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Can the “Single Point of Entry” strategy be used to recapitalize a systemically important failing bank?

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  • Kupiec, Paul
  • Wallison, Peter

Abstract

The Single Point of Entry (SPOE)—the FDIC strategy to implement its new Dodd–Frank Orderly Liquidation Authority (OLA)—promises to reduce the financial market turmoil caused by the failure of a large complex financial institution by using parent holding company resources to recapitalize its large failing subsidiary banks. We identify legal and financial impediments that may prevent the use of a SPOE strategy for this purpose. Dodd–Frank does not authorize bank recapitalizations through SPOE or otherwise, and the OLA cannot be invoked unless the failure of a subsidiary puts the parent in danger of default. The imprecise legislative language that authorizes OLA creates a new source of systemic risk. Regulations required to operationalize SPOE will require bank holding companies to issue a substantial volume of new subordinated debt, increasing these institutions’ leverage and financial fragility. Unless the Dodd–Frank Act is amended, OLA could well magnify and not reduce market instability in the next financial crisis.

Suggested Citation

  • Kupiec, Paul & Wallison, Peter, 2015. "Can the “Single Point of Entry” strategy be used to recapitalize a systemically important failing bank?," Journal of Financial Stability, Elsevier, vol. 20(C), pages 184-197.
  • Handle: RePEc:eee:finsta:v:20:y:2015:i:c:p:184-197
    DOI: 10.1016/j.jfs.2015.09.007
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    1. repec:fip:feddsp:y:2013:i:jun26 is not listed on IDEAS
    2. Richard W. Fisher, 2013. "Correcting ‘Dodd–Frank’ to actually end ‘Too Big to Fail’," Speeches and Essays 133, Federal Reserve Bank of Dallas.
    3. Martin Neil Baily & John B. Taylor (ed.), 2014. "Across the Great Divide: New Perspectives on the Financial Crisis," Books, Hoover Institution, Stanford University, number 8, December.
    4. Charles W. Calomiris & Richard J. Herring, 2013. "How to Design a Contingent Convertible Debt Requirement That Helps Solve Our Too-Big-to-Fail Problem," Journal of Applied Corporate Finance, Morgan Stanley, vol. 25(2), pages 39-62, June.
    5. David A. Skeel Jr., 2014. "Single Point of Entry and the Bankruptcy Alternative," Book Chapters, in: Martin Neil Baily & John B. Taylor (ed.), Across the Great Divide: New Perspectives on the Financial Crisis, chapter 15, Hoover Institution, Stanford University.
    6. Randall D. Guynn, 2014. "Framing the TBTF Problem: The Path to a Solution," Book Chapters, in: Martin Neil Baily & John B. Taylor (ed.), Across the Great Divide: New Perspectives on the Financial Crisis, chapter 13, Hoover Institution, Stanford University.
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    Cited by:

    1. Kupiec, Paul H., 2016. "Will TLAC regulations fix the G-SIB too-big-to-fail problem?," Journal of Financial Stability, Elsevier, vol. 24(C), pages 158-169.
    2. Thomas Conlon & John Cotter, 2019. "Subordinate Resolution ‐‐ An Empirical Analysis of European Union Subsidiary Banks," Journal of Common Market Studies, Wiley Blackwell, vol. 57(4), pages 857-876, July.
    3. Douglas da Rosa München & Herbert Kimura, 2020. "Regulatory Banking Leverage: what do you know?," Working Papers Series 540, Central Bank of Brazil, Research Department.

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    More about this item

    Keywords

    Dodd–Frank Orderly Liquidation Authority; Single point of entry resolution strategy; Too-big-to-fail;
    All these keywords.

    JEL classification:

    • G28 - Financial Economics - - Financial Institutions and Services - - - Government Policy and Regulation

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