ECONOMIC INCLUSION STRATEGIC PLAN
2024
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ECONOMIC INCLUSION STRATEGIC PLAN
Table of Contents
Overview ................................................................................................................................................. 1
Introduction ............................................................................................................................................ 5
State of Economic Inclusion in the United States ...................................................................................... 7
Application of Learning from the Environmental Scan ............................................................................ 14
Implementation of the Economic Inclusion Strategic Plan ...................................................................... 17
Economic Inclusion Strategic Plan Framework ....................................................................................... 18
Opportunity Area 1. Create and Sustain Foundational Banking Relationships: Establish an on-
ramp to the U.S. financial system, setting the stage for future financial success. ............................... 19
Motivation ..................................................................................................................................................... 19
Theory of Change .......................................................................................................................................... 21
Strategies ...................................................................................................................................................... 22
Key Performance Indicators .......................................................................................................................... 23
Opportunity Area 2. Build Household Financial Stability: Help households save and increase
access to consumer credit to better manage ongoing and emergency expenses ................................. 25
Motivation ..................................................................................................................................................... 25
Theory of Change .......................................................................................................................................... 27
Strategies ...................................................................................................................................................... 28
Key Performance Indicators .......................................................................................................................... 29
Opportunity Area 3. Achieve a Secure Financial Future: Build household wealth through
investments that can foster savings and accumulate value over time. ............................................... 31
Motivation ..................................................................................................................................................... 31
Theory of Change .......................................................................................................................................... 34
Strategies ...................................................................................................................................................... 35
Key Performance Indicators .......................................................................................................................... 37
Opportunity Area 4. Live in Strong and Healthy Communities: Encourage bank lending,
investments, and services that support strong and healthy communities, including low- and
moderate-income (LMI) neighborhoods and other underserved communities ................................... 38
Motivation ..................................................................................................................................................... 38
Theory of Change .......................................................................................................................................... 40
Strategies ...................................................................................................................................................... 41
Key Performance Indicators .......................................................................................................................... 42
Appendices ............................................................................................................................................ 43
Appendix A: Overview of Environmental Scan Process ..................................................................... A-1
Appendix B: Research Questions and Associated Literature Sources from the Environmental
Scan ............................................................................................................................................... B-1
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ECONOMIC INCLUSION STRATEGIC PLAN
Exhibits
Figure 1. Economic Inclusion Opportunity Areas .................................................................................... 2
Figure 2. Key Terms Used in the Plan ...................................................................................................... 3
Figure 3. Theory of Change for Opportunity Area 1: Create and Sustain Foundational Banking
Relationships ........................................................................................................................................ 21
Figure 4. Theory of Change for Opportunity Area 2: Build Household Financial Stability...................... 27
Figure 5. Theory of Change for Opportunity Area 3: Achieve a Secure Financial Future ........................ 34
Figure 6. Theory of Change for Opportunity Area 4: Live in Strong and Healthy Communities ............. 40
ECONOMIC INCLUSION STRATEGIC PLAN
1
Overview
The FDIC published its first Economic Inclusion Strategic Plan (Plan) in 2014. Since then, the number of
unbanked households has reached the lowest level since the FDIC began collecting the data in 2008,
and both consumersneeds and the market for financial services have evolved. This Plan updates the
FDIC strategy to promote economic inclusion in light of these changes. The Plan is designed to support
progress toward a state in which all U.S. households can establish, sustain, and benefit from banking
relationships to create a strong financial foundation, manage their day-to-day finances, build wealth,
and live in communities strengthened by bank lending, services, and investments.
To better respond to the current environment and the opportunities to advance economic inclusion,
the FDIC has organized its Plan around four Economic Inclusion Opportunity Areas (Opportunity Areas)
that emphasize consumer and community outcomes. These Opportunity Areas—identified and
illustrated in Figure 1 belowwill guide the FDIC’s efforts to capitalize on emerging opportunities and
effectively address identified challenges to economic inclusion. The Plan provides a flexible roadmap
for how the FDIC will direct its efforts and resources to promote economic inclusion for all U.S.
households.
This Plan was informed by an environmental scan comprising a literature review of more than 70
sources, including peer-reviewed articles, white papers, and FDIC internal documents, plus interviews
with more than 50 internal and external stakeholders. (Details on the environmental scan process and
the literature review are included in Appendices A and B.) Findings from the environmental scan
generated insights into the state of economic inclusion in the United States, including both challenges
and emerging opportunities. These findings informed the formulation of the Opportunity Areas,
objectives, and strategies of the Plan.
