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Consolidated Reports of Condition and Income (Call Report)

OMB: 3064-0052

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SUPPORTING STATEMENT


Consolidated Reports of Condition and Income

(Insured State Nonmember Banks)


FFIEC 031 and 041

(OMB No. 3064-0052)



INTRODUCTION


The FDIC is submitting for OMB review changes to the Federal Financial Institutions Examination Council (FFIEC) Consolidated Reports of Condition and Income (Call Report) filed quarterly by insured state nonmember banks. The Federal Reserve Board (FRB) and the Office of the Comptroller of the Currency (OCC) are also submitting these changes for OMB review for the banks under their supervision.


The proposed revisions to the Call Reports that are the subject of this request have been approved by the FFIEC. These revisions would take effect March 31, 2008, although the reporting of certain proposed new items would be optional for this initial report date and would be required beginning June 30, 2008. For the March 31, 2008, report date, institutions may provide reasonable estimates for any new or revised Call Report item required to be reported as of that date for which the requested information is not readily available. For the new Call Report items that are optional as of the March 31, 2008, report date, this same policy on the use of reasonable estimates will apply to these new items as of the June 30, 2008, report date. The agencies are proposing to:


  • Revise the instructions for reporting daily average deposit data by newly insured institutions for deposit insurance assessment purposes to conform the instructions with Part 327 of the FDIC’s regulations;

  • Revise several schedules to require additional information on 1-4 family residential mortgage loans, including interest and fee income and quarterly averages, restructured mortgages, mortgages in foreclosure, open-end 1-4 family residential mortgage banking activities, and repurchases and indemnifications;

  • Modify the trading account definition in response to the creation of a fair value option in generally accepted accounting principles (GAAP);

  • Revise several schedules to collect additional information on fair value measurements for trading assets and liabilities and other assets and liabilities accounted for under a fair value option;

  • Clarify the Call Report instructions for reporting credit derivative data in the risk-based capital schedule (Schedule RC-R);

  • Change the threshold for reporting significant components of other noninterest income and expense in the explanations schedule (Schedule RI‑E);

  • Conform the instructions for reporting fully insured brokered deposits in Schedule RC-E, Deposit Liabilities, to the instructions for reporting time deposits in this schedule.


With more timely availability of these materials on the FFIEC’s Web site, the agencies are also proposing to discontinue the mailing of paper Call Report forms and instructions to banks.


JUSTIFICATION



1. Circumstances and Need


Section 7 of the Federal Deposit Insurance Act requires all insured banks to file four Reports of Condition and Income each year with their primary federal bank supervisory authority, either the FDIC, the OCC, or the FRB. Insured state nonmember banks submit these reports to the FDIC. The FDIC uses the quarterly Call Reports to monitor the condition and performance of individual banks and the industry as a whole. In addition, Call Reports provide the FDIC with the most current statistical data available for evaluating bank corporate applications such as mergers, for identifying areas of focus for both on-site and off-site examinations, for calculating all banks’ deposit insurance and Financing Corporation assessments, and for other public purposes.


Within the Call Report information collection system, separate sets of forms apply to banks that have domestic and foreign offices (FFIEC 031) and to banks with domestic offices only (FFIEC 041).


The amount of data required to be reported varies between the two versions of the report forms, with the report forms for banks with domestic and foreign offices (FFIEC 031) having more data items than the report forms for banks with domestic offices only (FFIEC 041). Furthermore, the amount of data required to be reported varies within the FFIEC 041 report form, primarily based on the size of the bank. In general, the FFIEC 041 report form requires the least amount of data from banks with less than $100 million in total assets.


The reasons for the changes that are the subject of this submission are described in detail in the agencies’ initial and final Paperwork Reduction Act Federal Register notices.



