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Loan Participations and Loan Sales Guide Cover

The Complete Guide to Loan Participation, Loan Sales, and Loan Syndications for Banks

By Article, Insights

If you’re a banker trying to keep lenders lending while managing concentration risk, liquidity pressure, and staffing constraints, you’ve probably bumped into the same bottleneck: the “capital markets” tools you need (loan participations, loan sales, syndications) are often run on spreadsheets, email, and manual reconciliation.

That works—until it doesn’t. As volumes rise, portfolios diversify, or participants expand, the operational drag and “out-of-balance” risk climb fast. And when the process is heavy, the business outcome is predictable: fewer sell-downs, fewer partners, slower closings, and missed opportunities.

This guide breaks down how loan participation (plus syndications and whole-loan sales) actually work, why they matter right now, and what a modern bank should look for if you’re evaluating tools to do this at scale.


Key takeaways

  • Loan participation lets you share a single loan’s exposure while keeping the borrower relationship with the lead lender—great for lending limits, concentration risk, and liquidity planning.

  • Loan syndication typically forms a lender group at origination under a common structure—useful for larger deals and shared underwriting at close.

  • Whole-loan sales transfer the entire loan to another party—often used for liquidity, balance sheet repositioning, or portfolio strategy.

  • Regulators expect buyers to underwrite and administer purchased loans/participations as if originated by the buyer—and caution against over-reliance on sellers.

  • The banks that win here treat participations as a repeatable operating system, not a one-off legal project.


Want a faster, safer way to run loan participations and loan sales? Explore how Participate (a BankLabs innovation) helps banks automate workflows, participant servicing, and reporting—without living in spreadsheets.


Loan participation structure showing lead bank, participants, and shared exposure while the lead retains borrower relationship.

Loan participation structure showing lead bank, participants, and shared exposure while the lead retains borrower relationship.


What is a loan participation?

A loan participation is when the originating (lead) bank sells a portion of a loan to one or more participating institutions, while typically retaining the borrower relationship and servicing role.

Why banks use loan participations

Most banks use loan participations to:

  • Stay within legal lending limits while keeping the client relationship

  • Reduce concentration risk (borrower, industry, geography, tenor)

  • Improve liquidity flexibility by selling down exposure

  • Generate fee income via servicing/administration in many structures

  • Build reciprocal partner networks (send deals, receive deals)

Loan participation vs. “just buying a loan”

From a workflow standpoint, participations can look like “loan buying,” but they introduce ongoing operational complexity:

  • Shared balances must remain aligned

  • Payments/fees/rate changes need accurate allocation

  • Reporting and notices go to multiple institutions

  • Documents must be controlled and auditable

Expert tip: If your team says “we reconcile it at month-end,” you’re carrying unnecessary operational and reputational risk—because participant confidence erodes long before month-end.


Loan participation vs. loan syndication vs. whole-loan sale

Here’s a practical way to choose the right structure.

1) Loan participation (most common for many community/regional use cases)

Best when you want to:

  • Keep the borrower relationship

  • Sell down exposure post-close or near-close

  • Work with a small group of known partner banks

  • Maintain speed and flexibility

2) Loan syndication (common for larger, structured deals)

Best when you need:

  • Multiple lenders committed at origination

  • A clearer “agent/arranger” structure

  • Formal coordination across the lender group

  • Standardized communications and consent mechanics

3) Whole-loan sale (clean transfer)

Best when:

  • You want full liquidity relief

  • You’re repositioning a portfolio

  • A buyer wants full ownership/control

  • You want to simplify ongoing administration (because you no longer service)


Why loan participations matter more right now (and what regulators are signaling)

Balance sheets have been under pressure: liquidity planning, credit normalization, and concentration scrutiny are not theoretical—they’re daily management issues.

Regulators have been explicit that when institutions purchase loans or participations, they should manage them with the same rigor as originated assets and avoid over-reliance on lead institutions or third parties.

The OCC similarly frames loan purchase activities (including participations and participations in syndicated loans) as long-standing practices that must align with strategy, risk appetite, and strong due diligence/credit administration.

