Connecticut Bankers Association Edward A. Hjerpe III President and Chief Executive Officer

Transcription

Connecticut Bankers Association Edward A. Hjerpe III President and Chief Executive Officer
Connecticut Bankers Association
Edward A. Hjerpe III
President and Chief Executive Officer
November 14, 2014
Today’s Topics
 Third Quarter Financial Highlights
 FHLB Boston as Your Business Partner
 Legislative and Regulatory Issues
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FHLB Boston Board of Directors Update
 FHLBBoston board of directors comprised of
• Member (industry) directors – nominated from and elected by
members in each individual state
• Independent directors – elected by the membership at large
 Connecticut representation today
• Martin Geitz, President and CEO, Simsbury Bank
• Joan Carty, President and CEO, Housing Development Fund
• Eric Chatman, President and Executive Director, CT Housing Finance
Authority
• Jay Malcynski, Managing Partner, Gaffney Bennett & Associates
3
FHLB Boston Board of Directors Update, continued
 Industry directorships allocated based upon a statutory formula driven by
advances outstanding in each state as of 12/31 the prior year
• Currently eight total seats; MA grandfathered with three seats
 Independent director seats must be at least 40% and less than 50% of
total board – currently seven seats
 Growth in advances to CT members in 2013 resulted in a second member
seat beginning in 2015
• Congratulations to Greg Shook
• Total industry seats will increase to nine
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Third Quarter Financial Highlights
Third Quarter 2014 Financial Highlights: FHLBBoston
Q3 2014
Assets
$51.9 billion
Advances
$31.4 billion
Net Income Before OTTI Charges and AHP Assessment
$53.7 million
Credit-Related OTTI Losses
$(311 thousand)
Affordable Housing Program
$(5.5 million)
Net Income
$47.9 million
Dividend
1.49%
All third quarter results are preliminary and unaudited.
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Year-End and Q3 2014 Financial Data
12/31/07
12/31/08
12/31/09
12/31/10
12/31/11
12/31/12
12/31/13
9/30/14
End Advances
$55.7B
$56.9B
$37.6B
$28.0B
$25.2B
$20.8B
$27.5B
$31.4B
Total Investments
$17.9B
$18.9B
$20.9B
$27.1B
$21.4B
$15.6B
$13.0B
$15.2B
Total Assets
$78.2B
$80.4B
$62.5B
$58.6B
$50.0B
$40.2B
$44.6B
$51.9B
End Capital Stock(1)
$3.2B
$3.7B
$3.7B
$3.8B
$3.9B
$3.7B
$3.5B
$2.8B
$(2.2)M
$(483.9)M(2)
$(1,021.6)M
$(638.1)M
$(534.4)M
$(476.6)M
$(481.5)M
$(440.5)M
End Retained Earnings
$225.9M
$329.4M(2)
$142.6M
$249.2M
$398.1M
$587.6M
$788.8M
$876.2M
Pre-assessment, Pre-OTTI Income
$270.0M
$265.9M
$257.3M
$229.8M
$265.6M
$237.4M
$239.1M
$53.7M
N/A
$(32.6)M(2)
$(444.1)M
$(84.8)M
$(77.1)M
$(7.2)M
$(2.6)M
$(0.3)M
Period REFCorp Assessment
$(49.6)M
-
-
$(26.6)M
$(11.1)M
-
-
-
Period AHP Assessment
$(22.2)M
-
-
$(11.8)M
$(17.8)M
$(23.1)M
$(24.2)M
$(5.5)M
Period Net Income
$198.2M
$(115.8)M(3)
$(186.8)M
$106.6M
$159.6M
$207.1M
$212.3M
$47.9M
Period Return on Average Equity
6.96%
(3.17)%
(6.49)%
3.52%
4.73%
6.03%
7.4%
6.7%
End Regulatory Capital Ratio
4.37%
4.99%(2)
6.20%
6.83%
8.51%
10.59%
9.63%
6.80%
Market / Par Value of Stock
103%
48%
78%
94%
95%
108%
119%
130%
End AOCI
Period Credit Losses
(1)Includes
mandatorily redeemable capital stock classified as a liability.
cumulative effect of adopting FSP FAS 115-2 and FAS 124-2, January 1, 2009.
