William Poole*
President, Federal Reserve Bank of St. Louis
Office of Federal Housing Enterprise Oversight Symposium
Ronald Reagan Building and International Trade Center
Washington, DC
March 10, 2003
*I appreciate assistance and comments provided by my colleagues at the Federal
Reserve Bank of St. Louis. Robert H. Rasche, Senior Vice President and Research
Director, and William R. Emmons, Economist, were especially helpful. I take full
responsibility for errors. The views expressed are mine and do not necessarily
reflect official positions of the Federal Reserve System.
I am very pleased to be here this morning to participate in this symposium sponsored by the Office of Federal Housing Enterprise Oversight. The topics are important, and the list of speakers impressive.
My purpose is to provide an overview of longer-run trends in housing and
housing finance to provide a setting for the papers presented later today. The
United States is well housed, and the housing finance system has been working
efficiently in recent years. In the first two sections of my remarks, I'll
discuss some of the history and report some measures showing how the housing
stock has changed over time, and how the housing finance system has developed.
Our aim must be to sustain and extend this progress.
The third section of my remarks reflects my long-standing interest in issues
of financial stability stemming from my study of monetary economics and
financial history. Given the enormous importance of housing and housing finance
to the U.S. economy, I think we do need to carefully examine the potential for
financial instability, and consider steps that could reduce the risk. In this
context, I especially want to commend OFHEO for its recent report entitled,
"Systemic Risk:
Fannie Mae, Freddie Mac and the Role of OFHEO." This report displays an
impressive depth of scholarship in reviewing a large body of professional
literature on the subject. It deserves careful study by every economist
interested in issues of financial stability and every policymaker with an
interest in housing and housing finance.
Before proceeding, I want to emphasize that the views I express here are mine and do not necessarily reflect official positions of the Federal Reserve System. I thank my colleagues at the Federal Reserve Bank of St. Louis—especially Robert H. Rasche, Senior Vice President and Director of Research and William R. Emmons, Economist—for their assistance and comments, but I retain full responsibility for errors.
Housing, particularly owner-occupied housing, has long been a public policy issue in the United States. Over the years, these discussions developed in two different directions: one focusing on the availability of housing for lower-income families, which I will not address here, and the other on the development of housing in general and the efficiency of mortgage markets.
The discussion of policies toward housing and mortgage markets dates back to at least 1918.(1) During the Great Depression, the National Housing Act of 1934 created the Federal Housing Administration (FHA) with the mandate to insure private residential mortgages. In the aftermath of World War II, the Serviceman's Readjustment Act of 1944 created the Veterans Administration (VA) home-loan guarantee program.(2) Mortgages insured (or guaranteed) by the government gained considerable market share throughout the 1940s and 1950s, reaching a peak share of 44.3 percent of 1-4 family home mortgages in 1956. Since then, the share of government-insured mortgages has declined steadily; by the end of 2000 the share amounted to only 13.8 percent.(3)
The original Federal National Mortgage Association—Fannie Mae, as it came to be unofficially and affectionately called—was organized in February 1938 to increase the volume of residential construction and develop a secondary market in government-insured or guaranteed mortgages.(4) To achieve the first objective, from its inception Fannie Mae purchased mortgages and issued its own debt. Initially, Fannie Mae was funded through the sale of preferred stock to the Treasury. According to Jack M. Guttentag, writing in 1963, government support was regarded as transitory since it was "hoped that eventually the Treasury's investment can be retired with the proceeds of common stock along with retained earnings, and the function transferred to private ownership."(5) This objective was partially achieved in 1968 when the original Federal National Mortgage Association was split into two parts: Government National Mortgage Association, or Ginnie Mae, which remained a government agency, and a successor Fannie Mae (officially, still the Federal National Mortgage Association) that was spun off as a private corporation under a federal government charter. In 1970 Ginnie Mae started guaranteeing mortgage-backed pass-through securities representing shares in pools of FHA/VA guaranteed loans.(6) At the same time, the Federal Home Loan Mortgage Corporation—Freddie Mac—was created to promote the development of a secondary market in conventional mortgages.