2. Use of Information Collected


The information collected in the Call Reports is used by the FDIC and the other federal bank regulatory agencies both on an individual bank basis and in aggregate form for supervisory, surveillance, regulatory, research, statistical, insurance assessment, and informational purposes. Call Report data for all banks, not just the banks under its primary supervision, are available to each of the three banking agencies in order for each agency to have access to information for the banking system as a whole.


The FDIC uses the data collected in the Call Reports extensively for supervisory and surveillance purposes in an effort to detect at an early date those banks that are experiencing deterioration or some other significant change in their condition. The underlying basis for this activity at the FDIC, as well as at the OCC and the FRB, is the goal of maintaining a safe and sound banking system and reducing the possibility of the failure of individual institutions and the concomitant exposure of the FDIC’s insurance fund. The FDIC has two major surveillance programs (EWS and UBPR) for its use in performing off-site evaluation of the condition of commercial and savings banks. In addition, various quarterly management and supervisory reports used for off-site monitoring capabilities are available in web-based systems like ViSION (Virtual Supervisory Information on the Net) and distributed systems like ARIS (Automated Regional Information System).


Early Warning Systems (EWS) – The EWS is the FDIC’s umbrella of off-site surveillance models that are used to monitor the condition of insured institutions between regular bank examinations. Data collected from each bank’s Call Report are subjected to a screening process in the EWS known as SCOR (Statistical CAMELS Off-site Rating). SCOR is an off-site model for insured institutions that compares an institution’s financial condition against examination ratings for comparable financial institutions. SCOR derives a rating for each component of the Uniform Financial Institutions Rating System (UFIRS). The composite and component ratings are then compared to those given at the last examination and a downgrade probability is derived for each institution. Those institutions whose downgrade probability exceeds a specified level are subject to supervisory follow-up procedures including the prompt scheduling of examinations or visitations. The FDIC also has developed two off-site rating tools called GMS (Growth Monitoring System) and REST (Real Estate Stress Test) in order to effectively and efficiently monitor risk to the banking and thrift system. GMS identifies institutions that may pose greater risks due to rapid growth and/or funding issues. GMS places institutions into percentile rankings based on GMS scores. Those with the highest GMS scores are subject to formal off-site review requirements similar to SCOR. REST identifies institutions with high concentrations of commercial real estate and other exposures similar to the exposure characteristics of problem banks and institutions that failed during the New England crisis of the late 1980s and early 1990s.


Another part of the EWS includes the Uniform Bank Performance System (UBPS). The UBPS is an on-line support subsystem that calculates for each commercial and savings bank approximately 300 financial ratios and accompanying peer group and ranking data and presents this information in a manner consistent with the Uniform Bank Performance Report, which is discussed below. The UBPS covers the most recent and preceding 15 quarters.


Uniform Bank Performance Report (UBPR) – This report is prepared quarterly for each insured commercial and savings bank from Call Report data and presents information for five periods on a bank’s performance and financial statement composition in the form of ratios, percentages, and dollar amounts. Each UBPR also includes corresponding average data for the bank’s peer group and percentile rankings for most ratios. The comparative and trend data contained in these reports complement the EMS data and are utilized for further off-premises review of individual banks, particularly at the field office level. Based on an analysis of the information in the UBPR, an examiner can set the priorities for the examination of a bank. The condition of a bank can then be evaluated during the examination in light of its recent trends and the examiner’s findings can be communicated to the bank’s management. Management can verify this trend data in the copies of its own bank’s UBPRs. UBPRs are available on-line on the Internet for access by banks, regulators, and the public.


ViSION and ARIS – ViSION is a secure web-enabled system that was developed as a comprehensive and easy-to-use reporting source for the FDIC’s supervisory and financial data. The system provides FDIC users with multiple reports that display information for a specific institution or set of institutions. ViSION provides users the ability to retrieve various supervisory and off-site reports. These various management reports are used to assist in off-site monitoring efforts and are reviewed at the regional or field office level on a regular basis. ARIS is a localized database and reporting system that includes many levels of drill-down management and supervisory reporting. ARIS reporting will eventually be phased into the ViSION system.


