This is the accessible text file for GAO report number GAO-02-774 
entitled 'Federal Reserve System: Update on GAO's 1996 Recommendations' 
which was released on October 25, 2002.



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Report to Congressional Requesters:



September 2002:



Federal Reserve System:



Update on GAO’s 1996 Recommendations:



GAO-02-774:



Letter:



Results in Brief:



Background:



The Federal Reserve Has Taken Steps to Address Systemwide Mission and 

Management Issues:



The Federal Reserve Has Strengthened Its Control and Oversight 

Mechanisms:



The Federal Reserve Has Consolidated Some of Its Administrative 

Functions:



The Federal Reserve Has Continued Its Policy of Not Charging for Bank 

Examinations:



Scope and Methodology:



Agency Comments:



Appendixes:



Appendix I: Comments from the Federal Reserve System:



Tables:



Table 1: Charges and Assessments on Banks, by Charter, as of September 

2002:



Figures:



Figure 1: Federal Reserve Employment from 1995 to 2001:



Figure 2: Federal Reserve Operating Expenses from 1993 to 2001:



Figure 3: 1996 Recommendations Affecting Federal Reserve Systemwide 

Mission and Management Issues:



Figure 4: 1996 Recommendation Affecting Federal Reserve Control and 

Oversight Mechanisms:



Figure 5: 1996 Recommendations Affecting Federal Reserve Administrative 

Functions:



Figure 6: Recommendation Regarding Charging for Bank Examinations:



FDIC: Federal Deposit Insurance Corporation:



DRR: Designated Reserve Ratio:



OCC: Office of the Comptroller of the Currency:



PSDC: Payments System Development Committee:



Letter September 25, 2002:



The Honorable Harry Reid

The Honorable Byron Dorgan

United States Senate:



Our June 1996, report,[Footnote 1] which we prepared at your request, 

made a number of recommendations to the Board of Governors of the 

Federal Reserve System (the Board) for reducing spending and improving 

the operations of the Federal Reserve System (Federal Reserve). This 

report responds to your request that we review the status of the 

Federal Reserve’s response to our recommendations, which fall into four 

broad categories: (1) systemwide mission and management issues, (2) 

control and oversight mechanisms, (3) administrative functions, and (4) 

funding the cost of bank examinations. For each category, we briefly 

review the report’s findings and recommendations and then describe 

related actions taken by the Federal Reserve following publication of 

the 1996 report.



The 1996 report also made a recommendation regarding the Federal 

Reserve’s practice of maintaining a surplus account to protect the 

Federal Reserve from losses. We address this issue in a separate 

report.[Footnote 2]



Results in Brief:



The Federal Reserve has taken actions responsive to most of the 1996 

report’s recommendations. The Federal Reserve has retained its 

structure but has sought to consolidate operations and bring common 

management practices to the 12 Federal Reserve District Banks (Reserve 

Banks). In particular, the Federal Reserve now manages the payments 

services it provides to banks on a systemwide basis. The Federal 

Reserve has also changed its budgeting, internal oversight, and cost 

accounting processes in an effort to increase accountability. It has 

taken other steps to decrease costs in areas identified by our 1996 

report. For example, the Reserve Banks have consolidated their 

purchases of some services, such as prescription drug coverage, to take 

advantage of volume discounts, rather than continuing with the former 

practice of each individual Reserve Bank purchasing services 

separately. The Federal Reserve, however, continues not charging for 

bank examinations. Federal Reserve officials explained that they 

continue to believe that charging for bank examinations would tip the 

current balance against state charters for banks, and thus be 

inconsistent with maintaining the dual banking system of state and 

nationally chartered banks. While we continue to believe that a strong 

argument exists for industry funding of federal supervision and 

regulation, we also recognize the benefits of the dual banking system. 

Ultimately, it is up to Congress to decide how to fund federal 

regulation and to balance the differences among the different bank 

regulators.



Background:



The Federal Reserve Act of 1913 established the Federal Reserve System 

as the country’s central bank. The act made the Federal Reserve an 

independent, decentralized bank to better ensure that monetary policy 

would be based on a broad economic perspective from all regions of the 

country. The Federal Reserve System consists of the Board of Governors 

located in Washington, D.C., and 12 Reserve Banks, with 25 branches, 

located throughout the nation.



