the
The sixth "C" on my list is competition, specifically in the banking sector.
New entrant non-bank firms have largely not been subject to the kind of comprehensive regulation and supervision to which banks are subject. As a result, the growing role of these firms in financial markets is accompanied by risks related to regulatory arbitrage, data privacy and security, bias and discrimination, and consumer protection, among others. The report's recommendations supported the efforts by the banking agencies and the
In the traditional banking space, last February, I participated in a panel discussion at the OCC's symposium on bank mergers, just a month before the SVB failure. That discussion centered on how to evaluate the financial stability risk from bank mergers, including whether the failure of a large regional bank would affect
Last is the seventh C, the consumer. The landscape of consumer financial products offered by financial institutions--particularly payments, credit, and deposit-taking--is shifting at an unprecedented rate, with the emergence of new technologies, intermediaries, and even new forms of payment. These developments carry significant implications for the financial system and the consumers who want to use financial products and services. They are also forcing policymakers to confront profound questions about the meaning of responsible innovation. While some of the financial risks to consumers are new, many are not.
For example, consumer data is increasingly at the heart of the financial services ecosystem. While new technologies and permissioned data sharing can expand access to beneficial financial services, designing new products and services without adequately accounting for the needs of the most vulnerable and marginalized could create or reinforce certain disparities. The rise of fintech firms and their novel uses of consumer data and technology, including AI, create the potential for new forms of discrimination, including increased opportunities for predatory targeting and price discrimination. The opacity of AI models could pose challenges for compliance with fair lending requirements and could perpetuate discrimination by using and learning from data that reflects historical biases. The large amount of consumer data being collected and used in AI applications also poses broader surveillance and privacy risks, particularly for certain communities.
As the importance of data in financial services increases, so too must consumer protections. The
Digital payments is another area of growing interest. Credit and debit cards remain the most prevalent instruments for consumer payments and the
Over the past three years, the
While we have made significant progress on our economic agenda, the journey toward a fairer and more stable financial system is not over, and some are already pushing back on our efforts. There are always arguments against creating a more just and equitable economy--whether it involves addressing financial booms and busts, the escalating crisis of climate change, or the legacies of racial and economic inequality. In good times, people will say the system is working and there's no need for more regulations. When the business cycle turns, they say the financial system is too fragile to withstand rules intended to avoid future downturns and protect our most vulnerable communities. To paraphrase an old saying, the time for financial reform "has a trick of going rotten before it is ripe."20 As history teaches us again and again, strong regulation and consumer protection are vital to ensuring that our financial system serves as a source of stability and equitable growth.
Thank you again for having me and for your time today. I'm looking forward to the conversation with my good friend
###
[1]
[2] Press Release,
[3] Executive Order No. 14,030 (
[4] Press Release,
[5]
[6]
[7]
[8] Executive Order No. 14,110 (
[9] Executive Order No. 14,067 (
[10]
[11]
[12] The
[13] Treasury Secretary Geithner Remarks to
[14] Press Release, Brown Keynote Speech at Americans for
[15] Executive Order No. 14,036 (
[16]
[17]
[18] Remarks By Assistant Secretary for Financial Institutions
[19]
[20] This quote from English classical scholar
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Original text here: https://home.treasury.gov//news/press-releases/jy2029



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