Journalist @baltimoresun writer artist runner #amwriting Chaplain PIO #partylikeajournalist

Journalist @baltimoresun writer artist runner #amwriting Chaplain PIO #partylikeajournalist
Journalist @baltimoresun writer artist runner #amwriting Md Troopers Assoc #20 & Westminster Md Fire Dept Chaplain PIO #partylikeajournalist

Monday, May 21, 2007

20070520 20061201 Secretary of Defense Gates Speeches


Secretary of Defense Gates Speeches

May 20th, 2007

05/20/2007: College of William and Mary Commencement

05/19/2007: Armed Forces Day

05/19/2007: Team America Rocketry Challenge

05/09/2007: Senate Appropriations Committee

05/03/2007: Greater Dallas Chamber of Commerce

04/25/2007: Navy Flag Officers Conference

04/18/2007: American Chamber of Commerce of Cairo

04/10/2007: Army Chief of Staff Change of Responsibility Ceremony

03/29/2007: House Appropriations Committee--Defense

03/27/2007: American-Turkish Council

03/26/2007: U.S. Pacific Command Assumption of Command Ceremony

03/23/2007: U.S. Northern Command Change of Command Ceremony

03/16/2007: U.S. Central Command Change of Command Ceremony

03/09/2007: U.S. Senate Youth Program

03/08/2007: Message to the Troops on Care for Wounded Warriors

03/01/2007: NCO Breakfast

02/27/2007: U.S. Senate Committee on Appropriations

02/11/2007: Munich Conference on Security Policy

02/06/2007: Posture Statement to the Senate Armed Services Committee

01/12/2007: Statement on Iraq to the Senate Armed Service Committee

01/11/2007: Press Availability With Secretary of State Condoleezza Rice

01/11/2007: Testimony on Iraq to the House Armed Services Committee

12/22/2006: Holiday Message to the Troops

12/18/2006: Secretary Gates' Swearing-In Remarks

12/18/2006: Message to Department of Defense Personnel

12/15/2006: Farewell Parade

12/10/2006: Town Hall Meeting with 4/1 Cav

12/10/2006: Town Hall Meeting

12/08/2006: Pentagon Town Hall Meeting

12/01/2006: Union League Club Gold Medal Award Ceremony

20070520 Secretary of Defense Robert M. Gates College of William and Mary Graduation Exercises Remarks

Secretary of Defense Robert M. Gates College of William and Mary Graduation Exercises Remarks

College of William and Mary May 20, 2007

Courtesy of Joseph McClain, Director of Research Communications, The College of William & Mary and U.S. Department of Defense, Office of the Assistant Secretary of Defense (Public Affairs) Duty Officer

For more information go to: “Secretary of Defense Robert M. Gates transcribed commencement remarks;” or - http://www.wm.edu/news/index.php?id=7791

and -Video of Gates' remarks and -Commencement 2007 coverage

_____

Thank you, President Nichol. Members of the faculty, parents, distinguished guests. Justice O’Connor—Chancellor—a pleasure to see you. Justice O’Connor administered my oath of office as Director of Central Intelligence in 1991 and, more recently, as President Nichol has mentioned, we served on the Baker-Hamilton Commission last year—although my tenure on the group was rather abruptly interrupted.

Speaking of which, in terms of my timing in taking on the responsibilities of the Secretary of Defense, it reminds me of a story told long ago by Senator Richard Russell of Georgia, who spoke of having seen a bull that charged a locomotive. He said, “You know that was the bravest bull I ever saw, but I can’t say much for his judgment.”

Dr. Kelso and Secretary Coleman, your recognition here today is well-deserved.

To the members of the Class of 2007: Congratulations. I am truly honored—and flattered—to be your graduation speaker.

I presided over 39 commencement ceremonies as president of Texas A&M, yet, today is the first commencement speech I have ever given. I thank all of you for the extraordinary privilege of letting it be at my alma mater.

To the parents: you must be welling up with pride at the achievements of your children. Having put two children through college, I know there are many sighs of relief as well, and you are probably already planning how to spend your newly re-acquired disposable income. Forget it. Trust me on this. If you think you’ve written your last check to your son or daughter, dream on. The National Bank of Mom and Dad is still open for business.

I guess I am supposed to give you some advice on how to succeed. I could quote the billionaire J. Paul Getty, who offered advice on how to get rich. He said, “Rise early, work late, strike oil.” Or, Alfred Hitchcock, who said, “There’s nothing to winning really. That is if you happen to be blessed with a keen eye, an agile mind, and no scruples whatsoever.

Well, instead of those messages, my only words of advice for success today comes from two great women. First, opera star Beverly Sills, who said, “There are no short cuts to anyplace worth going.” And second, from Katharine Hepburn, who wrote: “Life is to be lived. If you have to support yourself, you had bloody well find some way that is going to be interesting. And you don’t do that by sitting around wondering about yourself.”

In all those 39 commencements at Texas A&M, I learned the importance of brevity for a speaker. George Bernard Shaw once told a speaker he had 15 minutes. The speaker asked, “How can I possibly tell them all I know in 15 minutes? Shaw replied, “I advise you to speak very slowly.” I will speak quickly, because, to paraphrase President Lincoln, I have no doubt you will little note nor long remember what is said here.

