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Regulatory
Overhaul = Summers Job Creation Program?
By
Axel Merk
Merk
Hard Currency Fund
June
18, 2009
Today, the Administration is sharing its
vision for the future of the financial system. To us, it seems more
like a job creation program for Lawrence Summers, the Director of
the White House’s National Economic Council. It’s long been
rumored that he wants the top job at the Federal Reserve (Fed)
should Fed Chief Bernanke’s term not be renewed in early 2010.
Summers, a former Treasury Secretary, and known for his hands-on, at
times confrontational approach, seems an odd fit for what is
traditionally a job for calmer spirits. The proposed overhaul of the
financial system sheds light on this: the Fed may be converted into
the nation’s top regulator. Naturally, it will then require
someone with executive experience; a prerequisite Lawrence fulfills
well and who other than Lawrence Summers should be taking this job?
We respect Mr. Summers, but should the most important reform of the
financial system in 80 years be designed around one person?
We are most concerned that reform efforts are
shooting in the wrong direction. Most notably, we are concerned
about the independence of the Fed. Traditionally, while the Fed has
an important regulatory function, it is primarily concerned with its
dual mandate of price stability and maximum sustainable growth. It
traditionally fulfills this function through monetary policy,
influencing things like money supply, interest rates, and the cost
and availability of credit.
As part of the financial crisis, the Fed has
veered into fiscal policy, providing credit to specific sectors of
the economy; Bernanke calls these activities credit easing.
By providing specific funding for mortgages, credit card portfolios
and car loans, amongst others, the Fed is deciding on issues that
should be decided by Congress. The Fed has already shown how it
completely underestimates the political repercussions of engaging in
such programs, practically with no oversight. Congress has started
to ask tough questions. These questions are likely to intensify and,
in our view, will undermine the credibility and effectiveness of the
Fed. For the Fed, the appropriate way to avoid the political
minefield is to stay out of fiscal policy.
The Fed was never set up to deal with as many
programs as it is engaged in right now. Possibly, the fact that the
Fed lost members (banks) in recent decades as these moved to
national charters subject to regulation by the Office of Thrift
Supervision, may have played a role in the Fed’s willingness to
introduce programs to increase its influence over financial
institutions. The proposed reforms will rectify that temptation as
the Office of Thrift Supervision may be dissolved.
The proposed reforms are turning the Fed into
a regulatory conglomerate. Without a doubt, the Fed would then be
faced with many politically sensitive decisions. The Fed is setting
itself up for failure; the day will come that its decisions will be
questioned.
We welcome a consolidation of regulatory
oversight. If policy makers want to move more power to the Fed, then
come up with a structure similar to how FINRA and the SEC are
structured. FINRA, the regulator for brokers, is a self-regulatory
organization that reports to the SEC. Make FINRA report to the Fed
if you wish to tighten the communication channels. Then you don’t
need to create another monster infrastructure, topped off by the
additional proposed counsel to coordinate amongst agencies that is
to be created; look no further than the Department of Homeland
Security to see what happens when bureaucracies are blown up with
the best of intentions.
There have certainly been regulatory
shortfalls in recent years. However, it is doubtful that they will
be addressed by piling on additional regulatory bodies and further
eroding the independence of the Fed further. Some of the reform
proposals are extremely helpful, such as moving derivatives onto
regulated exchanges. The main problem in this and just about any
financial crisis in history has been that too much credit has been
available. Let’s focus reform efforts on how to ensure that the
availability of credit does not cause systemic risk. Taking the
opposite approach, to limit systemically important financial
institutions from engaging in certain businesses leads to conflicts
of interest, possible corruption and endangers the competitiveness
of U.S. financial institutions.
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