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多宝游戏下载 Seeking Comment on Frequently Asked Questions Regarding Identifying, Accepting, and Reporting Brokered Deposits

Summary:

The 多宝游戏下载 is seeking comment for 45 days (closing 12-28-2015) on a proposed update to a series of frequently asked questions (FAQs) and an accompanying introductory letter regarding identifying, accepting and reporting brokered deposits that were issued in January 2015 through FIL-2-2015.

Statement of Applicability to Institutions with Total Assets Under $1 Billion: This Financial Institution Letter applies to all 多宝游戏下载-insured financial institutions that use brokered deposits.

Highlights:

  • Section 29 of the Federal Deposit Insurance Act (12 U.S.C. 搂1831f) and Section 337.6 of the 多宝游戏下载's rules and regulations (12 C.F.R. 搂 337.6) define the term "deposit broker" and restrict the acceptance of brokered deposits by 多宝游戏下载-insured depository institutions that are not well capitalized. The 多宝游戏下载 has also explained requirements for identifying, accepting and reporting brokered deposits in published advisory opinions and in the Study on Core Deposits and Brokered Deposits (Study) issued in July 2011.
  • Based on questions the 多宝游戏下载 received regarding whether certain types of deposits were brokered deposits, the 多宝游戏下载 issued the FAQs through FIL-2-2015 to provide insured depository institutions information on the statute, regulations, existing advisory opinions, and the Study in one place with the goal of explaining the questions and issues in plain language.
  • FIL-2-2015 indicated that the FAQs would be updated periodically. Since the issuance of the FAQs the 多宝游戏下载 has received additional comments and questions and proposes to update the FAQs and the introductory letter that preceded the FAQs. The proposed updates and introductory letter are attached in a "track changes" format to allow readers to identify changes, as well as a clean version.
  • Comments are sought on the entire FAQ document and introductory letter, with particular emphasis on areas with proposed updates or additions. Comments that address areas outside of the proposed FAQs may be answered under separate cover or in future updates.
  • Comments must be received by the 多宝游戏下载 no later than 45 days after publication of this FIL, or by December 28, 2015, and should be submitted to BrokeredDepositFAQs@fdic.gov .

Continuation of FIL-51-2015 

Suggested Distribution:

  • 多宝游戏下载-Insured Depository Institutions

Suggested Routing:

  • Chief Executive Officer
  • Chief Financial Officer

Paper copies may be obtained through the 多宝游戏下载's Public Information Center, 3501 Fairfax Drive, E-1002, Arlington, VA 22226 (877-275-3342 or 703-562-2200).


Financial Institution Letters 
FIL-51-2015 
November 13, 2015

多宝游戏下载 Seeking Comment on Frequently Asked Questions Regarding Identifying, Accepting, and Reporting Brokered Deposits

Purpose 

In January 2015, the 多宝游戏下载 issued a Financial Institution Letter, or "FIL," with a series of "Frequently Asked Questions," or "FAQs" regarding identifying, accepting and reporting brokered deposits, and also with an introductory letter to the FAQs (FIL-2-2015). The FIL indicated that the 多宝游戏下载 would periodically update the FAQs on its website. The 多宝游戏下载 is now proposing to update the FAQs and the introductory letter to reflect feedback that has been received since the FIL was issued. Attached are proposed revisions and additions to certain sections of the FAQs and to the introductory letter that precedes the FAQs with revisions and additions highlighted to allow readers to readily identify changes. Clean versions of the documents are also attached.

The 多宝游戏下载 is seeking comment on the proposed updated FAQs and introductory letter for 45 days, ending December 28, 2015. Comments are sought on the entire FAQ document and introductory letter, with particular emphasis on areas with proposed updates or additions. Comments received will be considered before posting the final updated FAQs and introductory letter. In order to finalize the updates in a timely manner, comments received that address areas outside of the proposed FAQs may be answered under separate cover or in the next round of FAQ updates. When posted to the 多宝游戏下载's website, the updated FAQs and introductory letter will rescind and replace FIL-2-2015. Comments should be sent to BrokeredDepositFAQs@fdic.gov by December 28, 2015. Comments will be posted on the 多宝游戏下载's website.