I arrived at William & Mary in 1961 at age 17, intending to become a medical doctor. My first year was pure pre-med: biology, chemistry, calculus and so on. I soon switched from pre-med to history. I used to say “God only knows how many lives have been saved by my becoming Director of CIA instead of a doctor.”

When reflecting on my experience here I feel gratitude for many things:

To William & Mary for being a top-tier school that someone like me could actually afford to attend—even as an out-of-state student. By the way, hold on to your hats, parents: Out of state tuition then was $361 a semester.

Gratitude for the personal care and attention from a superb faculty and staff—a manifestation of this university’s commitment to undergraduate education that continues to this day;

Gratitude to those in the greater Williamsburg community, who opened their hearts and their homes to a 17-year-old far from his own home; and

Gratitude for one more thing. During my Freshman year I got a ‘D’ in calculus. When my father called from Kansas to ask how such a thing was possible, I had to admit, “Dad, the ‘D’ was a gift.” So, I’m grateful to that math professor too.

What William & Mary gave me, above all else, was a calling to serve—a sense of duty to community and country that this college has sought to instill in each generation of students for more than 300 years. It is a calling rooted in the history and traditions of this institution.

Many a night, late, I’d walk down Duke of Gloucester Street from the Wren Building to the Capitol. On those walks, in the dark, I felt the spirit of the patriots who created a free and independent country, who helped birth it right here in Williamsburg. It was on those walks that I made my commitment to public service.

I also was encouraged to make that commitment by the then-president of the United States, John F. Kennedy, who said to we young Americans in the early 1960s, “Ask not what your country can do for you, but ask what you can do for your country.”

We are celebrating the 400th anniversary of the founding of Jamestown. Looking back, it’s hard to imagine this country could have gotten off to a more challenging start. It began as a business venture of a group of London merchants with a royal patent. The journalist Richard Brookhiser recently compared it to Congress today granting Wal-Mart and GE a charter to colonize Mars.

Brookhiser wrote, “Its leaders were always fighting. Leaders who were incompetent or unpopularsometimes the most competent were the least popularwere deposed on the spot,” He continues, “The typical 17th Century account of Jamestown argues that everything would have gone well if everyone besides the author had not done wrong.” Sounds like today’s memoirs by former government officials.

Jamestown saw the New World’s first representative assembly—the institutional expression of the concept that people should have a say in how they were governed, and having that say brought with it certain obligations: a duty to participate, a duty to contribute, a duty to serve the greater good.

It is these four-hundred-year-old obligations that I want to address for the next few minutes. When talking about American democracy, we hear a great deal about freedoms, and rights, and, more recently, about the entitlements of citizenship. We hear a good deal less about the duties and responsibilities of being an American.

Young Americans are as decent, generous, and compassionate as we’ve ever seen in this country—an impression reinforced by my four and a half years of experience as President of Texas A&M, by the response of college students across America—and especially here at William & Mary—to the tragedy at Virginia Tech, and even more powerfully reinforced by almost six months as Secretary of Defense.

That is what makes it puzzling that so many young people who are public-minded when it comes to their campus and community tend to be uninterested in— if not distrustful of—our political processes. Nor is there much enthusiasm for participating in government, either as a candidate or for a career.

While volunteering for a good cause is important, it is not enough. This country will only survive and progress as a democracy if its citizens—young and old alike—take an active role in its political life as well.

Seventy percent of eligible voters in this country cast a ballot in the election of 1964. The voting age was then 21. During the year I graduated, 1965, the first major American combat units arrived in Vietnam, and with them, many 18-, 19-, and 20-year-olds. In recognition of that disparity, years later the voting age would be lowered to 18 by constitutional amendment.

Sad to say, that precious franchise, purchased and preserved by the blood of hundreds of thousands of Americans your age and younger from 1776 to today, has not been adequately appreciated or exercised by your generation.

In 2004, with our nation embroiled in two difficult and controversial wars, the voting percentage was only 42 percent for those aged 18 to 24.

Ed Muskie, former senator and Secretary of State, once said that “you have the God given right to kick the government around.” And it starts with voting, and becoming involved in campaigns. If you think that too many politicians are feckless and corrupt, then go out and help elect different ones. Or go out and run yourself. But you must participate, or else the decisions that affect your life and the future of our country will be made for you—and without you.

So vote. And volunteer. But also consider doing something else: dedicating at least part of your life in service to our country.

I entered public life more than 40 years ago, and no one is more familiar with the hassles, frustrations and sacrifices of public service than I am. Government is, by design of the Founding Fathers, slow, unwieldy and almost comically inefficient. Will Rogers used to say: “I don’t make jokes. I just watch the government and report the facts.”

These frustrations are inherent in a system of checks and balances, of divisions and limitations of power. Our Founding Fathers did not have efficiency as their primary goal. They designed a system intended to sustain and protect liberty for the ages. Getting things done in government is not easy, but it’s not supposed to be.