Another important development in the 1930s was the creation in 1932 of the Federal Home Loan Bank System (FHLB), which was chartered to provide liquidity to thrift institutions. In 1934 the Federal Savings and Loan Insurance Corporation (FSLIC) was established to provide insurance on shares of depositors in thrift institutions.(7)
With these institutions in place, though not necessarily because of their creation, the net stock of real residential assets per capita began to grow after World War II.(8) The stock had been trendless between $12,500 and $13,000 1996 dollars from the mid 1920s until after World War II. From 1948 to 1970 the net real per capita stock of residential structures grew at a 1.9 percent annual rate. From 1971 to 2001 the net stock grew at a somewhat lower average annual rate of 1.5 percent. By the end of 2001, the net per capita stock of real residential structures had grown to $32,700 1996 dollars.
As the stock of residential structures was growing, the quality of the housing stock was improving. According to the 1950 Census, 35.5 percent of houses lacked complete plumbing facilities. By 2000 the fraction of houses without complete plumbing had fallen to 0.6 percent. In the 1960 Census—the first census that included a question on telephones—21.5 percent of houses had no telephone. By 2000 only 2.4 percent of houses lacked a telephone. In the 1970 Census 4.4 percent of houses was recorded as lacking complete kitchen facilities. By 2000, only 1.3 percent of houses was recorded as without complete kitchen facilities. During this period the median size of houses also increased—from 4.6 rooms in 1950 to 5.3 rooms in 2000.(9)
As the quantity and quality of the residential housing stock increased, homeownership also became more widespread. In the 1950 Census the homeownership rate was reported at 55 percent—by the 2000 Census it had increased to 67.5 percent.
Growth of the housing stock could not have occurred without a robust system of mortgage finance. There are several distinct sources of mortgage finance in the United States.(10) The importance of these sources has varied considerably over the years since World War II. The share of 1-4 family mortgage loans held by commercial banks increased in the immediate aftermath of World War II to a peak of 19.4 percent in 1948; it then trended down to 13.4 percent in 1961 at which point the trend reversed and the share trended up again, reaching almost 24 percent in 2000. Life insurance companies were a significant player in the residential mortgage market immediately after World War II, but their share of lending peaked in 1951 at 23.5 percent and has trended down ever since. By 2000, the share of life insurance companies was only 3.4 percent, so these institutions have ceased to be a significant factor in the residential mortgage market. The share of "all other," which includes lending by individuals and private mortgage pools decreased from 34.1 percent at the end of World War II to 12.3 percent in 1977, after which it started trending up and reached 21.4 percent by 2000.
The two remaining types of institutions that at different times have been the most significant players in the residential mortgage lending market are savings institutions (including savings and loan associations and mutual savings banks) and U.S. agencies including Ginnie Mae, Fannie Mae, Freddie Mac, and mortgage pass-through securities guaranteed by federal agencies or government sponsored enterprises (GSEs). The share of savings institutions in residential mortgage lending grew rapidly after World War II, reaching 46 percent in 1965. These institutions maintained their market share until 1978, but then lost share dramatically.
The decline of the savings institutions was a consequence of rising nominal interest rates combined with duration mismatch, which together generated the Savings and Loan crisis of the 1980s. By 1990, when the S&L crisis was finally resolved, the share in the residential mortgage market of these institutions had shrunk to 21.1 percent, less than half of the peak market share twenty-five years earlier. In the subsequent decade the market share held by these institutions shrunk by half again, to only 10.4 percent at the end of 2000.
As the presence of savings institutions in the residential mortgage market receded, the financing void was filled by U.S. government agencies. In 1967, immediately before the Housing Act of 1968 and reorganization of the established Fannie Mae into Ginnie Mae and the new Fannie Mae, the share of the residential housing mortgage market for government agencies was 5.5 percent. By 1990, these institutions captured a third of the residential mortgage market, either through mortgages purchased for their own portfolios or through guaranteed mortgage-backed securities. Recent data indicate that their market share is 42.5 percent as of the end of the third quarter of 2002. Clearly, the efficiency and stability of the government agencies has become a critical factor in the financing of residential construction.
Residential mortgage debt has grown enormously as a fraction total nonfinancial debt in the United States. Starting at slightly more than 5 percent at the end of World War II, the share grew steadily until it exceeded 20 percent in the early 1960s. From then until the mid 1980s, the share fluctuated in the neighborhood of 20 percent or a bit more. In the past 15 years the share again grew steadily until it reached 30 percent at the end of 2001.(11) Given the current magnitude of mortgage debt outstanding relative to total credit market debt, any serious instability in the financing of the residential capital stock has the potential for significant effects not only on the housing industry and house prices but also on the entire economy.
