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FDIC chairman Sheila Bair: the current chairman of the Federal Deposit Insurance Corporation shares her views on navigating the banking system through the current financial market crisis.


Sheila C. Bair This biographical article or section is written like a resume.
Please help [ improve this article] by revising it to be and encyclopedic. ()

Sheila C.
 was sworn in as chairman of the Federal Deposit Insurance Corporation Federal Deposit Insurance Corporation (FDIC), an independent U.S. federal executive agency designed to promote public confidence in banks and to provide insurance coverage for bank deposits up to $100,000.  (FDIC FDIC

See: Federal Deposit Insurance Corporation


FDIC

See Federal Deposit Insurance Corporation (FDIC).
) on June 26, 2006, for a five-year term. As FDIC chairman, she has presided over an exceedingly tumultuous period in the nation's financial sector. She has helped transform the agency with programs that provide temporary liquidity guarantees, increases in deposit insurance limits and systematic mortgage loan-modification relief for troubled borrowers.

Before joining FDIC, she was Dean's Professor of Financial Regulatory Policy for the Isenberg School of Management The Isenberg School of Management is a highly competitive business school located at the University of Massachusetts Amherst.  at the University of Massachusetts The system includes UMass Amherst, UMass Boston, UMass Dartmouth (affiliated with Cape Cod Community College), UMass Lowell, and the UMass Medical School. It also has an online school called UMassOnline.  at Amherst from 2002 to 2006. While there, she served on the FDIC's Advisory Committee on Banking Policy.

Prior to taking the helm at FDIC, Chairman Bair had considerable experience in government. She was assistant secretary for financial institutions at the Department of the Treasury from 2001 to 2002; senior vice president for government relations at the New York Stock Exchange New York Stock Exchange (NYSE)

World's largest marketplace for securities. The exchange began as an informal meeting of 24 men in 1792 on what is now Wall Street in New York City.
 from 1995 to 2000; a commissioner and acting chairman of the Commodity Futures Trading Commission The Commodity Futures Trading Commission (CFTC), the federal regulatory agency for futures trading, was established by the Commodity Futures Trading Commission Act of 1974 (88 Stat. 1389; 7 U.S.C.A. 4a), approved October 23, 1974.  from 1991 to 1995; and research director, deputy counsel and counsel to Senate Majority Leader Robert Dole from 1981 to 1988.

During her FDIC tenure, Bair has received a number of prestigious honors. In 2008, for example, Forbes magazine named her the second-most powerful woman in the world after Germany's Chancellor Angela Merkel Angela Dorothea Merkel  (IPA: [ˈaŋɡela doʁoˈteːa ˈmɛɐ̯kəl]) (b. . In 2009, she has been awarded the John F. Kennedy "John Kennedy" and "JFK" redirect here. For other uses, see John Kennedy (disambiguation) and JFK (disambiguation).
John Fitzgerald Kennedy (May 29, 1917–November 22, 1963), was the thirty-fifth President of the United States, serving from 1961 until his assassination in
 Profile in Courage Award by a bipartisan committee named by the John F. Kennedy Library The John F. Kennedy Presidential Library and Museum is the presidential library and museum of the 35th President of the United States John F. Kennedy. It is located on Dorchester's Columbia Point in Boston, Massachusetts, USA, and was designed by the architect I.M. Pei.  Foundation, Boston, and was also named one of TIME magazine's "TIME 100" most influential people.

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At FDIC she has championed the creation of the Advisory Committee on Economic Inclusion, research on small-dollar loan programs and the formation of broad-based alliances in regional markets to bring underserved populations into the financial mainstream. In 2009 she also received the Hubert H. Humphrey Civil Rights Award, presented annually by the Leadership Conference on Civil Rights The Leadership Conference on Civil Rights (LCCR) is an umbrella group of American liberal interest groups. Organizational history
It was founded in 1950 by three leaders in the American civil rights movement: Brotherhood of Sleeping Car Porters founder A.
, Washington, D.C.

Bair received a bachelor's degree from Kansas University, Lawrence, Kansas Lawrence, Kansas

Union stronghold where Quantrill’s Confederate band killed more than 150 people (1863). [Am. Hist.: EB, VIII: 338]

See : Massacre
, and a juris doctorate from Kansas University School of Law.

Mortgage Banking interviewed Chairman Bair in mid-July to get her thoughts about the progress that has been made in addressing the fallout from the financial crisis.