Background 

Section 29 of the Federal Deposit Insurance Act (FDI Act) (12 U.S.C. 搂 1831f) and the 多宝游戏下载's implementing regulations at 12 C.F.R. 搂 337.6 define the term "deposit broker" and restrict the acceptance of deposits by or through a deposit broker by insured depository institutions (IDIs) that are not well capitalized, among other provisions. The purpose of these restrictions is to prevent weaker banks from increasing their risk-taking through brokered deposits and to reduce costs to the Deposit Insurance Fund for banks that fail. Reports from the Government Accountability Office and the 多宝游戏下载's Office of Inspector General, as well as the Inspector General's material loss reviews of failed banks, indicate that brokered deposits were a significant contributing factor in many recent bank failures. 1

The term "deposit broker" is defined as "any person engaged in the business of placing deposits, or facilitating the placement of deposits, of third parties with IDIs or the business of placing deposits with IDIs for the purpose of selling interests in those deposits to third parties." 12 U.S.C. 搂 1831f(g)(1)(A). If an IDI accepts a deposit through a "deposit broker," the deposit is a "brokered deposit." See 12 C.F.R. 搂 337.6(a)(2).

In the 多宝游戏下载's experience, the question of what constitutes a brokered deposit is very fact-specific and can depend upon varying product features, delivery mechanisms, fee structures, contracts and other governing documents, and evolving technology, among other things. Therefore, over the years, based on industry feedback and requests for guidance, as well as individual brokered deposit determinations, staff at the 多宝游戏下载 has provided guidance on brokered deposits through various advisory opinions and interpretive letters. 2 Additionally, in 2011, the 多宝游戏下载 published its Study on Core Deposits and Brokered Deposits , which was required by the Dodd-Frank Wall Street Reform and Consumer Protection Act, and which also addressed the categorization of certain types of brokered deposits. 3

Despite the existence of Section 29, implementing regulations, staff interpretations, advisory opinions, the study, and governing principles, questions continued to arise regarding whether certain types of deposits were brokered deposits. To assist the industry by providing this information in one place, the 多宝游戏下载 issued FIL-2-2015, with a series of FAQs that summarized issues from key questions on the statute and regulations, as well as existing staff interpretations, opinions, letters, and the study, grouping them into common categories with the goal of explaining the questions and issues in plain language. The 多宝游戏下载 intended the FAQs to be a helpful way for banks to begin the process of determining whether a particular deposit should be categorized as brokered to the extent they had not previously done so.

Since the FAQs were issued, the 多宝游戏下载 has received written inquiries and participated in a number of calls and meetings with bankers, banking trade groups, and other interested parties. The 多宝游戏下载 also held an industry-wide banker call-in regarding the FAQs on April 22, 2015, during which a number of banker questions were addressed. The FAQs have been envisioned to be a living document, and the FIL pointed out that FAQs will be periodically updated on the 多宝游戏下载's website.

Purpose of the FAQs and General Information 鈥 The introductory letter to the FAQs has been revised to state more clearly that the FAQs are based on the law, regulation, study, and other existing interpretations, and accordingly, are not considered new. To that end, footnote citations to these existing sources have been provided for various FAQs, where applicable. The FAQs have also been updated to include new FAQs that are based on written or oral inquiries received since the January 2015 release of the FAQs, and those are identified with footnote citations as well.

The introductory letter also emphasizes that the FAQs are intended as a starting point for analysis, and that the 多宝游戏下载 takes a case-by-case approach to each determination. A statement has also been added indicating that, if an institution was unaware of brokered deposit treatment until the FAQs were released, then the 多宝游戏下载 would generally not seek refiling of past Consolidated Reports of Condition and Income (Call Reports). However, an institution's accounting and financial reporting personnel might make their own refiling recommendations. The introductory letter has also been revised to state that the 多宝游戏下载 intends to update the FAQs annually as needed, rather than periodically, as stated in the previous version, to give the industry a better indication of when updates can be expected.

1See , e.g., GAO-13-71, Financial Institutions: Causes and Consequences of Recent Bank Failures , , and 多宝游戏下载 Inspector General's October 2012 study Acquisition, Development, and Construction Loan Concentration Study , . The 多宝游戏下载 Inspector General's Material Loss Reviews are available at .
2See 多宝游戏下载 Advisory Opinions, /regulations/laws/rules/4000-50.html .
3See Federal Deposit Insurance Corporation, "Study on Core Deposits and Brokered Deposits, Submitted to Congress pursuant to the Dodd-Frank Wall Street Reform and Consumer Protection Act," July 8, 2011, /regulations/reform/coredeposit-study.pdf.
FIL-51-2015
Attachment(s)
Contact(s)
Martin Thompson, Senior Examination Specialist, (202) 898-6767
Rebecca Berryman, Senior Capital Markets Specialist, (202) 898-6901
Christopher Hencke, Counsel, (202) 898-8839

Last Updated: November 13, 2015