Each Reserve Bank is a federally chartered corporation with a Board of 

Directors representing the public and member banks in its district. 

Under the Federal Reserve Act, Reserve Banks are subject to the general 

supervision of the Board. The Board is a federal agency, responsible 

for maintaining the stability of financial markets, supervising 

financial and bank holding companies and state-chartered banks that are 

members of the Federal Reserve and the U.S. operations of foreign 

banking organizations, and overseeing the operations of the Reserve 

Banks. The Board has delegated some of these responsibilities, 

including bank examinations, to the Reserve Banks, which also provide 

payment services, such as check clearing and wire transfers, to 

depository institutions and government agencies.



In 2001, there were approximately 25,000 staff in the Federal Reserve 

with about 93 percent of these employees working at the Reserve Banks. 

From 1995 to 2001, Federal Reserve employment decreased by 482 

employees. Employment for 2002 is projected to grow by 314, largely 

because of plans to increase security staff. Figure 1 shows Federal 

Reserve employment from 1995 to 2001.



Figure 1: Federal Reserve Employment from 1995 to 2001:



[See PDF for image]



Source: Federal Reserve Board staff.



[End of figure]



In the 1996 report, we noted that the Federal Reserve is self-financed, 

and that the income it collects but does not use to fund its operations 

is turned over to the U.S. Treasury.[Footnote 3] In 2001, the Federal 

Reserve had a total income of $31.9 billion and expenses of 

approximately $2.1 billion; it subsequently transferred $27.1 billion 

to the U.S. Treasury.[Footnote 4]



Since 1993, the operating expenses of the Federal Reserve have 

increased an average of 4.2 percent per year (2.2 percent when adjusted 

for inflation). According to its 2002 Budget Review, the Federal 

Reserve’s operating expenses are budgeted at $2.8 billion, an increase 

of 4.5 percent from the estimated 2001 expenses. Figure 2 shows the 

Federal Reserve’s operating expenses from 1993 to 2001.



Figure 2: Federal Reserve Operating Expenses from 1993 to 2001:



[See PDF for image]



Source: Federal Reserve budget review.



[End of figure]



Our 1996 report identified several inefficiencies in the Federal 

Reserve’s policies and practices that had increased the cost of 

providing its services, including its costs for travel, personnel 

benefits, and contracting and procurement. Many of these inefficiencies 

related to the decentralized nature of the Federal Reserve, which 

allowed each Reserve Bank to set many of its own policies, and to the 

absence of traditional cost-minimizing forces, such as competition or 

appropriations, that are commonplace in entities that are either purely 

private or public sector in nature. With this in mind, we suggested 

that the Federal Reserve could do more to increase its cost 

consciousness and ensure that it is operating as efficiently as 

possible.



The 1996 report concluded that major cost reductions ultimately 

depended on the Federal Reserve’s carefully reexamining its mission, 

structure, and work processes. The report identified areas that had 

potential for reducing the Federal Reserve’s costs. The recommendations 

from the report fall into four broad categories:



* systemwide mission and management issues,



* control and oversight mechanisms,



* cost of specific Federal Reserve administrative functions, and:



* charging banks for the costs associated with bank examinations.



The Federal Reserve Has Taken Steps to Address Systemwide Mission and 

Management Issues:



In 1996, we noted that the Federal Reserve faces major challenges in 

its mission and lines of business, particularly in services to 

depository institutions and government agencies and in bank 

supervision. These challenges included (1) increased competition from 

the private sector and increasing difficulties in recovering costs in 

priced services; (2) increasingly widespread use of electronic 

transactions in the financial services industry; and (3) continuing 

rapid consolidation of the banking industry, which could affect both 

the need for and the distribution of bank examination staff. Because 

these areas accounted for the largest part of the Federal Reserve’s 

expenses and staffing, we believed that addressing these challenges 

effectively would likely result in major changes in how the Federal 

Reserve operated.