Did you know? The FDIC updated its advisory (amended February 3, 2026) to remove references to reputation risk—while keeping the core expectations around independent underwriting, administration, and third-party risk.


The real bottleneck: operations, not opportunity

Most banks don’t struggle with why to do participations—they struggle with how to do them repeatedly without friction.

Common pain points in traditional loan participation workflows

  • Manual “system of truth” issues (multiple spreadsheets, versions, email chains)

  • Out-of-balance risk between lead and participants

  • Slow participant communications (rate changes, payments, remittance notices)

  • Document sprawl (attachments, unsecured sharing, scattered files)

  • Limited visibility for leadership (portfolio analytics, performance reporting)

  • Scaling constraints (volume increases require headcount increases)

This is exactly why automated platforms are showing up in bank operating models: not to “innovate for innovation’s sake,” but to make participation activity repeatable and auditable.


Side-by-side workflow comparing spreadsheet/email processes to automated servicing with real-time balances and automated notices.

Side-by-side workflow comparing spreadsheet/email processes to automated servicing with real-time balances and automated notices.


What “loan participation automation” actually means

When bankers hear “automation,” they sometimes imagine a rip-and-replace, loan participation automation actually means:

A) A standardized workflow for selling down and onboarding participants

  • Publish the opportunity (internally or to approved partners)

  • Secure document sharing + approvals

  • Built-in NDAs/participation agreement workflow (or your own templates)

  • Track status and commitments

B) Ongoing participant servicing without manual reconciliation

  • Automated payment splits (principal/interest/fees)

  • Automated rate change notices

  • Shared balances and transaction history

  • Centralized documents + audit trail

C) Reporting and visibility that helps you scale

  • Buy-side / sell-side dashboards

  • Portfolio analytics

  • Board-friendly reporting

  • Exception-based operations rather than “touch everything”

Expert tip: Ask vendors one blunt question: “Who is the system of truth when our core and our participants disagree?” The best answers include shared balances + traceable transaction history.


A buyer-centric checklist: what to look for in a loan participation tool

If you’re evaluating solutions (or even building internally), here’s a practical checklist.

Workflow + speed

  • Can you package and share an opportunity in minutes, not days?

  • Can you control distribution (specific partners vs. broader network)?

  • Can you track approvals and commitments without chasing email?

Servicing + controls

  • Do participants see the same balance and history you see?

  • Are rate changes and notices automated?

  • Is reconciliation built into the process (or offloaded to month-end)?

Data + integrations

  • Can it integrate with your LOS/core (or start quickly without deep integration)?

  • Does it support the data elements you care about (loan terms, covenants, reporting)?

  • Can you onboard existing participations to get value immediately?

Risk + compliance alignment

  • Secure document handling and permissioning

  • Audit trail and approvals

  • Clear third-party risk management support (SOC posture, access controls, etc.)


Where Participate fits

Loan participations and loan sales are powerful tools — but without the right operating structure, they become operationally heavy.

As participation volume grows, spreadsheets, manual notices, and reconciliation work can limit scalability. What starts as a strategic advantage can quickly turn into administrative drag.

Participate, developed by BankLabs, is built to serve as the operating layer for loan participations, syndications, and loan sales. It standardizes workflow, automates participant servicing, and creates real-time balance transparency between originators and participants.

With the right system in place, banks can:

  • Automate deal workflow and participant onboarding

  • Maintain real-time shared balances

  • Eliminate reconciliation friction

  • Centralize documentation and reporting

  • Scale participation activity without scaling headcount

The outcome is simple: more confidence, less operational risk, and a repeatable framework for growing your loan sales ecosystem.


FAQ

What is the difference between a loan participation and a loan syndication?
A loan participation typically involves a lead lender selling portions of a loan (often after origination) while keeping the borrower relationship. A syndication usually forms a lender group at origination under a coordinated structure (often with an agent/arranger).

Can smaller banks benefit from loan participations?
Yes. Participations allow smaller institutions to access larger deals, diversify portfolios, and manage exposure more effectively.

How do loan participations help with concentration risk?
They let you sell down exposure by borrower/industry/geography/tenor while keeping the client relationship and continuing to originate new business.

