The Federal Reserve Board and FDIC’s (the Agencies) May 2026 feedback to the eight U.S. Global Systemically Important Banks (GSIBs) signals a potential meaningful shift in resolution planning supervision. While the Agencies reaffirmed their focus on operational capabilities developed through prior feedback letters, they stopped short of directing firms on how to further refine them. Instead, they placed responsibility on the GSIBs to critically examine their own capabilities and adapt them to changes in market conditions and each institution’s specific activities and ...
About MVA White Collar Defense, Investigations, and Regulatory Advice Blog
As government authorities around the world conduct overlapping investigations and bring parallel proceedings in evolving regulatory environments, companies and individuals face challenging regulatory and criminal enforcement dynamics. We provide in-depth analysis and up-to-date information to help our clients navigate these fast-moving areas.
The latest from MVA White Collar Defense, Investigations, and Regulatory Advice Blog
- A Lighter Supervisory Touch, But Not a Lower Bar: What the 2026 GSIB Regulatory Feedback May Signal for Resolution Planning
- Irreconcilable Differences: Analyzing the Split in the First and Second Circuit Courts of Appeals’ Decisions on National Bank Act Preemption of State Interest-on-Escrow Laws
- CFPB scales back the small business credit data collection rule - but also indicates future expansion is possible
- Farm Credit Administration’s 2026 Priorities Reflect Some Alignment with Federal Banking Regulators, With Continued Focus on Risk Management and System‑Specific Nuances