Through the use of monitoring and surveillance systems that rely on Call Report information, the FDIC is able to more effectively and efficiently allocate resources to those institutions experiencing difficulties. Also, FDIC policy requires examiners to use information from Call Reports as well as data available from monitoring and surveillance systems to assist in their pre-examination planning activities. Through pre-examination planning, examiners can determine the areas of a bank’s operations and activities on which to focus their attention during their time on-site at the bank. Moreover, effective pre-examination planning can help to limit the amount of time examiners need to spend on-site during an examination. These efforts would not be feasible if the Call Reports, with their present emphasis on the collection of data for supervisory and surveillance purposes, were not available on a quarterly basis.


The Call Reports also provide the most current statistical data available for evaluating statutory factors relating to the FDIC’s consideration of bank applications for deposit insurance and for consent to merge, to establish a branch, to relocate an office, and to retire capital. The FDIC’s deposit insurance and Financing Corporation assessments are based on deposit information and related data reported in the Reports of Condition. Moreover, the amount of each individual bank’s assessments is calculated directly by the FDIC from the deposit information and related data reported on the institution’s Call Report. In addition, under the FDIC’s risk‑related insurance assessment system, Call Report data are used to help determine the risk category to which each insured institution should be assigned. The FDIC’s Division of Insurance and Research uses data collected in the Call Reports to prepare quarterly reports on the condition and performance of the banking system and for numerous economic studies and analyses of trends in banking that are incorporated into reports submitted to Congress and made available to the public.



3. Use of Technology to Reduce Burden


All banks are subject to an electronic filing requirement for Call Reports. In this regard, the agencies have created a secure shared database for collecting, managing, validating and distributing Call Report data. This database system, the Central Data Repository (CDR), was implemented on September 30, 2005, for the third quarter 2005 Call Report filing period and is the only method now available for banks to submit their Call Reports. Under the CDR system, banks file their Call Report data via the Internet using software that contains the FFIEC’s edits for validating Call Report data before submission.



4. Efforts to Identify Duplication


There is no other report or series of reports that collects from all commercial and savings banks the information gathered through the Reports of Condition and Income taken as a whole. There are other information collection systems which tend to duplicate certain parts of the Call Reports; however, the information they provide would be of limited value as a replacement for the Call Report.


For example, the FRB collects various reports in connection with its measurement of monetary aggregates, of bank credit, and of flow of funds. Reporting banks supply the FRB with detailed information relating to such balance sheet accounts as balances due from depository institutions, loans, and deposit liabilities. The FRB also collects financial data from bank holding companies on a regular basis. Such data is presented for the holding company on a consolidated basis, including its banking and nonbanking subsidiaries, and on a parent company only basis.


However, FRB reports from banks are frequently obtained on a sample basis rather than from all insured banks. Moreover, these reports are often prepared as of dates other than the last business day of each quarter, which would seriously limit their comparability to the Call Report. Institutions below a certain size are exempt entirely from some FRB reporting requirements. FRB data collected from bank holding companies on a consolidated basis reflect an aggregate amount for all subsidiaries within the organization, both banking and nonbanking, so that the actual dollar amounts applicable to any bank subsidiary are not determinable from the holding company reports. Hence, FRB reports could not be a viable replacement for even a significant portion of the Call Reports since the FDIC, in its role as supervisor of insured state nonmember banks, would be lacking the data necessary to assess the financial condition of individual insured banks to determine whether there had been any deterioration in their condition.