What’s the biggest operational risk in participations?
“Out-of-balance” conditions and incomplete information sharing—especially around payments, rate changes, fees, and document versions. That risk grows with volume and participant count.

Can we modernize without a massive integration project?
Yes, with Participate you can go live in less than 24 hours. Many banks start by standardizing workflow and servicing visibility first, then expand integrations over time based on ROI and operational readiness.


Conclusion

Loan participations, syndications, and loan sales aren’t niche tools—they’re core levers for balance sheet strategy, risk management, and growth. The difference between “we do participations occasionally” and “we do participations confidently” is almost always the operating model: visibility, controls, and repeatability.

If you want to turn loan participation activity into a scalable process—without adding headcount or living in reconciliation—explore Participate’s approach to workflow + servicing automation. Request a Free Demo.

svb1

The Silicon Valley Bank Failure

By Article, Insights

In “THE SILICON VALLEY BANK SAGA PART 1: WHAT HAPPENED? BY THE NUMBERS” we searched behind the popular press pronouncements to explore elements of Silicon Bank’s risky investment in long-term treasury instruments and how these investments eventually contributed to the failure of the Bank.

Banking is Packed with Inherent Risks

Banks constantly face a variety of risks in the ordinary course of their business: in receiving deposits and originating loans or investing deposits for a return in excess of the cost of the deposits. The Office of the Comptroller of the Currency (OCC) has identified nine categories of risks banks face: Credit, Interest Rate, Liquidity, Price, Foreign Exchange, Transaction, Compliance, Strategic and Reputation.

Each day, Bankers must navigate this complex, shifting mine field of risks any one of which may be sufficient to sink the Bank.

As recently demonstrated by the Silicon Valley Bank failure, interest rate risk alone may be sufficient to cripple and eventually destroy a bank. In SVB’s failure, the sixteenth largest bank in the United States was unable to fend off a full-fledged bank run. It succumbed to a tsunami of withdrawals in only a matter of a few days.

The Bank’s end was swift and sure.

 

Who’s Responsible for Addressing Interest Rate Risk?

The short answer is: everyone in banking governance and management is responsible.

In a 2010 document “Advisory on Interest Rate Risk Management”, the FDIC sets out general standards for IRR management. Numerous subsequent pronouncements by each regulator reinforce the general framework expressed in this Advisory.

The Advisory admits the interest rate risks banks and bankers face ”The regulators recognize that some degree of IRR is inherent in the business of banking.”

Responsibility is then heaped on the Board of Directors –

“Existing interagency and international guidance identifies the board of directors as having the ultimate responsibility for the risks undertaken by an institution – including IRR.” (Emphasis added)

Senior management then gets its share of responsibility –

“Senior management is responsible for ensuring that board-approved strategies, policies, and procedures for managing IRR are appropriately executed within the designated lines of authority and responsibility.” (Emphasis added)

If you are reading this post, you likely have responsibility for conquering interest rate risk at your institution. Ominously, the penultimate paragraph contains an admonition regarding the failure of Directors and Managers to effectively manage IRR –

“Material weaknesses in risk management processes or high levels of IRR exposure relative to capital will require corrective action.”

History will determine the degrees of responsibility of the Board and Managers of Silicon Valley Bank bear in the Bank’s stunning failure.

 

What’s a Banker To Do?

In a section title “Risk Mitigating Steps” the FDIC provides some general guidance as to tools to manage IRR. Specifically, should IRR exceed or approach the institution’s limits “institutions can mitigate their risk through balance sheet alteration and hedging.”

Bankers should not wait until the risk threshold is in sight (or is behind them) to take action. Proactive balance sheet management helps banks avoid traps like the traps Silicon Valley Bank faced.

The next paragraph describes appropriate hedging activities but no guidance is provided regarding “balance sheet alteration.”

Bankers understand the asset side of the Balance Sheet. Assets revolve around two accounts: Cash and Loans Receivable.

Originating loans can be time consuming. Properly structuring loans may require expertise that is outside the bank’s skill set. Local loan demand may be insufficient to meet the bank’s lending needs. Loan servicing can be expensive and tedious.

