Posted on 03/20/2009 4:23:39 PM PDT by unique
Corporate Credit Unions taken over by regulator - YIKES.
I cannot get through to the URL right now, just announced on TV
(Excerpt) Read more at ncua.gov ...
NCUA Conserves U.S. Central and Western Corporate Credit Unions
March 20, 2009, Alexandria, Va. — The National Credit Union Administration Board today placed U.S. Central Federal Credit Union, Lenexa, Kansas, and Western Corporate (WesCorp) Federal Credit Union, San Dimas, California, into conservatorship to stabilize the corporate credit union system and resolve balance sheet issues. These actions are the latest NCUA efforts to assist the corporate credit union network under the Corporate Stabilization Plan.
The two corporate credit unions were placed into conservatorship to protect retail credit union deposits and the interest of the National Credit Union Share Insurance Fund (NCUSIF), as well as to remove any impediments to the Agencys ability to take appropriate mitigating actions that may be necessary. Service continues uninterrupted at both U.S. Central Corporate Federal Credit Union and WesCorp, and members are free to make deposits and access funds.
Snip....
They service other CU’s - thousands of them.
One f the few areas immune from CRA bad paper...
WE need more data on why, and will this virs spread...
Is a bit vague as to the why.
looks like you got a peek at something that was posted too early and has been taken down
http://www.ncua.gov/indexnews.html
The following is the complete posting from ncua.gov... I just tried to click it again and its gone???
March 20, 2009, Alexandria, Va. — The National Credit Union Administration Board today placed U.S. Central Federal Credit Union, Lenexa, Kansas, and Western Corporate (WesCorp) Federal Credit Union, San Dimas, California, into conservatorship to stabilize the corporate credit union system and resolve balance sheet issues. These actions are the latest NCUA efforts to assist the corporate credit union network under the Corporate Stabilization Plan.
The two corporate credit unions were placed into conservatorship to protect retail credit union deposits and the interest of the National Credit Union Share Insurance Fund (NCUSIF), as well as to remove any impediments to the Agencys ability to take appropriate mitigating actions that may be necessary. Service continues uninterrupted at both U.S. Central Corporate Federal Credit Union and WesCorp, and members are free to make deposits and access funds.
The Federal Credit Union Act authorizes the NCUA Board to appoint itself conservator when necessary to conserve the assets of a federally insured credit union, preserve member assets and protect the NCUSIF.
Corporate credit unions do not serve consumers. They are chartered to provide products and services to the credit union system. These products and services will continue uninterrupted and there is no direct impact by NCUAs actions on the 90 million credit union members nationwide. Credit unions that serve consumers remain very strong, with net worth exceeding 10 percent of assets, healthy growth in assets, membership, and loan portfolios despite the difficult economy.
U.S. Central has approximately $34 billion in assets and 26 retail corporate credit union members. WesCorp has $23 billion in assets and approximately 1,100 retail credit union members. The member accounts of both credit unions are guaranteed under provisions of the previously announced NCUA Share Guarantee Program, through December 31, 2010. The Program extends NCUSIF coverage to all funds held by the two corporate credit unions.
Following initial actions taken by the NCUA Board January 28, 2009 (see NCUA Letter to Credit Union No. 09-CU-02 http://www.ncua.gov/letters/letters.html), NCUA staff completed a detailed analysis and stress test of the mortgage and asset backed securities held by all corporate credit unions, including US Central and WesCorp. Specifically, this review determined that an unacceptably high concentration of risk resided only in the two conserved corporate credit unions. Securities held by US Central and WesCorp deteriorated further since late January 2009, contributing to diminished liquidity and payment system capacities, as well as further loss of confidence by member credit unions and other stakeholders.
Additional mortgage and asset backed security analysis and assessment of the two credit unions by NCUA staff enabled NCUA to refine NCUSIFs required reserve for potential loss. The findings indicated an overall estimated reserve level, previously announced by NCUA, had increased from $4.7 to $5.9 billion. The specific computation and the impact of the refined reserve level are addressed in NCUA Letter No: 09-CU-06, which NCUA issued and posted online today at http://www.ncua.gov/letters/letters.html.
NCUA is hosting a webcast Monday, March 23 at 2 p.m. to provide the credit union community with an update on the corporate credit union stabilization program.
The central short-term objective of NCUAs Corporate Stabilization Program has been to increase liquidity in corporate credit unions. Since the NCUA Board first began taking stabilization actions, liquidity has demonstrated marked improvement. The reliance on external borrowing has declined from $11.8 billion to $2.1 billion.
NCUA believes that the actions to conserve the two corporates, in tandem with established plans to enhance liquidity and generally stabilize the corporate network, represent the most cost effective and prudent alternative available to the credit union industry. The final stage in the overall stabilization program involves the Advanced Notice of Proposed Rulemaking initiated by the NCUA Board in January. The credit union industry is expected to provide suggestions on possible future regulatory reforms to the corporate credit union network.
NCUA will continue to take any and all steps necessary to preserve a well-functioning system of corporate credit unions and to protect the assets of natural person credit unions and their members during the ongoing broader financial market dislocation.
