NCUA Outlines 2022 Supervisory Priorities, FFIEC Issues Statement of Principles on Examination Information Requests
Michael Christians • January 22, 2022
In a letter to credit unions dated January 18th, the National Credit Union Administration (NCUA) outlined its supervisory priorities for the upcoming year. They include:
- Credit Risk Management
- Information Security (Cybersecurity)
- Payment Systems
- Bank Secrecy Act Compliance
- Capital Adequacy and Risk Based Capital Rule Implementation
- Loan Loss Reserving
- Loan Participations
- Fraud
- LIBOR Transition; and
- Interest Rate Risk
In addition, the NCUA plans to focus on the following areas related to consumer financial protection:
- COVID-19 Pandemic
- Fair Lending
- Servicemembers Civil Relief Act
- Fair Credit Reporting Act; and
- Overdraft Programs
On January 21st, the Federal Financial Institutions Examination Council (FFIEC), whose members include the NCUA, OCC, Federal Reserve, FDIC and CFPB, issued a statement announcing best practices for requesting examination information from supervised entities. These include:
- Information requests should be risk-focused and relevant to the examination.
- Supervised institutions should be given sufficient time to produce new or additional requested information.
- Examiners should coordinate information requests among the examination team to avoid duplicative and/or redundant requests.
- Information requests should be made through the supervised institution's designated regulatory examination point-of-contact, if applicable, to avoid placing burden on other institution staff.
- Information requests and supplemental information requests should be clearly articulated in writing.