Participate solves these problems. By providing a device-independent platform common to both Originators and Participants, participation communication is streamlined. Participation documents can be securely shared, and messages can be exchanged between Originator and Participant from within the Participate platform. The tedious back and forth process of agreeing on terms and executing Participation Agreements is handled with the click of a button. Standardized documents can be e-signed in a quick and seamless workflow.

The old participation slog can be reduced from days or weeks to minutes or hours.

Servicing is simplified. No more maintaining complex, error-ridden, non-audit friendly spreadsheets. Participants can opt-in to receive email and in-platform notifications each time a participation document is uploaded, a payment is disbursed to a participant or a draw and been processed and the participant’s share is requested. Printable forms contain wire instructions allowing them to be used as support for wire transactions by either the originator or the participant. They provide a firm audit trail.

Buying and selling participations allows banks to manage borrower concentrations, manage loan type and geographic concentrations and brings horsepower to the regulatory admonition to “mitigate risk through balance sheet alteration.”

Participate also provides a national marketplace for the purchase and sale of participations greatly expanding the scope of a bank’s contacts.

 

Talk to BankLabs (501.246.5148) or sales@banklabs.com) to discuss how we can help you manage interest rate risk.

Construction Loan Automation helps increase draw incom

Loan profits increase in 2020 according to MBA report

By Insights, Uncategorized

The average profit on each loan originated in 2020 was up significantly compared to the average profit in 2019. Construction loan automation streamlines the loan process, resulting in quicker turnaround.

“Independent mortgage banks and mortgage subsidiaries of chartered banks made an average profit of $4,202 on each loan they originated in 2020, up from $1,470 per loan in 2019, according to the Mortgage Bankers Association’s (MBA) Annual Mortgage Bankers Performance Report.”

 

What this means for Lenders

What does this mean for lenders? Increasing draw fee income is on everyone’s mind. Bankers are turning to new technology like construction loan automation to do just that. Construct is an online tool helping banks streamline their construction lending process, and borrowers love using it. It’s a great way to differentiate your bank for the competition.

Bank leaders around the country are getting behind loan automation tools like Construct as a way to increase their interest fee income. By speeding up the process, lenders are saving days on their loan cycles, resulting in higher margins.

How Construct Helps

What else can loan automation tools do for you? Lenders are finding that staff has a greater capacity to take on more loans with Construct, because so many of the tedious steps are taken out of the equation for them. Instead of 100 projects, some lenders are able to now handle 250 projects using Construct. As the construction sector bounces back from Covid, more companies will be looking for loans. In fact, demand for newly constructed housing is on the rise too. This is great news for lenders looking to increase their project portofolio.

Construct takes the spreadsheets out of the lending process and sends users real time alerts. When an inspection is done, you automatically get notified and can complete the next steps from anywhere, right from your phone, in minutes.

 

 

IMB Production Volumes and Profits Reach Record Highs in 2020 | Mortgage Bankers Association (mba.org)

Construction Loan Automation helps increase draw incom

10 ways that construct save bankers time

CALCULATOR

By Article, Insights, Uncategorized No Comments

More banks are looking to balance their sheets than ever before

Participate is helping bankers better manage their balance sheets. 

 

 

Innovating Community Banking: A Conversation with Participate’s Matt Johnner

By Blog, Insights, Video Interview

Explore the transformative journey of community banking through Participate’s lens, as shared by Co-founder & President Matt Johnner in his recent podcast with Kevin Horek on Building The Future.

Community banks are the unsung heroes of the financial world, crucial to the prosperity of local economies and communities. However, these institutions face unique challenges, particularly in the realm of loan participation. Recognizing the need for innovation, Participate, a subsidiary of BankLabs, is redefining the approach to loan participation for community banks, making the process simpler, more secure, and significantly more efficient.

A Visionary Conversation on Empowering Growth

In an enlightening conversation on the Building The Future podcast, Matt Johnner delves into how Participate is spearheading changes in the loan participation process. This discussion isn’t just about the strides in technology; it’s a deeper look into the mission of democratizing loan trading for community banks, allowing them to expand their services, manage risks better, and enhance their income streams.

