Third-Party Risk Management Guidance
As originally proposed in July 2021, the third鈥損arty risk management guidance generally excluded a bank鈥檚 customer relationships from its scope.1 This exclusion of customer relationships was consistent with existing guidance at the time.2
Today鈥檚 final joint guidance has removed the proposal鈥檚 exclusion of customer relationships. According to the agencies, this change 鈥渋s intended to reduce ambiguity.鈥3 In my view, the exclusion鈥檚 removal itself creates ambiguity. The final guidance is now unclear as to whether or when it applies to arrangements involving depositors, borrowers, or other customers of traditional banking services.
The 多宝游戏下载 has endeavored to provide some clarity on this important scope question in its accompanying Financial Institutions Letter.4 I am pleased the 多宝游戏下载 has taken this step, and would look forward to hearing views as to whether this clarification adequately addresses the issue.
On a related note, while detailed, I understand that this third鈥損arty risk management guidance nonetheless remains principles鈥揵ased and risk鈥揵ased. The granular discussion of potential risk management steps is intended to provide illustrative examples of risk management considerations, not prescriptive requirements. That said, given the importance of the issue and the length of the guidance, I would support developing a separate resource guide for community banks as soon as practicable.
- 1
Proposed Interagency Guidance on Third鈥揚arty Relationships: Risk Management, 86 Fed. Reg. 38,182, 38,186鈥7 (Jul. 19, 2021) (鈥淲hile a determination of whether a banking organization鈥檚 relationship constitutes a business arrangement may vary depending on the facts and circumstances, third鈥損arty business arrangements generally exclude a bank鈥檚 customer relationships.鈥)
- 2
See OCC Bulletin 2020-10, 鈥淭hird-Party Relationships: Frequently Asked Questions to Supplement OCC Bulletin 2013-29鈥 (Mar. 5, 2020) FAQ 2 (鈥淏usiness arrangements generally exclude bank customers.鈥); SR Letter 13鈥19 / CA Letter 13鈥21, 鈥淕uidance on Managing Outsourcing Risk鈥 1 (Dec. 5, 2013, updated Feb. 26, 2021) (鈥淭his guidance supplements existing guidance on technology service provider (TSP) risk, and applies to service provider relationships where business functions or activities are outsourced . For purposes of this guidance, 鈥渟ervice providers鈥 is broadly defined to include all entities that have entered into a contractual relationship with a financial institution to provide business functions or activities.鈥) (emphasis added, footnotes omitted).
- 3
Interagency Guidance on Third鈥揚arty Relationships: Risk Management (June 6, 2023) at 8.
- 4
FIL-29-2023, 鈥淚nteragency Guidance on Third鈥揚arty Relationships: Risk Management鈥 (June 6, 2023) (鈥淩elationships that are only between banks and their direct customers of traditional bank products and services (such as deposit accounts or retail or commercial loans) would not be addressed in a third鈥損arty risk management framework and are covered by the various risk management processes and rules that apply to traditional lending and deposit relationships.鈥); id. (鈥淏usiness relationships with third parties engaged in lending, payment, or deposit activities for the benefit of the bank or through the bank should be evaluated by banks using both the third party risk management guidance and the various risk management processes and rules that apply to traditional lending and deposit relationships.鈥) (footnote omitted).