Regulatory Capital Rule: Category I and II Banking Organizations, Banking Organizations with Significant Trading Activity, and Optional Adoption for Other Banking Organizations | FDIC.gov

https://www.fdic.gov/news/financial-institution-letters/2026/regulatory-capital-rule-category-i-and-ii-banking
Success
Service Retail Banking 88% Investment Services 15%
Specialism Capital Adequacy 94% Prudential Standards 91%
2026-03-20 18:12:00 · ataylor@vixio.com
ID
2985729
GUID
4bb3a0a4dc2a20df1898484325ef0314

Classification

Service
Retail Banking (88%)

The update proposes revisions to regulatory capital requirements for large banking organizations (Category I and II), which directly impacts how licensed banks measure and hold capital — a core Retail Banking supervisory matter.

Investment Services (15%)

Low confidence — REQUIRES HUMAN REVIEW. While the proposal addresses trading activity and market risk frameworks, the primary focus is prudential capital regulation for banks generally, not investment services or asset management.

Specialism
Capital Adequacy (94%)

The proposal directly addresses risk-weighted asset measurement, capital ratio calculations, and standardized approaches to capital adequacy 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.

The agencies jointly issued a proposal that would significantly revise the measurement of risk-weighted assets applicable to Category I and Category II banking

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TITLE: United States Federal Banking Regulators Propose Significant Revisions to Regulatory Capital Rule BODY: On March 19, 2026, the Federal Deposit Insurance Corporation (FDIC), the Board of Governors of the Federal Reserve System, and the Office of the Comptroller of the Currency jointly issued a proposal to significantly revise the measurement of risk-weighted assets applicable to Category I and Category II banking organizations, including those with significant trading activity. All banking organizations would have the option to elect this proposed approach. The proposal aims to simplify the current regulatory capital framework by eliminating the requirement for large banking organizations to calculate two sets of risk-based capital ratios and hold capital against the more stringent of the two. Key revisions include removing internal models from the credit risk framework and introducing a more granular, risk-sensitive standardized approach with new credit exposure categories. The proposal also makes targeted adjustments to counterparty credit risk methodologies and securitization treatments, and revises credit risk mitigation recognition. The operational risk framework would transition from a models-based approach to a standardized approach using income and expense items as proxies. The market risk framework would be replaced with a more robust models-based approach and a standardized approach better capturing tail and market liquidity risk during severe market stress. The credit valuation adjustment (CVA) framework would be revised to include basic and standardized approaches with expanded hedge instrument recognition, and client-facing derivative transactions would be exempted from CVA requirements. The proposal also removes the regulatory capital deduction requirement for mortgage servicing assets and seeks comment on further changes. Certain dollar-based thresholds would be adjusted to reflect inflation using a pre-determined indexing methodology. The comment period closes on June 18, 2026. Responses can be submitted to regulatorycapital@fdic.gov.
  • Scraped:2026-03-20 18:12:00
  • Created:2026-03-20 18:12:00
  • By:ataylor@vixio.com (61)