The Federal Reserve’s strategic plans and programs under development at 

the time of the 1996 report generally focused on individual divisions, 

Reserve Banks, or functions. While these plans served an important 

purpose in defining the direction of these Federal Reserve entities, we 

also believed that the emerging issues and challenges facing the 

Federal Reserve would necessitate strategic planning focused on the 

system as a whole. We also found that each of the Reserve Banks 

administered various functions independently, rather than as a single 

entity that could operate more efficiently or possibly command more 

advantageous prices. These findings led to the recommendations in 

figure 3.



Figure 3: 1996 Recommendations Affecting Federal Reserve Systemwide 

Mission and Management Issues:



[See PDF for image]



Source: U.S. General Accounting Office, Federal Reserve System: Current 

and Future Challenges Require Systemwide Attention, GAO/GGD-96-128 

(Washington D.C.: June 17, 1996).	



[End of figure]



Since 1996, the Federal Reserve has consolidated the management of the 

services provided by the individual Reserve Banks, particularly payment 

services. For example, payment system products and new technologies are 

now managed on a systemwide basis. The Federal Reserve also has 

undertaken an assessment of its role in providing payment services.



In January 1998, the Committee on the Federal Reserve in the Payments 

Mechanism, chaired by the Vice Chair of the Board of Governors, issued 

its report entitled The Federal Reserve in the Payments Mechanism. The 

study examined the payment services provided by the Federal Reserve in 

light of the rapid changes occurring in the financial services and 

technology sectors. These services include check clearing and automated 

clearinghouse services such as direct deposits. The committee undertook 

a fundamental review of the Federal Reserve’s role in the payments 

system and considered how alternative roles for the Federal Reserve 

might enhance or undermine the integrity, efficiency, and accessibility 

of the payments system. It concluded that the Federal Reserve’s current 

role, or even a slightly enhanced role, in fostering technical change 

was preferred by most payment system participants.



In July 1999, the Federal Reserve formed the Payments System 

Development Committee (PSDC) to advise the Board and system officials 

on medium-and long-term public policy issues surrounding developments 

in the retail payments system.[Footnote 5] This committee, which 

includes two Federal Reserve Board Governors, a Reserve Bank President, 

and a Reserve Bank First Vice President, was intended to follow up on 

the work of the Committee on the Federal Reserve in the Payments 

System. PSDC’s work has included the Check Truncation Act, proposed 

legislation designed to remove certain legal impediments to check 

truncation and enhance the overall efficiency of the nation’s payments 

system. It has also worked with payments industry officials to develop 

standards to facilitate increased use of electronic check processing. 

The Federal Reserve has introduced new payment products, such as its 

imaging service, to recognize the increasing role that image-based 

services are playing in the evolution of the U.S. payments system and 

the migration toward more electronic payments.



The Federal Reserve has also undertaken numerous initiatives to 

streamline management structures, consolidate operations, and apply 

emerging technologies to the Reserve Banks’ business processes in order 

to improve quality and reduce costs. Federal Reserve officials 

explained that many of their initiatives have the effect of 

consolidating functions of the Federal Reserve without consolidating 

the 12 Reserve Banks. For example, in 1999, the Treasury Direct 

customer support function was consolidated so that only 3 Reserve Banks 

are providing customer service support to individuals who purchase 

Treasury securities directly from the Treasury. From 1999 to 2002, the 

Federal Reserve consolidated several aspects of Fedwire funds and 

securities transfer operations. Similarly, in 2000, the Treasury 

Investment Program was implemented, centralizing services that the 

Federal Reserve provides to the Treasury Tax and Loan Program.



The Federal Reserve continues to standardize and centralize the 

management of computer applications used for common business needs. It 

has selected a central site to develop and implement a centralized 

application for the Reserve Bank Planning and Control System. The 

Federal Reserve estimates that the centralization of applications such 

as the budget application will result in systemwide savings of $2.6 

million over a 5-year period.