Q: Where do you think we are in addressing the financial crisis that emerged in 2007 and which grew dramatically worse after the failure of Lehman Brothers Lehman Brothers Holdings Inc. (NYSE: LEH), founded in 1850, is a diversified, global financial services firm. It is a participant in investment banking, equity and fixed income sales, research and trading, investment management, private equity, and private banking.  in September 2008? Broadly speaking Adv. 1. broadly speaking - without regard to specific details or exceptions; "he interprets the law broadly"
broadly, generally, loosely
, what has been accomplished so far? What remains to be done?

A: Since the financial crisis began, government and industry together have taken extraordinary steps to maintain the stability of our financial system. All of the government measures put in place over the past several months have been taken to restore confidence in the nation's financial institutions, including a substantial expansion of guarantees for bank liabilities by the FDIC, injections of capital by the Treasury in many institutions both large and small, and Federal Reserve programs to provide liquidity to financial institutions and support the normalization In relational database management, a process that breaks down data into record groups for efficient processing. There are six stages. By the third stage (third normal form), data are identified only by the key field in their record.  of key credit markets.

These efforts averted serious threats to global financial stability last fall and have contributed to gradual improvement in key credit markets, though many markets remain stressed.

As a result, we've moved beyond the liquidity crisis of last year, and we're cautiously optimistic op·ti·mist  
n.
1. One who usually expects a favorable outcome.

2. A believer in philosophical optimism.



op
 that the industry as a whole is getting on a better footing. But there is still more pain ahead because of the problems in housing, which is still looking for Looking for

In the context of general equities, this describing a buy interest in which a dealer is asked to offer stock, often involving a capital commitment. Antithesis of in touch with.
 a bottom. At the FDIC, we've aimed our policy initiatives at preventing a destructive overcorrection o·ver·cor·rec·tion
n.
An adjustment that surpasses a set criterion, especially of a desired behavior.
 in housing that could further damage our economy and our financial institutions. While we've had to close nonviable nonviable /non·vi·a·ble/ (-vi´ah-b'l) not capable of living.

non·vi·a·ble
adj.
Not capable of living or developing independently. Used especially of an embryo or fetus.
 institutions (and closings are expected to keep rising into next year), the FDIC and other regulators are working to improve the ability of other institutions to keep making loans to creditworthy cred·it·wor·thy  
adj.
Having an acceptable credit rating.



credit·wor
 borrowers.

Q: One of the largest bank failures you have handled is the one for Indymac, Pasadena, California Pasadena is a city in Los Angeles County, California, United States. As of the 2000 census, the city population was 133,936 and the 160th largest city in the United States. The California Finance Department estimates the Pasadena population to be 146,166 in 2005. . Could you give us an update on what is happening with Indymac? To what extent have the loan modifications at Indymac been successful in preventing foreclosures? What has been the re-default rate on the early modifications done with the loans from the Indymac portfolio? Has the re-default rate improved on Indymac's more recent modifications and what has been key to that performance improvement if one has occurred?

A: On March 19, 2009, all deposits of Indymac Federal Bank FSB (FrontSide Bus) See system bus.

FSB - front side bus
 were transferred to OneWest Bank FSB [Pasadena, California]. OneWest Bank continues to apply the FDIC loan-modification protocol to all delegated first-lien mortgage loans it services. Through June 24, 19,924 borrowers have accepted the modification offer, returned the appropriate documentation and were approved for modification.

The approval process includes income verification via recent pay stubs stubs

The shares of equity in a firm that is financed almost completely with debt. Stubs are often created when firms go through a leveraged buyout or pay big cash dividends in order to fend off a takeover.
 and/or tax returns. This is an important step in the modification process, as it minimizes re-default and ensures the affordability standard is uniformly implemented. An additional 1,873 have recently responded to a loan-modification offer and are currently in process. OneWest Bank is currently applying for the Obama administration's Home Affordable Modification Program (HAMP HAMP Hampton National Historic Site (US National Park Service)
HAMP Horizontal Avionics Modernization Planning
).

As of April 30, the re-default rate (defined as loans classified as 60 days or more delinquent) for all modified loans was 13.5 percent. Modification activity through April reduced the expected loss given foreclosure by an estimated $525 million.