The annual reports of Fannie Mae and Freddie Mac, and the recent OFHEO report on Systemic Risk, provide much useful information on risk management. It is insightful to divide this subject into two parts. One concerns management of credit, interest-rate and operational risks that can be modeled with the assistance of financial theory and evidence from the behavior of financial markets. Risks that can be studied and modeled can be termed "quantifiable risks." Nonquantifiable risks deserve separate attention.
There are certainly cases in which firms, and sometimes regulators, make mistakes in dealing with quantifiable risks. Over the years, many financial institutions have failed because of such mistakes. Savings and loan association failures, which ultimately led to the failure of the Federal Savings and Loan Insurance Corporation (FSLIC), were mostly of this type. Starting in the late 1960s, economists warned for years that the extreme maturity mismatch from S&L balance sheets with long-term, fixed-rate mortgages financed through short-term liabilities put the industry at great risk. As those risks were realized, many firms failed and the S&L industry declined to a shadow of its former self. The cost to taxpayers to make good on the insurance guarantee offered by FSLIC was in the neighborhood of $150 billion. As a consequence of this experience, managers of firms, regulators and those active in financial markets are today well aware of the need for careful risk management.
The OFHEO report makes an extremely important point about nonquantifiable risks:
A further obstacle to quantifying systemic risk is the inherent difficulty in using quantitative techniques to analyze catastrophic events such as wars and financial crises. Such events are rare, often involve significant departures from recent historical experience and can develop from a potentially infinite set of conditions. Analysts generally do not model, simulate, or predict the course and consequences of unconditional financial crises, making it difficult to obtain a precise estimate of the likelihood of a specific level of economic losses resulting from potential financial crises. As a result, government officials who seek to plan for such events cannot rely on the usual quantitative techniques to evaluate alternative strategies for addressing them. (p. 87)
In a previous speech I suggested that periods of great market instability arise when three conditions are met. First, something happens that has widespread significance—is large enough to matter to lots of people. Second, the triggering event is a surprise. Ordinarily, events long anticipated are not troublesome because corrective action occurs before problems arise. Third, substantial uncertainty clouds resolution of the problem. It is especially difficult for investors to know what to do when the government's response to an unfolding situation is highly uncertain.(12)
Given the extensive discussion of quantifiable risks, I want to concentrate on the nonquantifiable risks. It helps to make this issue concrete by listing some examples. The failure or near failure of Penn-Central, Continental-Illinois, Long-Term Capital Management, Enron and WorldCom may not have been complete surprises to knowledgeable insiders, but the shocks were certainly "news" to market participants, regulators and the general public. No one predicted the timing of the stock market crash of 1987, or the peak of the equity markets in the spring of 2000. It is well known that even the great Yale economist Irving Fisher was caught completely off guard by the crash of 1929. Surprise legal decisions brought bankruptcy to 52 firms involved with asbestos, to Dow-Corning and to Texaco. Finally, while experts in terrorism may have understood the risks of attacks on U.S. soil, their information was not sufficient to prevent the September 11 attacks; certainly no one else had any basis for predicting the attacks. All of these cases, with the possible exception of Continental-Illinois, reflected nonquantifiable risks.
The point here is not to fault the forecasting record of any person or any agency. Rather, it is to illustrate that major unforeseen events that can bring about a collapse in confidence or disruption to the normal function of financial markets without any warning can and do occur with some frequency. The history of the United States, as well as other countries, is replete with such examples.
A little discussed but critically important dimension of systemic risk is the uncertainty about how the government and regulators will respond to a major unforeseen event.(13) Before the 1987 stock market crash there was considerable overconfidence that a break in equity prices such as occurred in 1929 was not possible given modern institutions. As a result, in the initial hours of the 1987 crash, the public did not know exactly how the Fed would react to a systemic liquidity crisis. The way the Fed handled that situation is, in my judgment, one of the high-water marks in the history of our central bank. Not only was a generalized liquidity crisis averted, but also considerable institutional credibility was created. The repercussions in financial markets on 9/11 might have been much worse had the Fed not demonstrated in 1987 that it could and would react immediately to major market disruptions.
