Missouri Rule Proposals
SIFMA provided comments to the Secretary of State and the Securities Commissioner on the Secretary of State's latest rulemaking Proposals,…
February 23, 2021
Via Electronic Submission
The Honorable Randal K. Quarles
The Honorable Lael Brainard,
The Honorable Michelle Bowman
Board of Governors of the Federal Reserve System
20th Street and Constitution Avenue NW
Washington, DC, 20551
Dear Honorable Randal K. Quarles, Honorable Lael Brainard and Honorable Michelle Bowman
In May 2020, SIFMA responded to the Board of Governors of the Federal Reserve System’s (the “Federal Reserve’s”) interim final rule1 (the “IFR”) for bank holding companies, which provides a temporary exclusion of U.S. Treasury securities and deposits at the Federal Reserve Banks from the Supplementary Leverage Ratio (“SLR”). SIFMA, The American Bankers Association and the Financial Services Forum members strongly supported the Agencies’ modification to this risk-insensitive, size-based capital requirement to at least partially accommodate for the unprecedented speed and size of monetary expansion that was on the horizon. The exclusion of these near-risk-free assets, however, is set to expire on March 31, 2021, despite Federal Reserve Chairman Jerome Powell’s comment that the Federal Reserve’s balance sheet will continue to expand, and that any future exit by the Federal Reserve (the “Fed”) will be publicly communicated “well in advance of active consideration of beginning a gradual taper of asset purchases.2”
The purpose of this letter is to encourage the Federal Reserve to extend the IFR consistent with the expected continued expansion of the Federal Reserve’s balance sheet and significant U.S. Treasury issuance for 2021. We also believe that the IFR extension must be made as soon as possible to better enable banks to engage in efficient capital planning and allocation processes. We believe it is imperative that the continuation of the IFR include both excess reserves and U.S. Treasury securities to preserve the Federal Reserve’s long-standing policy stance that these asset classes are fungible.