On Key
- First
Niagara, Fed
Extends to Feb
2 on ICP's
FOIA, So ICP
Comments
By
Matthew R. Lee
NEW
YORK, January
30 -- The lack
of seriousness
in US bank
regulation
grows from the
relatively
smaller to the
largest banks
like Goldman
Sachs - and
those in the
upper bulge
like KeyCorp,
seeking to buy
First Niagara
and close a
lot of
branches.
Back
on December
16, Inner City
Press filed a
Freedom of
Information
Act request
with the
Federal
Reserve about
the Key /
First Niagara
proposal. On
January 20,
the Fed
extended its
time to reply
-- to February
2, AFTER the
comment period
would expire
on January 31.
So Inner City
Press
commented to
the Fed:
"This
is a timely
first comment
opposing and
requesting an
extension of
the FRB's
public comment
period on the
Application by
KeyCorp to
Acquire First
Niagara.
First,
the comment
period must be
extended. All
the way back
on December
16, 2015,
Inner City
Press
submitted a
FOIA request
for documents
related to
this proposal.
It was
assigned
number
F-2016-00073
by the Federal
Reserve.
But on
January 20 the
Manager of the
FRB's Freedom
of Information
Office wrote
to Inner City
Press that
“pursuant to
section
(a)(6)(B)(i)
of the FOIA,
we are
extending the
period for our
response until
February 2,
2016, in order
to consult
with two or
more
components of
the Board
having a
substantial
interest in
the
determination
of the
request.”
The comment
period is set
to expire on
January 31 --
six weeks
after ICP's
FOIA request,
but days
BEFORE the
Fed's
response. This
request to
extend the
comment period
is being
submitted on
January 30 and
must in
context be
granted.
In the
interim, in
support of
ICP's request
for public
hearings,
consider that
in 2014, the
most recent
year for which
Home Mortgage
Disclosure Act
data is
available, Key
Bank National
Association in
the Buffalo
Metropolitan
Statistical
Area made 258
home purchase
loans to
whites but
only seven to
African
Americans,
while denying
the
applications
of African
Americans 2.56
times more
frequently
than those of
whites. For
refinance
loans, Key's
denial rate
disparity for
African
Americans was
2.28.
In the New
York City MSA,
Key Bank
National
Association
made 21 home
purchase loans
to whites and
only ONE to an
African
American
applicant. Key
made 43
refinance
loans to
whites and
NONE to
African
Americans.
These
disparities
are not
acceptable.
Nor is the
lack of
transparency,
as the comment
period is set
to close, on
branch
closures or
'consolidations.'
The comment
period must be
extended and
public
hearings
held."
We'll
have more on
this. There's
also those in
the middle,
seeking to
become a
Systemically
Important
Financial
Institution
like New York
Community
Bancorp is,
applying to
buy Astoria
Bank.
After
Inner City
Press / Fair
Finance Watch
filed a timely
protest, the
Federal
Reserve On
January 8
asked NYCB 14
questions.
Inner City
Press has put
the Additional
Information
letter online
here,
including a
request to
know which
branches NYCB
would close,
how it would
try to sell of
Astoria's
loans, etc.
Inner City
Press said,
there should
now be more
fair lending
questions, and
the comment
period should
be extended.
On
January 21,
the Federal
Reserve
informed Inner
City Press /
Fair Finance
Watch that the
Fed is
re-opening and
extending its
comment period
on NYCB -
Astoria until
Tuesday,
February 16.
We'll have
more on this.
Back
on January 15,
after Inner
City Press /
Fair Finance
Watch also
filed comments
with the FDIC,
that agency
has written to
NYCB's Joseph
Ficalora
asking for a
response, and
stating that
"We
are writing in
reference to
the enclosed
e-mail that we
received from
Executive
Director
Matthew Lee,
of Inner City
Press/Fair
Finance Watch
concerning
your
institution's
application to
acquire
Astoria Bank.
We reviewed
the subject
e-mail in
accordance
with the
guidelines of
12 C.F.R.
Section 303,
and deemed it
a Community
Reinvestment
Act (CRA)
protest for
the purpose of
your
application.
The subject
e-mail raises
issues
regarding your
institution's
record of
lending to
African
American and
Latino
persons. The
anticipated
time and
research
required to
investigate
these issues
has
contributed to
the removal of
your
institution's
application
from expedited
processing."
NYCB's
home mortgage
lending is
extremely
disparate; its
multi-family
lending, some
to slumlords,
is no defense.
Inner City
Press / Fair
Finance Watch
has filed this
with the Fed:
“On behalf of
Inner City
Press / Fair
Finance Watch,
this is a
timely first
comment
opposing and
requesting a
complete copy
of an and an
extension of
the FRB's
public comment
period on the
Application by
New York
Community
Bancorp
('NYCB') to
acquire 100%
of the voting
shares of
Astoria
Financial Corp
and indirectly
acquire
Astoria Bank.