As another example, banks with 500 or more shareholders are required by the Securities Exchange Act of 1934, as amended, to register their stock with their primary federal bank regulatory agency. Following the effective date of the stock registration, quarterly and annual reports, which contain financial statements, must be filed with the appropriate regulatory agency. Of the approximately 5,200 FDIC-supervised banks, about 60 have stock that is registered with the FDIC pursuant to the Securities Exchange Act. For this small number of registered state nonmember banks, quarterly and annual reports generally need not be filed until 45 days and 90 days after the report date, respectively, while Call Reports generally must be received no later than 30 days after the report date. Moreover, the Call Reports have a fixed format to permit industry data aggregation by computer and automated monitoring of each individual institution’s performance and condition. The financial statement format for registered banks is comparable to that of the Call Report, but each bank has the flexibility to expand or contract the level of detail on individual items as circumstances warrant. Such free-form reporting would make it extremely difficult for the FDIC to substitute the registered bank quarterly and annual reports for Call Reports.


Finally, some of the information contained in the Call Report is also developed by FDIC examiners during regular safety and soundness examinations of insured banks. In addition, examiners check the Reports of Condition and Income the bank has submitted to the FDIC between examinations to ensure that the required data have been properly reported. However, using the examination process to develop quarterly Call Report data would be unworkable since one of the principal purposes of the supervisory and surveillance emphasis on the use of these data is for off-site monitoring of individual bank condition between examinations. Furthermore, examinations are conducted as of various dates throughout the year and at differing time intervals for different institutions. Thus, the examination process could not supply the banking agencies with financial data on a timely basis for all insured banks as of fixed dates each year.



5. Minimizing the Burden on Small Banks


Pursuant to regulations issued by the Small Business Administration (13 CFR 121.201), a “small entity” includes bank with assets of $165 million or less. There are approximately 5,200 insured state nonmember banks that file Call Reports. Of this number, about 3,200 have total assets of $165 million or less. As stated in Item 1 of this supporting statement, the Call Report requires the least amount of data from banks with less than $100 million in total assets. The next least amount of data is collected from banks with $100 million to $300 million in total assets.


With respect to this submission, the new items on open-end 1-4 family residential mortgage banking activities and mortgage repurchases and indemnifications will be collected only from those banks with less than $1 billion in assets that have a significant volume of mortgage banking activities. This will exempt small banks with limited involvement in these activities from the additional reporting requirements. The proposed revisions to the schedule on fair value measurements will be completed only by banks that elect to apply a fair value option to financial instruments and servicing assets and liabilities and from those institutions with a specified volume of trading assets. Additional data would also be collected on loans to which the fair value option has been applied. Small banks generally are not expected to elect to apply a fair value option, and typically do not have substantial trading assets, and therefore it is not likely that such banks would need to complete the fair value option and measurements schedule or provide the new fair value option loan data. The agencies are also proposing to increase the data collected on the trading account schedule, but this schedule is not applicable to banks with less than $100 million in total assets. In addition, a significant portion of the new data on the trading account schedule will be collected only from banks with $1 billion or more in average trading assets. The instructional revisions for the reporting of credit derivatives will not affect small banks because only about 50 large institutions hold credit derivatives.



6. Consequences of Less Frequent Collection


Less frequent collection of Call Reports would reduce the FDIC’s ability to identify on a timely basis those banks that are experiencing adverse changes in their condition so that appropriate corrective measures can be implemented to restore their safety and soundness. Such identification cannot be accomplished through periodic bank examinations alone. To allocate its examination resources in the most efficient manner, off-site analysis of Call Report data to single out banks in need of on-site follow-up must be performed (see Section 2 above). Submission of the Reports of Condition and Income less frequently than quarterly would permit deteriorating conditions at banks to fester considerably longer before they would be detected through the FDIC’s computer-based monitoring systems, through the fortunate scheduling of an examination, or by other means. Such banks would therefore run a greater risk of failure because of delays in effecting corrective action, either on the bank management’s own initiative or at the behest of the FDIC.



7. Special Circumstances


There are no special circumstances.