Modified loan performance has improved significantly since the first modifications were mailed in August. This is attributed to several factors. First, the modification process has become a fully operational business function, with trained loss mitigators and call-center staff, systems for recording and processing modifications, income-documentation processes and an early re-default calling campaign. In addition, the initial population eligible for modification at Indymac was largely populated pop·u·late  
tr.v. pop·u·lat·ed, pop·u·lat·ing, pop·u·lates
1. To supply with inhabitants, as by colonization; people.

2.
 by seriously delinquent borrowers; this group of borrowers is less likely to perform than borrowers recently entering the delinquency pipeline. Finally, the FDIC loan modification program reduced the target front-end debt-to-income (DTI Diffusion tensor imaging (DTI)
A refinement of magnetic resonance imaging that allows the doctor to measure the flow of water and track the pathways of white matter in the brain.
) ratio from 38 percent to 31 percent.

Given improvements in operations and the characteristics of borrowers receiving loan-modification offers, performance has improved significantly since program inception. Initial modifications had a 60-day delinquency rate of 22.7 percent after three months' seasoning. This figure declined rapidly in ensuing months to around 14.5 percent. Additionally, the decrease in DTI standard notably improved performance. Loans modified to the 31 percent DTI standard are showing a 60-day delinquent rate of 3.9 percent compared to a 10 percent [rate] for loans modified to the 38 percent DTI standard with similar seasoning.

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Q: The Obama administration's Home Affordable Modification Program has been very slow to get off the ground. Why is that? The largest servicers are signed on, so what has been the hold-up in getting more modifications done? Did you think the program you instituted in the wake of the Indymac failure was a better way to go with modifications, and what aspects of that approach were adopted in the Obama administration's mod plan?

A: Questions on implementing HAMP should be directed to Treasury or the program administrator, Fannie Mae Fannie Mae: see Federal National Mortgage Association. . However, it is worthwhile to note insights gained from the Indymac experience. Implementing a streamlined bulk-modification program is a resource-intensive effort. It requires servicers to change their traditional loss-mitigation strategy from one based on customized loss-mitigation solutions to a standardized modification model.

For example, prior to the first modification offer mailing, the servicer must undertake these lengthy initiatives: train loss mitigator and call-center staff; improve servicing systems to effectively record and report on modification activity: review applicable servicing contracts; determine compliance issues; develop marketing materials; and develop an income-verification process.

Meanwhile, servicers are stretched to capacity managing portfolios with growing numbers of delinquencies and foreclosures. The first-lien HAMP was announced March 4, with the final supplemental directive issued April 6. Modification activity will increase in late summer to early fall as servicers develop the required infrastructure to respond to the volume of distressed borrowers requesting loan modifications.

Q: Have investors been the hang-up in preventing banks from doing more loan modifications? Will the newly enacted safe harbor Safe Harbor

1. A legal provision to reduce or eliminate liability as long as good faith is demonstrated.

2. A form of shark repellent implemented by a target company acquiring a business that is so poorly regulated that the target itself is less attractive.
 for servicers to modify loans help overcome that problem and produce a wave of new modification activity?

A: Loan modifications affect the cash waterfall in securitized securitized

Of, related to, or being debt securities that are secured with assets. For example, mortgage purchase bonds are secured by mortgages that have been purchased with the bond issue's proceeds.
 transactions, causing different concerns for different investor classes. Ultimately the servicer must adhere to adhere to
verb 1. follow, keep, maintain, respect, observe, be true, fulfil, obey, heed, keep to, abide by, be loyal, mind, be constant, be faithful

2.
 the Pooling and Servicing Agreement or other legal document governing the transaction. A servicer's best defense against criticism or possible litigation An action brought in court to enforce a particular right. The act or process of bringing a lawsuit in and of itself; a judicial contest; any dispute.

When a person begins a civil lawsuit, the person enters into a process called litigation.
 is a uniform modification program with clear eligibility guidelines and a rigorous net present value (NPV NPV

See: Net present value
) test, which compares the estimated value of modification to the estimated loss given foreclosure, to ensure that the modification results in a lower cost.

The HAMP provides this structure and is reinforced by the safe harbor for servicers. While this will encourage modification activity, the largest gains in modification activity will occur once servicers implement HAMP and put in place internal procedures for evaluating and processing loan modifications.

