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3-1531

EXAMINATIONS AND INSPECTIONS—Of State Member Banks and Bank Holding Companies; Policy Statement

This policy calls for a general increase in the frequency of examinations of state member banks and inspections of bank holding companies. The objectives sought are (a) to help prevent the development of problems at banking institutions and (b) to make more effective the Federal Reserve’s ability to identify and resolve problems that develop nonetheless.
The policy requires that, in general, banking organizations for which the Federal Reserve is primary supervisor are to be examined/inspected at least annually, with the largest of such organizations and those with significant problems to be examined/inspected semiannually. As an exception to the general rule, small “shell” holding companies with no known problems and low levels of debt relative to the book value of their subsidiary bank’s stock may be inspected on a much more limited basis. Tables presenting these frequency and scope requirements follow this policy statement.
Federal Reserve Banks are to intensify their involvement in the examination/inspection of large organizations and those with significant problems. Greater reliance is to be placed on state examinations/inspections in the case of smaller organizations. If a state lacks the resources to conduct examinations/inspections in accordance with the specifications of this policy or is unwilling to do so, or, in the case of holding companies, lacks authority, the Federal Reserve Banks will conduct the examinations/inspections to the extent needed to meet the specifications.1 In addition, if a state member bank or bank holding company indicates its wish to be examined/inspected by its Federal Reserve Bank, that wish should be honored.
Requirements for State Member Bank Examinations*
No identified problems or special characteristics. Multinational state member banks and all others with assets greater than $10 billion will be subject to a full-scope examination annually. In addition, a targeted examination2 should be scheduled annually for each of these banks. If, however, a bank’s financial condition is judged to be clearly satisfactory—based on its last full-scope examination, the findings of the Federal Reserve’s surveillance system3 and other sources of information—the Reserve Bank may waive the targeted examination. Each of the required examinations should be conducted by the Federal Reserve Bank independently or jointly with the state; these banks should no longer be examined under an Alternate-Year Examination Program (AEP).
Banks requiring special supervisory attention. Banks receiving a CAMEL4 composite rating of 4 or 5 on an examination must be examined on a twice-a-year basis thereafter until the problem is resolved; at least one of these two must be a full-scope examination. If a bank has total assets in excess of $500 million, both examinations must be conducted by its Federal Reserve Bank, independently or jointly with the state.
All banks rated a CAMEL composite 3 on their last examination are to have an annual full-scope examination conducted by the Federal Reserve, independently or jointly with the state. In addition, a limited-scope or targeted examination of composite 3-rated banks with total assets greater than $500 million must be conducted during the year by the Federal Reserve, independently or jointly with the state.
Banks with special characteristics. State-chartered banks applying for membership in the Federal Reserve System are to receive a full-scope examination by the Federal Reserve before membership is granted. Particular attention is to be given in these examinations to the quality of assets and the adequacy of capital.
Similarly, a full-scope examination by the Federal Reserve, independently or jointly with the state, will be required within 12 months following (1) the formation of a de novo state member bank or (2) the change in control of a state member bank.
Banks which in the judgment of the Reserve Bank fail the surveillance screen or which the Reserve Bank, on the basis of other information, has reason to believe may have significant problems, are to receive an in-depth, off-site review to determine whether an on-site examination should be conducted by the Federal Reserve, independently or jointly with the state.
Requirements for Banks Holding Company Inspections
Bank holding companies with no identified problems or special characteristics. Multinational bank holding companies and all others with consolidated assets over $10 billion are to receive a full-scope inspection annually to be coordinated with the examination of the lead bank to the extent possible. Although the inspection of the holding company and the examination of the lead bank need not be commenced simultaneously, they should overlap and rely on financial statements as of the same date, if possible, in order to facilitate the analysis and the presentation of findings to management and directors. A limited-scope or targeted inspection of these companies is also to be conducted between the annual full-scope inspections, the precise timing to be determined by off-site surveillance reports and by opportunities to coordinate with the examination of the lead bank. The requirement for a limited-scope or targeted inspection may be waived by the Reserve Bank if, on the basis of the findings of the last full-scope inspection and of the surveillance system, the institution is judged to be in satisfactory condition.