There are historical cases where the reactions by government agencies and regulators to unpredicted crises, in my judgment, did not result in such institution building. A good example is the market perception that public policy has established a "too-big-to-fail" doctrine. This perception grew over time, and became more entrenched as a result of the Continental-Illinois situation. The net result is that market participants expect that, under ill-defined conditions, regulators and/or government agencies will in fact insure statutorily uninsured positions involving large financial institutions. Is the doctrine really "too big to fail" or "too big to liquidate quickly?" How big does a financial institution have to be, and does it have to be a depository institution, to be "too big to fail?" In this respect, there is tremendous ambiguity about the status of the GSEs. The market prices the GSEs' debt as if there were a federal guarantee, or a high probability of a guarantee, standing behind their entire outstanding obligations. Yet, there is no explicit guarantee in the law. Actual experience has left the markets with all of these important questions and ambiguities.
No one should underestimate the potential importance of the ambiguity over the financial status of the GSEs. Would "too big to fail" be extended to GSEs in a crisis, and if so how would it be effected in the absence of a federal insurance agency with an unlimited line of credit? How quickly could such a rescue be implemented?
It is not sufficient for any single GSE to argue that its own financial condition is sound. If one GSE comes under a cloud, others may also. That has been our experience with financial firms again and again. It is the process economists call "contagion" whereby uninvolved or innocent firms are affected because the market has difficulty distinguishing solid firms from those at risk.
In the case of the GSEs, the enormous scale of their liabilities could create a massive problem in the credit markets. If the market value of GSE debt were to fall sharply, because of ambiguity about the financial soundness of GSEs and about the willingness of the federal government to backstop the debt, what would happen? I do not know, and neither does anyone else.
Let me throw out for debate two steps the federal government might take to resolve the ambiguity that I see as a fundamental risk to the continuing stability of our financial system. First, various aspects of federal sponsorship that the market reads as providing an implied guarantee of GSE debt should be withdrawn.(14) The Secretary of the Treasury has the authority to buy GSE obligations; in the case of Fannie Mae and Freddie Mac, the authority is up to a maximum of $2.25 billion for each firm. The GSEs could easily replace this potential source of emergency financial support with credit lines at commercial banks, following the widespread practice among issuers of commercial paper. In any event, the amount available at the discretion of the Secretary of the Treasury is far too small to deal with a crisis in the GSE debt market. Eliminating the Treasury's authority to lend to the GSEs would provide a signal that the government is serious when it says that there is no government guarantee of GSE debt.
Second, over a transitional period of several years, the GSEs should add to the amount of capital they hold. Capital is critical because when there is a crisis in the securities markets, financially strong firms can stand the pressure without lasting damage. Capital provides a cushion against mistakes and unforeseeable circumstances. With adequate capital, a firm can almost always raise emergency loans to cover its liquidity problems. The importance of adequate capital became clear to policymakers as the S&L problems accumulated in the late 1980s. Tightening capital standards for insured depository institutions and strengthening the administration of those requirements were key components of the reforms put in place at that time.
Capital is especially important for the GSEs because their short-term obligations are large. Fannie Mae and Freddie Mac have debt obligations due within one year of about 45 percent of their debt liabilities. Any problem in the capital markets affecting these firms could become very large, very quickly. What might "very quickly" mean? Because of the scale of the short-term obligations of the GSEs, the GSEs are rolling over many billions of dollars of obligations each week. For this reason, a market crisis could become acute in a matter of days, or even hours.
Capital on the books of Fannie Mae and Freddie Mac is well below the levels required of regulated depository institutions. Let me quote a paragraph from the 2001 Annual Report of Fannie Mae, the largest single GSE. During 2001, Fannie Mae issued $5 billion of subordinated debt that received a rating of AA from Standard & Poor's and Aa2 from Moody's Investors Service.
Fannie Mae's subordinated debt serves as a supplement to Fannie Mae's equity capital, although it is not a component of core capital. It provides a risk-absorbing layer to supplement core capital for the benefit of senior debt holders and serves as a consistent and early market signal of credit risk for investors. By the end of 2003, Fannie Mae intends to issue sufficient subordinated debt to bring the sum of total capital and outstanding subordinated debt to at least 4 percent of on-balance sheet assets, after providing adequate capital to support off-balance sheet MBS. Total capital and outstanding subordinated debt represented 3.4 percent of on-balance sheet assets at December 31, 2001. (pp. 44-5)
The capital situation at Freddie Mac is about the same as the one at Fannie Mae. The capital adequacy standards applying to these two GSEs were established by the Federal Housing Enterprises Financial Safety and Soundness Act of 1992. The core capital requirement is 2.5 percent of on-balance sheet assets and 0.45 percent of outstanding mortgage-backed securities and other off-balance sheet obligations. The off-balance sheet obligations have a capital requirement because they are guaranteed by Fannie and Freddie.
