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Rep. Meeks Submits Letter Urging the Fed to Encourage Banks to Diversify their Board Directors

September 13, 2017

Congressman Gregory W. Meeks Submits Letter Urging the Fed to Encourage Banks to Diversify their Board Directors

Washington, DC Congressman Gregory W. Meeks, a Senior Member of the Financial Services Committee, submitted a letter (below) in response to the Federal Reserve System's request for comments on its Proposed Guidance on Supervisory Expectation for Boards of Directors. The letter urges the Fed to improve its proposed guidance by affirming the importance of banks to consider diverse nominees when picking board directors. Although the Fed's proposed guidance highlights that "an effective board is composed of directors with a diversity of skills, knowledge, experience, and perspectives", the guidance failed to highlight the importance of considering board nominees that are diverse with respect to their race, ethnicity, and gender.

The letter was co-signed by House Democratic Caucus Chair Joseph Crowley and House Financial Services Committee Ranking Member Maxine Waters. Other signers include Representatives Jose E. Serrano, Carolyn B. Maloney, Nydia M. Velazquez, Brad Sherman, David Scott, Keith Ellison, Joyce Beatty, Donald S. Beyer, Jr., Dwight Evans, and Vicente Gonzalez.


September 13, 2017

Janet L. Yellen

Chair

Board of Governors of the Federal Reserve System

20th Street and Constitution Ave, NW

Washington, DC 20551

Re: The Federal Reserve System's Proposed Guidance on Supervisory Expectation for Board of Directors (Docket No. OP-1570)

Dear Chair Yellen:

The undersigned Members of Congress appreciate the opportunity to comment on the Federal Reserve Board's (the "Fed") corporate governance proposal to enhance the effectiveness of boards of directors.

We support the Fed's overall efforts to encourage boards to refocus on their core responsibilities including risk oversight and strategy alignment. We also support the Fed's acknowledgement that "an effective board is composed of directors with a diversity of skills, knowledge, experience, and perspectives."

However, the Fed should go further and explicitly state that an essential step toward a firm's ultimate goal of composing a diverse board is to consider director nominees that are diverse with respect to race, ethnicity and gender.

In our nation, an individual's experience and perspective, within the context of the financial services industry, are greatly influenced by their race, ethnicity, and gender. For example, African-Americans and Hispanics are less likely to be consumers of traditional financial products and services compared to other Americans. In many cases, African-Americans and Hispanics make the choice of forgoing formal relationships with mainstream financial institutions due to long-held distrust. In its most recent survey on the unbanked, the Federal Deposit Insurance Corporation found that "the proportions of black and Hispanic households that thought banks were interested in serving households like theirs were lower than for white households." With African-Americans and Hispanics projected to have over $3 trillion in purchasing power by 2020, it is simply poor corporate governance for a board to lack representation of individuals that understand the unique financial experiences of such a large segment of consumers.

In that vein, the Fed should add the recommended text to the second paragraph of section E of its supervisory guidance:

An effective board is composed of directors with a diversity of skills, knowledge, experience, and perspectives. To support a diverse composition, an effective board establishes a process for identifying and selecting director nominees which would consider, for example, a potential nominee's expertise, availability, integrity, and potential conflicts of interest. Furthermore, an effective board would also consider board nominees that are diverse with respect to race, ethnicity, and gender.

We believe the addition of this sentence will go a long way toward improving corporate governance at financial firms. We look forward to your response.

Sincerely,

Gregory W. Meeks

Member of Congress