The
applicant NYCB
in the New
York City MSA
in 2014 made
109 home
purchase loans
to whites --
and only THREE
to African
Americans. For
refinance
loans, NYBC in
the the NYC
MSA in 2014
made 27 loans
to whites and
only ONE to an
African
American.
While
NYCB may
attempt to
minimize these
severe
disparities by
pointing to
multi-family
loans, there
are
significant
complaints
about that
lending; note
also this
account of
the CFPB which
lists the
ostensibly
mostly
multi-family
NYCB with more
complaints
against it
than banks
that are both
larger and
more “retail."
In the
Nassau Suffolk
(Long Island)
MSA in 2014
NYCB made 107
home purchase
loans to
whites -- and
only ONE to an
African
American,
while denying
African
Americans 4.7
times more
frequently
than whites.
For refinance
loans, NYBC in
the the Long
Island MSA in
2014 made 52
loans to
whites and
only three to
African
Americans and
only TWO to
Latinos, while
denying
Latinos 2.32
times more
frequently
than whites.
In the
Cleveland,
Ohio MSA
(where NYCB
bought Ohio
Savings), NYCB
in 2014 made
17 refinance
loans to
whites in 2014
and only one
to an African
American,
while denying
African
Americans,
while denying
African
Americans
three times
more
frequently
than whites.
Similar
disparities
exist for NYCB
in New Jersey,
Arizona and
Florida -- ICP
is requesting
public
hearings on
this
ill-conceived
proposed
merger.
As the
Federal
Reserve surely
knows, this
proposal was
driving by
activist
investor
pressure on
Astoria (by
Basswood
Capital
Management
LLC); both
institutions'
securities
fell
significantly
in price when
it was
announced. The
price to
consumers
would include
the closure of
branches,
disclosure of
which should
be demanded
during the
extended
comment period
and at the
requested
public
hearing(s).
The
comment period
should be
extended;
evidentiary
hearings
should be
held; and on
the current
record, the
application
should not be
approved.”
Inner City
Press / Fair
Finance Watch,
which also
opposes NYCB's
requests for
approvals from
the FDIC, New
York and other
regulators,
has prepared
this
comparison of
NYCB to other
lenders:
“In the Nassau
Suffolk (Long
Island) MSA in
2014 NYCB made
107 home
purchase loans
to whites --
and only ONE
to an African
American,
while denying
African
Americans 4.7
times more
frequently
than whites.”
While NYCB
made 107 home
purchase loans
to whites for
one to an
African
Americans
(ratio of
107-to-1), the
aggregated in
2014 for home
purchase loans
on Long Island
had a ratio of
13.41 loans to
whites for
every loan to
an African
American
(15,081 loans
to whites,
1125 loans to
African
Americans).
NYCB is eight
times more
disparate than
other lenders.
Also on
Long Island,
compared to
NYCB's 4.7
denial rate
disparity
between
African
Americans and
whites, the
aggregate
denied African
Americans 1.66
times more
frequently
than whites.
NYCB is 2.83
times more
disparate than
other lenders.
NYCB in
the New York
City MSA in
2014 made 109
home purchase
loans to
whites -- and
only THREE to
African
Americans.
While
NYCB made 109
home purchase
loans to
whites and
three to
African
Americans in
NYC (ratio of
36.3-to-1),
the aggregated
in 2014 for
home purchase
loans in the
New York City
MSA had a
ratio of 11.39
loans to
whites for
every loan to
an African
American
(47,166 loans
to whites,
4,140 loans to
African
Americans).
NYCB is 3.19
times more
disparate than
other lenders
in the New
York City MSA.
Meanwhile
Goldman Sachs
is trying to
speed through
Federal
Reserve
approval to
buy $16
billion in
insured
deposits from
GE Capital,
and the Fed,
documents
released to
Inner City
Press under
the Freedom of
Information
Act (FOIA)
show, is
inappropriately
bent on
helping,
including by
closing its
comment
period...
The Federal
Reserve has
belatedly
responded to
Inner City
Press / Fair
Finance
Watch's
September 2
FOIA request,
with some of
its internal
documents,
many heavily
redacted. FOIA
letter here;
FOIA
documents
released to
ICP here,
and embedded
below.
While
Inner City
Press is
appealing,
even as
released the
documents show
that Goldman
Sachs through
its law firm
Sullivan &
Cromwell
reached out to
Fed General
Counsel Scott
Alvarez in May
2015 about the
transaction,
and was
largely able
to vet it with
the Fed's
staff by July,
even receiving
an "additional
information"
request before
any
application
was filed.
Since the
public cannot
comment or ask
questions
before a
transaction is
announced,
this
"pre-review"
by the Fed in
essence cuts
public review
and
transparency
out of the
process. The
Fed's rules
against
ex-parte
communications
can't be
triggered
before there
is an
application.
But should Fed
review be
held, and
apparently
completed,
before there
is any public
notice?
The
deal was
publicly
announced on
August 13 and
Goldman Sachs
on August 18
submitted the
apparently
pre-approved
application.