I last spoke at William & Mary on Charter Day in 1998. Since then our country has gone through September 11 with subsequent wars in Afghanistan and Iraq. We learned once again that the fundamental nature of man has not changed, that evil people and forces will always be with us, and must be dealt with through courage and strength.

Serving the nation has taken on a whole new meaning and required a whole new level of risk and sacrifice—with hundreds of thousands of young Americans in uniform who have stepped forward to put their lives on the line for their country. These past few months I’ve met many of those men and women—in places like Fallujah and Tallil in Iraq and Bagram and Forward Operating Base Tillman in Afghanistan—and at Walter Reed as well. Seeing what they do every day, and the spirit and good humor with which they do it, is an inspiration. The dangers they face, and the dangers our country faces, make it all the more important that this kind of service be honored, supported, and encouraged.

The ranks of these patriots include the graduates of William & Mary’s ROTC program, and the cadets in this Class of 2007, who I’d like to address directly. You could have chosen a different path—something easier, or safer, or better compensated—but you chose to serve. You have my deepest admiration and respect—as Secretary of Defense, but mostly as a fellow American.

You are part of a tradition of voluntary military service dating back to George Washington’s Continental Army. That tradition today includes General David McKiernan, William & Mary Class of 1972, who led the initial ground force in Iraq and now commands all Army troops in Europe. It also is a tradition not without profound loss and heartache.

Some of you may know the story of Ryan McGlothlin, William & Mary Class of 2001: a high school valedictorian, Phi Beta Kappa here, and Ph.D. candidate at Stanford. After being turned down by the Army for medical reasons, he persisted and joined the Marines and was deployed to Iraq in 2005. He was killed leading a platoon of riflemen near the Syrian border.

Ryan’s story attracted media attention because of his academic credentials and family connections. That someone like him would consider the military surprised some people. When Ryan first told his parents about joining the Marines, they asked if there was some other way to contribute. He replied that the privileged of this country bore an equal responsibility to rise to its defense.

It is precisely during these trying times that America needs its best and brightest young people, from all walks of life, to step forward and commit to public service. Because while the obligations of citizenship in any democracy are considerable, they are even more profound, and more demanding, as citizens of a nation with America’s global challenges and responsibilities—and America’s values and aspirations.

During the war of the American Revolution, Abigail Adams wrote the following to her son, John Quincy Adams: “These are times in which a genius would wish to live. It is not in the still calm of life, or the repose of a pacific station that great characters are formed. . . . Great necessities call out great virtues.”

You graduate in a time of “great necessities.” Therein lies your challenge and your opportunity.

A final thought. As a nation, we have, over more than two centuries, made our share of mistakes. From time to time, we have strayed from our values; and, on occasion, we have become arrogant in our dealings with others. But we have always corrected our course. And that is why today, as throughout our history, this country remains the world’s most powerful force for good—the ultimate protector of what Vaclav Havel once called “civilization’s thin veneer.” A nation Abraham Lincoln described as mankind’s last, best hope.”

If, in the 21st century, America is to be a force for good in the world—for freedom, the rule of law, and the inherent value of each and every person; if America is to continue to be a beacon for all who are oppressed; if America is to exercise global leadership consistent with our better angels, then the most able and idealistic of your generation must step forward and accept the burden and the duty of public service. I promise you that you will also find joy and satisfaction and fulfillment.

I earlier quoted a letter from Abigail Adams to her son, John Quincy. I will close with a quote from a letter John Adams sent to one of their other sons, Thomas Boylston Adams. And he wrote: “Public business, my son, must always be done by somebody. It will be done by somebody or another. If wise men decline it, others will not; if honest men refuse it, others will not.”

Will the wise and the honest among you come help us serve the American people?

Congratulations and Godspeed.

###

Sunday, May 20, 2007

20070520 Secretary of Defense Dr. Robert M. Gates’ Department of Defense Brief Bio



Secretary of Defense Dr. Robert M. Gates’ Department of Defense Brief Bio

Retrieved May 20th, 2007

Dr. Robert M. Gates was sworn in on December 18, 2006, as the 22nd Secretary of Defense. Before entering his present post, Secretary Gates was the President of Texas A&M University, the nation’s seventh largest university. Prior to assuming the presidency of Texas A&M on August 1, 2002, he served as Interim Dean of the George Bush School of Government and Public Service at Texas A&M from 1999 to 2001.

Secretary Gates served as Director of Central Intelligence from 1991 until 1993. Secretary Gates is the only career officer in CIA’s history to rise from entry-level employee to Director. He served as Deputy Director of Central Intelligence from 1986 until 1989 and as Assistant to the President and Deputy National Security Adviser at the White House from January 20, 1989, until November 6, 1991, for President George H.W. Bush.

Secretary Gates joined the Central Intelligence Agency in 1966 and spent nearly 27 years as an intelligence professional, serving six presidents. During that period, he spent nearly nine years at the National Security Council, The White House, serving four presidents of both political parties.

Secretary Gates has been awarded the National Security Medal, the Presidential Citizens Medal, has twice received the National Intelligence Distinguished Service Medal, and has three times received CIA’s highest award, the Distinguished Intelligence Medal.

He is the author of the memoir, From the Shadows: The Ultimate Insiders Story of Five Presidents and How They Won the Cold War, published in 1996.