8. Summary of Public Comments


On September 11, 2007, the agencies requested comment on proposed revisions to the Call Report. The agencies proposed to revise the Call Report instructions for reporting daily average deposit data by newly insured institutions for deposit insurance assessment purposes to conform the instructions with the FDIC’s assessment regulations (12 CFR Part 327). The agencies also proposed to implement a several reporting changes related to 1-4 family residential mortgage loans such as separately reporting interest and fee income and quarterly averages for 1-4 family residential mortgages and all other real estate loans and adding new items for restructured troubled mortgages and mortgage loans in process of foreclosure. The agencies proposed to expand Call Report Schedule RC-P on closed-end 1-4 family residential mortgage banking activities, which is completed by larger banks and smaller banks with a significant level of such activities, to include originations, purchases, and sales of open-end mortgages as well as closed‑end and open-end mortgage loan repurchases and indemnifications during the quarter. The Call Report’s trading account definition was proposed to be modified in response to the creation of a fair value option in GAAP. Revisions were proposed to Call Report Schedule RC‑Q, which collects data on fair value measurements for trading assets and liabilities and other assets and liabilities accounted for under a fair value option, and certain other schedules, including the loan schedule (Schedule RC-C), to enhance the information available on instruments accounted for under this option. Other revisions were also proposed to be made to the schedule on trading assets and liabilities (Schedule RC-D). The agencies also proposed to clarify the Call Report instructions for reporting credit derivative data in the risk-based capital schedule (Schedule RC‑R) and to make a corresponding change to the schedule itself; to change the threshold for reporting significant items of other noninterest income and expense in the explanations schedule (Schedule RI‑E); and to conform the instructions for reporting fully insured brokered deposits in Schedule RC-E, Deposit Liabilities, to the instructions for reporting time deposits in this schedule. Finally, the agencies requested comment on a plan to discontinue the mailing of paper Call Report forms and instructions to banks.

The agencies collectively received comments from nine respondents: seven banking organizations, one bankers’ organization, and a government agency. None of the commenters addressed all of the aspects of the proposal. Rather, individual respondents addressed certain specific proposed changes. No comments were received on the instructional change for reporting daily average deposit data by newly insured institutions, the proposed new items for restructured 1‑4 family residential mortgages and for the fair value and unpaid principal balance by loan category of loans held for sale or investment that are measured at fair value, the revised reporting threshold for the trading assets and liabilities schedule, the revisions to the regulatory capital schedule and instructions for credit derivatives, the conformity changes for brokered deposits within the deposits schedule, and the proposed discontinuance of mailing Call Report forms and instructions. In contrast, the three banking organizations that commented on the proposed modification of the Call Report’s trading account definition all expressed support for this definitional change.


With respect to the other proposed revisions to the Call Report, some commenters recommended that certain changes be phased in rather than being implemented as of March 31, 2008, because the information was not readily available in a form that would facilitate reporting in proposed new data items. Some commenters also requested clarifications of terminology used to describe certain proposed items or the amounts to be reported in these items. One commenter opposed the proposed collection of a two-way breakdown of the difference between the fair value and the unpaid principal balance of loans measured at fair value under a fair value option, which would disclose the portion attributable to changes in credit risk since origination and the portion attributable to all other factors. Another commenter supported proposed changes to the Call Report schedule on fair value measurements, but recommended that the schedule’s focus on disclosures about such measurements for instruments to which a fair value option has been applied be broadened to cover all instruments measured at fair value. One commenter suggested the addition of a de minimis dollar amount to the proposed percentage threshold for disclosures of components of other noninterest income and expense.


After considering the comments received on the proposal, the agencies approved certain modifications to the initial set of proposed revisions to address the concerns expressed by and other matters raised by the commenters. Subject to approval by OMB, the proposed Call Report revisions would take effect March 31, 2008, although, as previously mentioned, the reporting of certain new items would be optional for this initial report date and would be required beginning June 30, 2008. As is customary for the Call Report, in the first quarterly report in which a new or revised item is required to be reported, institutions may provide reasonable estimates for the item if the requested information is not readily available.