Innovation at the Heart of Community Banking

The essence of Participate’s mission is to ensure that community banks, irrespective of their size, have the tools and opportunities to thrive. By providing an end-to-end participation loan management tool, Participate stands as a beacon of innovation, propelling community banks into a future where they’re not just surviving but flourishing.

Building a Sustainable Future for Banking

This podcast episode encapsulates the drive, innovation, and integrity behind Participate. It represents a commitment to a future where community banking is stronger, more connected, and capable of serving community needs more effectively than ever. It’s a narrative about creating a banking environment where every loan and every community bank has a place.

We invite our BankLabs audience to delve into this vital conversation, as we look not just toward the future of banking but actively partake in shaping it. Participate is more than a platform; it’s a movement towards a future where community banking is empowered to lead, innovate, and prosper.

BankLabs’ Loan Participation Platform Secures Investment from FINTOP Capital & JAM FINTOP Banktech, and Launches New Spin-Out Company ‘Participate’

By Insights, Press Release

BankLabs’ Loan Participation Platform Secures Investment from FINTOP Capital & JAM FINTOP Banktech, and Launches New Spin-Out Company ‘Participate’

Little Rock, July 26, 2023 — BankLabs, an innovation lab for banking technology, announces its strategic spin-out and significant investment from FINTOP Capital & JAM FINTOP Banktech, the preeminent FinTech venture capital firms led by fintech and banking veterans and supported by America’s leading banks. This partnership endorses BankLabs’ mission to democratize loan trading for all financial institutions, irrespective of size.

Participate is built to reduce friction in the loan participation process through cloud-native technology and curated buy-side clubs. This transformational platform is rapidly expanding, already patented, and promises to change the dynamics of the banking landscape forever. Participate automates the process of selling a portion of a new or existing loan. Once a loan is closed, Participate automates the back-office workflow including principal and interest splitting, collaboration on balances, notifications to the buy-side, variable interest rate management, secure document management and much more.

“We are delighted to partner with FINTOP & JAM FINTOP,” said Matt Johnner, President of BankLabs and Participate. “This is more than an investment, it is the creation of a new organization focused on helping America’s lenders improve and manage liquidity, reduce concentration risk and boost net income. JAM FINTOP’s involvement goes well beyond financial resources; they are essentially an R&D unit for the approximately 100 banks in their network. The FINTOP Capital team also brings impressive relationships beyond traditional banks as well. The infusion of their resources and strategic insights will vault Participate to new heights.”

Mike Montgomery, CEO of BankLabs and Participate shared, “we intend to create an environment where increasing the amount of participation loans creates a form of ‘backup liquidity’ that strengthens a bank’s ability to make necessary or strategic balance sheet adjustments more quickly and efficiently.”

“We see first-hand the struggles of community banks to balance liquidity and easily manage their loan portfolios, and the timing could not be better for a tool like Participate,” adds John Philpott, Partner at FINTOP Capital. It is a privilege to be able to work with professionals like Mike, Matt, and the entire BankLabs Participate team, and we are grateful to be partnering with them.”

For more information, please visit ParticipateLoan.com.

About BankLabs

BankLabs is an innovation lab committed to redefining banking products for the future to help community oriented financial institutions succeed. With its groundbreaking Participate platform, BankLabs is at the forefront of transforming the loan trading process, reducing friction, and democratizing loan trading for financial institutions of all sizes. The spin-out of Participate follows the successful creation, growth and sale of Construct to Abrigo, a leading financial technology company with over 2,400 financial institutions as clients. Construct is the #1 construction loan automation and payments product in the country. Follow BankLabs for more innovations to come.

About FINTOP Capital FINTOP Capital is a venture capital firm focused on early-stage FinTech companies. With over $700 million in committed capital across five funds, FINTOP brings decades of FinTech founding and operating experience to the boardroom, partnering with innovative entrepreneurs to push the frontiers of the financial services sector. For more information, visit fintopcapital.com.