Until becoming Secretary of Defense, Dr. Gates served as Chairman of the Independent Trustees of The Fidelity Funds, the nation's largest mutual fund company, and on the board of directors of NACCO Industries, Inc., Brinker International, Inc. and Parker Drilling Company, Inc.

Dr. Gates has also served on the Board of Directors and Executive Committee of the American Council on Education, the Board of Directors of the National Association of State Universities and Land-Grant Colleges, and the National Executive Board of the Boy Scouts of America. He has also been President of the National Eagle Scout Association.

A native of Kansas, Secretary Gates received his bachelor’s degree from the College of William and Mary, his master’s degree in history from Indiana University, and his doctorate in Russian and Soviet history from Georgetown University. Dr. Gates is 63, and he and his wife Becky have two adult children.


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20070520 Quote of the day

Quote of the Day

May 20, 2007

"Peaches don't go with bacon"

MR2

(It's a long story... ...)

20070520 Defense Secretary Gates’ Armed Forces Day message

Message by Secretary of Defense Robert M. Gates, Washington, DC, Saturday, May 19, 2007 on the occasion of Armed Forces Day.

In the United States, Armed Forces Day is the third Saturday in May.

U.S. Department of Defense
Office of the Assistant Secretary of Defense (Public Affairs)

http://www.defenselink.mil/speeches/speech.aspx?speechid=1151

Armed Forces Day

Message by Secretary of Defense Robert M. Gates, Washington, DC, Saturday, May 19, 2007


“These are the times that try men’s souls.” Many of us are familiar with that famous opening of Thomas Paine’s treatise The Crisis, written in defense of the fledgling American Revolution. Few may be as familiar with a later passage: “I love the man that can smile in trouble, that can gather strength from distress, and grow brave by reflection. … [H]e whose heart is firm, and whose conscience approves his conduct, will pursue his principles unto death.”

Paine knew first-hand about those who could gather strength from distress. He marched with General George Washington and his men as they suffered unbroken defeat across much of New Jersey in 1776. He felt, first-hand, their lack of supplies needed to wage war or even subsist. Yet he witnessed many who pursued the cause of liberty unto death.

I have had the honor of meeting hundreds of service members serving in Iraq, Afghanistan, and elsewhere. Their task is difficult. They and their comrades undertake dangerous missions, and endure physical hardships and separation from their families. Yet they remain firm at heart. Their bravery is beyond measure. Today’s young patriots carry the same determination Paine must have seen in their predecessors over two centuries ago.

The American people, as one, are deeply grateful for the service and sacrifice of men and women in uniform and their families, and for their unshrinking commitment to pursuing the principles of our nation. As we pause this Armed Forces Day to reflect on their service, I hope that each one of us will find a way to show them, as Paine encouraged in his treatise, “the love and thanks” of a nation.

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Saturday, May 19, 2007

20070518 County Benefit Administrator responds to Sheriff retirement issue

Letter to the editor from Carroll County Government Benefits Administrator Bates about Carroll County Sheriff’s retirement plans

Carroll County Government offers different plan than LEOPS.

May 18th, 2007

To the Editor:

Fraternal Order of Police head John Shippee’s recent letter that was posted on your blog raised some important issues regarding retirement and disability plans offered to the law enforcement officers of the County Sheriff’s Office. For purposes of clarification and future discussion, here are the facts regarding the retirement and disability plan benefits currently in place for those officers:

1. Retirement Plans: Unlike other jurisdictions, all County officers are enrolled in two local retirement plans: 1) a traditional “defined benefit” pension plan that provides lifetime monthly payments after 30 years of service (or at age 62) and 2) a 401(k) Plan to which the County makes contributions of between 3% and 6% of base pay. In order to receive the maximum 401(k) Plan County contribution of 6%, an individual must contribute 4% of his base pay to the Plan.

Adding social security retirement benefits to the mix, law enforcement officers who retire from the County Sheriff’s Office have three sources of income during retirement. It is important to keep this in mind when comparing Carroll County’s retirement plan benefits to those offered by other law enforcement agencies within the state. For example, the retirement plans offered to local law enforcement officers in other areas of Maryland do not include employer contributions to 401(k) plans, and Maryland State Police Officers are not eligible to draw social security benefits based on their time with the State Police.

2. Disability Plans: County law enforcement officers are eligible for both short- and long-term disability plans, 100% paid by the County. For officers permanently and totally disabled by a catastrophic injury sustained in the line of duty, substantial federal disability benefits are also available through the Department of Justice.

The retirement and disability benefits available to County Sheriff’s Officers are more than competitive when compared to those available to the average American citizen. The question that must be answered, however, is “are they sufficiently competitive to attract and retain qualified officers?” As has been pointed out, the County’s pension plan offers a pension after 30 years of service; most pension plans for law enforcement officers in Maryland offer a pension after 25 (or in some cases, fewer) years. It is also important to recognize that Carroll County relies on two local retirement plans instead of one, and on a disability plan provided separately from the pension plan. In the process of drafting changes to the retirement plan provisions in place for law enforcement officers of the Sheriff’s Office, it is important to keep in mind that a different approach than that taken by other agencies does not by itself mean an inferior approach.