Q: How would you describe the role played by the Temporary Liquidity Guarantee Program [TLGP TLGP Traffic Light Gran Prix
TLGP Tube Launched Guided Projectile
] in unfreezing many debt markets? Do you think those guarantees need to be extended?

A: The FDIC's Temporary Liquidity Guarantee Program has helped stabilize the financial markets by providing additional liquidity to institutions. By guaranteeing bank liabilities, TLGP has provided a backstop to business checking accounts and interbank in·ter·bank  
adj.
Relating to, involving, or connecting two or more banks: interbank borrowing; an interbank network of automated teller machines. 
 lending, thus helping financial institutions fund themselves so that they can make loans to creditworthy borrowers.

We are now seeing positive signs of recovery in the debt markets, and are working to wind down the program at the end of October. At the end of May, there was approximately $346 billion in outstanding debt guaranteed under the TLGP. Importantly, TLGP debt outstanding has a longer term at issuance compared to debt outstanding at the end of 2008. As of May 31, only 23 percent of the debt outstanding was issued to mature in 180 days or less, compared to 49 percent at year-end 2008. More than two-thirds of debt outstanding--69 percent--was in medium-term notes, compared to 44 percent at year-end.

In another positive sign, several banks have issued debt not guaranteed by the FDIC, including debt with long-term maturities ranging from five to 10 years.

The FDIC has already extended the duration of the TLGP debt guarantee program. The transaction guarantee component continues until Dec. 31, 2009, but we are considering two options for this program. One option is to extend coverage through June 30, 2010, and raise premiums from 10 cents to 25 cents for every $100 of covered deposits. If we choose this extension, banks that currently participate in the program would have the opportunity to opt out before the extended phase begins. The other option is to maintain the current expiration date Expiration Date

The day on which an options or futures contract is no longer valid and, therefore, ceases to exist.

Notes:
The expiration date for all listed stock options in the U.S.
.

Q: What will it take to revive the jumbo mortgage-backed securities Mortgage-backed securities (MSBs)

Securities backed by a pool of mortgage loans.
 [MBS See Mb/sec.

MBS - mobile broadband services
] market, and should banks be involved in that segment of the market? What regulatory controls need to be put in place for the private jumbo MBS market to function efficiently and safely once again? When do you expect that part of the market to re-emerge?

A: For our mortgage finance markets to function efficiently and safely going forward, we need to tighten consumer-protection rules and restore back-to-basics lending practices. The mortgage industry must set strong standards for underwriting, disclosure and data transparency (1) The ability to easily access and work with data no matter where they are located or what application created them.

(2) The assurance that data being reported are accurate and are coming from the official source.
 before investors will come back to private mortgage securities.

The complex structures that obscured risk must be abandoned. Efficient markets work on the ability of all market participants to accurately understand and price risk. We need products and processes that are simple and transparent, so that investors, lenders and consumers alike are informed of the risks. And certainly part of the solution will involve a greater level of government oversight and enforcement.

Q: To what extent have expanded deposit guarantees played a role in containing the banking crisis and in restoring confidence in the banking system? Do you think those guarantees need to be extended? Have there been any losses? How much has the FDIC earned from its loan guarantees?

A: The FDIC has expanded deposit guarantees through two actions. The first was taken under the Emergency Economic Stabilization Act of 2008 and applies to all insured depository institutions. It temporarily increased deposit insurance coverage from $ 100,000 to $250,000. The second action was taken under our Temporary Liquidity Guarantee Program and applies only to those insured depository institutions that choose to opt in to the program. Under TLGP, the FDIC created the Transaction Account Guarantee (TAG) to provide a full guarantee of non-interest-bearing deposit transaction accounts until Dec. 31, 2009.

Both guarantees have contributed importantly to the gradual easing of liquidity strains on our financial institutions and are an integral part of the coordinated effort by the FDIC, the Treasury and the Federal Reserve to address unprecedented disruptions in the credit markets and the resultant inability of financial institutions to fund themselves and make loans to creditworthy borrowers. They are an important element in efforts to move our economy forward.

Though funding conditions have eased somewhat, the temporary increase in deposit insurance coverage to $250,000 has been extended through 2013. The FDIC is considering the potential extension of TAG for an additional six months in order to facilitate an orderly end to the program.