This Plan begins with a short introduction, followed by a description of key findings from the
environmental scan. It then describes each of the four Opportunity Areas. For each Opportunity Area,
the Plan lays out a clear objective, monitoring measures, strategies, and key performance indicators.
Figure 2 below defines key terms used throughout the Plan.
ECONOMIC INCLUSION STRATEGIC PLAN
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Figure 1. Economic Inclusion Opportunity Areas
Goal: Promote economic inclusion for all U.S. households
Vision: The FDIC supports economic inclusion by promoting a state in which all U.S. households can
establish, sustain, and benefit from banking relationships to create a strong financial foundation, manage
their day-to-day finances, build wealth, and live in communities strengthened by bank lending, services,
and investments.
Economic Inclusion Opportunity Areas:
1. Create and Sustain Foundational Banking Relationships: Establish an on-ramp to the U.S. financial
system, setting the stage for future financial success.
2. Build Household Financial Stability: Help households save and increase access to consumer credit
to better manage ongoing and emergency expenses.
3. Achieve a Secure Financial Future: Build household wealth through investments that can foster
savings and accumulate value over time.
4. Live in Strong and Healthy Communities: Encourage bank lending, investments, and services that
support strong and healthy communities, including low- and moderate-income (LMI) neighborhoods
and other underserved communities.
ECONOMIC INCLUSION STRATEGIC PLAN
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Figure 2. Key Terms Used in the Plan
Banks: Insured depository institutions that the FDIC intends to engage with to foster economic inclusion.
1
Bankable moments: Events or points in time when a consumer has an increase or change in their regular,
day-to-day cash flow, such as when receiving benefits or starting a new job. These moments are an
opportunity for consumers who are unbanked to find and open a bank account that meets their needs.
Economic inclusion: A state in which all U.S. consumers and communities have access to financial services,
secure employment, and opportunities to participate in the broader economy. The FDICs economic
inclusion activities aim to ensure that all U.S. households can access, sustainably use, and increasingly
benefit from safe and affordable products and services from insured depository institutions.
Impact:
The broader changes that occur in a community, an organization, or society because of program
outcomes.
Key performance indicators (KPIs): Measures of FDIC activity used to track contributions toward achieving
each objective. These measures reflect outputs and outcomes resulting from the implementation of the
strategies outlined in the Plan. As necessary, the FDIC might adjust these measures based on available data
or use estimated quantities. These measures might be updated to reflect specific economic inclusion
activities that the FDIC engages in. For key performance indicators with a market share component, the
FDIC will try to measure the extent to which underserved populations are being reached.
Low- and moderate-income communities: A low-income community means median family income is less
than 50 percent of the area median income. A moderate-income community means median family income is
at least 50 percent and less than 80 percent of the area median income.
Low- and moderate-income individuals/households: An individual or household is considered to be low-
or moderate-income based on how their income compares to the area median income. A low-income
individual or household has an income that is less than 50 percent of the area median income. A moderate-
income individual or household has an income that is at least 50 percent and less than 80 percent of the area
median income.
Market share: A relative measure of a firms activity, which can be expressed in various terms, including the
share of a particular product or activity provided by the firm among all other firms or a subset of relevant
firms or the proportion of total potential customers served or otherwise connected to a firm or to a product
or service from a firm.
Monitoring measures: Metrics the FDIC will use to track overall progress toward each objective, to
understand trends in economic conditions, and to provide context for assessing program outcomes. The
FDIC will monitor the trends for each of these indicators, even as it recognizes that its work is not solely
responsible for changes in these measures. The FDIC may substitute monitoring measures for various
reasons, such as instances in which data that provide more precise, more accurate, or qualitatively better
information relevant to an opportunity area become available.
Objective: A statement of the impact that the FDIC seeks to advance through its work.
Opportunity Area: Broad categories in which the FDIC plans to work to advance economic inclusion in the
banking system. Each Opportunity Area is accompanied by a brief description of the FDICs vision for that
Area.
ECONOMIC INCLUSION STRATEGIC PLAN
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1
The term insured depository institutionhas a specific regulatory definition that can be found in the Federal
Deposit Insurance Act, and includes banks and savings associations.
2
Regulation B, which implements the Equal Credit Opportunity Act, sets forth compliance standards and
general rules for Special Purpose Credit programs [15 U.S.C. § 1691(c)(1)-(3); 12 C.F.R. § 1002.8(a)].
3
The 2021 FDIC National Survey of Unbanked and Underbanked Households refers to single-mother
householdsas a subset of unmarried female-householder family households. The survey found single-
mother households had an unbanked rate of 16 percent; single-father households had a similarly high
unbanked rate of 11 percent. This Plan uses the term single-parent householdsto group these household
types under one term.