William A. Bates

Bureau Chief, Benefits Administration

Carroll County Government

_____

For previous posts about Law Enforcement Matters see:

Carroll County Sheriff’s Office

Law and Order

LEOPS (Law Enforcement Officers Pension System)

Maryland State Police

Westminster Police Department

Carroll County FOP Lodge # 20

Speech - Chairman Ben S. Bernanke At the Federal Reserve Bank of Chicago’s 43rd Annual Conference on Bank Structure and Competition, Chicago, Illinois

Speech - Chairman Ben S. Bernanke At the Federal Reserve Bank of Chicago’s 43rd Annual Conference on Bank Structure and Competition, Chicago, Illinois

May 17, 2007

The Subprime Mortgage Market

http://www.federalreserve.gov/newsevents/speech/bernanke20070517a.htm

The recent sharp increases in subprime mortgage loan delinquencies and in the number of homes entering foreclosure raise important economic, social, and regulatory issues. Today I will address a series of questions related to these developments. Why have delinquencies and initiations of foreclosure proceedings risen so sharply? How have subprime mortgage markets adjusted? How have Federal Reserve and other policymakers responded, and what additional actions might be considered? How might the problems in the market for subprime mortgages affect housing markets and the economy more broadly?

The Development of the Subprime Mortgage Market
Let me begin with some background. Subprime mortgages are loans made to borrowers who are perceived to have high credit risk, often because they lack a strong credit history or have other characteristics that are associated with high probabilities of default. Having emerged more than two decades ago, subprime mortgage lending began to expand in earnest in the mid-1990s, the expansion spurred in large part by innovations that reduced the costs for lenders of assessing and pricing risks. In particular, technological advances facilitated credit scoring by making it easier for lenders to collect and disseminate information on the creditworthiness of prospective borrowers. In addition, lenders developed new techniques for using this information to determine underwriting standards, set interest rates, and manage their risks.

The ongoing growth and development of the secondary mortgage market has reinforced the effect of these innovations. Whereas once most lenders held mortgages on their books until the loans were repaid, regulatory changes and other developments have permitted lenders to more easily sell mortgages to financial intermediaries, who in turn pool mortgages and sell the cash flows as structured securities. These securities typically offer various risk profiles and durations to meet the investment strategies of a wide range of investors. The growth of the secondary market has thus given mortgage lenders greater access to the capital markets, lowered transaction costs, and spread risk more broadly, thereby increasing the supply of mortgage credit to all types of households.

These factors laid the groundwork for an expansion of higher-risk mortgage lending over the past fifteen years or so. Growth in the market has not proceeded at a uniform pace, but on net it has been dramatic. About 7-1/2 million first-lien subprime mortgages are now outstanding, accounting for about 14 percent of all first-lien mortgages.1 So-called near-prime loans--loans to borrowers who typically have higher credit scores than subprime borrowers but whose applications may have other higher-risk aspects--account for an additional 8 to 10 percent of mortgages.2

The expansion of subprime mortgage lending has made homeownership possible for households that in the past might not have qualified for a mortgage and has thereby contributed to the rise in the homeownership rate since the mid-1990s. In 2006, 69 percent of households owned their homes; in 1995, 65 percent did. The increase in homeownership has been broadly based, but minority households and households in lower-income census tracts have recorded some of the largest gains in percentage terms. Not only the new homeowners but also their communities have benefited from these trends. Studies point to various ways in which homeownership helps strengthen neighborhoods. For example, homeowners are more likely than renters to maintain their properties and to participate in civic organizations. Homeownership has also helped many families build wealth, and accumulated home equity may serve as a financial reserve that can be tapped as needed at a lower cost than most other forms of credit.

Broader access to mortgage credit is not without its downside, however. Not surprisingly, in light of their weaker credit histories and financial conditions, subprime borrowers face higher costs of borrowing than prime borrowers do and are more likely to default than prime borrowers are. For borrowers, the consequences of defaulting can be severe--possibly including foreclosure, the loss of accumulated home equity, and reduced access to credit. Their neighbors may suffer as well, as geographically concentrated foreclosures tend to reduce property values in the surrounding area.

The Recent Problems in the Subprime Mortgage Sector
With this background in mind, I turn now to the recent problems in the subprime mortgage sector. In general, mortgage credit quality has been very solid in recent years. However, that statement is no longer true of subprime mortgages with adjustable interest rates, which currently account for about two-thirds of subprime first-lien mortgages or about 9 percent of all first-lien mortgages outstanding. For these mortgages, the rate of serious delinquencies--corresponding to mortgages in foreclosure or with payments ninety days or more overdue--rose sharply during 2006 and recently stood at about 11 percent, about double the recent low seen in mid-2005.34 Subprime mortgages accounted for more than half of the foreclosures started in the fourth quarter. The rate of serious delinquencies has also risen somewhat among some types of near-prime mortgages, although the rate in that category remains much lower than the rate in the subprime market. The rise in delinquencies has begun to show through to foreclosures. In the fourth quarter of 2006, about 310,000 foreclosure proceedings were initiated, whereas for the preceding two years the quarterly average was roughly 230,000.

