Regulatory Capital Rule: Category I and II Banking Organizations, Banking Organizations With Significant Trading Activity, and Optional Adoption for Other Banking Organizations

By

Use this page to get oriented quickly.

The brief below is a reading aid. The original source material and source link remain the governing reference.

This page has limited site analysis.

The site does not yet have a full operational brief for this item. The Texas-specific rationale is limited or unavailable.

Operational Brief

A detailed site brief is not available for this item yet. Use the authority panel and original source material below first.

Why It Matters for Texas Credit Unions

No Texas-specific rationale is attached to this item yet. Review the source material directly to assess local impact.

Who this most likely affects

Limited site guidance: Institutions should review this based on their own products, size, vendors, and supervisory posture.

The source language points to financial reporting, capital, or balance-sheet oversight rather than a narrow operational function.

This is site guidance, not a formal determination. Federal Register - FDIC and the original source material remain the governing reference.

Private Follow-Up

Save this for follow-up.

Sign in to keep a private note, target date, or reminder for this item.

Sign in to save this item Create account

Original Source Material

The Office of the Comptroller of the Currency, the Board of Governors of the Federal Reserve System, and the Federal Deposit Insurance Corporation are proposing to modernize the capital requirements applicable to Category I and II depository institution holding companies and depository institutions, as well as revise the market risk capital framework for banking organizations with significant trading activity (the proposal). The proposal would improve the regulatory capital framework for covered banking organizations by enhancing its risk sensitivity and consistency and by simplifying core components of its design. The agencies expect the proposal would support the safety and soundness of covered banking organizations and U.S. financial stability while promoting lending and other financial intermediation activities in the banking system over a range of economic conditions.