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Request for Information on Deposits

I am supportive of the Request for Information (RFI).  I think soliciting input on the behavior and characteristics of different types of deposits, including in particular differentiating among types of uninsured deposits, is a helpful step by the agency.1  More generally, I think regulators need to think more holistically about the deposit landscape than we do today,2 and I view this RFI as a small step in the right direction.  In the long run, we should consider whether, how,3 and to what extent to collect more granular and frequent deposit data, and I think asking for broad feedback before proposing specific Call Report changes is useful.4  Finally, while any potential deposit insurance reform would ultimately be decided by Congress, I think seeking input from the public on the issue is constructive.

1And a contrast to certain actions taken last year. See, e.g., Federal Deposit Insurance Corporation, Special Assessment Pursuant to Systemic Risk Determination, 88 Fed. Reg. 88,329 (Nov. 29, 2023).
2See Travis Hill, Reflections on Bank Regulatory and Resolution Issues (July 24, 2024) (“I do think we should make an effort to modernize how we think of a bank’s funding mix, and to think more holistically about how we view a bank’s deposit franchise.”).
3See, e.g., Federal Deposit Insurance Corporation, Rapid Phased Prototyping Initiative (March 26, 2021) (FIL-19-2021).
4As noted in the RFI, it also worth considering whether there are existing reporting elements that should no longer be collected.

Last Updated: August 12, 2024