The National Credit Union Administration is the independent federal agency that regulates, charters and supervises federal credit unions. NCUA, backed by the full faith and credit of the U.S. government, also operates and manages the National Credit Union Share Insurance Fund (NCUSIF), insuring the deposits of over 89million account holders in all federal credit unions and the majority of state-chartered credit unions.
FDIC Says FirstCity Bank In Stockbridge, Ga., Closed
Last update: 3/20/2009 6:33:24 PM
FDIC Says Colorado National Bank In Colorado Springs Shut
Last update: 3/20/2009 7:31:01 PM
and another that I cannot copy, “Team Bank in Paola, Kansas
DJ Newswire headlines
I got it fine.
From link:
Following initial actions taken by the NCUA Board January 28, 2009 (see NCUA Letter to Credit Union No. 09-CU-02 http://www.ncua.gov/letters/letters.html), NCUA staff completed a detailed analysis and stress test of the mortgage and asset backed securities held by all corporate credit unions, including US Central and WesCorp. Specifically, this review determined that an unacceptably high concentration of risk resided only in the two conserved corporate credit unions. Securities held by US Central and WesCorp deteriorated further since late January 2009, contributing to diminished liquidity and payment system capacities, as well as further loss of confidence by member credit unions and other stakeholders.
I’m hoping private CU’s are exempt from this...otherwise, the military men and women will be at financial risk.
I was wondering which bank or banks would be taken down tonight, in the “usual” Friday night seizures - - - but this credit union thing is a surprise...
Okay, so there’s our banks for the week, three more down, plus two credit union “banks” . . .
Im hoping private CUs are exempt from this...otherwise, the military men and women will be at financial risk.
_______________________________________-
Teachers, too. :(
VIDEO: “Mystery Solved” —
Obama administration ordered AIG bonuses included in ‘stimulus’
Hawai`i Free Press | 3-20-09 | various
Posted on 03/20/2009 5:35:43 PM PDT by AndrewWalden
http://www.freerepublic.com/focus/f-news/2211164/posts
The Banality of Obama
American Thinker | March 20, 2009
Posted on 03/20/2009 5:10:24 PM PDT by Steelfish
http://www.freerepublic.com/focus/f-news/2211153/posts
NATIONAL CREDIT UNION ADMINISTRATION
1775 Duke Street, Alexandria, VA 22314
DATE:
March 2009
LETTER NO.: 09-CU-06
TO:
Federally Insured Credit Unions
SUBJ:
Corporate Stabilization Program Conservatorship of U.S. Central FCU and Western Corporate FCU
Dear Board of Directors:
On March 19, 2009, the NCUA Board took additional actions to further stabilize the corporate credit union system and bring the credit union community closer to resolution of the issues facing the system. The first step in the stabilization program was to increase liquidity throughout the entire credit union system, especially within the corporate credit unions. The actions discussed in this letter are the next step in the stabilization program. Since the initial actions approved by the NCUA Board on January 28, 2009, as outlined in NCUA Letter to Credit Unions 09-CU-02, NCUA staff completed a detailed review and contracted with a third party to provide independent confirmation of NCUAs analysis and stress testing of the mortgage and asset backed securities held by corporate credit unions. NCUA has determined that further actions were necessary.
Control of U.S. Central FCU and WesCorp FCU
NCUAs analysis of individual corporate credit union portfolios demonstrates the incidence of expected credit losses greater than total capital is concentrated primarily in two corporate credit unions. As a result, the NCUA Board has taken control of both institutions: U.S. Central FCU and Western Corporate (WesCorp) FCU, and placed them into conservatorship. Operation of both corporate credit unions will continue uninterrupted. The remaining 26 corporate credit unions show a level of portfolio risk that NCUA considers manageable from the standpoint of capital adequacy. With the National Credit Union Share Insurance Funds (NCUSIF) full share guarantee in effect in both institutions through December 31, 2010, members can continue to invest in both institutions without risk of loss.
Revised NCUSIF Liability Estimate
The continuing analysis of the securities provided more detailed information that helped NCUA refine the assumptions used in determining the NCUSIFs required reserve for potential loss. The revised assumptions show the overall reserve level increased to $5.9 billion from the $4.7 billion estimated on January 28, 2009. The computation and impact of the revised reserve level will be discussed later in this letter.
Maintenance of Liquidity
As discussed by NCUA in various public forums surrounding the corporate stabilization effort, the key short-term objective has been, and remains, to increase liquidity in corporate credit unions. The increased liquidity reduces the likelihood of having to sell the securities at adverse prices in the current non-functioning market. This avoids the scenario of absorbing significantly higher losses now, versus the cost of holding the securities to maturity.