For a more detailed discussion of the changes proposed on September 11, 2007, the comments received, and the agencies’ responses, please refer to the “Current Actions” section (which starts on page 10) of the final Paperwork Reduction Act Federal Register notice for this submission.



9. Payment or Gift to Respondents


No payment or gift will be provided to respondents.



10. Confidentiality


The data collected from individual banks in the Call Report are publicly available with the exception of select sensitive information. The agencies currently accord confidential treatment on an individual bank basis to the data collected in Schedule RC-T, Fiduciary and Related Services, on fiduciary and related services income (items 12 through 23, except item 19) and fiduciary settlements, surcharges, and losses (Memorandum item 4). Contact information for bank personnel that is provided in banks’ Call Report submissions also is not available to the public.



11. Information of a Sensitive Nature


The Call Report contains no questions of a sensitive nature.



12. Estimate of Annual Burden


It is estimated that, on average, it will take an FDIC-supervised bank approximately 36.16 hours each quarter to prepare its Call Report as it is proposed to be revised in this submission. There are currently 5,199 FDIC-supervised banks. The estimated annual reporting burden for these FDIC‑supervised banks is 751,983 hours. This annual reporting burden has been estimated by considering the varying numbers of items potentially reportable by banks of different sizes and with foreign offices and the extent to which such banks will actually have amounts to report in these items as a result of the activities and transactions in which they are engaged. Then, based on the agency staff’s understanding of banks’ recordkeeping and reporting systems and their customary and usual business practices, professional judgment has been applied to arrive at a burden estimate for the Call Report.


For FDIC-insured commercial banks, salaries and employee benefits per full-time equivalent employee currently average about $35.00 per hour. Thus, the annual recurring salary and employee benefit cost to state nonmember banks for the Call Report burden hours shown above is estimated to be $26.3 million. This cost is based on the application of the $35.00 average hourly rate to the estimated total hours of annual reporting burden of 751,983.



13. Estimate of Total Annual Cost Burden


Banks maintain extensive internal recordkeeping systems from which financial statements and tax returns are prepared and other reports are generated so that bank management can keep informed about the bank’s condition and performance and have the data necessary to operate their bank in a safe and sound manner. These records also serve as a source for the data submitted in the Call Reports, although banks generally maintain some records solely to enable them to complete these reports. Computerized banks commonly have software and programs that compile data that need to be reported in the Call Report. Bank records may be generated and processed internally, externally by an outside servicer, or by a combination of both methods. In addition, virtually all banks now use software to assist in the actual preparation of the Call Report. The total operation and maintenance and purchase of services component of the total annual cost burden to state nonmember banks (excluding costs included in Item 12 above) is estimated to be $18.8 million. This cost is based on the application of an average hourly rate of $25.00 to the estimated total hours of annual reporting burden of 751,983. This estimate reflects recurring expenses (not included in Item 12 above) incurred by banks in the Call Report preparation and filing process, including expenses associated with software, data processing, and bank records that are not used internally for management purposes but are necessary to complete the Call Reports.


With respect to the changes that are the subject of this submission, the agencies agreed to delay the required reporting of certain new data items by one quarter in response to comments from some commenters who recommended a phase-in for certain changes rather than implementation as of March 31, 2008, because the information was not readily available in a form that would facilitate reporting in the proposed new data items. The proposed reporting changes related to fair value measurements are being made, following a review of industry practice, in order to better align the fair value information collected in the Call Report with fair value disclosures commonly made or required by GAAP in banks’ other financial statements, which should tend to minimize the start-up costs of these new data items. Furthermore, only a minority of banks are expected to need to complete the new fair value measurement data being added to several schedules and the data being added to the mortgage banking activities schedule. The instructional revisions for credit derivatives will eliminate diversity in reporting. The instructional revisions for brokered deposits will result in a consistent treatment of brokered time deposits within the deposits schedule, which will simplify reporting and eliminate potential confusion. Therefore, banks will incur a capital and start-up cost component to implement the proposed reporting revisions, but the amount will vary from bank to bank depending upon a bank’s individual circumstances, including whether it elects to apply a fair value option to financial and servicing assets and liabilities and whether its engages in mortgage banking activities. An estimate of this cost component cannot be determined at this time.



