NCUA Update Alaska Credit Union League NCUA Board Member Christiane Gigi Hyland April 30, 2010.

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Presentation transcript:

NCUA Update Alaska Credit Union League NCUA Board Member Christiane Gigi Hyland April 30, 2010

ECONOMY 2

Unemployment “It all boils down to jobs at this point” Mark Zandi, chief economist and co-founder of Moody’s Economy.com 3 Source: Bureau of Labor Statistics

0% to 5% DC % to -10% MD NJ DE -4.7 CT -4.6 RD -3.0 MA -1.5 VT 2.2 NH % to -5% Source: Federal Housing Finance Agency 2008Q3 to 2009Q3, % change in average price of existing single-family homes Housing Market U.S. = -3.8% % to-0.1%

Foreclosures Continue to Rise 5 Source: RealtyTrac.com #of properties with foreclosure filing, % change IncreaseDecline U.S. average: 21.2% NH 8.7 DC MD 33.7 NJ 1.1 DE 20.6 CT RD MA VT *Some increases may be overstated due to data collection changes or improvements

Households are Under Stress 6 % of number of all mortgage loans 30+ days delinquent, 2009Q3 Source: Mortgage Bankers Association U.S. average: 9.6% NH 8.5 DC 7.2 MD 9.7 NJ 8.9 DE 8.4 CT 8.4 RD 9.9 MA 9.0 VT Comparing to national average: -worse, -at or near -better

Commercial RE Sales Price Trends 7 Source: National Association of Realtors -37% – -30% -29% – -20% -19% – -10% -9% - 0% Based on level of commercial transactions in 2009Q3, Y/Y price change N/A NH: -20 DC: -17 MD: -26 NJ: -13 DE: -18 CT: -17 RD: -23 MA: – VT: -15

Credit Union Trends 8

Net Worth Ratio 9 Includes adjustments made after NCUSIF stabilization expense was announced.

Net Worth Ratio Alaska FICUs vs. All FICUs Trends 10 Includes adjustments made after NCUSIF stabilization expense was announced.

Supplemental Capital 11 Launched an initiative in December 2008 after conversations with state regulators. Internal working group at NCUA researching and reviewing a variety of issues around supplemental capital including consumer protection, mutuality and safety and soundness. Issued White Paper on April 12 th. Available at NCUA’s web site.

Return on Average Assets (ROA) 12 *2008 ROA after NCUSIF stabilization expense estimated base on 5300 changes after the announcement

Return on Average Assets (ROA) 13

Delinquency & Charge-Offs 14

Delinquency Comparison 15

Charge-Off Comparison 16

Delinquency by Type 17

10 Year Comparison - FICUs 18 December 31, 2000 December 31, 2009 Annual % Chg Number of FICUs10,3167, % Total Assets$438.2 billion$884.8 billion11.3% Total Shares$379.2 billion$752.7 billion10.9% Total Loans$301.3 billion$572.4 billion9.9% Average Asset Size$42.5 million $117.1 million 19.5% Net Worth Ratio (Aggregate) *Estimated prior to %*9.91%-1.48%

Share Composition 19

Changing Balance Sheet 20 12/31/0012/31/09 % Real Estate Loans to Total Loans38.71%54.07% Net Long-Term Assets to Assets22.67%31.50% % of Regular Shares to Total Shares34.28%26.54% % of Fee Income to Net Income64.89%496.00%* *Net Income without stabilization Income or expense

Concentration Risk 21

NCUSIF 22

Number of Credit Union Failures FY 00 – FY 09 23

NCUSIF Charges, Provision for Loss Expenses and Reserves 24

History of Charges to NCUSIF Reserves 25 Recession July 1990-March 1991 Recession July Nov 1982

Regulatory Issues 26

Current Regulatory Issues 27 Proposed Corporate Credit Union rule Received over 800 comment letters Next step is to sort through them, discuss and refine the proposal. Corporate “Troubled Assets” The proposed rule contemplates that there will be no legacy assets. NCUA is working closely with Treasury to find a mechanism to deal with the troubled bonds.

Current Regulatory Issues 28 Proposed Field of Membership changes Affects community charters and rural areas Comment letters were due April 15 th (extended from March 1 st ) Proposal would Define what constitutes a local community based on objective, quantifiable criteria; Define the term “rural district”; Define the term “in danger of insolvency” for emergency merger purposes; and Clarify marketing plan requirements for credit unions converting to or expanding their community charter.

Current Regulatory Issues 29 Proposed changes to RegFlex Remove the exemption from the fixed assets rule; Remove the exemption from required stress testing of portfolios; Remove the exemption requiring a personal guarantee on MBLs; and Remove the exemption of discretionary control of investments. Out for a 60 day comment period.

Current Regulatory Issues 30 Just issued a proposed small dollar loan rule for a 60 day comment period The proposal would amend the general lending rule to allow credit unions to charge a higher interest rate (28%) for closed-end small dollar loans (i.e., $200-$1,000). The proposal would also: Allow credit unions to charge a flat $20 application fee for such loans; Require a minimum maturity term of one month and a maximum maturity term of six months; Limit FCUs from making more than three, STS loans in any rolling six-month period to any one borrower and making no more than one, short-term, small amount loan at a time to a borrower; Prohibit FCUs from rolling-over any STS loan; Require FCUs to include in their written lending policies, a limit on the aggregate number of loans and aggregate dollar amount of loans made under this section and implements appropriate underwriting guidelines to minimize risk; for example, requiring a borrower to verify employment by producing at least two recent pay stubs.

Opportunities for Credit Unions 31 Reach out to everyone in the FOM Ensure the board, management and staff are as diverse (in age and ethnicity) as your credit union Educate, educate, educate Member business loans Small dollar loans

Questions? 32