The Federal Reserve Has Strengthened Its Control and Oversight 

Mechanisms:



In 1996, we noted a number of weaknesses in the Federal Reserve’s 

budgeting and internal oversight processes. In reviewing the budgeting 

process for both the Board and Reserve Banks, we found that it was 

based on a current services approach that assumed both that existing 

functions would be retained and that the budget would continue to grow 

incrementally. We concluded that such an approach did not adequately 

support top management in controlling costs and imposing the internal 

self-discipline necessary for the Federal Reserve to respond 

effectively to future priorities. We found that internal oversight 

processes, such as performance measurement, internal audit, and 

financial audits, either did not support performance evaluation from a 

systemwide perspective or were becoming increasingly inappropriate in 

the changing environment. We also noted that the Office of Inspector 

General was authorized to review the activities of the Board, but not 

the Reserve Banks. As a result, we concluded that the Federal Reserve 

might not be making the most use of its resources devoted to Federal 

Reserve oversight. These findings led to the recommendation in figure 

4.



Figure 4: 1996 Recommendation Affecting Federal Reserve Control and 

Oversight Mechanisms:



[See PDF for image]



Source: GAO/GGD-96-128.



[End of figure]



In addition to incorporating systemwide business strategies and 

resource needs into the Federal Reserve Bank budget planning process, 

the Federal Reserve Banks have changed their cost accounting system and 

have altered their internal and external auditing practices.



The Federal Reserve recognized that its budget process required too 

much effort and yielded an unrealistic spending outlook. Therefore, the 

Federal Reserve’s Financial Support Office proposed changes to the 

budget process in which system budget targets would be based on 

systemwide guidance rather than on Reserve Bank projections of their 

expenses. Banks provided their expense information later in the process 

when their budget development would be further along--an approach that 

also could help align budget planning with goal-setting for business 

strategies. In 2001, the Federal Reserve’s Conference of First Vice 

Presidents recommended incorporating this guidance to align the Reserve 

Bank budget projections more closely with business strategies. The 

conference identified “national business leaders,” that is, Federal 

Reserve staff with responsibility for most Reserve Bank functions. 

These leaders provide business guidance as input to the Reserve Banks 

as they prepare their Reserve Bank Budget Outlook. They are responsible 

for almost 90 percent of the total Reserve Bank spending. (The 

remaining 10 percent of spending is largely in support of Federal 

Reserve monetary policy formulation and is not covered by systemwide 

budget goals.):



The Board of Governors has also redefined its strategic plan and has 

now implemented a more rigorous 4-year planning process and a 2-year 

budget process. With this new plan in place, the Board has consolidated 

overhead and several support functions to reduce costs.



In March 2000, the Conference of First Vice Presidents approved 

recommendations designed to improve the cost-accounting practices of 

the Federal Reserve Banks. Board staff told us that Reserve Bank staffs 

have implemented these recommendations. Changes, according to Board 

staff, include the following:



* Simplifying expense allocation by tying expenses to departments and 

organizational units in Reserve Banks rather than to specific 

activities. This change will eliminate a major portion of the manual 

process currently in place, and in turn, will reduce the opportunity 

for erroneous activity charges.



* Shifting some expenses from overhead to the service line that they 

support to reflect expenses more accurately.



* Eliminating sharing of costs among Reserve Banks for all services and 

operations that are provided centrally. Instead, the Reserve Bank that 

provides the service will now report associated expenses in an effort 

to enhance accountability.



The Board adopted several new policies aimed at safeguarding the 

independence of its external auditor. An external auditor, under a 

contract administered by Board staff, reviews each Reserve Bank’s 

financial statements. To enhance independence, in May 2002, the Board 

placed restrictions on Reserve Banks’ ability to contract with the 

Board’s external audit firm or to hire an auditor that has worked on 

the audit of a Reserve Bank. The Board currently requires that the 

external auditor of the Reserve Banks remain independent of Reserve 

Bank management, and that it provide a written statement to the Board 

delineating all relationships between the external auditor and the 

Reserve Banks.



In 2001, the Board revised its policy on Reserve Bank audit committee 

duties and responsibilities, requiring that (1) audit committees adopt 

formal written charters, (2) audit committee members be independent and 

financially literate, and (3) audit committees meet with external 

auditors to discuss the Reserve Bank’s financial statements and issues 

arising from the annual external audit. The audit authority of the 

Inspector General remains unchanged.