Complex bank holding companies (defined as companies with nonbank subsidiaries that extend a material amount of credit or companies whose parent has a material amount of debt outstanding to the general public) with consolidated assets between $500 million and $10 billion receive a full-scope inspection annually. Noncomplex “shell” organizations in this size group are to receive a limited-scope inspection every two years. These inspections should be conducted, to the extent possible, in coordination with the examination of the lead bank. All bank holding companies in this size group should be subject to additional limited-scope or targeted inspections when the Reserve Bank has information that suggests the institution may be developing significant problems.
Complex bank holding companies with consolidated assets between $150 million and $500 million are to receive an annual full-scope inspection. Noncomplex shell bank holding companies in this size group are to receive a limited-scope inspection on a once-in-three-years basis.
Inspection frequency for bank holding companies with consolidated assets of less than $150 million is to be determined by their structural characteristics and their debt levels. Complex bank holding companies are to receive a full-scope inspection every other year. Noncomplex shell companies with parent debt exceeding the book value of the stock of the company’s bank (or banks) should be inspected every other year. These inspections may be either full scope, limited scope, or targeted as deemed appropriate.
Noncomplex shell companies (with consolidated assets less than $150 million) with a ratio of parent debt to the book value of the stock of the company’s bank (or banks) of less than 100 percent will be inspected on a sample basis: a 20 percent sample will be drawn of companies with a ratio between 75 and 100 percent for inspection each year; a 10 percent sample will be drawn of companies with a ratio below 75 percent for inspection each year. These inspections may be either full scope, limited scope, or targeted as deemed necessary. (NOTE: Companies that received a BOPEC5 composite rating of 3, 4, or 5 or failed a surveillance screen will not be included in the population from which samples are to be drawn and should be inspected in accordance with the frequency requirements set forth below.)
In addition to the above inspection requirements, in the case of companies with less than $150 million in consolidated assets, primary federal and state bank supervisors are to be asked to review, during their examination of a bank, any significant dealings between the bank and the holding company and to report such findings along with any other relevant information on the health of the organization to the Federal Reserve. (A short form will be provided to make such reports to the Federal Reserve.) The Federal Reserve Banks will review this and other information to determine whether an inspection of the holding company should be conducted. Further, the Federal Reserve will be prepared to inspect any of these small bank holding companies—as well as any larger holding company—at the request of the bank’s primary supervisor.
Bank holding companies requiring special supervisory attention. Inspection frequency of bank holding companies requiring special supervisory attention is to be determined by both the size and complexity of the organization. The most intensive frequency requirements are directed at bank holding companies rated BOPEC composite 4 or 5, or whose lead bank subsidiary has been rated CAMEL composite 4 or 5. All bank holding companies so rated with consolidated assets over $500 million are to receive an annual full-scope inspection and a limited-scope or targeted inspection during the interval between full-scope inspections. The same requirements apply to complex bank holding companies with assets between $150 million and $500 million. To the extent possible, inspections of these 4- and 5-rated bank holding companies are to be coordinated with the examination of the lead bank subsidiary. Noncomplex bank holding companies with assets of $500 million or less are to receive an annual inspection whose scope may be determined by the Reserve Bank based upon the nature of the companies’ problems.6 Complex holding companies with assets under $150 million are to receive a full-scope inspection annually.