Over 7,100 insured depository institutions are participating in the TAG component of the TLGP, accounting for an estimated $700 billion in expanded coverage. At the time it was developed, there was concern that many account holders might withdraw their uninsured balances from insured depository institutions. TAG was designed to improve public confidence and encourage depositors to leave their large account balances in those institutions. The program has been an important source of stability for banks with large transaction account balances.

Q: The board of directors of the FDIC this spring levied an emergency charge and raised annual premiums. At the time, you stated that the FDIC expects bank failures to cost about $65 billion over the next five years, much of it this year and next. This is in addition to $18 billion in losses last year. Could you update our readers on how many bank failures there have been, and do you still expect losses at around $65 billion? How soon will these new premiums replenish the FDIC reserve fund so that it is again equal to 1.15 percent of insured deposits?

A: As of July 14, there have been 53 bank failures so far this year, compared to 25 in all of 2008. We now expect losses to total $70 billion over the next five years but, again, much of these losses are expected in 2009 and 2010. The FDIC imposed a special assessment of 5 basis points on assets minus Tier 1 capital Tier 1 Capital

A term used to describe the capital adequacy of a bank. Tier I capital is core capital, this includes equity capital and disclosed reserves.

Notes:
Equity capital includes instruments that can't be redeemed at the option of the holder.
 as of June 30, 2009, and will collect this special assessment in September 2009 along with the regular quarterly assessments that were increased this year. We expect the fund to reach 1.15 percent by 2015.

Q: There has been an enormous amount of interest in the legacy loan program to be administered by the FDIC. To the extent that losses on loans have increased since that program was announced, do you still believe it has the potential to remove a significant level of troubled assets from bank balance sheets? How would you describe the level of interest in this program by potential purchasers of those loans? Do you think banks will be willing to participate, given the fact they might not get the prices they would hope to get? When do you now expect to get this program off the ground with the first auction?

A: On June 3, the FDIC formally announced that development of the Legacy Loans Program (LLP LLP - Lower Layer Protocol ) will continue, but that a previously planned pilot sale of assets by open banks would be postponed. Banks have been able to raise capital without having to sell bad assets through the LLP, which reflects renewed investor confidence in our banking system. As a consequence, banks and their supervisors will take additional time to assess the magnitude and timing of troubled assets sales as part of our larger efforts to strengthen the banking sector.

As a next step, the FDIC will test the funding mechanism contemplated by the LLP in a sale of receivership receivership

In law, state of being in the hands of a receiver, a person appointed by the court to administer, conserve, rehabilitate, or liquidate the assets of an insolvent corporation for the protection or relief of creditors.
 assets this summer. This funding mechanism draws upon concepts successfully employed by the Resolution Trust Corporation in the 1990s, which routinely assisted in the financing of asset sales through responsible use of leverage. [By the time this interview is published, the FDIC is expected to have already solicited] bids for this sale of receivership assets. The FDIC will continue its work on the LLP and will be prepared to offer it in the future as an important tool to cleanse bank balance sheets and bolster their ability to support the credit needs of the economy.

Q: What changes do you think are needed in the regulation of financial institutions? Do you believe that the securitization Securitization

The process of creating a financial instrument by combining other financial assets and then marketing them to investors.

Notes:
Mortgage backed securities are a perfect example of securitization.

May also be spelled as "securitisation.
 market for loans should come under great regulatory oversight, given the role mortgage-backed securities and their derivatives have played in creating the credit and banking crises?

A: There are many different types of financial product and service providers. While the banking industry certainly should bear its share of the blame for the current financial crisis, many abusive products and practices originated in the unregulated sectors of the financial marketplace and these firms should be held accountable for their actions as well.

The confidence of consumers and investors in financial markets has been shaken to the core. And it can only be restored with the commitment of financial professionals who insist on the highest possible standards for consumer protection and for safe and sound business practices, in all parts of the industry.

As well, the private mortgage securitization business must be restarted and placed on a sounder footing. At the height of the housing boom, in 2005 and 2006, more than $1 trillion in private residential mortgage-backed securities Residential mortgage-backed securities (RMBS) are a type of bond commonly issued in American security markets. They are a type of Mortgage-backed security which are backed by mortgages on residential rather than commercial real estate.  [RMBS RMBS Residential Mortgage-Backed Securities
RMBS Rambus, Inc. (NASDAQ stock symbol)
RMBS Russian Mortgage-Backed Securities
] were issued a year. By the second half of last year, however, that market had virtually shut down. Restarting this vital method of mortgage finance is going to require a great deal of discipline, care and restraint from everybody.