The Federal Reserve Has Consolidated Some of Its Administrative 

Functions:



In 1996, we concluded that opportunities existed to reduce the Federal 

Reserve’s spending in a number of different administrative areas. We 

found in 1996 that Federal Reserve personnel compensation (pay and 

benefits) varied within the Federal Reserve and included benefits that 

were relatively generous compared with those of government agencies 

with similar responsibilities.



We also found that the Federal Reserve’s health care benefits were 

managed on a decentralized basis, with each Bank negotiating its own 

health care coverage. We noted that although the Reserve Banks had 

individually made efforts to reduce health care costs, the Reserve 

Banks had not worked together to determine whether their combined 

bargaining powers would further reduce these expenses.



We found in 1996 that travel policies differed between the Board and 

the Reserve Banks and among the Reserve Banks. Therefore, the same trip 

could present different costs to different Reserve Banks. The differing 

travel policies made it necessary for each Reserve Bank to manage its 

own travel costs rather than allowing the Federal Reserve to manage 

travel costs on a centralized basis.



We also found in 1996 that the Board and the Reserve Banks used 

different procurement guidelines. The Board, while not specifically 

directed to do so by the Federal Reserve Act, followed the spirit of 

the federal government contracting rules. The Reserve Banks were 

required to follow Uniform Acquisition Guidelines, which were adopted 

by the Reserve Banks in 1985. These guidelines were designed to provide 

minimum requirements for Reserve Bank procurement activities. By 

providing opportunities for all interested bidders to become a selected 

source, the guidelines attempted to ensure that Reserve Banks treated 

sources fairly and impartially. By fostering competition in the 

procurement process, Reserve Banks would have greater opportunity to 

realize cost savings through lower competitive pricing. Despite the 

Uniform Acquisition Guidelines, we observed instances in which:



* practices at individual Reserve Banks differed significantly and some 

practices favored certain sources over others and:



* proper controls over conflict of interest were not followed at 

certain Reserve Banks.



Practices at certain Reserve Banks lacked independent checks and 

reconciliations, and best practices used by certain Reserve Banks were 

not disseminated among the Reserve Banks. These findings led to the 

recommendations in figure 5.



Figure 5: 1996 Recommendations Affecting Federal Reserve Administrative 

Functions:



[See PDF for image]



Source: GAO/GGD-96-128.



[End of figure]



The Federal Reserve has taken or begun a number of actions in response 

to the findings and recommendations in our 1996 report. These actions 

include reassessing the compensation approach for the Federal Reserve, 

consolidating health insurance for the Reserve Banks, and changing its 

travel and acquisition practices.



A work group of senior Reserve Bank and Board officials was established 

to reassess the compensation philosophy within the Federal Reserve 

System. The Board approved a new Reserve Bank total compensation 

philosophy on June 18, 1997. The philosophy provided broad principles 

for the design of benefit plans that were intended to be competitive 

within relevant labor markets and sufficiently flexible to attract, 

retain, and motivate the staff and officers required to fulfill the 

mission of the Federal Reserve. The policy indicates the purpose and 

objectives of Reserve Bank compensation and benefit programs as well as 

relevant labor markets and competitive position. In 1999, the Board 

approved in concept a Reserve Bank strategic benefits plan, which was 

developed to be a more specific plan for ensuring that benefits will be 

appropriately competitive into the future.



The Federal Reserve is in the process of consolidating the 

administration and selection of health benefits so that all Reserve 

Banks have similar plans that are administered uniformly. Initiatives 

in managing benefits also have led to the consolidation of the 

administration and record keeping of several other benefits, including 

the Thrift Plan, retirement plans, retiree prescription plans, and 

worker’s compensation plans. According to Federal Reserve staff, the 

thrift and retirement plans were consolidated a number of years ago and 

are fully outsourced to a single vendor. Moreover, the Board’s Office 

of Employee Benefits projects that it will save $4 million from 

implementing the consolidated health care plans.



In 2001, the Reserve Banks began a plan to reduce travel costs by 

upgrading videoconferencing capabilities. A vendor for this system was 

selected in the first quarter of 2002, and Federal Reserve officials 

said installation of new facilities has been completed in offices that 

previously had videoconferencing. The next phase of this effort will 

include installing videoconferencing facilities in offices that did not 

previously have them. The Board has also encouraged travel savings 

through pursuing government discounts and traveling at nonpeak hours.