Bank holding companies rated composite 3 with consolidated assets over $500 million are subject to the same requirements as those rated 4 or 5. Bank holding companies with consolidated assets between $150 million and $500 million with complex structures are to receive an annual full-scope inspection; those with noncomplex structures are to receive an annual inspection, the scope of which is to be determined by the Reserve Bank. Complex bank holding companies with assets under $150 million should receive a full-scope inspection annually; noncomplex bank holding companies with assets less than $150 million are to be inspected every other year. The type of inspection for these small noncomplex companies may be determined by the Reserve Bank.6
Bank holding companies with special characteristics. Bank holding companies formed to acquire an existing bank are to be inspected to determine their compliance with Federal Reserve regulation and the extent to which they have fulfilled commitments the Board of Governors required of the organization in approving its application. Such inspections should be conducted between the 6th and 18th month after the acquisition; their scope is to be determined by the Reserve Bank. If information available to the Reserve Bank—the most recent examination of the bank, the most recent FR Y-6 and FR Y-9 reports from the holding company and other pertinent information— indicate that (a) the condition of the bank and bank holding company is satisfactory, (b) the bank holding company is fulfilling its commitments to the Board of Governors, and (c) the ratio of the parent’s debt to the book value of the subsidiary bank (or banks) is less than 75 percent, then, at the Reserve Bank’s discretion the inspection may be delayed as long as 36 months after the formation. Moreover, the requirement for an inspection may be waived in the case of a bank holding company whose bank subsidiary has less than $50 million in total assets if, in the Reserve Bank’s judgment, (a) the holding company’s financial condition is satisfactory and its commitments to the Board of Governors are being fulfilled and (b) the ratio of the holding company’s debt to the book value of the subsidiary bank (or banks) is less than 75 percent.
Bank holding companies that have undergone a change in control and de novo bank holding companies organized to acquire de novo banks, are to receive a full-scope inspection within 12 months following the change in control or formation. A limited-scope or targeted inspection may be conducted in lieu of the full-scope inspection if, in the judgment of the Reserve Bank, the financial condition of the holding company appears satisfactory.
In those cases where bank holding companies fail the surveillance screen or where other information suggests the company has experienced an adverse development, an in-depth off-site review will be made to determine the need for a limited-scope or targeted inspection. S-2493, attachment A; Oct. 7, 1985; revised by S-2563 of May 20, 1994.
This policy statement supersedes S-2441 of Jan. 7, 1981, and S-2444 of March 19, 1981. In 1997, the Board approved a new risk-focused program for Federal Reserve Banks to follow in supervising most bank holding companies with assets of less than $1 billion. The program, outlined at 3-1532.5, supersedes these inspection-frequency guidelines for certain bank holding companies defined as small shell organizations.
Tables 1 and 2 follow.
TABLE 1—Frequency and Scope of Safety-and-Soundness Examinations of State Member Banks
Rating Asset Size (based on year-end assets)
$10 bil. + Less than $10 bil. to $1 bil. Less than $1 bil. to $500 mil. Less than $500 mil.
1(*) or 2 Full-scope required each 12-month period (FR or joint.) Full-scope required each 12-month period (FR or joint presumed; approved AEP allowed every other period with FR examiner presence). Full-scope required each 12-month period (FR or joint; approved AEP allowed every other period with a presumed FR examiner presence). Full-scope required each 12-month period. (FR or joint at least every other period. State examination can be substituted under approved AEP every other period).
Targeted (FR or joint) or other supervisory efforts also presumed each 12-month period. Targeted when necessary. Targeted when necessary. Targeted when necessary.
3 Full-scope required each 12-month period (FR or joint). Full-scope required each 12-month period (FR or joint).
Targeted also required each 12-month period for deteriorating institutions (FR or joint). Targeted when necessary
4 or 5 One full-scope and one targeted exam required each 12-month period (FR or joint). One full-scope and one targeted examination required each 12-month period (full-scope must be FR or joint).
Special Characteristics
Special Characteristics
 (*) Well-capitalized, well-managed institutions rated CAMEL composite 1 with no change in control and with less than $100 million in total assets may be examined on an 18-month period.
