Previously, Federal Reserve
examiners and other designated personnel have held a meeting with
a banking organization’s management and board of directors after an
examination or inspection if it is a large organization or if the
examination/inspection revealed that the organization had significant
problems. In addition, a copy of the examination/inspection findings
has been provided to every bank examined and bank holding company
inspected for review by its management and members of its board. That
policy is now being modified for the purpose of formalizing and strengthening
these traditional Federal Reserve practices for communicating the
findings of examinations and inspections to the management and boards
of directors of banking organizations.
The new policy establishes specific criteria for determining
which examination/inspection findings require follow-up meetings with
boards of directors and presents guidelines for the conduct of these
meetings. It also introduces the requirements that a written summary
of examination findings —separate from the complete examination or
inspection report—be distributed to each director and that senior
Reserve Bank officials become more involved in communicating and presenting
examination/inspection findings to the boards of directors. It is
intended that these initiatives will ensure that each director of
a state member bank or a bank holding company considered to be a problem
organization or identified as having a significant weakness, will
clearly understand the nature and dimension of the organization’s
problems and the responsibilities of its board of directors to correct
them.
Meetings with Directors The decision to hold a meeting with the
board of directors at the conclusion of a state member bank examination
or a bank holding company inspection is to be determined on the basis
of the organization’s financial condition, its size, the type of examination/inspection
conducted and other factors which, in the judgment of the Reserve
Bank, indicate the need for such a meeting. To the extent possible,
meetings with the board of directors of state member banks should
include representatives of the state banking department. Where appropriate,
meetings with the boards of bank holding companies may be held jointly
with the meeting of the lead bank subsidiary’s board of directors
and the bank’s primary federal or state bank supervisor.
Criteria for Conducting Meetings Condition. A meeting
with the board of directors is to be held at the conclusion of any
full-scope examination or inspection in which a state member bank
is rated CAMEL composite 4 or 5 or a bank holding company is rated
BOPEC composite 4 or 5. Such meetings are also required if an organization
is rated composite 3 and its condition appears to be deteriorating
or has shown little improvement since a previous examination/inspection
in which it received a composite 3 rating.
1 A meeting should also be held with all these organizations
following a limited-scope or targeted examination/inspection, if deemed
appropriate and desirable by the Reserve Bank.
Size. A meeting will be required at
the conclusion of a full-scope examination/inspection of all multinational
organizations and major regional organizations with assets in excess
of $5 billion. Reserve Banks also are encouraged to conduct such meetings
at the conclusion of a full-scope examination/inspection of regional
institutions with assets in excess of $1 billion.
Guidelines for Meetings It is understood that meetings with boards of directors
will have to be tailored to meet the needs of each specific situation.
In general, meetings with the full board are to be preferred, but
in certain cases the Reserve Bank may determine that a meeting with a committee
of the board of directors, such as executive or audit committees,
will serve adequately. In all cases, however, the written summary
of examination/inspection findings is to be provided to each member
of an organization’s board of directors.
The Reserve Bank’s presentation to the board should ordinarily
be chaired by a Reserve Bank official, with the examination staff
in attendance.
The larger the organization or more serious its problem,
the more senior should be the Federal Reserve official. In general,
Reserve Bank presidents are expected to become directly involved in
the supervision of multinational organizations and regional institutions
with over $5 billion in assets that have been rated composite 3, 4,
or 5. The president ordinarily will meet with the board of directors
and may become involved in other ways, the precise nature of which
to depend on the situation.
A meeting with the board of directors should include a
formal, structured presentation containing a clear statement that
an institution is considered a “problem” institution
2 or
is about to become a problem institution if existing conditions deteriorate.
Use of slides, other visual aids, and hard copy handouts is encouraged.
Information should also be presented on financial trends and peer-group
comparisons. The presentation should make clear the nature of problems
uncovered, such
as—
- deficiencies in capital, asset quality, earnings,
or liquidity;
- violations of law;
- inadequacies in policies, practices, and reporting
systems necessary for the proper administration of the organization;
- lack of well-documented lending, collection, investment,
and liability-management policies;
- failure of management in addressing previously discussed
deficiencies;
- lack of reporting systems sufficient to keep senior
management and the board of directors fully informed;
- failure of the board of directors to participate in
the active management of the organization.
Summary of Examination Findings The Federal Reserve Banks will begin
providing written reports to the directors summarizing the examination/inspection
findings for all organizations rated composite 3, 4, or 5, and for
those rated composite 1 or 2 showing signs of a significant deterioration
in condition or apparent violations of law. The summary report to
the directors is intended to complement the complete report of examination/inspection
findings prepared for use by bank management and the directors of
an organization. The summary report is to focus on identified problems—rather
than on the strength of the organization—and present them in a manner
that is succinct and unmistakably clear. In all cases, the types of
actions to be taken by the directors and management to address these
problems should be specifically noted. Institutions rated 4 or 5 are
to be told they are “problem” institutions that warrant “special supervisory
attention.” Institutions rated 3 are to be informed that their condition
is not satisfactory, that they are subject to more than normal supervision,
and that they may become “problems” if their weaknesses are not addressed
adequately. A summary report should also be prepared when significant
weaknesses are uncovered in the examination/inspection of 2-rated
institutions. The organization, style, and content of the director’s
summary report is also to be utilized for the summary of the examiner’s
comments on page one of the complete examination/inspection report.
The summary report should also emphasize the responsibilities of the
directors to ensure that corrective actions are taken to address all
deficiencies noted as presented in a section entitled “Matters Requiring
Board Attention.”
The summary report will be sent directly to the banking
organization’s management for their distribution to each director.
The transmittal letter to the banking organization is to state that the report
is a summary of identified problems and contemplated supervisory actions
and to request that management distribute the report to each director.
The letter is to state further that each director should read the
report, sign the introductory statement attesting to having read the
report, and return the report to management. Management is to keep
on file copies of the statements signed by the directors but is to
destroy all but a file copy of the summaries themselves.
It is essential that the directors’
summary report be completed and distributed before any Reserve Bank
meeting with the board of directors in order to provide the directors
with prior notice of the deficiencies to be discussed. Reserve Banks
should also make every effort to distribute the complete examination/inspection
report to management prior to meeting with directors. S-2493, attachment
B; Oct. 7, 1985.
This policy statement supersedes
the pertinent parts of Supervision and Regulation letters 75-288 and
79-512.