In the private sector, government securities dealers carry capital in the neighborhood of 5 percent, and other financial firms considerably more. For example, FDIC-insured commercial banks hold equity capital and subordinated debt of a bit under 11 percent of total assets.
The issue with Fannie Mae and Freddie Mac is not primarily one of disclosure. Their annual reports disclose quite well the high degree of complexity of their operations, and the small amount of capital they carry above what is required by law. My questions are these: Given the complexity of their operations, is the capital standard in the law adequate? Why is the standard so far below that required of federally regulated banks? What will happen to the housing market if Fannie and Freddie become unstable?
Reports issued by Fannie Mae and Freddie Mac, and the recent OFHEO report on Systemic Risk, indicate that the two firms employ state-of-the-art risk management. Nevertheless, my sense is that the firms are vulnerable to nonquantifiable risks, because their capital positions are so low.
In my judgment, the only way for financial institutions to insure stability in the event of nonquantifiable shocks is for them to maintain a substantial extra capital cushion above that deemed necessary by analysis of quantifiable risks. One way of thinking about the appropriate size of that cushion might be to decide that a firm should be able to meet its maturing obligations without borrowing for a certain period of time. The length of the period would depend on an assessment of how long it would take to resolve whatever problem might arise. Under this criterion, the capital cushion would have to be invested in highly liquid, short-term assets not subject to depreciation due to interest rate changes or credit risks, so that maturing obligations could be met for a time without resort to issuing new obligations.
Dismissing the risks of nonquantifiable events on the grounds that they are too improbable to worry about is not a wise approach to public policy. For one thing, these events are not so rare as they might seem. For another, the costs of a rare event that has major consequences to the economy can easily outweigh a long stream of benefits that are orders of magnitude smaller.
The United States has enjoyed many years of a rising stock of residential capital. Moreover, dwellings have increased in average size and quality. The nation's housing finance system has been effective in making this growth possible.
The housing finance system historically has been highly diversified. As a group, the share of savings institutions in residential mortgage lending reached 46 percent in 1965, but hundreds of institutions were involved. The diversification of lending by different types of institutions and numerous firms within a class of institutions has been an important element of stability, because the failure of one or even many firms has not shaken the system. Competing firms have been able to enter the market to fill any voids left by failing firms.
Today, the housing finance system is heavily concentrated. Just three
firms—Fannie Mae, Freddie Mac and Ginnie Mae—account for over 40 percent of
the residential mortgage market. Ginnie Mae is backed by the full faith and
credit of the U.S. Government Fannie Mae and Freddie Mac are not so backed, and
hold capital far below that required of regulated banking institutions. Should
either firm be rocked by a mistake or by an unforecastable shock, in the absence
of robust contingency arrangements the result could be a crisis in U.S.
financial markets that would inflict considerable damage
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FROM THE ARCHIVES: March 12, 2003 Into the Poole Investors looking to seize an opportunity based on panic might start with Freddie Mac, which tumbled 7% on Monday after some ominous comments from a Fed official. On Tuesday, the stock barely bounced back, giving long investors a bit of extra time. On Monday, St. Louis Fed President William Poole warned about a possible crisis1 in the financial system that could harm Fannie Mae and Freddie Mac, the two huge mortgage companies that operate under government charters. He worried they were underreserved and about the implication that the federal government will bail them out in a crisis. Any investor who sold on these remarks deserves a Chicken With Its Head Cut Off award. For one, Mr. Poole has made similar remarks before. And, if the disaster that takes Fannie and Freddie down were to come to pass, does anyone think that the rest of the financial sector would emerge unscathed?
It is true that these companies are highly concentrated in the U.S. mortgage market. But if investors are truly worried about a meltdown in that sector, perhaps they should focus their panic on mortgage insurance companies, such as MGIC Investment, PMI Group, or Radian Group. Fannie and Freddie insure themselves against a drop in the value of the homes of around 20% to 25%, meaning they start taking a hit only if the value falls further than that. Does anyone heeding Mr. Poole think that most credit-card companies or major banks could weather a situation in which Fannie or Freddie goes down? Mr. Poole isn't off base. By raising the concern, one would hope regulators and the companies could move to try to gird against future problems. There are, however, no imminent signs that Freddie or Fannie is facing any type of crisis yet. Freddie, a more conservative company content to grow a bit more slowly, looks to be beaten up enough. Fannie, however, remains risky. Fannie is bigger and has a possibly worrisome level of exposure to the subprime housing market. Further, Fannie doesn't hedge its interest-rate risk as much as Freddie, preferring the juice to earnings that free-floating brings. This is an issue that has been aired, but still is relevant. If rates move sharply in either direction, there is a greater risk that Fannie gets caught off guard. Send comments and questions to tape@wsj.com5.
