Consolidated Reports of Condition and Income (Call Report)
Revision of a currently approved collection
No
Emergency
09/25/2026
09/11/2026
table that charts list comparision
Requested
Previously Approved
6 Months From Approved
02/28/2029
10,628
11,192
412,508
437,800
0
0
Insured financial institutions must provide quarterly reports of condition and income (Call Reports) to the appropriate regulatory agency for supervisory, surveillance, regulatory, research, insurance assessment and informational purposes. Section 7 of the Federal Deposit Insurance Act requires all insured depository institutions to submit four "reports of condition" each year to their primary federal bank supervisory authority, i.e., the FDIC, the OCC, or the FRB, as appropriate. FDIC-supervised institutions, i.e., insured state nonmember banks and state savings associations, submit these reports to the FDIC. The FDIC uses the quarterly Call Reports to monitor the condition and performance of individual institutions and the industry as a whole. In addition, Call Reports provide the FDIC with the most current statistical data available for evaluating depository institution corporate applications such as mergers; identifying areas of focus for both on-site and off-site examinations; calculating all insured institutions' deposit insurance and Financing Corporation assessments; and other public purposes. Within the Call Report information collection system, separate report forms apply to institutions that have domestic and foreign offices (FFIEC 031) and to institutions with domestic offices only (FFIEC 041 and, for those with total assets less than $5 billion, FFIEC 051).
Subject: Emergency PRA Clearance Request, FDIC Collection No. 3064-0052
Dear Mr. Al Qaisi,
The Federal Deposit Insurance Corporation (FDIC), in coordination with the Board of Governors of the Federal Reserve System (Board), and the Office of the Comptroller of the Currency (OCC) (collectively, the "agencies"), each of which is submitting a separate request, hereby request approval of revisions to the following currently approved collections of information pursuant to the Office of Management and Budget's (OMB) Paperwork Reduction Act (PRA) emergency processing procedures at 5 C.F.R § 1320.13:
⢠Consolidated Reports of Condition and Income (Call Report) - FFIEC 031, FFIEC 041, and FFIEC 051 [OMB Nos. 7100-0036 (Board), 3064-0052 (FDIC), and 1557-0081 (OCC)]
The FDIC has determined that (1) the collection of information within the scope of this request is needed prior to the expiration of time periods established under 5 C.F.R. § 1320.12; (2) this collection of information is essential to the mission of the FDIC; and (3) the FDIC 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.
The FDIC respectfully requests that OMB act on this emergency clearance request within 10 days and in sufficient time to permit implementation of the revised Call Report instructions.
Summary of Revisions:
On July 11, 2026, the 21st Century ROAD to Housing Act (the Housing Act) became law. Section 902 of the Housing Act made two amendments to the reciprocal deposit exception provisions in section 29(i) of the Federal Deposit Insurance Act (FDI Act). First, the Act changed the amount and calculation method of the general cap. Second, the Act amended the first prong of the âagent institutionâ definition to replace the requirement that an institution be found to have a composite condition rating of âoutstanding or goodâ with the requirement that an institution was assigned a CAMELS composite rating of â1,â â2,â or â3â under the Uniform Financial Institutions Rating System (or an equivalent rating under a comparable rating system). To implement the statutory text, the FDIC issued an interim final rule (IFR) to make conforming changes to the FDICâs brokered deposit regulation in Section 337.6 as well as clarifying certain aspects of the operation of the reciprocal deposits framework to simplify compliance.
As the IFR implements statutory changes to both the calculation of the general cap applicable to agent institutions and the criteria for qualifying as an agent institution, the Call Report instructions should be revised to conform to those changes.
The proposed revisions also include designating Schedule RC-O, item 9, and item 9a, âBrokered reciprocal deposits,â as confidential. This designation is necessary because, when viewed together with Schedule RC-E, Memorandum item 1.g, âTotal reciprocal deposits,â changes in the amounts reported in Schedule RC-O, item 9 and item 9a could indicate that an institution no longer qualifies as an agent institution because its CAMELS composite rating changed from â1,â â2,â or â3â to â4â or â5.â The confidential designation would protect this non-public supervisory information while allowing the Agencies to continue collecting the data needed for supervisory and deposit-insurance assessment purposes.
The agencies believe these instructional changes would not create a material change in burden.
A more detailed summary of the IFR and related reporting changes is provided in the attached memorandum.
The agencies plan to request public comment on the revisions after the emergency clearance through the standard PRA process, including the 60-day and 30-day Federal Register notices requesting public comment.
Sincerely,
Robert Meiers
Senior Attorney
FDIC
US Code:
12 USC 1817(a)
Name of Law: Federal Deposit Insurance 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.