1 FIRMA Risk Management Training Conference Fort Worth, Texas March 25-29, 2012 Regulator Panel March 27, 2012 William Alverson, Fiduciary Risk Coordinator.

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1 FIRMA Risk Management Training Conference Fort Worth, Texas March 25-29, 2012 Regulator Panel March 27, 2012 William Alverson, Fiduciary Risk Coordinator Federal Reserve Bank of San Francisco Banking Supervision & Regulation

2 Disclosure: The views and opinions expressed herein are those of my own and do not represent the official opinions of the Federal Reserve Bank of San Francisco, my colleagues in the Federal Reserve System, or of the Federal Reserve System Board of Governors.

3 Board of Governors, Washington DC – Policy 12 Regional Federal Reserve Banks – Supervisors Federal Regulator of FHC’s, BHC’s, SLHCs, FBOs, and SMBs

4 FDIC Insured Institutions by Supervisor (FDIC, OCC, Fed) (FDIC Quarterly Banking Profile – 3Q 2011) Number of Institutions Total Assets ($ B) Domestic Deposits ($ B) Commercial Banks6,352$12,560$7,582 FDIC Supervised4,193$1,982$1,512 OCC Supervised1,333$8,727$4,926 Fed Supervised826$1,851$1,144 Savings Institutions1,084$1,248$923 OCC Supervised636$923$678 FDIC Supervised448$325$245 Bank Holding Companies - Fed Supervised 4,784$17,480NA

5 Federal Reserve Mission – Banking Supervision & Regulation: Promote the safety and soundness of the banking system and compliance with laws and regulations How: Focus on financial institutions’ business strategy, financial condition, risk management processes, and corporate governance Ongoing supervision/surveillance & early identification of emerging risks Conduct risk-focused examinations to assess safety & soundness, regulatory, and fiduciary compliance Initiate when necessary supervisory actions (MRIA, MRA, Observation) and, if necessary, initiate, monitor, and terminate enforcement actions Process applications (mergers, acquisitions, etc.)

6 System Governance – Wealth Management FR System Fiduciary & Insurance Affinity Groups 2011/2012 Wealth Management Top Supervisory Themes 1.BHC Asset Management Exposures - Advised and Sponsored Investment Funds 2.Integrated BHC Wealth Management Platforms 3.Operational Risk Management (including IT & AML) Corporate & Consumer Compliance 4.Legal Risk and Corporate Governance Fiduciary Responsibilities & Fair Play Standards 5.Dodd-Frank Act Considerations Umbrella Holding Company Supervisor Broker/Dealer/RIA/Other Nondepository Subsidiaries

7 1.BHC Asset Management Exposures - Advised and Sponsored Investment Funds (Registered & Common/Collective) Supervisory Rationale – “Near Zero” Rate Environment; New Financial Rules/Regulations; Liquidity Strains & Capital Loss; Suitability and Complexity of Products Holistic BHC Risk Management Framework – Enhance Understanding of Enterprise-Wide Exposures Total Asset Management Activity Institutional Asset Management Compositions Concentrated Investment Strategies Past/Present Amount of BHC/Bank Financial Support (including fee waivers) Investment Fund Management Poor Performance in Advised/Sponsored Investment Funds Stresses of Continued Low Rate Environment Stressed Investments – Municipalities, Euro Debt, etc Break the Buck” Fund Support Expenses & Fee Waivers

8 2.Integrated Wealth Management Platforms Many Regional (RCBO) and Large Banking Organizations (LBO) now deliver financial products to their retail and corporate/institutional clients through functionally managed “lines of business” (LOB). Many employees are dual officers of bank, B/D, RIA, and other legal entities Management of Various Product Delivery Venues; Holistic Capture/Reporting of “Cross-Entity” Risk; Conflicts of Interest Management ; Legal Entity Capacity & Corporate Governance Functional Regulators/Reporting Requirements/Fiduciary and Standards of Care Similarities and Differences BHC Broker- Dealer Financial Advisors Bank Trust Company Investment Advisor Insurance Investment Advisor

9 3.Operational Risk - Various RCBO/LBO Enterprise Risk Management. All entities subject to prudent risk management standards (SR95-51) LBO > $50 Billion Subject to SR08-8 Integrated Compliance Risk Management Programs Firmwide Approach to Compliance RM & Oversight Independence of Compliance Staff Compliance Monitoring & Testing BOD & Senior Management Responsibilities – RE: RM & Oversight State-Member Banks/Trust Companies Mandated Trust Exams & MOECA Assessments NDIP, Regulation R/GLBA Push Out Rules BSA/AML, IT Security, Applications, Reconcilements