About JAM FINTOP

JAM FINTOP is a joint venture between JAM Special Opportunity Ventures and FINTOP Capital. The partnership brings together bank experts and seasoned fintech entrepreneurs to invest in companies changing the way financial institutions and their customers move, track, and interact with money. For more information, visit https://www.jamfintop.com.

Participate Contact

Matt Johnner, President Participate & BankLabs

matt.johnner@banklabs.com

214.208.0436

JAM FINTOP Contact

Brittani Roberts, Principal FINTOP Capital

brittani@fintopcapital.com

630.726.2748

Matt Johnner

Banklabs President & Co-founder Matt Johnner accepted into Forbes Finance Council

By Insights, Press Release

Forbes Finance Council is an Invitation-Only Community for Executives in Accounting, Financial Planning, Wealth and Asset Management, and Investment Firms

April 19, 2023 —Matt Johnner, the President & Co-founder of BankLabs, a provider of innovative banking technology solutions, has been accepted into Forbes Finance Council, an invitation-only community for executives in accounting, financial planning, wealth and asset management, and investment firms.

 

Matt Johnner

Matt Johnner was vetted and selected by a review committee based on the depth and diversity of His experience. Criteria for acceptance include a track record of successfully impacting business growth metrics, as well as personal and professional achievements and honors. 

 

“We are honored to welcome Matt Johnner into the community,” said Scott Gerber, founder of Forbes Councils, the collective that includes Forbes Finance Council. “Our mission with Forbes Councils is to bring together proven leaders from every industry, creating a curated, social capital-driven network that helps every member grow professionally and make an even greater impact on the business world.”

 

As an accepted member of the Council, Matt has access to a variety of exclusive opportunities designed to help him reach peak professional influence. He will connect and collaborate with other respected local leaders in a private forum. Matt will also be invited to work with a professional editorial team to share his expert insights in original business articles on Forbes.com, and to contribute to published Q&A panels alongside other experts. 

 

Finally, Matt will benefit from exclusive access to vetted business service partners, membership-branded marketing collateral, and the high-touch support of the Forbes Councils member concierge team. 

 

ABOUT FORBES COUNCILS

Forbes Councils is a collective of invitation-only communities created in partnership with Forbes and the expert community builders who founded Young Entrepreneur Council (YEC). In Forbes Councils, exceptional business owners and leaders come together with the people and resources that can help them thrive.

 

For more information about Forbes Finance Council, visit forbesfinancecouncil.com. To learn more about Forbes Councils, visit forbescouncils.com.

His Linkedin: https://www.linkedin.com/in/mattjohnner/

Banklabs Webiste: Banklabs.com

 

Contact Details:

sales@banklabs.com

Mike Montgomery

Two Ideas for Helping Community Banks

By Article, Insights

Understanding the Role and Importance of Community Banks

The recent failures of Silicon Valley Bank and Signature Bank focused a bright light on community banks. Community Banks are the heart of the US Banking system, numbering about 4,500 with this number decreasing by about 100 banks each year.

According to the FDIC, these community banks “play a vital role in the functioning of the US financial system and broader economy, from lending to small business owners and farmers, to providing critical banking services in small towns and rural communities across the nation.”

While flattering to the community bank segment, that definition of the role of community banks does not do these critical financial intermediaries justice. As of 12/31/22 community banks (banks other than the 50 largest banks in the US) –

  • Held almost $5 Trillion in deposits
  • Had almost $4 Trillion in loans on their books

loan and deposits 22 Q4

Source: FDIC Call Reports

Additionally community banks:

  • Provide about 60% of all small businesses loans
  • Originate more than 80% of agricultural loans
  • Have nearly 50,000 locations
  • Employ nearly 700,000 people

Source: Independent Community Bankers of America

 

The Challenge Facing Community Banks

Immediately following the recent bank failures, deposits flowed out of community banks and into large money center banks seeking the apparent safety of “too big to fail” banks.  While this surge has subsequently slowed community banks face significant challenges as interest rates rise, operating costs rise and the lines between mega banks and community banks seem more clearly drawn.