 1. New member banks: full-scope FR exam required before membership granted.
 2. De novo member bank; targeted after first quarter of operation and full-scope every six months until rated CAMEL 1 or 2 for two consecutive examinations.
 3. Banks that fail surveillance screen or for which other significant adverse information is received: in-depth, off-site review required to determine need for examination to be conducted by FR or jointly with state.
Notes
 1. The Alternate Year Examination Program (AEP) provides for Federal Reserve and state examinations of state member banks in alternating periods. State AEP examinations must meet the requirements of a full-scope examination or include an FR examiner presence.
 2. Joint examinations are conducted by the Federal Reserve and the state simultaneously, with one joint report being prepared.
 3. 12-/18-month period is defined as the period from the close date of an examination to the opening date of the next examination. An opening date is the day the examination commences, rather than the financial statement as-of date; the closing date is either the day the report of examination is mailed to the board of directors or 60 calendar days from the opening date, whichever comes first.
TABLE 2—Frequency and Scope of Inspections of Bank Holding Companies
Rating Asset Size
$10 bil.+ $500 mil.-$10 bil. $150 mil.-$500 mil. Less than $150 mil.
  Complex Noncomplex Complex Noncomplex Complex Noncomplex (See note 4.)
1 or 2 Full-scope required annually. Additional limited-scope or targeted presumed annually. Full-scope required annually. Limited-scope or targeted when needed. Limited-scope required every two years. Additional limited-scope or targeted when needed. Full-scope required annually. Limited-scope required every 3 years. Full-scope required every other year. See note 3.
3 Full-scope required annually. One limited-scope or targeted also required annually. Inspection required annually; may be limited-scope or targeted. Full-scope inspection required annually. Inspection required every other year.
4 or 5 Full-scope required annually. One limited-scope or targeted also required annually. Inspection required annually. Inspection annually.
Special Characteristics
Special Characteristics
 1. BHCs formed to acquire going concerns: inspection to be conducted between the 6th and 18th months of operation, or within 36 months under specific conditions, or waived if under $50 mm with specific conditions.
 2. Change in control or de novo BHCs: inspection required within 12 months.
 3. BHCs that fail surveillance screen or for which other significant adverse information is received: in-depth off-site review required to evaluate need for limited-scope or targeted inspection.
Notes
 1. A full-scope inspection covers all areas of interest to the Federal Reserve in depth. A limited-scope inspection will review all areas of activity covered by a full-scope inspection, but less intensively. Targeted inspections will focus intensively on one or two activities.
 2. A complex BHC is defined as one with material credit-extending nonbank subsidiaries or debt outstanding to the general public. A non-complex BHC is one without credit-extending subsidiaries and without public debt.
 3. The frequency of inspection of noncomplex “shell” BHCs that are rated BOPEC 1 or 2 is based upon the ratio of parent debt to the book value of the bank’s stock: (a) if over 100 percent, inspect every other year; (b) if 75-100 percent, inspect a 20 percent sample each year; (c) less than 75 percent, inspect a 10 percent sample each year.
 4. For small noncomplex BHCs, Reserve Banks should explore the possibility, under appropriate circumstances, of enlisting the assistance of the primary bank regulator in conducting the inspection.

1
It is suggested that Reserve Banks will need to exercise some flexibility when implementing the examination requirements in order to achieve operational efficiencies and appropriate coordination with state banking departments.
*
See also 3-1531.1.
2
Targeted examinations will focus intensively on one or two activities.
3
Refers to the Federal Financial Institutions Examination Council-approved Uniform Bank Surveillance Screen for use by the bank regulatory agencies to identify on an early-warning basis those banks in need of special supervisory attention.
4
CAMEL refers to the rating system used by the federal supervisory agencies to assess the financial condition of commercial banks (see 3-1575).
5
BOPEC refers to the Federal Reserve’s rating system for bank holding companies.
6
Reserve Banks may, under appropriate circumstances, enlist the assistance of the primary bank regulator in conducting these inspections.
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