Insurance Assessment

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Compared to the same period last year, this January–September, net interest income grew by 8.8 per cent (0.6 million euros) and reached 6.9 million euros. During the reference period, net income from service and commission fees dropped by 19.6 per cent (1 million euros) to 3.9 million euros, and net income from trade in foreign currency decreased by 17.2 per cent (0.6 million euros) and reached 3.1 million euros. At the end of this September, the assets of the bank reached 370.6 million euros and was 4 per cent higher than at the end of 2019. At the end of September, liabilities of Medicinos Bankas to its customers were 323 million euros, i.e. 3.7 per cent more than at the end of 2019. According to Mrs. Klišauskienė, the bank is well-prepared for the second wave of pandemics that has already struck the country and for the second national quarantine this year. “We have been developing and strengthening alternative channels for many years, so that we would be able to ensure best experience for our customers. We see that our customers are active in using remote means of communication and the need to physically visit customer service units is no longer so inevitable. We will continue improving the electronic channels, since they are vital during the pandemics,” explained the Head of Administration of Medicinos Bankas.

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Specifically, the proposal would amend therisk-based deposit insurance assessments by removing the doublecounting of certain CECL transitional amounts in some financialmeasures. This would address the fact that some deposit insuranceassessment rates for large and highly complex banks do notaccurately reflect such banks' risks to the FDIC's depositinsurance fund because certain CECL transitional amounts areincluded in the summation of both Tier 1 capital and reserves(which already include the implementation of CECL). The proposalwould also recalibrate the calculation of the loss severitymeasures to address double-counting issues therein with respect toCECL transitional amounts. The proposal is limited to the deposit insurance system asapplied to large and highly complex banks. It would not impact theregulatory capital requirements or the regulatory capital reliefthat has allowed banking organizations to incrementally implementthe CECL transition regarding regulatory capital. This means,specifically, that the FDIC would "continue to apply the CECLregulatory capital transition provisions, with the regulatorycapital relief provided to address concerns that . . . unexpectedeconomic conditions at the time of CECL adoption could result inhigher-than-anticipated increases in allowances." Comments on the proposal must be submitted within 30 days afterits publication in the Federal Register.