Here are two ideas for strengthening community banks

  • Make deposit insurance available in amounts larger than $250,000 per account. Deposit insurance is the only type of insurance where “one size fits all”. There is no magic in the FDIC’s insurance of $250,000 per account. It is not tied to an inflation-based formula, it has simply been raised by congressional action to deal with then-current conditions.

 

Since 1934 the amount of maximum deposit insurance has been raised seven times. It was last raised from $100,000 to $250,000 in 2008 to bolster waning depositor confidence in the banking system following The Great Recession.

 

While $250,000 deposit insurance is sufficient for most consumers, many investors and businesses could be enticed to remain at community banks if additional account insurance was available.

 

Allow banks to decide how much insurance they need to provide to serve their depositors. Allow these banks to purchase additional deposit insurance.

Some banks may decide that the $250,000 base amount is sufficient for their depositors while other banks may, at their own expense, purchase additional deposit insurance. This also matches deposit insurance expense with the users of the insurance rather than apportioning premiums among all insured institutions as is now the FDIC’s practice.

 

  • Encourage community banks to better compete with large banks by creating an incentive for community banks to create incentives for time deposits. Once upon a time, financial institutions provided demand deposit accounts (checking) and time deposits (savings accounts and CDs). An entire sector of financial institutions developed that provided only time deposits (Savings and Loans and Building Associations). People bought CDs or simply saved because the interest rates available were attractive and provided a risk free return.

A quick Google search showed that today, investors can achieve 4% plus interest rates for relatively short-term CD but over time, the average CD rate has declined precipitously –

average cd rates 1984-2023

Source: Bankrate

 

Note that in 1984, investors were able to buy CDs with yields over 11%. It’s interesting to note that yield on the S&P 500 in 1984 was -5.9%. That’s negative 5.9%.

Let’s step back and look at that in real dollars. $1,000 invested in a CD earned about $110 while the same amount invested in the S&P 500 lost about $60. This makes a strong risk-free return look quite attractive.

By 2009, CD yields fell below 1% and yields virtually evaporated in late 2021 with banks paying .09% for a 6 month CD. Let’s put that in real dollars: $1,000 invested in a CD earned the investor 90 cents Yes, 90 cents. This seems like a disincentive to invest in a risk-free time deposit when the S&P 500 yielded about 13% that year. Clearly, investors were not motivated by the risk-free almost zero interest rates provided by bank time deposits. For over ten years, CD yields were not comparable with yields of other investments.

We suggest that the Treasury provide a credit facility available only to community banks that would allow the banks to offer a minimum 5% time deposit with at least a 100 basis point return. As interest rates float up, banks would not need to activate the facility as their return would be sufficient to encourage banks to offer attractive time deposit rates.

How could this work? Through a repurchase agreement. The US Treasury sells a treasury instrument to community banks with a remaining term approximately equal to the term of CDs sold. Contemporaneously, Treasury enters into a repurchase agreement with the community bank to repurchase the instrument in the future for an amount that would provide the bank with a 100-basis point return for the term of the CD.

This approach is consistent with the Treasury’s current moves to reduce the supply of money through Quantitative Tightening.

While 100 basis points would not provide a windfall return for the banks, it would provide a profit for community banks and a minimum 5% return might encourage investors to fly from at-risk investments to risk free investments at banks.

Offering competitive rate time deposit options to consumers might cure another national problem. It might help the 10% of Americans with no savings and the additional 39% of Americans who report that their savings balances are less than they were one year ago begin or return to saving.

 

no emergency savings

Source: Bankrate

 

This solution might get America saving again.

silicon valley bank

THE SILICON VALLEY BANK SAGA PART 2: THREE WAYS TO DEAL WITH INTEREST RATE RISK (IRR)

By Article, Insights

Tune in to the audio version of the article:

 

The Silicon Valley Bank Failure

In “THE SILICON VALLEY BANK SAGA PART 1: WHAT HAPPENED? BY THE NUMBERS” we searched behind the popular press pronouncements to explore elements of Silicon Bank’s risky investment in long term treasury instruments and how these investments eventually contributed to the failure of the Bank.