The sharp rise in serious delinquencies among subprime adjustable-rate mortgages (ARMs) has multiple causes. "Seasoned" mortgages--mortgages that borrowers have paid on for several years--tend to have higher delinquency rates. That fact, together with the moderation in economic growth, would have been expected to produce some deterioration in credit quality from the exceptionally strong levels seen a few years ago. But other factors, too, have been at work. After rising at an annual rate of nearly 9 percent from 2000 through 2005, house prices have decelerated, even falling in some markets. At the same time, interest rates on both fixed- and adjustable-rate mortgage loans moved upward, reaching multi-year highs in mid-2006. Some subprime borrowers with ARMs, who may have counted on refinancing before their payments rose, may not have had enough home equity to qualify for a new loan given the sluggishness in house prices. In addition, some owners with little equity may have walked away from their properties, especially owner-investors who do not occupy the home and thus have little attachment to it beyond purely financial considerations. Regional economic problems have played a role as well; for example, some of the states with the highest delinquency and foreclosure rates are among those most hard-hit by job cuts in the auto industry.

The practices of some mortgage originators have also contributed to the problems in the subprime sector. As the underlying pace of mortgage originations began to slow, but with investor demand for securities with high yields still strong, some lenders evidently loosened underwriting standards. So-called risk-layering--combining weak borrower credit histories with other risk factors, such as incomplete income documentation or very high cumulative loan-to-value ratios--became more common. These looser standards were likely an important source of the pronounced rise in "early payment defaults"--defaults occurring within a few months of origination--among subprime ARMs, especially those originated in 2006.

Although the development of the secondary market has had great benefits for mortgage-market participants, as I noted earlier, in this episode the practice of selling mortgages to investors may have contributed to the weakening of underwriting standards. Depending on the terms of the sale, when an originator sells a loan and its servicing rights, the risks (including, of course, any risks associated with poor underwriting) are largely passed on to the investors rather than being borne primarily by the company that originated the loan. In addition, incentive structures that tied originator revenue to the number of loans closed made increasing loan volume, rather than ensuring quality, the objective of some lenders. Investors normally have the right to put early-payment-default loans back to the originator, and one might expect such provisions to exert some discipline on the underwriting process. However, in the most recent episode, some originators had little capital at stake and did not meet their buy-back obligations after the sharp rise in delinquencies.5 Intense competition for subprime mortgage business--in part the result of the excess capacity in the lending industry left over from the refinancing boom earlier in the decade--may also have led to a weakening of standards. In sum, some misalignment of incentives, together with a highly competitive lending environment and, perhaps, the fact that industry experience with subprime mortgage lending is relatively short, likely compromised the quality of underwriting.

The accuracy of much of the information on which the underwriting was based is also open to question. Mortgage applications with little documentation were vulnerable to misrepresentation or overestimation of repayment capacity by both lenders and borrowers, perhaps with the expectation that rising house prices would come to the rescue of otherwise unsound loans. Some borrowers may have been misled about the feasibility of paying back their mortgages, and others may simply have not understood the sometimes complex terms of the contracts they signed.

As the problems in the subprime mortgage market have become manifest, we have seen some signs of self-correction in the market. Investors are scrutinizing subprime loans more carefully and, in turn, lenders have tightened underwriting standards. Credit spreads on new subprime securitizations have risen, and the volume of mortgage-backed securities issued indicates that subprime originations have slowed. But although the supply of credit to this market has been reduced--and probably appropriately so--credit has by no means evaporated. For example, even as purchases of securitized subprime mortgages for collateralized debt obligations--an important source of demand--have declined, increased purchases by investment banks, hedge funds, and other private pools of capital are beginning to fill the void. Some subprime originators have gone out of business as their lenders have cancelled credit lines, but others have been purchased by large financial institutions and remain in operation. Importantly, we see no serious broader spillover to banks or thrift institutions from the problems in the subprime market; the troubled lenders, for the most part, have not been institutions with federally insured deposits.

What about borrowers already in distress? The Board and other federal supervisory agencies have taken actions to encourage the banks and thrift institutions we supervise to work with borrowers who may be having trouble meeting their mortgage obligations. Often, loan workouts are in the interest of both parties. With effective loan restructuring, borrowers facing temporary economic setbacks may be able to work through their problems while staying in their homes, and lenders may be able to avoid the costs of foreclosure and the losses usually associated with selling a repossessed home.

Servicers of loans aim to minimize losses, and they appear to be actively working with thousands of individual borrowers to modify their mortgages. To some extent, the dispersed ownership of mortgages may combine with legal and accounting rules to make successful workouts more difficult to achieve. For example, the "pooling and servicing agreement" associated with a given securitized mortgage pool may restrict the share of accounts that can be modified. Accounting rules that, in some cases, require substantially modified pools to be brought back on the originator’s balance sheet may dissuade lenders from undertaking workouts. And extensive modifications that reallocate expected cash flows across different securities associated with the pool could trigger a review of those securities by the ratings agencies. At the same time, if workouts are economically viable, then an incentive exists for third parties to purchase distressed pools at a discount and to undertake the workout process. We see these purchases taking place in the marketplace, a development that should help to increase the number of successful workouts.