In March 1997, the Federal Reserve completed a fundamental review of 

its Uniform Acquisition Guidance. As part of this effort, it reviewed 

benchmarking and best practices efforts to determine if any changes 

were necessary. In July 1998, a new Model Acquisition Guideline was 

approved, replacing the 1985 Uniform Acquisition Guidelines. The 

Federal Reserve has continued to engage in its benchmarking process. 

Federal Reserve staff said that this process has revealed continued 

declines in the cost of providing procurement services through the use 

of streamlined purchasing procedures. Benchmarking studies have 

concluded that the Federal Reserve’s enhanced use of the System 

Purchasing Service to gain economies of scale has resulted in 

significant savings. Board staff explained that, where it makes sense, 

the Board uses procurement resources available to government agencies, 

such as the General Services Administration. However, they said that in 

some cases, such as in their procurement of telecommunication services, 

the Board and the Reserve Banks might negotiate together to enhance 

their bargaining position.



The Federal Reserve Has Continued Its Policy of Not Charging for Bank 

Examinations:



Our 1996 report noted that the Federal Reserve’s revenues, and hence 

its return to the taxpayers, would be enhanced by charging fees for 

bank examinations. Federal bank regulators differ in their policies 

regarding the assessment of fees for bank examinations. The Office of 

the Comptroller of the Currency (OCC) charges national banks for 

examinations that it conducts. In contrast, state-chartered banks, 

which are supervised by either the Federal Reserve or the Federal 

Deposit Insurance Corporation (FDIC) in conjunction with state banking 

agencies, are charged fees by those state banking agencies but not by 

their federal regulator. Thus, the costs of the Federal Reserve’s 

federal bank examinations are borne by the taxpayers, while for 

national banks, the costs of examination are borne by the banks that 

are examined. The Federal Reserve Act authorizes the Federal Reserve to 

charge fees for bank examinations, but the Federal Reserve has not done 

so, for the state member banks it examines. In addition, the Federal 

Reserve inspects bank holding companies but does not charge the 

institutions for those inspections. Similarly, FDIC is authorized to 

charge for bank examinations but it does not do so. These findings led 

to the recommendation in figure 6.



Figure 6: Recommendation Regarding Charging for Bank Examinations:



[See PDF for image]



Source: GAO/GGD-96-128.



[End of figure]



The Federal Reserve continues to believe that it should not charge for 

bank examinations. Federal Reserve officials told us that, since state 

member banks already pay state banking commissions for examinations, an 

additional charge for a Federal Reserve examination would increase the 

cost and lessen the value of a state banking charter, thus compromising 

the nation’s dual banking system.[Footnote 6] Banks pay an array of 

annual charges and assessments associated with their charters, as table 

1 indicates.



Table 1: Charges and Assessments on Banks, by Charter, as of September 

2002:



Bank charter: State-chartered member of the Federal Reserve System; 

Primary federal supervisor: Federal Reserve; Annual fees and 

assessments (federal/state): Federal: No; State: Yes--states charge a 

variety of fees and assessments; [Empty]; Federal Reserve Bank capital: 

Yes; Federal deposit insurance premiums: Yes.



Bank charter: State-chartered nonmember banks; Primary federal 

supervisor: FDIC; Annual fees and assessments (federal/state): Federal: 

No; State: Yes--states charge a variety of fees and assessments; 

[Empty]; Federal Reserve Bank capital: No; Federal deposit insurance 

premiums: Yes.



Bank charter: National banks; Primary federal supervisor: OCC; Annual 

fees and assessments (federal/state): Federal: Yes; State: No; [Empty]; 

Federal Reserve Bank capital: Yes; Federal deposit insurance premiums: 

Yes.



Note: Since the Bank Insurance Fund balance exceeded the Designated 

Reserve Ratio (DRR) target, 1.25 percent of deposits, in 1995, FDIC is 

not currently charging insurance premiums except for banks that are 

considered to pose particular risk of imposing charges on the Bank 

Insurance Fund. The Federal Deposit Insurance Corporation Improvement 

Act of 1991 established the DRR target.