14. Estimate of Total Annual Cost to the Federal Government


The current annual cost to the FDIC of the Call Report information collection system is estimated to be not more than $8.0 million. This amount includes the cost of:


  • developing reporting requirements, instructions, and data validation edits;

  • computer processing and hosting, including maintaining and modifying software programs, associated with the CDR system for collecting and validating Call Reports; and

  • FDIC personnel involved in the preceding tasks and in the review and validation of reported data.


The cost to implement the Call Report revisions that are the subject of this submission are encompassed within this annual cost and are not separately identifiable.



15. Reason for Change in Burden


The change in burden associated with this submission is caused by two factors: (a) a net decrease in the number of reporting institutions supervised by the FDIC, and (b) the changes to the Call Reports that are the subject of this submission.


Currently, there are 5,199 FDIC-supervised banks submitting quarterly Call Reports. This number is 35 less than previously reported (5,234 previously versus 5,199 now). The other proposed revisions include the reporting of new data items, but many of these revisions will generally affect a limited number of banks on an ongoing basis. Thus, the FDIC estimates that the overall effect of the proposed reporting revisions across the range of banks under its supervision would be an average increase of nearly one hour per response. The analysis of the change in burden is as follows:


Currently approved burden 738,413 hours

Revisions to content of report (program change) +18,508 hours

Adjustment (change in use) -4,938 hours

Requested (new) burden: 751,983 hours


Net change in burden: +13,570 hours


The impact of the reporting changes covered by this submission will vary from bank to bank depending upon a bank’s individual circumstances and the extent of its involvement, if any, with the particular type of activity or product that is the subject of a proposed reporting revision.



16. Publication


The information collected in Call Reports from FDIC-supervised banks is primarily intended to meet the FDIC’s internal needs (see Item 2 above). However, except for items afforded confidential treatment (see Item 10 above), the FDIC makes individual banks’ entire Call Reports available to the public on the Internet. These data can be accessed on the FFIEC CDR Public Data Distribution Web site (https://cdr.ffiec.gov/public/).


Summary statistical data that provide a financial profile of each individual FDIC-insured bank and savings association are available to the public on the Internet. For banks, the financial information is taken from the Call Report and includes balance sheet, income statement, and other key data for several periods. Regulatory capital ratios and profitability ratios such as return on assets and return on equity are also provided. In addition, interested persons can purchase a computer tape containing the quarterly Call Report information for all banks from the National Technical Information Service of the U.S. Department of Commerce.


Call Report data also form the basis for certain quarterly FDIC publications, including the Quarterly Banking Profile and Statistics on Banking, which present a variety of statistical data on the banking industry. These publications are available on the Internet.


The Uniform Bank Performance Report (UBPR), which is computer-generated using Call Report data as its primary input (see Item 2 above), is also publicly available for individual banks on the FFIEC’s Web site (at www.ffiec.gov).



17. Display of Expiration Date


Not applicable.



18. Exceptions to Certification


None.



B. COLLECTION OF INFORMATION EMPLOYING STATISTICAL METHODS


Not applicable.



Attachments:

  1. Initial Paperwork Reduction Act Federal Register Notice (September 11, 2007)

  2. Final Paperwork Reduction Act Federal Register Notice (February 4, 2008)

  3. Legal Authority (12 U.S.C. 1817(a))

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File TitleSUPPORTING STATEMENT
AuthorFDIC
Last Modified ByVBest
File Modified2008-02-05
File Created2008-02-05

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