 

Banking is Packed with Inherent Risks

Banks constantly face a variety of risks in the ordinary course of their business: in receiving deposits and originating loans or investing deposits for a return in excess of the cost of the deposits. The Office of the Comptroller of the Currency (OCC) has identified nine categories of risks banks face: Credit, Interest Rate, Liquidity, Price, Foreign Exchange, Transaction, Compliance, Strategic and Reputation.

Each day, Bankers must navigate this complex, shifting mine field of risks any one of which may be sufficient to sink the Bank.

As recently demonstrated by the Silicon Valley Bank failure, interest rate risk alone may be sufficient to cripple and eventually destroy a bank. In SVB’s failure, the sixteenth largest bank in the United States was unable to fend off a full-fledged bank run. It succumbed to a tsunami of withdrawals in only a matter of a few days.

The Bank’s end was swift and sure.

 

Who’s Responsible for Addressing Interest Rate Risk?

The short answer is: everyone in banking governance and management is responsible.

In a 2010 document “Advisory on Interest Rate Risk Management”, the FDIC sets out general standards for IRR management. Numerous subsequent pronouncements by each regulator reinforce the general framework expressed in this Advisory.

The Advisory admits the interest rate risks banks and bankers face ”The regulators recognize that some degree of IRR is inherent in the business of banking.”

Responsibility is then heaped on the Board of Directors –

“Existing interagency and international guidance identifies the board of directors as having the ultimate responsibility for the risks undertaken by an institution – including IRR.” (Emphasis added)

Senior management then gets its share of responsibility –

“Senior management is responsible for ensuring that board-approved strategies, policies, and procedures for managing IRR are appropriately executed within the designated lines of authority and responsibility.” (Emphasis added)

If you are reading this post, you likely have responsibility for conquering interest rate risk at your institution. Ominously, the penultimate paragraph contains an admonition regarding the failure of Directors and Managers to effectively manage IRR –

“Material weaknesses in risk management processes or high levels of IRR exposure relative to capital will require corrective action.”

History will determine the degrees of responsibility of the Board and Managers of Silicon Valley Bank bear in the Bank’s stunning failure.

 

What’s a Banker To Do?

In a section title “Risk Mitigating Steps” the FDIC provides some general guidance as to tools to manage IRR. Specifically, should IRR exceed or approach the institution’s limits “institutions can mitigate their risk through balance sheet alteration and hedging.”

Bankers should not wait until the risk threshold is in sight (or is behind them) to take action. Proactive balance sheet management helps banks avoid traps like the traps Silicon Valley Bank faced.

The next paragraph describes appropriate hedging activities but no guidance is provided regarding balance sheet alteration.”

Bankers understand the asset side of the Balance Sheet. Assets revolve around two accounts: Cash and Loans Receivable.

Originating loans can be time consuming. Properly structuring loans may require expertise that is outside the bank’s skill set. Local loan demand may be insufficient to meet the bank’s lending needs. Loan servicing can be expensive and tedious.

Participate solves these problems. By providing a device-independent platform common to both Originators and Participants, participation communication is streamlined. Participation documents can be securely shared, and messages can be exchanged between Originator and Participant from within the Participate platform. The tedious back and forth process of agreeing on terms and executing Participation Agreements is handled with the click of a button. Standardized documents can be e-signed in a quick and seamless workflow.

The old participation slog can be reduced from days or weeks to minutes or hours.

Servicing is simplified. No more maintaining complex, error-ridden, non-audit friendly spreadsheets. Participants can opt-in to receive email and in-platform notifications each time a participation document is uploaded, a payment is disbursed to a participant or a draw and been processed and the participant’s share is requested. Printable forms contain wire instructions allowing them to be used as support for wire transactions by either the originator or the participant. They provide a firm audit trail.

Buying and selling participations allows banks to manage borrower concentrations, manage loan type and geographic concentrations and brings horsepower to the regulatory admonition to “mitigate risk through balance sheet alteration.”

Participate also provides a national marketplace for the purchase and sale of participations greatly expanding the scope of a bank’s contacts.

 

Talk to BankLabs 501.246.5148 or sales@banklabs.com to discuss how we can help you manage interest rate risk.