Source: GAO analysis of banking data.



[End of table]



All three federal bank regulators are self-funded. Differences in their 

funding mechanisms, however, may lead to differences in who ultimately 

pays the costs of supervision and regulation, even if the supervisory 

and regulatory actions serve the common purposes of ensuring that banks 

are operated in a safe and sound manner. The Federal Reserve funds its 

operations from the earnings on its portfolio of Treasury securities, 

as previously noted. Since the Federal Reserve’s transfers to the 

Treasury are reduced by the expenses of its bank supervisory and 

regulatory activities, the taxpayer ultimately pays for Federal Reserve 

activities. FDIC may fund its operations from the premiums that banks 

pay for deposit insurance. However, since the Bank Insurance Fund is 

1.25 percent of bank deposits, which it has been since 1995, FDIC 

generally does not charge banks premiums for deposit insurance. If FDIC 

were to begin charging insurance premiums, then either the bank’s 

owners or customers, including depositors, would be paying for FDIC 

examinations. OCC is funded by assessments on the assets held by 

national banks and fees for services. Under this arrangement, the 

owners or customers of national banks pay for OCC operations. The 

differences among the funding approaches of the federal bank regulators 

continue to raise questions about whether these impose unequal burdens 

on banks--varying with their charter--and their customers.



Bank decisions to select (or maintain) one charter over the 

alternatives depend on the relative advantages of the charters as well 

as the associated costs. Federal Reserve officials argue that the dual 

banking system has worked well historically, allowing banks to choose 

the charter that best serves their business plan and, thus, has 

promoted innovation and a wider array of services for bank customers. 

In a 1997 speech, Federal Reserve Chairman Alan Greenspan commented:



“The dual banking system not only fosters and preserves innovation but 

also constitutes our main protection against overly zealous and rigid 

federal regulation and supervision. A bank must have a choice of more 

than one federal regulator, and must be permitted to change charters, 

to protect itself against arbitrary and capricious regulatory behavior. 

Naturally, some observers are concerned that two or more federal 

agencies will engage in a ‘competition in laxity,’ and we must guard 

against that; but the greater danger, I believe, is that a single 

federal regulator would become rigid and insensitive to the needs of 

the marketplace.”[Footnote 7]



Further, Federal Reserve officials note that the roughly even shares of 

banks across the charters, and consistent shares of deposits among the 

charters, suggest that the relative costs and benefits of the charters 

balance. National banks, they believe, see a value in their charter 

that at least offsets any additional costs.



OCC, however, has argued that the current fee structure may distort the 

dual banking system:



“Healthy competition in the quality of supervision and innovation in 

meeting the needs of banks and their customers should lie at the heart 

of our dual banking system. Unfortunately, today a primary focus of 

this competition is on price. Because state banks receive a federal 

subsidy for the predominant part of their supervision, there is a cost 

incentive for banks to avoid or depart from the national charter in 

favor of the heavily subsidized state charter. This inevitably tends to 

undermine a vigorous and healthy dual banking system.”[Footnote 8]



OCC has proposed that the costs of supervising national banks (which 

OCC performs) and state supervision of state-chartered banks be paid 

from FDIC insurance funds. This approach would attempt to provide 

consistency at the federal regulator-level by having the costs of 

regulation borne by taxpayers or depositors. We have generally favored 

an approach in which regulated entities pay for their own federal 

regulation.



Since the Federal Reserve continues to strongly disagree with our 

recommendation regarding charging for bank examinations, actions to 

implement the recommendation are unlikely. While we continue to believe 

that a strong argument exists for industry funding of federal 

supervision and regulation, we also recognize the benefits of the dual 

banking system. Ultimately, however, it is up to Congress to decide how 

to fund federal regulation and to balance the differences among the 

different bank regulators.



Scope and Methodology:



To review the Federal Reserve’s actions in response to our 

recommendations, we interviewed staff from the Federal Reserve Board’s 

Division of Reserve Bank Operations, Division of Banking Supervision 

and Regulation, Office of Inspector General, as well as the Board’s 

Staff Director for Management. We reviewed relevant policies and other 

Board actions and documents. We did not visit any Reserve Banks to 

verify or review implementation of these new policies.