Updated March 12, 2003 |
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Copyright © 2003 Dow Jones & Company, Inc. All Rights Reserved. |
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| March 11, 2003 Fed Bank Official Seeks Curb
William Poole Warns of Potential 'Crisis'
If the Mortgage Firms Aren't Reined In By PATRICK
BARTA WASHINGTON -- In a broadside attack aimed at shaking up the regulatory environment for Fannie Mae and Freddie Mac, a prominent Federal Reserve policy maker warned of a potential "crisis" if steps aren't taken to rein in the giant, rapidly expanding mortgage companies. Fannie Mae and Freddie Mac, the highly profitable public companies that operate under government charters, own or guarantee $3.1 trillion in mortgages, or 45% of residential debt outstanding in the U.S., compared with 25% as recently as 1990. Speaking at a housing symposium held by the Office of Federal Housing Enterprise Oversight, William Poole, the St. Louis Federal Reserve Bank president, made two recommendations that cut to the heart of Fannie Mae's and Freddie Mac's immense profitability. First, he suggested Fannie Mae and Freddie Mac boost their capital reserves to help survive any potential shock to their operations. Second, he called on the federal government to more formally distance itself from the companies, including possibly withdrawing lines of credit Fannie Mae and Freddie Mac have to the U.S. Treasury, long viewed by investors as signs the companies would be bailed out in case of an emergency. The Office of Federal Housing Enterprise Oversight, a division of the Department of Housing and Urban Development, is Fannie Mae's and Freddie Mac's government regulator. Although several Federal Reserve officials, including Chairman Alan Greenspan, have been critical of Fannie Mae and Freddie Mac in the past, Monday's remarks were unusually blunt and come at a delicate time for the economy. Without the housing market, it is highly possible the economy still would be in recession. During the past several years, home prices in many metropolitan areas have jumped by double-digit percentage levels while mortgage rates have fallen to record lows. Those trends triggered a wave of mortgage-refinancing activity that left consumers with lower mortgage payments and flush with cash to spend. But as the housing market has grown, so, too, have concerns about the enormous debt that Fannie Mae and Freddie Mac have taken on and the risk posed to the financial system if they were to fail. The impact their extensive trading-and-financing activity could have on markets and other financial institutions during periods of stress also has raised concerns. The two companies were created by Congress decades ago to increase homeownership. They buy mortgage loans from lenders, providing the lenders with funds to make additional loans. "Should either firm be rocked by a mistake or by an unforecastable shock, in the absence of robust contingency arrangements the result could be a crisis in U.S. financial markets that would inflict considerable damage on the housing industry and the U.S. economy," Mr. Poole said. "I think we do need to carefully examine the potential for financial instability and consider steps to reduce the risk." He also noted that Fannie Mae and Freddie Mac hold capital "far below" that which is required of other financial institutions.