10 4.Legal Risk and Corporate Governance Legal and Reputational Risks – Management Oversight & Corporate Governance. All actions related to financial products, and services provided are undertaken as directors, officers, and/or employees of specific legal entities with the accompanying corporate governance trappings, responsibilities, and liabilities. Legal entities “deliver” products not functional lines of business Institutions must understand and incorporate appropriate delivery, capacity, fiduciary responsibilities, and fair play standards when designing, marketing, and delivering financial products and services: Delivery – legal entity offering product or service (i.e. bank, investment bank, broker/dealer, RIA). Type of delivery channel will determine applicable regulations and standards of conduct. Capacity – role of legal entity in regards to product/service. For example, trustee, principal/dealer, broker/agent, or seller/buyer Fiduciary Responsibilities - understand and appreciate legal responsibilities and fiduciary duties of trustees, principals/dealers, agents/broker dealers versus marketplace sellers and buyers.

11 4.Legal and Corporate Governance (Continued) Legal Entity Capacity & Responsibilities: Trustees/Fiduciaries – typically held to the highest standard of conduct and trust. Must always act in best interests of beneficiaries Agents/Brokers – act on behalf of a principal (individual or institution) who hired them to perform a specific task or function (i.e. find my the best home loan or suitable investment). Agents have limited fiduciary responsibilities to their principal and should disclose potential and real conflicts of interest. Principal/Dealer – sell or buy from their own book, as opposed to brokers, who on behalf of principals, sell or buy from others and get paid by commission/markup. Buyers and Sellers in the Financial Marketplace – generally have no fiduciary responsibility. Caveat Emptor – let the buyer beware, but sellers must play fair

12 4.Legal and Corporate Governance (Continued) Fair Play – its required by law. Section 5(a) of the Federal Trade Commission Act prohibits “unfair or deceptive acts or practices in or affecting commerce, and applies to all persons engaged in commerce, including BHCs and their subsidiaries. Enforced by: Banking Regulators (including CFPB), SEC/SROs Fair Trade Commission (“FTC”) State Attorneys Generals (State Laws and Regulations) Unfair and Deceptive Acts and Practices (UDAP) – new supervisory focus on UDAP. Technical compliance may not always be sufficient. More focus on ensuring informed decisions and overall product life cycle integrity. Unfair Acts or Practices - An act or practice is unfair when: it causes or likely causes substantial injury to consumers. Substantial injury usually involves monetary harm Dodd-Frank Act Expanded Powers - UDAP– Section 1031 – Bureau of Consumer Financial Protection (CFPB) may prescribe rules to identify unlawful, unfair, deceptive or abusive acts or practices in connection with any consumer financial product or service

13 5.Dodd-Frank Act (DFA) Considerations Expanded FR’s Objectives as Consolidated Supervisor. New holding company framework and supervisory objectives are to: Ensure that a BHC/SLHC subsidiary does not present material financial, legal, or reputational risks to affiliated depository institutions, or the ability of the BHC/SLHC to provide support to those subsidiary depository institutions Incorporate financial stability, as well as enhanced prudential considerations of DFA, into consolidated supervision objectives and approaches Reflect lessons learned from framework during financial crisis, including experience with the supervision of nondepository subsidiaries; and Extend the framework to SLHCs and nonbank financial companies designed as systemically important by the Financial Stability Oversight Council

14 4.Dodd-Frank Act (DFA) Considerations (Continued) DFA Sections 604 & 605 FR will regularly consult with supervisor(s) of an organization’s lead depository institution to identify significant risk taking activities. For nondepository institutions supervised by a functional regulator, FR will consult and coordinate with to promote comprehensive and effective supervision DFA Section 604 removed the so-called “Fed Lite” requirements of GLBA. FR is to still rely to the fullest extent possible on information and assessments of relevant functional regulators DFA Section 605 introduced new expectations for FR supervision of activities at nondepository subsidiaries that are not functionally regulated. When deemed appropriate, FR supervisory staff have explicit authority to direct an organization to apply risk management or internal control standards to nondepository and nonregulated subsidiaries

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16 THE END