We conducted our work in Washington, D.C., between April and August, 

2002, in accordance with generally accepted government auditing 

standards.



Agency Comments:



We requested comments on a draft of this report from the Board. In 

these comments, the Director of the Division of Reserve Bank Operations 

and Payment Systems agreed with the information presented in this 

report; the comments are reprinted in appendix I. We incorporated the 

Board’s technical comments where appropriate.



As agreed with your offices, unless you publicly release its contents 

earlier, we plan no further distribution of this report until 30 days 

from its date. At that time, we will send copies of this report to the 

Chairmen and Ranking Minority Members of the Senate Committee on 

Banking, Housing, and Urban Affairs, and the House Committee on 

Financial Services. We will also send copies to the Chairman of the 

Board of Governors of the Federal Reserve System, and we will make 

copies available to others on request. In addition, this report is 

available at no charge on our Web site at http://www.gao.gov.



Please contact me or James McDermott, Assistant Director, at 

(202) 512-8678 if you or your staff have any questions concerning this 

report. Other key contributors to this report were Thomas Conahan and 

Josie Sigl.



Signed by:



Thomas J. McCool

Managing Director, Financial Institutions and Community Investment:



[End of section]



Appendixes:



[End of section]



Appendix I: Comments from the Federal Reserve System:



BOARD OF GOVERNORS OF THE FEDERAL RESERVE SYSTEM WASHINGTON, 

D.C. 20551:



LOUISE L. ROSEMAN:



DIRECTOR, DIVISION OF RESERVE BANK OPERATIONS AND PAYMENT SYSTEMS:



September 9, 2002:



Mr. Thomas J. McCool:



Managing Director, Financial Markets and Community Investment:



United States General Accounting Office, Washington, D.C.



Dear Mr. McCool:



Thank you for the opportunity to comment on the GAO’s draft report 

Federal Reserve System: Update on GAO’s 1996 Recommendations. As your 

draft report reflects, the Federal Reserve has taken a number of steps 

in recent years to improve the quality and costeffectiveness of its 

operations; many of these initiatives have also further enhanced the 

reliability and resilience of our critical functions. We will continue 

to pursue opportunities to increase operational efficiency, which 

should help ensure that the Federal Reserve uses taxpayer funds 

prudently and provides payment services to depository institutions at 

reasonable fees.



We have provided technical comments to the draft report under separate 

cover.



Sincerely,



Signed by Louise L. Roseman



FOOTNOTES



[1] U.S. General Accounting Office, Federal Reserve System: Current and 

Future Challenges Require Systemwide Attention, GAO/GGD-96-128 

(Washington, D.C.: June 17, 1996).



[2] U.S. General Accounting Office, Federal Reserve System: The Surplus 

Account, GAO-02-939 (Washington, D.C.: Sept. 18, 2002).



[3] The Federal Reserve earns most of its income from its portfolio of 

Treasury securities. It also receives revenue for payment services that 

it provides to financial institutions.



[4] The remaining $2.7 billion comprised net deductions from income 

resulting primarily from unrealized losses on assets denominated in 

foreign currencies revalued to reflect current market exchange rates; 

assessments by the Board for its expenses and cost of currency; and 

other distributions, which included dividends paid to member banks and 

transfers to the surplus account.



[5] PSDC is cochaired by the Vice Chairman of the Federal Reserve Board 

and the President of the Federal Reserve Bank of Boston.



[6] The actual cost of bank regulation includes the cost of complying 

with regulation as well as any direct charges. Compliance costs, 

however, are difficult or impossible to observe or measure, while any 

direct costs are reflected in a bank’s accounting records. This 

measurement issue is discussed in G. Elliehausen, The Cost of Bank 

Regulation: A Review of the Evidence, Federal Reserve Board Staff 

Study, April 1998.



[7] Remarks by Chairman Alan Greenspan, Federal Reserve Board, at the 

Annual Convention of the Independent Bankers Association of America, 

Phoenix, Arizona, March 22, 1997.



[8] OCC Quarterly Journal, vol. 20, no. 4, December 2001, p. 32.



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