Although the Federal Reserve has no regulatory responsibility for Fannie Mae or Freddie Mac, and few analysts expect any major regulatory changes anytime soon, Mr. Poole's comments triggered a sharp selloff in the companies' stocks. In 4 p.m. New York Stock Exchange composite trading, Fannie Mae fell $4.35, or 6.9%, to $58.93, while Freddie Mac fell $3.20, or 5.9%, to $50.80. The negative reaction may have been accentuated by other worries, including concern that the housing market and consumer spending may be weakening. New-home sales fell 15% in January, and data released last week indicated home-price appreciation slowed substantially in the second half of 2002. "You throw in Poole's comments and wonder, are the regulators starting to see something on the horizon that we're not seeing yet and trying to plan for the worst?" said Jennifer Scutti, an analyst at CIBC World Markets in New York. Fannie Mae and Freddie Mac long have dismissed the idea of severing their ties to the government, noting those ties have helped foster one of the most successful housing-finance systems in the world. They contended Mr. Poole's remarks, which were similar to comments he made at another speech during the summer, failed to recognize basic elements of the companies' risk-management programs. For example, the two companies recently began following a risk-based capital standard that requires them to hold enough capital to withstand a 10-year economic shock and a sudden, sharp move in interest rates. The companies said they have enough liquidity to operate for three months in an emergency. Also, even if the companies have less capital than other financial institutions, Fannie Mae and Freddie Mac contend they are better capitalized than other companies given the kinds of investments they make. "We only purchase residential mortgages, which are the safest kind of lending in the world," said Sharon McHale, a Freddie Mac spokeswoman. Policy makers have talked for years about overhauling the regulatory oversight of Fannie Mae and Freddie Mac, but they have stopped far short of doing so mostly because they fear altering the companies could adversely affect the housing market. Even so, a few analysts said the sharp stock declines indicate investors believe meaningful changes are inevitable at the companies. "People have looked at how quickly they're growing and determined that over the long run some substantive policy changes will happen," said Andy Laperriere, an analyst at economic-forecasting firm ISI Group in Washington. -- Greg Ip contributed to this article. Write to Patrick Barta at patrick.barta@wsj.com2 Updated March 11, 2003 9:04 a.m. |
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| Copyright
2003 Dow Jones & Company, Inc. All Rights Reserved |
| March 12, 2003 'Unforecastable Shock' By WILLIAM POOLE Housing, particularly owner-occupied housing, has long been a public policy issue in the United States. Over the years, these discussions developed in two different directions: one focusing on the availability of housing for lower-income families, which I will not address here, and the other on the development of housing in general and the efficiency of mortgage markets. The original Federal National Mortgage Association -- Fannie Mae, as it came to be unofficially and affectionately called -- was organized in February 1938 to increase the volume of residential construction and develop a secondary market in government-insured or guaranteed mortgages. To achieve the first objective, from its inception Fannie Mae purchased mortgages and issued its own debt. Initially, Fannie Mae was funded through the sale of preferred stock to the Treasury. As the presence of savings institutions in the residential mortgage market receded, the financing void was filled by U.S. government agencies. In 1967, immediately before the Housing Act of 1968 and reorganization of the established Fannie Mae into Ginnie Mae and the new Fannie Mae, the share of the residential housing mortgage market for government agencies was 5.5%. By 1990, these institutions captured a third of the residential mortgage market, either through mortgages purchased for their own portfolios or through guaranteed mortgage-backed securities. Recent data indicate that their market share is 42.5% as of the end of the third quarter of 2002. Clearly, the efficiency and stability of the government agencies has become a critical factor in the financing of residential construction. Residential mortgage debt has grown enormously as a fraction of total nonfinancial debt in the U.S. Starting at slightly more than 5% at the end of World War II, the share grew steadily until it exceeded 20% in the early 1960s. From then until the mid 1980s, the share fluctuated in the neighborhood of 20% or a bit more. In the past 15 years the share again grew steadily until it reached 30% at the end of 2001. Given the current magnitude of mortgage debt outstanding relative to total credit market debt, any serious instability in the financing of the residential capital stock has the potential for significant effects not only on the housing industry and house prices but also on the entire economy. A little discussed but critically important dimension of systemic risk is the uncertainty about how the government and regulators will respond to a major unforeseen event. No one should underestimate the potential importance of the ambiguity over the financial status of the government sponsored enterprises. Would "too big to fail" be extended to GSEs in a crisis, and if so how would it be effected in the absence of a federal insurance agency with an unlimited line of credit? How quickly could such a rescue be implemented? It is not sufficient for any single GSE to argue that its own financial condition is sound. If one GSE comes under a cloud, others may also. That has been our experience with financial firms again and again. It is the process economists call "contagion" whereby uninvolved or innocent firms are affected because the market has difficulty distinguishing solid firms from those at risk. In the case