Pub. 15 2020-21 Issue 6

WWW.NEBANKERS.ORG 10 WASHINGTON UPDATE Rob Nichols, President and CEO, American Bankers Association A Robust Recovery Requires Consistent “Rules of the Road” T HROUGHOUT THE PANDEMIC, THE U.S. ECONOMY HAS BEEN tested like never before and has more than proven its resilience. That’s thanks in no small part to our large and diverse financial system: a network of financial institutions of all sizes, charters and business models dedi- cated to providing the products and services that consumers and businesses need to thrive. The diversity of our financial system is something that is uniquely American. We must preserve that diversity — but we must do so in a manner that protects all consumers equally and ensures a level playing field between providers of finan - cial services. In ABA’s recently released Blueprint for Growth, a banker- driven document that will serve as our advocacy north star in the year ahead, we identified the need to promote innovation and ensure consistent regulation as one of the industry’s top priorities in 2021. This plan is not new, but it remains important as we con- front modern life challenges — from emerging technologies to a changing climate to recovering from a global pandemic. Banks have always embraced innovation. Indeed, inno- vation has a vital role in increasing economic competitive- ness, promoting financial inclusion and expanding access to banking services. But financial innovation only provides these benefits when undertaken in a safe, responsible manner. A consistent set of regulatory standards must be applied to financial services providers, including credit unions, banks or fintech firms. Unfortunately, we’ve seen several instances in recent months of firms attempting to circumvent these regula - tory standards by seeking charters that would allow them to access the banking system without being subject to the same rigorous regulatory standards applicable to the nation’s banks. A prime example of this is Figure Bank, which recently applied for a national banking charter through the OCC that, among other things, would allow it to operate without deposit insurance. If approved, this charter would enable Figure Bank to apply for membership in the Federal Reserve system while avoiding compliance with regulations like the Community Reinvestment Act. We’ll continue to oppose the approval of charters like these, and we’ll continue to push back against any efforts that would enable new entrants into the financial services market - place to cherry-pick which rules of the road apply to them. We’ll also continue our efforts to advocate against further tilting the field for tax-advantaged entities like credit unions and the Farm Credit System. For example, we are pushing

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