Inner City
Press / Fair
Finance Watch
submitted a
comment and
FOIA request
(delayed until
now); the end
of the FOIA
response has a
redacted
reaction to
the "public
comment." Now
others have
commented and
a campaign has
begun. But has
the Fed
already made
up its mind?
On
Goldman Sachs,
Federal
Reserve's
Initial FOIA
Response to
Inner City
Press on GE
Capital Bank
by Matthew
Russell Lee
On
October 20,
the Federal
Reserve asked
Goldman Sachs
five
questions, but
not on the
predatory
lending issues
raised:
"October
20, 2015
This letter
relates to the
proposal by
Goldman Sachs
Bank USA (“GS
Bank”), New
York, New
York, to
assume certain
deposits and
acquire
certain assets
of GE Capital
Bank (“GE
Bank”),
Holladay,
Utah, pursuant
to section
18(c) of the
Federal
Deposit
Insurance Act.
Based on
staff’s review
of the current
record, the
following
additional
information is
requested.
Please provide
responses to
all of the
following
questions,
including
those in the
confidential
annex. Please
provide
relevant
supporting
documentation
as
appropriate.
Further
information
may be
required as
staff
continues its
review of the
proposal.
1.
Explain how
the proposed
acquisition of
GE Bank’s
retail deposit
platform is
consistent
with GS Bank’s
2015-2016
Strategic Plan
(“Strategic
Plan”) and
specifically
which parts of
the Strategic
Plan the
proposed
acquisition
would
facilitate.
Also, explain
the
aforementioned
in the context
to GS Bank’s
ongoing
business
plans. Provide
a copy of the
Strategic
Plan.
2.
Discuss how GS
Bank’s level
and
composition of
assets and
funding would
change over
the next three
years. Provide
a table that
depicts the
asset and
funding types
and respective
amounts for
years ending
in 2016, 2017,
and 2018. In
addition,
provide annual
balance sheet
and income
statement
projections
for 2016,
2017, and
2018.
3.
Discuss how GS
Bank’s
customer base
would change
over the next
three years.
4.
Provide a
description of
the general
backgrounds,
and roles and
responsibilities
of the GE Bank
employees to
be hired by GS
Bank.
5.
Indicate the
approximate
number of
retail
accounts to be
acquired from
GE Bank and a
general
description of
the types of
accounts.
Provide an
estimated
number of
retail
accounts that
GS Bank
expects to
have by
year-end 2016,
2017, and
2018."
Inner City
Press still
had its
pending
Freedom of
Information
Act request;
Fair Finance
Watch and
others,
including
NCRC, asked
the Fed to
extend its
comment
period, which
has now been
done, until
October 30,
with the Fed's
FOIA response
to Inner City
Press due on
October 16.
But as of
October 17, no
response from
the Fed,
despite this
letter:
"Re:
Freedom of
Information
Act Request
No.
F-2015-0336
Dear Mr. Lee,
On September
2, 2015, the
Board of
Governors
(“Board”)
received your
electronic
message dated
September 2,
pursuant to
the Freedom of
Information
Act (“FOIA”),
5 U.S.C. §
552, for the
entirely of
the
“Application
by Goldman
Sachs Bank USA
for the
Acquisition by
Purchase and
Assumption of
Certain
Deposit
Liabilities
and Certain
Very Limited
Non-Financial
Assets of GE
Capital Bank,”
and for all
records
reflecting FRS
communications
with Goldman
Sachs for the
past twelve
(12) months.
On September 3
and September
9, the Board
provided you
with the
public
portions of
the
application.
Pursuant to
section
(a)(6)(B)(i)
of the FOIA,
we are
extending the
period for our
response until
October 16,
2015, in order
to consult
with two or
more
components of
the Board
having a
substantial
interest in
the
determination
of the
request.
If a
determination
can be made
before October
16, 2015, we
will respond
to you
promptly.
It is our
policy to
process FOIA
requests as
quickly as
possible while
ensuring that
we disclose
the requested
information to
the fullest
extent of the
law.
Very truly
yours,
/signed/
Jeanne M.
McLaughlin
Manager,
Freedom of
Information
Office"
But
even by
October 16, no
response from
the Fed. Only
this from
Goldman Sachs,
only
snail-mailed
by its
counsel:
Goldman
Sachs' 2d
Reply to Inner
City Press, As
Fed Withholds
FOIA Documents
by Matthew
Russell Lee
On
October 13
Inner City
Press
published the
Federal
Reserve's
communications
with the CIT
Group's
outside
counsel,
which shows
how the
release of
public
documents is
allowed by the
Fed to be
delayed. CIT
made
disingenuous
requests for
confidential
treatment of
information
that could not
be withheld,
without any
repercussion.
They were
rewarded with
FOIA appeal
denials by Fed
Governor Jay
Powell; now
Goldman is
trying to
withhold
information
that should be
public. Will
there be any
repercussion
or
accountability?
Watch this
site.
Revealed:
Federal
Reserve Asking
CIT Group
About Inner
City Press
FOIA Request:
Now Goldman
Sachs? by
Matthew
Russell Lee