of the GSEs, the enormous scale of their liabilities could create a massive problem in the credit markets. If the market value of GSE debt were to fall sharply, because of ambiguity about the financial soundness of GSEs and about the willingness of the federal government to backstop the debt, what would happen? I do not know, and neither does anyone else. Capital on the books of Fannie Mae and Freddie Mac is well below the levels required of regulated depository institutions. The capital adequacy standards applying to these two GSEs were established by the Federal Housing Enterprises Financial Safety and Soundness Act of 1992. The core capital requirement is 2.5% of on-balance sheet assets and 0.45% of outstanding mortgage-backed securities and other off-balance sheet obligations. The off-balance sheet obligations have a capital requirement because they are guaranteed by Fannie and Freddie. In the private sector, government securities dealers carry capital in the neighborhood of 5%, and other financial firms considerably more. For example, FDIC-insured commercial banks hold equity capital and subordinated debt of a bit under 11% of total assets. Reports issued by Fannie Mae and Freddie Mac, and the recent OFHEO report on Systemic Risk, indicate that the two firms employ state-of-the-art risk management. Nevertheless, my sense is that the firms are vulnerable to nonquantifiable risks, because their capital positions are so low. The housing finance system historically has been highly diversified. As a group, the share of savings institutions in residential mortgage lending reached 46% in 1965, but hundreds of institutions were involved. The diversification of lending by different types of institutions and numerous firms within a class of institutions has been an important element of stability, because the failure of one or even many firms has not shaken the system. Competing firms have been able to enter the market to fill any voids left by failing firms. Today, the housing finance system is heavily concentrated. Just three firms -- Fannie Mae, Freddie Mac and Ginnie Mae -- account for over 40% of the residential mortgage market. Ginnie Mae is backed by the full faith and credit of the U.S. government. Fannie Mae and Freddie Mac are not so backed, and hold capital far below that required of regulated banking institutions. Should either firm be rocked by a mistake or by an unforecastable shock, in the absence of robust contingency arrangements the result could be a crisis in U.S. financial markets that would inflict considerable damage. Mr. Poole is president of the Federal Reserve Bank of St. Louis. This is an excerpt from a speech he gave in Washington on Monday. The full version1 may be found at the bank's Web site.
Updated March 12, 2003 |
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2003 Dow Jones & Company, Inc. All Rights Reserved |
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March 14, 2003 7:30 a.m. EST |
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Shays Plans To Renew Fannie, Freddie Disclosure Bill Soon
(This article was originally published Thursday) By Dawn Kopecki Of DOW JONES NEWSWIRES WASHINGTON -- U.S. Rep. Christopher Shays, R-Conn., said he plans to reintroduce within the next month legislation stripping Fannie Mae (FNM) and Freddie Mac (FRE) of their long-standing exemptions from U.S. securities laws. The bill, which was first introduced this time last year, never passed. But it is largely credited with the torrent of criticism about the companies' disclosures that followed. Fannie and Freddie, facing pressure from regulators and the White House, agreed in July to voluntarily register their equity securities with the Securities and Exchange Commission this spring, beginning with their first-quarter earnings reports at the end of this month. They additionally agreed last month to voluntarily increase their mortgage-backed securities disclosures following a critical report from the SEC, Treasury Department and Office of Federal Housing Enterprise Oversight. The Shays bill, cosponsored by Rep. Edward Markey, D-Mass., would force Fannie and Freddie to disclose to the SEC insider transactions and audited financial statements. They would also have to register and pay fees for new securities issues and adhere to the agency's disclosure laws. The companies' voluntary equity registration will trigger some of the SEC's disclosure requirements, such as disclosing insider transactions and audited financial statements. But the companies' voluntary agreements don't apply to their debt, nor do they require Fannie or Freddie to pay registration fees, as would be required under the Shays-Markey bill. The two, which are publicly traded companies, are exempt from most U.S. securities laws because they were originally created by Congress as government-sponsored enterprises to bolster the U.S. housing market. Federal Reserve St. Louis Bank President William Poole sent the stocks of both companies tumbling Monday when he recommended a proposal to boost their capital requirements and remove the Treasury's ability to purchase up to $2.25 billion of each companies' debt in times of crisis. Fannie's stock dropped from a Friday close of $63.28 a share to a Monday close of $58.93, or 6.9%. Freddie's stock similarly plunged from a Friday close of $54 a share to close Monday at $50.70, a 6.1% drop. Fannie's stock has dropped nearly 26.3% from its 52-week high of $84.10 to $62 a share in late-afternoon trading Thursday. Freddie Mac's stock is similarly down from its 52-week high of $68.50 with a 22.6% drop to $53.03 in late afternoon trading Thursday. "Any time you have a major institution that doesn't have to play by all the rules, you're going to have problems," Shays told Dow Jones Newswires, adding that the stocks' sensitivity to political news is a result of its special federal ties. -By Dawn Kopecki, Dow Jones Newswires; 202-862-6637; dawn.kopecki@dowjones.com
Updated March 14, 2003 7:30 a.m. |
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2003 Dow Jones & Company, Inc. All Rights Reserved |