Also, local community organizations that work to promote homeownership and prevent foreclosures have stepped up their efforts. For example, NeighborWorks America advises borrowers about restructuring their mortgages. A survey conducted by this group found that many homeowners do not understand that lenders also want to avoid foreclosure. Thus, the simple step of encouraging borrowers in trouble to contact their lenders can be very productive. The Federal Reserve and the other supervisory agencies have encouraged financial institutions to identify and contact borrowers who, with counseling and financial assistance, may be able to avoid entering delinquency or foreclosure. Indeed, some lenders are being proactive in this regard--for example, by contacting borrowers to discuss possible options well before a scheduled interest-rate reset.

Possible Regulatory Responses
Looking forward, the Federal Reserve, other regulators, and the Congress must evaluate what we have learned from the recent episode and decide what additional regulation or oversight may be needed to prevent a recurrence. In deciding what actions to take, regulators must walk a fine line; we must do what we can to prevent abuses or bad practices, but at the same time we do not want to curtail responsible subprime lending or close off refinancing options that would be beneficial to borrowers.

Broadly speaking, financial regulators have four types of tools to protect consumers and to promote safe and sound underwriting practices. First, they can require disclosures by lenders that help consumers make informed choices. Second, they can prohibit clearly abusive practices through appropriate rules. Third, they can offer principles-based guidance combined with supervisory oversight. Finally, regulators can take less formal steps, such as working with industry participants to establish and encourage best practices or supporting counseling and financial education for potential borrowers.

In the area of disclosure, the Federal Reserve is responsible for writing the regulation that implements the Truth in Lending Act (TILA), known as Regulation Z. The purpose of Regulation Z is to ensure that lenders provide borrowers or potential borrowers with clear, accurate, and timely information about the terms and conditions of loans. The Federal Reserve is also authorized to write rules; notably, the Home Ownership Equity Protection Act (HOEPA) gives the Board the power to prohibit acts and practices in mortgage lending deemed "unfair" or "deceptive."6 Both the disclosures required by TILA and the rules developed under HOEPA (which is part of TILA) apply to all lenders, not just banks. In cooperation with the other federal banking regulators, the Board can also draft supervisory guidance and back it up with regular examinations. Supervisory guidance applies only to banks and thrift institutions, although state regulators of nonbank lenders can and sometimes do adopt guidance written by the federal regulators.

In my judgment, effective disclosures should be the first line of defense against improper lending. If consumers are well informed, they are in a much better position to make decisions in their own best interest. However, combating bad lending practices, including deliberate fraud or abuse, may require additional measures. Rules are useful if they can be drawn sharply, with bright lines, and address practices that are never, or almost never, legitimate. Sometimes, however, specific lending practices that may be viewed as inappropriate in some circumstances are appropriate in others, and the conditions under which those practices are appropriate cannot be sharply delineated in advance. In such cases, supervisory guidance that establishes principles or guidelines is, when applicable, probably the better approach. Guidance can be modified as needed to apply to different situations, and thus can be a more flexible tool than rules for accomplishing regulators’ goals.

As I noted, markets are adjusting to the problems in the subprime market, but the regulatory agencies must consider what additional steps might be needed. The Federal Reserve is currently undertaking a thorough review of all its options under the law. Under its TILA authority, the Board last summer began a top-to-bottom evaluation of mortgage-related disclosures with a series of four open hearings around the country, in which we heard public concerns about various mortgage-related issues, including predatory lending and the effectiveness of the currently required disclosures. Using consumer testing, we will be working to improve the disclosures associated with mortgage lending and to fight deceptive marketing practices. This effort will draw heavily on our nearly-completed review of disclosures relating to open-end credit, including credit cards, for which we made extensive use of consumer testing to determine which disclosure formats are most effective and informative.7

Of course, the information provided by even the best-designed disclosures can be useful only when it is well understood. Accordingly, the Federal Reserve produces and regularly updates a range of materials, including a booklet that lenders are required to provide to potential ARM borrowers, to help consumers understand ARMs and other alternative mortgages; and we will continue to promote financial education through a variety of partnerships with outside organizations. Federal Reserve Banks around the country will also continue their cooperation with educational and community organizations that provide counseling about mortgage products and the responsibilities of homeownership.

We are also actively reviewing the possible use of our rule-making authority to prohibit certain specific practices. In 2001, the Board acted under its HOEPA authority to ban several practices for high-cost loans that were determined to be unfair or deceptive, such as loan flipping--frequent and repeated refinancing to generate fees for lenders. The Board will consider whether other lending practices meet the legal definition of unfair and deceptive and thus should be prohibited under HOEPA. Any new rules that we issue should be sharply drawn, however. As lenders are subject not only to regulatory enforcement action but possibly also to private lawsuits for redress of HOEPA violations, insufficiently clear rules could create legal and regulatory uncertainty and have the unintended effect of substantially reducing legitimate subprime lending. Next month, we will conduct a public hearing to consider how we might further use our HOEPA authority to curb abuses while preserving access to credit. We have invited people representing all sides of the debate to present their views.

