Spst Cfc Pec

SPST CFC PEC.docx

Covered Financial Company Asset Purchaser Eligibility Certification

OMB: 3064-0194

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SUPPORTING STATEMENT

COVERED FINANCIAL COMPANY ASSET PURCHASER ELIGIBILITY

OMB No. 3064-NEW




INTRODUCTION


The FDIC requests OMB approval for the collection of information captioned above. The Covered Financial Company Asset Purchaser Eligibility information collection implements the statutory requirement that assets held by the FDIC in the course of liquidating any covered financial company not be sold to persons who contributed to the demise of a covered financial company in specified ways.


A. JUSTIFICATION


1. Circumstances and Need


The FDIC is statutorily required to promulgate a regulation prohibiting the sale of assets of a covered financial company to certain individuals or entities that profited or engaged in wrongdoing at the expense of those failed institutions, or seriously mismanaged those failed institutions. The statute specifies classes of persons prohibited from purchasing assets of covered financial companies from the FDIC. (Section 210(r) of the Dodd-Frank Act, 12 U.S.C. 5390(r)). The statutory requirement will be implemented by a regulation, “Restrictions on sale of assets of a covered financial company by the Federal Deposit Insurance Corporation,” (notice of proposed rulemaking to be published). The proposed rule would require prospective purchasers to complete and submit a Purchaser Eligibility Certification (PEC) to the FDIC. The PEC is a self-certification by a prospective purchaser that it does not fall into any of the categories of individuals or entities that are prohibited by statute or regulation from purchasing the assets of covered financial companies.  The PEC will be required in connection with the sale of assets by the FDIC as receiver for a covered financial company.


2. Use of Information Collected


The FDIC uses the information collected to ensure compliance with the statutory requirements before each sale of assets.


3. Use of Technology to Reduce Burden


It is anticipated that this form may be submitted via hard copy or electronic media.


4. Efforts to Identify Duplication


There is no duplication. The information is not available elsewhere.


5. Minimizing the Burden on Small Banks


The rule is unlikely to have a significant economic impact on a substantial number of small entities because a covered financial company is, in general, likely to be a large entity with more than $50 billion in assets. A covered financial company is likely to be sold in major components, such as subsidiaries or business lines. It is therefore unlikely that small entities will be prospective purchasers of covered financial company assets in an orderly liquidation under Title II of the Dodd-Frank Act.


6. Consequences of Less Frequent Collection


As a result of the statute’s prohibition, each purchase of assets of a covered financial company from the FDIC requires a determination that the prospective purchaser is not prohibited from purchasing.


7. Special Circumstances


There are no special circumstances.


8. Consultation with Persons Outside the FDIC


In its notice of proposed rulemaking, the FDIC has requested comment on all aspects of the Covered Financial Company Asset Purchaser Eligibility information collection. Any comments received will be considered in development of the final form.


9. Payment or Gift to Respondents


Not applicable.


10. Confidentiality


No assurance of confidentiality is made.


11. Information of a Sensitive Nature


The collection requires no information of a sensitive nature.


12. Estimate of Hour Burden and Annual Costs

Number of respondents: 10


Time per response: 30 minutes.


Total annual burden: 5 hours.


Estimate of annualized cost: 10 responses x .5 hour x $80/hour = $400.



13. Capital, Start-Up and Maintenance Costs


Not applicable.


14. Estimated Annual Cost to the Federal Government


10 responses x ½ hr review time = 5 hours x $95/hr = $475

(Note: this is not an increased cost to the government; it is included in salary expenses for staff that are already on board.)



15. Reason for Change in Burden

This is a new information collection.


16. Publication.


Not applicable.


17. Display of Expiration Dates


The expiration date will be displayed on the form.


18. Exceptions to Certification


None.



B. Statistical Methods


Not applicable.

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