by Pam Martens and Russ Martens, Wall St On Parade:
Yesterday, in an emailed newsletter to readers of the New York Times, financial writer Andrew Ross Sorkin effectively admitted that he has had no clue what bank capital actually is for the past 14 years so he just grabbed the phrase “rainy day fund” to describe it – notwithstanding that the phrase has no relationship to the factual definition of bank capital and serves only the interests of the banking lobby.
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Sorkin’s missive included this:
“Andrew here. A year on since the collapse of Silicon Valley Bank renewed fears about the strength of the banking system, the debate about what should happen next continues.
“But there is a more important, if perhaps prosaic, point that I want to address this morning: We’re thinking about ‘capital requirements’ — regulatory standards meant to protect banks against losses and runs on deposits, and whose levels have been a subject of discussion since the 2008 financial crisis — all wrong.
“And, the truth is, some journalists — including myself — have not helped. (In fact, we may have made it more confusing.)
“We often refer to ‘capital requirements’ as a ‘rainy-day fund,’ or cash-like instruments that need to be ‘held’ so that banks can withstand a shock to the system. But that’s not exactly right.”
Let’s pause here for a moment. Sorkin is being far too kind to himself when he says “that’s not exactly right.” In fact, it’s dead wrong.
Sorkin continues:
“My friend Jesse Eisinger, the Pulitzer Prize-winning journalist, and Anat Admati, a professor at Stanford, separately emailed me and other colleagues recently, pointing out the misunderstanding about how the rules around ‘capital requirements’ are described.”
Let this settle in for a few moments. A New York Times financial writer who has been opining on financial matters as co-host of CNBC’s Squawk Box since 2011 and wrote a bestseller book on what caused the banking crash of 2008 is admitting now, in 2024, that he has to be schooled by a Pulitzer Prize winning author and an Economics Professor at Stanford on his misunderstanding of what bank capital actually is.
The reason this is coming to light is that Sorkin has apparently drawn the attention of the good guys who are standing up to the propaganda spewing from the banking lobby and their television ads. The bank lobbyists’ TV ad campaign is attacking federal regulators’ proposed rules to increase capital requirements on the 37 largest banks in the U.S., particularly those that represent the largest systemic risks through their high-risk trading and derivatives activities. (See our report: The Battle Over Capital at the Mega Banks Must Expand to Breaking Them Up.)
The banking lobby is making good use of Sorkin’s misleading “rainy day fund” characterization of bank capital by promoting the false narrative that higher capital requirements at the largest banks will hurt working families and farmers by making bank loans harder to get, ostensibly because the higher requirements will deplete the “rainy day fund.”
According to a quick check in news archives, Sorkin’s misuse of this “rainy day fund” characterization of bank capital dates back to at least 2009 when he appeared in both a CNN interview on October 24, 2009 and again in a Meet the Press interview on October 25, 2009 using the rainy day analogy.
In fact, bank capital is not a “fund.” It’s not cash. It’s not liquid assets. It’s an accounting term and a balance sheet item whose components have changed over time. At present, according to the Federal Deposit Insurance Corporation (FDIC), the federal bank regulator and agency that insures bank deposits up to a maximum of $250,000 per depositor, per bank, bank capital is the following:
“Common equity tier 1 capital is the most loss-absorbing form of capital. It includes qualifying common stock and related surplus net of treasury stock; retained earnings; certain accumulated other comprehensive income (AOCI) elements if institution management does not make an AOCI opt-out election, plus or minus regulatory deductions or adjustments as appropriate; and qualifying common equity tier 1 minority interests. The federal banking agencies expect the majority of common equity tier 1 capital to be in the form of common voting shares and retained earnings.
“Additional tier 1 capital includes qualifying noncumulative perpetual preferred stock, bank-issued Small Business Lending Fund (SBLF) and Troubled Asset Relief Program (TARP) instruments that previously qualified for tier 1 capital, and qualifying tier 1 minority interests, less certain investments in other unconsolidated financial institutions’ instruments that would otherwise qualify as additional tier 1 capital.
“Tier 2 Capital includes qualifying preferred stock, subordinated debt, and qualifying tier 2 minority interests…”
In a January16, 2024 letter to federal bank regulators, Professor Admati made the following key points:
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