We have also used, and will continue to use, supervisory guidance to help mitigate problems in the subprime sector. Earlier this year, the Board and other federal bank and thrift regulators issued draft supervisory guidance to address concerns about underwriting and disclosure practices, particularly of subprime ARMs. Many industry and consumer groups have responded to our proposal, and we are now reviewing the comments. Regulators in 1999 issued guidance on subprime lending and in 2001 expanded that guidance. Last year, we issued guidance concerning so-called nontraditional mortgages, such as interest-only mortgages and option ARMs. For both subprime and nontraditional mortgages, our guidance has reminded lenders of the importance of maintaining sound underwriting standards and of providing consumers with clear, balanced, and timely disclosures about the risks and benefits of these mortgages.

The patchwork nature of enforcement authority in subprime lending--in particular, the fact that the authority to make rules and the responsibility to enforce those rules are often held by different agencies--poses additional challenges. For example, rules issued by the Board under TILA or HOEPA apply to all mortgage lenders but are enforced--depending on the lender--by one of five federal regulators of depository institutions, the Federal Trade Commission (FTC), or state regulators. To ensure consistent and effective enforcement, close cooperation and coordination among the regulators are essential. The Board remains committed to working closely with other regulators to achieve uniform and effective enforcement. We can continue to improve the sharing of information and the coordination of some activities, such as examiner training, through the Federal Financial Institution Examination Council, which the Conference of State Banking Supervisors (CSBS) recently joined, as well as through other channels, such as the CSBS’s State/Federal Working Group. We will also draw on the expertise of other regulators as we consider changes in required disclosures and rules.

Macroeconomic Implications
The problems in the subprime mortgage market have occurred in the context of a slowdown in overall economic growth. Real gross domestic product has expanded a little more than 2 percent over the past year, compared with an average annual growth rate of 3-3/4 percent over the preceding three years. The cooling of the housing market is an important source of this slowdown. Sales of both new and existing homes have dropped sharply from their peak in the summer of 2005, the inventory of unsold homes has risen substantially, and single-family housing starts have fallen by roughly one-third since the beginning of 2006. Although a leveling-off of sales late last year suggested some stabilization of housing demand, the latest readings indicate a further stepdown in the first quarter. Sales of new homes moved down to an appreciably lower level in February and March, and sales of existing homes have also come down on net since the beginning of this year.

How will developments in the subprime market affect the evolution of the housing market? We know from data gathered under the Home Mortgage Disclosure Act that a significant share of new loans used to purchase homes in 2005 (the most recent year for which these data are available) were nonprime (subprime or near-prime). In addition, the share of securitized mortgages that are subprime climbed in 2005 and in the first half of 2006. The rise in subprime mortgage lending likely boosted home sales somewhat, and curbs on this lending are expected to be a source of some restraint on home purchases and residential investment in coming quarters. Moreover, we are likely to see further increases in delinquencies and foreclosures this year and next as many adjustable-rate loans face interest-rate resets. All that said, given the fundamental factors in place that should support the demand for housing, we believe the effect of the troubles in the subprime sector on the broader housing market will likely be limited, and we do not expect significant spillovers from the subprime market to the rest of the economy or to the financial system. The vast majority of mortgages, including even subprime mortgages, continue to perform well. Past gains in house prices have left most homeowners with significant amounts of home equity, and growth in jobs and incomes should help keep the financial obligations of most households manageable.

Conclusion
Credit market innovations have expanded opportunities for many households. Markets can overshoot, but, ultimately, market forces also work to rein in excesses. For some, the self-correcting pullback may seem too late and too severe. But I believe that, in the long run, markets are better than regulators at allocating credit.

We at the Federal Reserve will do all that we can to prevent fraud and abusive lending and to ensure that lenders employ sound underwriting practices and make effective disclosures to consumers. At the same time, we must be careful not to inadvertently suppress responsible lending or eliminate refinancing opportunities for subprime borrowers. Together with other regulators and the Congress, our success in balancing these objectives will have significant implications for the financial well-being, access to credit, and opportunities for homeownership of many of our fellow citizens.


Footnotes

1. This estimate is based on data from the Mortgage Bankers Association, adjusted to reflect the limited coverage of the association’s sample. Return to text

2. Near-prime loans include those securitized in "alt-A" pools and similar loans that are held on lenders’ books. Return to text

3. Estimates of delinquencies are based on data from First American LoanPerformance. The rate of serious delinquencies for variable-rate subprime mortgages also reached about 11 percent in late 2001 and early 2002. Return to text

4. Foreclosure starts are based on data from the Mortgage Bankers Association, adjusted to reflect the limited coverage of their sample. Return to text

5. Many mortgage brokers are subject to minimum licensing standards and bonding or net worth criteria, but these standards and criteria vary across states. Return to text

6. For home refinance loans, the Board can prohibit practices that it finds to be associated with abusive practices or not in the best interest of the borrower. Return to text

7. The results of the review of disclosures for open-end credit and the associated notice of proposed rule-making will be discussed at an open meeting of the Board of Governors on May 23, 2007. Return to text

20070517 Bernanke at the Federal Reserve Bank of Chicago’s 43rd Annual Conference