Regulatory projects plan
Print tableThe agency posts its regulatory projects plan twice a year, coinciding with its semiannual update of the Unified Regulatory Agenda, which is published on the web at RegInfo.gov in the spring and fall of each year.
The plan describes the regulatory projects scheduled for the next 12 to 24 months. The goal in providing the plan is to make upcoming regulatory actions transparent.
Regulation Title/ RIN |
Planned Action |
Abstract |
|
---|---|---|---|
Loans to Similar Entities
3052-AD58 |
ANPRM
07/00/2024 |
This rulemaking would further explain what constitutes functional similarity in the conduct of activities that are performed by eligible borrowers and what constitutes a loan as it relates to similar entity lending. | |
Annual Independent Audits and Internal Controls over Financial Reporting (ICFR) Requirements
3052-AD56 |
NPRM
08/00/2024 |
This rulemaking would consider whether FCA should amend its regulations concerning annual independent audits to include audits of internal controls over financial reporting for System institutions. | |
Borrower Rights – Distressed Loan Servicing
3052-AD20 |
NPRM
09/00/2024 |
This rulemaking would consider revisions on borrower rights regulations to clarify disclosure and servicing requirements for distressed loans. The rulemaking would update content requirements for distressed loan notices and clarify application review procedures, including how to identify inputs for use in conducting the least cost analysis. | |
Collateral Evaluation Regulations
3052-AC94
|
Repropose
11/00/2024 |
This rulemaking would revise collateral evaluation regulations in light of changing credit and economic conditions. | |
Elimination of Troubled Debt Restructuring Accounting and Incorporation of New Disclosures for Borrowers Experiencing Financial Difficulty
3052-AD63 |
NPRM
12/00/2024 |
This rulemaking would amend FCA regulations by removing “Formally restructured loans” also known as troubled debt restructurings (TDR), as a loan performance category due to changes in generally-accepted accounting principles (GAAP). This rulemaking would also consider disclosures for loan modifcations to borrowers experiencing financial difficulty. | |
Loan Participations and Territorial Concurrence
3052-AD57 |
ANPRM
01/00/2025 |
This rulemaking would consider revising loan participation requirements as it relates to participating in loans outside of chartered territories. | |
Permanent Capital Revisions
3052-AD52 |
NPRM
02/00/2025 |
This rulemaking would replace certain references to permanent capital with references to tier 1/tier 2 capital and make other revisions as appropriate. These revisions seek to reduce computational, call reporting, shareholder reporting, and capital planning requirements. | |
Voluntary Liquidations
3052-AD50 |
NPRM
03/00/2025 |
This rulemaking would revise FCA regulations on voluntary liquidations of System institutions under section 4.12(a) of the Act. | |
Regulatory Burden Initiative
3052-AD55 |
Final Notice
04/00/2025 |
In support of section 212(b) of the Farm Credit System Reform Act of 1996 and FCA’s Policy Statement on Regulatory Philosophy, this action would address comments received concerning the removal or revision of outdated, unnecessary, or burdensome regulations. | |
Farmer Mac Capital Framework
3052-AD51 |
NPRM
05/00/2025 |
This rulemaking would consider updating Farmer Mac’s regulatory capital framework in furtherance of Farmer Mac’s safe and sound operations and its role in promoting affordable and sustainable access to credit in agricultural and rural communities. The rulemaking is intended to ensure Farmer Mac operates under a transparent, comprehensive, and robust capital framework and will consider whether and how to incorporate elements of other established and emerging regulatory frameworks governing capital as appropriate for Farmer Mac’s non-bank, rural-focused, secondary market business model and status as a Government-sponsored enterprise. | |
Bank Liquidity Reserve
3052-AD44 |
NPRM
06/00/2025 |
This rulemaking would consider whether the FCA should amend its existing liquidity regulation and more closely align it with the Basel III Liquidity framework and the approach of the Federal Bank Regulatory Agencies. | |
Note: NPRM = Notice of proposed rulemaking; ANPRM = Advance notice of proposed rulemaking