(3)Includes $349.1MM of noncredit losses, subsequently reclassified to AOCI upon adoption of FSPs. Excluding non-credit loss, pre-assessment net income would be $233.3MM
(2)Includes
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Year-End and Q3 2014 Advances Balances
$60
55.7 56.9
$50
38.1
$40
37.6
37.3
31.4
In Billions
30.2
$30
28.0
26.9 26.1
22.5
27.5
25.2
24.4
21.6
20.8
$20
15.4
12.1
•
•
Q3
2014
2013
2012
2011
2010
2009
2008
2007
2006
2005
2004
2003
2002
2001
2000
1999
1998
1997
8.1
9.7
1996
8.5
1995
5.0
1993
5.3
1992
7.2
1991
1989
$0
1990
8.8
$10
1994
10.2
In 1989, FIRREA expanded FHLB charter, enabling commercial banks and credit unions to join
Median advances balance since FIRREA: $23.5 billion
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FHLB Boston Partnership
with Connecticut Members
Q2 2014 Industry Performance Metrics
All FDIC-Insured Institutions
Based on 2Q 2014 Financials
US
NE
CT
ME
MA
% of Unprofitable Banks
6.6%
4.5%
8.9%
3.6%
% with YoY Earnings Gains
56%
48%
53%
Net Interest Margin
3.16%
2.33%
Return on Assets
1.04%
Equity Capital to Total Assets
NH
RI
VT
2.7%
5.0%*
10.0%
7.7%**
50%
43%
55%
70%
62%
3.25%
6.05%
1.79%
3.40%
3.09%
3.44%
0.74%
0.70%
0.77%
0.70%
0.56%
0.94%
0.76%
11.3%
10.1%
12.1%
10.0%
8.5%
10.9%
15.6%
10.0%
Net Charge-Offs to Total Loans
(YTD)
0.51%
0.15%
0.16%
0.85%
0.07%
0.19%
0.36%
0.13%
Non-Performing Assets to Total
Assets
1.40%
0.48%
0.99%
0.83%
0.24%
0.74%
1.02%
0.82%
71%
113%
75%
183%
120%
114%
99%
111%
Loan-Loss Allowance to NonCurrent Loans
Source: FDIC; * 1Q2014 (more recent data not yet available) ** 4Q2013 (more recent data not yet available)
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FHLB Advances to Total Assets
All FDIC-Insured Institutions
12.00%
U.S.
Connecticut
10.00%
New England
8.00%
6.00%
4.00%
2.00%
0.00%
2012Q1
2012Q2
2012Q3
2012Q4
2013Q1
2013Q2
2013Q3
2013Q4
2014Q1
2014Q2
Note: Excludes State Street Corporation
Source: SNL
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Member Business Activity Profile
 Members layering in long-term funding
• Nearly $2.5B disbursed in one- to seven-year maturities
• Specials and Dutch auctions most actively used
• Community Development advances also in high demand for economic
development such as small business lending
 Affordable Housing Program 2014 round underway
 Letters of Credit tapped primarily to collateralize municipal deposits
• $ 4.1 billion currently outstanding, $75 million with CT members
 Mortgage Partnership Finance®
• 26 Connecticut members are Participating Financial Institutions
• $492 million sold year to date across district, $31 million from CT members
“Mortgage Partnership Finance” and “MPF” are registered trademarks of the Federal Home Loan Bank of Chicago.
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What to look for in 2015
 Capital stock requirement changes under consideration
 New MPF products in development
 Our staff eager to work with you to expand our business
partnership
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Legislative and Regulatory Issues
Legislative and Regulatory Issues
 Senator Richard Shelby (R-AL) expected to chair Senate Banking
Committee in Republican-controlled Senate next year
• Dodd-Frank likely to be on agenda
 AHP regulation is in initial stages of an overhaul
• Goals are to keep what is working and revamp elements no longer
relevant or workable
• Input sought from Banks, boards, Advisory Councils, and other
affordable housing constituents this year, with a goal of introducing a
new AHP regulation in 2015
 FHLBanks of Seattle and Des Moines have entered into a definitive
agreement to merge, expect process to be completed by next June
15
Notice of Proposed Rulemaking: FHLBank Membership
 FHFA considering significant change to membership eligibility
requirements
• Two eligibility tests applied on ongoing basis to new and existing members
1. Non-community financial institution (CFI) depository institutions required to
hold 10 percent of total assets in “residential mortgage loans”
2. All members required to hold a certain minimum percentage of total assets
in “home mortgage loans;” one percent requirement currently proposed, and
requirement may potentially be raised to two or five percent
• Members out of compliance would be given a one-year remediation
period, and continuing failure would result in termination of membership
• Eliminates captive insurance companies from membership, seen by
the FHFA as a backdoor way for ineligible parent institutions to seek
membership
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Notice of Proposed Rulemaking: FHLBank Membership
 Main areas of focus
• Impact on members’ strategic business decisions as a result of potential loss of
access to funding source
• Would eliminate liquidity source for some, create uncertainty for others, and
impact reliability of funding from member regulator perspective
• Up until now, Congress has defined eligibility, typically expanding criteria
• If proposal is enacted, eligible asset requirement could be ratcheted up in future
 Efforts to address proposed rule published September 12
• Congressional leadership to request withdrawal of NPR
• National and local trade organizations submitting comment letters, urging their
members to do the same
• FHLBank Presidents’ Conference to submit comment letter, as will FHLB Boston
and the other FHLBanks
• Member CEOs and CFOs are encouraged to submit letters expressing their
concerns by January 12
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Why Is the Proposed Membership Rule Important to You?
 Relatively few members affected today
 Risk is related to uncertainty
• Access to liquidity
• Potential for membership termination
 Risk also related to regulatory vs. legislative action
• Congress should determine membership eligibility and define the
associated rules
 Communications from FHLB Boston in September and Martin Geitz
last month
• Eighteen comment letters as of 11/10/14, four from Connecticut
• Goal is >1,000 Systemwide and 100 from FHLB Boston
• Need your help to get us there
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In Summary
 FHLB Boston has successfully weathered financial challenges
 Positioned for growth
• Membership
• Business Solutions
 Advances
 Letters of credit
 Programs for affordable housing and community economic development
 Mortgage Partnership Finance
 Product offerings within existing business lines expanding
 Need your help in communicating concerns about the FHFA’s
proposed membership rule
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Thank you