1 Current Banking Issues in California A DFI Perspective By Daphne T. Porter Assistant Deputy Commissioner Department of Financial Institutions.

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Presentation transcript:

1 Current Banking Issues in California A DFI Perspective By Daphne T. Porter Assistant Deputy Commissioner Department of Financial Institutions

2 San Francisco 111 Pine Street, Suite 1100 San Francisco, CA (415) Sacramento th Street Sacramento, CA (916) Los Angeles 300 South Spring Street, Suite Los Angeles, CA (213) San Diego 7575 Metropolitan Drive, Suite 108 San Diego, CA (619) The Department has four office locations: Total number of employees219 Total number of examiners in all divisions and offices130 Number of Bank Examiners92

3 Licensee Services The Department currently grants licenses to conduct financial services business in California under nine different sets of statutes: bank and trust, savings associations, credit union, industrial loan, foreign banks, business and industrial loan, transmitters of money abroad, payment instruments, and travelers checks. No. of licensees as of 4/30/07 Banks206Premium Finance Companies 109 Industrial Banks14Transmitters of Money Abroad 61 Foreign Banks54Issuers of Payment Instruments 10 Trust Companies9Issuers of Travelers Checks 3 Credit Unions203Business and Industrial Development Corp. 1

4 New State Chartered Banks opened in California between 2003 and 2006 De Novo Banking Activity

5 New Banks Community 1st Bank Western Commercial Bank Golden Valley Bank Sutter Community Bank River Valley Community Bank 1st Enterprise Bank Atlantic Pacific Bank Pinnacle Bank American Riviera Bank Presidio Bank Premier Business Bank San Diego Private Bank U.S. Metro Bank Friendly Hills Bank New Resource Bank Alta Alliance Bank Cornerstone Community Bank Americas United Bank Promerica Bank Embarcadero Bank Pacific Alliance Bank First Community Bank MetroPacific Bank Commonwealth Business Bank Ojai Community Bank Founders Community Bank First Vietnamese American Bank California United Bank First Standard Bank Desert Commercial Bank Security Bank of California Pan Pacific Bank Bank of San Francisco First Choice Bank Tri-Valley Bank Coronado First Bank First General Bank The Private Bank of California California Business Bank Community Business Bank Bank of Santa Barbara Fresno First Bank Plaza Bank 2221

6 Banks

7 De Novo Banks Opened in Past Four Years Year No. of banks opened * Apr * 11 banks opened for business in 2004, but two of them have merged with other banks since then.

8 Percentage of Banks Chartered in Past Four Years As of 4/30/07, there were 206 state-chartered banks in California. 75 of them have opened just in the past four years (over 1/3 of our current bank licensees).

9 New Bank Opening Activity Year No. of new banks opened Minimum Initial Capitalization Maximum Initial Capitalization Median Initial Capitalization Average Initial Capitalization 20005$5.1MM$11.5MM$7.0MM$7.7MM 20018$5.7MM$11.0MM$8.0MM$8.1MM 20025$8.5MM$10.1MM$9.6MM$9.4MM $7.7MM$27.4MM$12.0MM$13.8MM $8.0MM$17.6MM$12.2MM$12.4MM $8.0MM$36.3MM$16.5MM$17.5MM $9.5MM$40.0MM$20.3MM$21.0MM Apr $8.0MM$31.6MM$20.0MM$20.3MM

10 New Bank Opening Activity

11 De Novo Bank Activity As of 4/30/07, ten (10) new commercial banks were in the process of organizing, and six (6) new bank applications were pending. It appears that the peak activity in de novo bank formation is likely behind us. However, we are still getting inquiries. We are still having pre-filing meetings, and receiving applications, but not at the level that it reached in the past two years.

12 Factors that DFI is required to investigate and consider pursuant to the California Financial Code Public convenience and advantage will be promoted by the establishment of the proposed bank. The proposed bank will have a reasonable promise of successful operation. The proposed capital structure is adequate. The proposed officers and directors have sufficient banking experience, ability and standing. The character, reputation, and financial standing of the organizers and incorporators, and their motives in organizing the proposed bank, must also be considered.

