Community banks have recorded another victory! The FDIC Board of Directors voted to rescind its controversial plan to assess reciprocal deposits as brokered deposits in the calculation of community bank deposit insurance assessments. The FDIC initially made this recommendation in a July of 2015 Notice of Proposed Rulemaking (NPR) to “refine” the deposit insurance assessment system for small depository institutions ($10 billion in assets and under). The FDIC received more than 400 comment letters (including a letter from CBAI) critical of the plan and CBAI is pleased to report that the FDIC has responded to the concerns of community banks.
In a September of 2015 comment letter to the FDIC, CBAI raised serious concerns about the NPR’s treatment of reciprocal deposits, which are an important source of community banks’ funding, and highlighted the major differences between reciprocal and brokered deposits which clearly indicate that reciprocal deposits are core deposits. CBAI emphasized that these deposits are an important tool for community banks to compete against larger banks, and they do not foster a further concentration of banking assets in too-big-to-fail mega banks. CBAI concluded by urging the FDIC to continue “separate treatment for reciprocal deposits from brokered deposits by defining core deposits to include reciprocal deposits.” Read CBAI’s Comment Letter to the FDIC.
Also, in a December of 2015 letter to U.S. House Financial Services Committee leadership, CBAI urged support for the bipartisan H.R. 4116, a bill which would amend the Federal Deposit Insurance Act to ensure that reciprocal deposits are not considered to be funds obtained through a deposit broker. CBAI’s comment letter specifically pointed out that Illinois law requires units of local government deposits to be fully insured and how reciprocal deposits allow local governments to get what they need - insured deposits, and community banks to get what they need - money to lend back into their communities. This letter of support was important in keeping legislative pressure on the FDIC to make this concession to community banks. Read CBAI’s Letter to HFSC Leadership.
This victory underscores how consistent involvement in the legislative and regulatory process yields positive results for community banks!
January 21, 2016