The mortgage industry must set strong standards for underwriting, disclosure and data transparency before investors will come back to private mortgage securities. The complex structures that obscured risk must be abandoned. We need simpler, more standardized deals that everybody can understand, and where performance can be readily analyzed. We need to make sure that incentives are aligned among all parties by making compensation contingent on Adj. 1. contingent on - determined by conditions or circumstances that follow; "arms sales contingent on the approval of congress"
contingent upon, dependant on, dependant upon, dependent on, dependent upon, depending on, contingent
 the long-run performance of the underlying loans.

Q: Do you think leverage requirements should be part of any financial regulatory reform Regulatory Reform concerns improvements to the quality of government regulation.

At the international level, the "OECD Regulatory Reform Programme is aimed at helping governments improve regulatory quality -- that is, reforming regulations that raise unnecessary obstacles to
 in the United States United States, officially United States of America, republic (2005 est. pop. 295,734,000), 3,539,227 sq mi (9,166,598 sq km), North America. The United States is the world's third largest country in population and the fourth largest country in area. , regardless of what happens to Basel II Basel II is the second of the Basel Accords, which are recommendations on banking laws and regulations issued by the Basel Committee on Banking Supervision. The purpose of Basel II is to create an international standard that banking regulators can use when creating regulations  capital requirements Capital requirements

Financing required for the operation of a business, composed of long-term and working capital plus fixed assets.
?

A: Although the intense public debate over Basel II seems like a thing of the distant past, I remain committed to the idea that leverage requirements are important for banks not just in the United States but around the world. By providing capital even when risk-based measures (erroneously, as it turned out) indicate minimal risk, the leverage ratio is a critical part of our overall approach to capital regulation. When we emerge from this crisis, a top priority must be crafting a sound capital framework that helps avoid a repeat of past problems; it should include a leverage ratio.

The Basel Committee is in the process of changing capital rules in a number of areas. There will be improvements. But for most banks, these improvements are unlikely to offset what we see as a capital-lowering bias that is essentially baked into the advanced approach. With the dangers of excessive leverage so clearly demonstrated over the last 18 months, it would be imprudent im·pru·dent  
adj.
Unwise or indiscreet; not prudent.



im·prudent·ly adv.
 to determine regulatory capital based solely on the advanced approach.

I strongly believe that global leverage capital requirements are sorely needed. They should apply to all systemically important financial firms, regardless of charter. Unlike the current system, they would set a capital floor for the advanced approach, which would limit excessive leverage in the future.

Q: Do you have any views you would like to share on the future of non-depository independent mortgage bankers and lenders?

A: I think that it is important that we ensure that non-depository independent mortgage bankers and lenders are subject to the same standards and controls as regulated chartered institutions. One of the lessons of the crisis is that we cannot have conflicting standards that put downward competitive pressure on lending standards. The best type of mortgage is one that the borrower can afford, understand and will perform on. That's common sense that will serve both industry and borrowers.

Q: Finally, would you like to comment on what it has been like to be at the helm of the FDIC in this extraordinary time of financial turmoil?

A: It's unquestionably un·ques·tion·a·ble  
adj.
Beyond question or doubt. See Synonyms at authentic.



un·question·a·bil
 been a hectic time at the corporation. Through last fall, there were many late or all-nights, including weekends. What it has demonstrated is how important the FDIC is in times of crisis. This agency was born of a financial crisis and continues to excel in them. The FDIC has extraordinarily hardworking and dedicated staff in every division. Some of the decisions and choices that we have had to make--while sometimes difficult--have proven instrumental to helping to stabilize the financial system. I'm honored and humbled to have had the opportunity to lead the corporation through this period.

BY ROBERT STOWE ENGLAND

Robert Stowe England is a freelance writer based in Arlington. Virginia He can be reached at rengland@us.net.
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Title Annotation:Federal Deposit Insurance Corporation; Sheila C. Bair
Comment:FDIC chairman Sheila Bair: the current chairman of the Federal Deposit Insurance Corporation shares her views on navigating the banking system through the current financial market crisis.(Federal Deposit Insurance Corporation)(Sheila C.
Author:Stowe, Robert
Publication:Mortgage Banking
Article Type:Interview
Geographic Code:1USA
Date:Aug 1, 2009
Words:3589
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