Recent trends indicate that liquidity in the entire corporate credit union system is improving and external borrowings are being repaid. Since the first phase of the stabilization action, liquidity in the corporate credit unions holding the majority of the distressed securities has improved with deposits increasing from $59.1 billion to $71.3 billion. At the same time, credit unions are utilizing the Credit Union System Investment Program (CU SIP) to provide funding to corporate credit unions. As a result, a significant portion of the corporate credit union systems external borrowings has been paid, which was one of the early objectives of the stabilization plan. Since January 28, external borrowings in the same corporate credit unions have declined from $11.8 billion to $2.1 billion. This is a direct reflection of the cooperative spirit of the credit union system. Despite this increase, the foundational stresses on liquidity in the system remain and seasonal trends could result in liquidity becoming short in the near term. NCUA urges the credit union community to continue placing excess liquidity in corporate credit unions so the positive momentum continues. This remains a critical piece to the success of the stabilization and resolution effort while minimizing the cost to natural person credit unions.
Analysis Performed and Impact on the Reserve and Cost to Credit Unions
NCUA continues to perform its own analysis of the securities and has contracted with a third party to provide independent confirmation and refinement of the results of NCUAs assessment. The results confirm NCUAs analysis that potential credit losses on all securities could approach upwards of $16 billion, with a most reasonable estimate in the current environment of $10.8 billion. NCUA modeled the impact on each corporate credit union. The modeling shows the losses at U.S. Central and WesCorp present immediate capital concerns to a level necessitating the action by NCUA to assume control of the two institutions.
The additional analysis provides a higher degree of confidence in key assumptions and estimates NCUA used to determine the amount of the liability the NCUSIF must record as part of the stabilization action. The key assumptions impacted are the amount of potential credit loss on the securities and the likelihood of having to perform on the NCUSIF share guarantee. The model NCUA is using to determine the liability remains unchanged, but the assumptions have been adjusted using this more definitive information.
The revised total liability for the NCUSIF increases from $4.7 billion to $5.9 billion using the updated assumptions. This increased reserve comes at an additional cost to all credit unions. The results will translate into an additional charge per credit union of 10 basis points of earnings and 9 basis points of net worth on average.
If your credit union has already reflected the stabilization expense on the financial statements, the accounts will need to be adjusted for the increase in the NCUSIFs recorded liability estimate. The individual expense for the stabilization action should be calculated based on insured shares of $100,000 in two parts:
1) Multiply insured shares as of December 31, 2008, by 0.30% to arrive at the projected premium expense.
2) Multiply insured shares as of December 31, 2008, by 1% to arrive at the NCUSIF Deposit. Multiply the NCUSIF Deposit by 69% percent to arrive at the revised impairment expense. Previously, this was estimated at 51% of the deposit.
Refer to Accounting Bulletin 09-1 issued in February 2009 for more details.
Next Steps
As discussed earlier, the risk of loss to the NCUSIF is primarily concentrated in U.S. Central and WesCorp. To protect the interests of the NCUSIF and all credit unions, NCUA has conserved both institutions. This provides NCUA with full control of the current and future operation of both entities. Services offered by both corporate credit unions will continue uninterrupted.
During the coming weeks and months, NCUA will continue to take whatever action is necessary to minimize the adverse impact of the U.S. financial and economic turmoil on credit unions. In relation to the corporate credit union system, NCUA plans the following:
A. Seek ways to reduce the cost impact on the credit union community from the stabilization action;
B. Determine the least cost alternative to absorb the losses within the system;
C. Explore alternate methods to manage the distressed assets held by the corporate credit unions; and
D. Restructure the existing corporate system based on input from stakeholders and future safety and soundness considerations.
Conclusion
NCUA believes the plans established and the actions taken present the least cost alternative to the credit union community under the current legal authority and requirements. NCUAs primary goal is to minimize the adverse impact on natural person credit unions and their members so credit unions remain a vibrant and healthy sector of the U.S. financial system. The current plan NCUA has in place provides the framework for minimizing the financial impact on credit unions and allows the credit union industry control of several of the variables, including the level of liquidity in the system.
The NCUA Board remains committed to working with the credit union community to find alternatives to minimize the impact on credit unions. The Board is open to any alternative that is legal, responsible, and reasonable. Under the current legal authority and system structure, NCUA remains firm in its belief the actions taken represent the least cost alternative and least disruption to the overall credit union and U.S. financial system.
Sincerely,
/s/
Michael E. Fryzel
Chairman
Big, but not huge. Rough seas ahead, but that’s what capital is for. The majority of credit unions are well capitalized, much more so than many banks, plus highly regulated to what investments credit unions can make with excess funds. Also very strict underwriting policies for loans. A couple corporates were another story. It’s been in the works since January.
When it rains hard, everyone gets wet.
Good post. Credit unions average about 11.5% capital, which is far above other financial institutions.
Yes.
I almost went to work for the NCUA years ago. This is a surprise, but as previously mentioned upthread, I am certain that some liquidity ended up in MBS, CMO, and other Asset Backed Securities. Heck, I saw a teachers CU with a sizable CMO investment portfolio in 1993!
The main effect downstream would be the liquidity for “regular” credit unions, since most of them place their excess unloaned cash into the corporate CU’s, but I am certain that the NCUA did what they did now to keep the downstream effect minimal.
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