13 New Bank Application Process Initial inquiry/meeting Pre-file meeting Application Review Process Each step, we try to be proactive in providing feedback, discussing concerns, asking questions, and seeking clarification.

14 Issues and Concerns in de novo banks Qualifications and abilities of management and the Board –Difficulty locating and recruiting qualified management. –New and inexperienced executive management teams. Sometimes executive officers may not have had prior experience in their respective positions.

15 Issues and Concerns in de novo banks Qualifications and abilities of management and the Board –Mentor program has been used on occasion to compensate for an inexperienced executive officer. –New and inexperienced Board –Lack of breadth and diversity in Directorates –High turnover rate at the senior management level –Some dysfunctional Boards of Directors

16 Issues and Concerns in de novo banks Difficulty implementing the bank’s business plan –Lack of success in originating loans and raising core deposits –Lack of prudent diversification in the loan portfolio –Deposit and loan pricing and market competition –Have been some recent examples of difficulty in raising minimum initial capital

17 Issues and Concerns in de novo banks Pressure to rapidly deploy the bank’s capital in order to achieve profitability and a return for shareholders. Asset growth (quantity vs. quality) Unacceptably high level of adversely classified assets due to underwriting and credit administration weaknesses Increasing competition, particularly in certain geographic and target markets Inadequate risk assessment and internal controls Poor funds management practices High pre-opening expenses Processes for insider loans and insider transactions

18 Lessons Learned in de novo activity Re-emphasized the importance of a strong management team  Importance of a qualified CEO  Importance of a qualified CFO Proper internal controls must be established  Importance of qualified lending personnel Credit Administration Business Development Re-emphasized the importance of a qualified directorate  Importance of proper Board oversight  Importance of a Board with prior banking experience  Importance of a Board with diverse breadth of experience When we approved applications where we had some concerns, the concerns more often than not have turned out to have been well founded.

19 DFI’s Supervisory Goals Maintain a conservative approach to the issue of approving new charters Insist that the board and management team of new banks are sufficiently qualified for their proposed positions Maintain open communication with the applicants and consultants Identify and address concerns and issues at the earliest possible stage Provide appropriate feedback and guidance Provide a genuine service to the public and to our licensees by promoting the integrity and stability of California’s financial services system through the appropriate regulation and supervision of state chartered financial institutions

20 The Department Policy on Chartering New Banks “We recognize the fact that the current prosperity and expansion of business has been accompanied by a substantial increase in applications for the establishment of new banks…” “The proper administration of this phase of supervising requires the highest type of judgment, discretion and administrative teamwork.” “Accompanying the rise in the national economy, the number of newly chartered and opened banks has continued to rise in the United States as a whole.”

21 The Department Policy on Chartering New Banks “In arriving at a decision as to whether or not the charter should be issued, …we must give careful consideration to the many factors we are required to investigate by the provisions of the Banking Law.” “We are particularly concerned that public convenience and advantage will be promoted …and that the community in which the bank … will operate shall afford reasonable promise of successful operation.” “The proposed capital structure must be adequate, and the proposed officers and directors must have sufficient banking experience, ability and standing, to afford reasonable promise of successful operation.” “…we must also consider the character, reputation, and financial standing of the organizers …and their motives in organizing the proposed bank.” “It is only after full and complete …analysis …is made…that we take final action either in the negative or affirmative on any application.”

22 The Department Policy on Chartering New Banks “The policy of this department concerning the chartering of new banks …will continue to be conservative.” “We believe in competition in the banking business and stand ready to establish a new bank where there is room for another institution, but our conclusion and policy is that overbanking in any community makes for unsoundness in banking operations, particularly in the making of bad loans which later develop into losses that imperil the safety of the bank…” “By following a conservative policy in the establishment of new banks …, by insisting that the founders of new banks shall be … of highest integrity and sound financial standing and ability, … the Banking Department will render a genuine service to the public, the importance of which will be recognized in the years that follow.”

23 The Department Policy on Chartering New Banks Excerpts from a speech given by William A. Burkett Superintendent of Banks to a conference of the State Banking Department January 16, 1956

24 QUESTIONS

25