Comptroller Gould Statement on Notice of Proposed Rulemakings to Modernize Regulatory Capital Framework | OCC

https://occ.gov/news-issuances/news-releases/2026/nr-occ-2026-17.html
Success
Service Retail Banking 88% Investment Services 15%
Specialism Capital Adequacy 94% Prudential Standards 91%
2026-03-19 18:14:34 · pdonofrio@vixio.com
ID
2985012
GUID
667361342f47328708ed4a93b0acf783

Classification

Service
Retail Banking (88%)

The update directly addresses regulatory capital requirements for banking organizations supervised by the OCC, FDIC, and Federal Reserve, which are licensed banks whose primary business includes retail deposit-taking and lending.

Investment Services (15%)

Low confidence — REQUIRES HUMAN REVIEW. This is purely a capital adequacy regulation for banks; there is no investment services, asset management, or client asset handling dimension present.

Specialism
Capital Adequacy (94%)

The update directly addresses modernization of regulatory capital rules, risk-weighted asset calculations, and capital adequacy requirements for banking organizations under Basel 3.1 implementation.

Prudential Standards (91%)

Mandatory inheritance: Capital Adequacy is a child of Prudential Standards, so Prudential Standards must be raised as the secondary tag.

Comptroller of the Currency Jonathan V. Gould issued the following statement today at the Federal Deposit Insurance Corporation's (FDIC) board meeting about two proposals to modernize the regulatory capital framework for banking organizations of all sizes.

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TITLE: United States Office of the Comptroller of the Currency Proposes Modernized Regulatory Capital Framework BODY: On March 19, 2026, Comptroller of the Currency Jonathan V. Gould announced two notices of proposed rulemaking (NPRMs) to modernize the regulatory capital framework for banking organizations of all sizes. The proposals were presented at the Federal Deposit Insurance Corporation (FDIC) board meeting and represent a coordinated effort between the Office of the Comptroller of the Currency (OCC), FDIC, and the Federal Reserve. The first NPRM addresses regulatory capital rules for Category I and II banking organizations, banking organizations with significant trading activity, and optional adoption for other banking organizations. The second NPRM concerns regulatory capital and the standardized approach for risk-weighted assets. According to Comptroller Gould, the OCC estimates that banks it supervises will experience an aggregate reduction in minimum binding capital requirements of 6.9 percent under the proposed standardized approach. The very largest OCC-supervised banks will see a reduction of 3.4 percent under the expanded risk-based approach. The proposals aim to increase lending capacity and support community and customer lending. Additionally, the modernization would simplify the regulatory framework by eliminating the need for calculating risk weights using multiple methodologies in parallel, addressing concerns that overly-complex regulatory frameworks impede economic growth and compromise crisis response capabilities. The public comment period for both NPRMs is now open. Interested parties, including banking organizations, industry associations, and other stakeholders, should submit comments in accordance with the timelines specified in each notice of proposed rulemaking. The OCC, FDIC, and Federal Reserve will review and respond to public comments before finalizing the rules.
  • Scraped:2026-03-19 18:14:34
  • Created:2026-03-19 18:14:33
  • By:pdonofrio@vixio.com (38)