Report of Assets and Liabilities of U.S. Branches and Agencies of Foreign Banks; Report of Assets and Liabilities of a Non-U.S. Branch That Is Managed or Controlled by a U.S. Branch or Agency of a For
ICR 202007-7100-004
OMB: 7100-0032
Federal Form Document
⚠️ Notice: This information collection may be outdated. More recent filings for OMB 7100-0032 can be found here:
Report of Assets and
Liabilities of U.S. Branches and Agencies of Foreign Banks; Report
of Assets and Liabilities of a Non-U.S. Branch That Is Managed or
Controlled by a U.S. Branch or Agency of a For
The FFIEC 002 must be submitted
quarterly by U.S. branches and agencies of foreign banks. The
report requests detailed schedules of assets and liabilities as a
condition report with a variety of supporting schedules. This
information is used to fulfill the agencies’ supervisory and
regulatory requirements pursuant to the International Banking Act
of 1978 (IBA). The FFIEC 002S is a mandatory supplement to the
FFIEC 002 and collects information on assets and liabilities of any
non-U.S. branch that is managed or controlled by a U.S. branch or
agency of a foreign bank. A separate FFIEC 002S supplement is
completed by the managing or controlling U.S. branch or agency for
each applicable foreign branch. The FFIEC 002S collection improves
data on U.S. deposits, credit, and international indebtedness, and
assists U.S. bank supervisors to determine the assets managed or
controlled by the U.S. agency or branch of the foreign
bank.
The Board, FDIC, and OCC
(the agencies) propose, under the emergency clearance provisions of
OMB’s regulations, to revise the FFIEC 002 effective beginning with
the September 30, 2020, report date. The agencies have determined
that the request meets the emergency processing requirements set
forth in 5 CFR 1320.13. Specifically, (1) the collection of
information within the scope of this request is needed prior to the
expiration of time periods established under 5 CFR 1320.10, (2)
this collection of information is essential to the mission of the
agencies, and (3) the agencies cannot reasonably comply with the
normal clearance procedures because an unanticipated event has
occurred and the use of normal clearance procedures is reasonably
likely to prevent or disrupt the collection of information. Recent
events have suddenly and significantly impacted financial markets.
The spread of coronavirus disease 2019 (COVID-19) has disrupted
economic activity in many countries. In addition, financial markets
have experienced significant volatility. The magnitude and
persistence of the overall effects on the economy remain highly
uncertain. Small businesses are facing severe liquidity constraints
and a collapse in revenue streams. In addition, financial
disruptions arising in connection with the COVID-19 situation have
caused many depositors to have a more urgent need for access to
their funds by remote means, particularly in light of the closure
of many depository institution branches and other in person
facilities.
US Code:
12 USC 3105(c)(2) Name of Law: International Banking Act of
1978
US Code: 12
USC 3102(b) Name of Law: International Banking Act of 1978
US Code:
12 USC 1817(a)(1) Name of Law: Federal Deposit Insurance
Act
US Code:
12 USC 1817(a)(3) Name of Law: Federal Deposit Insurance
Act
US Code:
12 USC 248(a)(2) Name of Law: Federal Reserve Act
On behalf of this Federal agency, I certify that
the collection of information encompassed by this request complies
with 5 CFR 1320.9 and the related provisions of 5 CFR
1320.8(b)(3).
The following is a summary of the topics, regarding
the proposed collection of information, that the certification
covers:
(i) Why the information is being collected;
(ii) Use of information;
(iii) Burden estimate;
(iv) Nature of response (voluntary, required for a
benefit, or mandatory);
(v) Nature and extent of confidentiality; and
(vi) Need to display currently valid OMB control
number;
If you are unable to certify compliance with any of
these provisions, identify the item by leaving the box unchecked
and explain the reason in the Supporting Statement.