Outcome: The result of a programs outputs. Evaluating outcomes answers the question, Are the
participants achieving intended results?
Outputs: The quantifiable results produced as a direct consequence of program activities and efforts, oen
serving as a tool for monitoring initial progress toward achieving program outcomes.
Partnerships: Collaborative efforts in which the FDIC works closely with federal, state, and local
government agencies; community-based organizations; financial institutions; or others on specific efforts
such as programs or initiatives.
Special Purpose Credit program: A targeted lending program designed to meet the credit needs of an
economically disadvantaged group of borrowers. The primary aim of a Special Purpose Credit program
2
is
to provide access to credit and financial support in which traditional lending options are limited or
insufficient.
Stakeholders: Federal, local, and state government offices; banks; and community-based organizations
that the FDIC collaborates with on events and/or that participate in events.
Strategy: An overarching approach or type of activity designed to help achieve the objectives in the Plan.
Over time, these activities and the resources allocated to them might be adjusted to reflect emerging
opportunities to promote economic inclusion.
Unbanked: Households in which no one has a checking or savings account at a bank or credit union.
Underbanked: Households that were banked and in the past 12 months used at least one nonbank
transaction (money orders, check cashing, or international remittances) or nonbank credit (rent-to-own
services, payday, pawn shop, tax refund anticipation or auto title loans) product or service that is
disproportionately used by unbanked households to meet basic financial needs.
Underserved consumers/households/communities: Groups that are disproportionately unbanked and
underbanked. These groups include, but are not limited to, lower-income households, less-educated
households, Black households, Hispanic households, working-age households with a disability, and single-
parent households.
3
ECONOMIC INCLUSION STRATEGIC PLAN
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Introduction
Congress created the FDIC through the
Banking Act of 1933 to maintain stability and
public confidence in the nations banking
system. The statute provides a federal
government guarantee of deposits so that
customer funds will be safe and available to
them in the event of bank failures.
The FDIC acts as receiver for banks that fail,
and it has resolution planning
responsibilities for large, complex financial
institutions. In addition to its role as insurer,
the FDIC is the primary federal regulator of
federally insured state-chartered banks that
are not members of the Federal Reserve
System.
5
An important component of maintaining
stability and public confidence in the banking
system is promoting economic inclusion, and
in so doing, demonstrating that the banking
system is a resource that can benefit
everyone. For the FDIC, this means engaging
in strategies and programs designed to
expand access to safe, secure, and affordable
financial products and services from banks
for all consumers to help them meet their
financial needs and goals.
The FDIC recognizes that special efforts are
needed to ensure expanded access to
financial services for low- and moderate-
income (LMI) consumers, consumers of color,
and other underserved groups such as households led by working-age individuals with a disability,
single-parent households, and consumers with fewer years of formal education. Promoting economic
inclusion among these populations requires understanding their financial needs and challenges,
4
Federal Deposit Insurance Corporation, 2021 FDIC National Survey of Unbanked and Underbanked
Households (2021).
5
Federal Deposit Insurance Corporation, 20222026 Strategic Plan (December 2021).
LMI households and households of color are
more likely than other households to be
unbanked and underbanked
The 2024 Economic Inclusion Strategic Plan aims to
broaden access to financial services for all consumers,
but especially for consumers who have been
historically underserved by the banking system,
including low- and moderate-income (LMI) households
and people of color.
According to the 2021 FDIC National Survey of Unbanked
and Underbanked Households (2021 FDIC Household
Survey), these groups were much less likely than their
peers to have a bank account:
4
About one in five households earning less than
$15,000 per year were unbanked; in comparison,
fewer than one in 100 households earning more than
$75,000 per year were unbanked.
Black households were more than five times as likely
to be unbanked as White households, and Hispanic
households were more than four times as likely to be
unbanked as White households.
Working-age households with a disability were also
disproportionately unbankedfour times the rate of
such households without a disability.
LMI households and households of color with a bank
account were more likely to be underbanked.
The Plan notes differences in outcomes that are more
likely to be experienced by underserved groups that
participate in the mainstream banking system and
identifies the underserved as populations that should
be specifically considered.
ECONOMIC INCLUSION STRATEGIC PLAN
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encouraging the development of products and services that meet those needs, and leveraging
partnerships and additional strategies for successfully delivering them to consumers.
Over the past decade, the FDIC has generated a series of strategic planning documents to guide its
economic inclusion efforts. The Chairmans Advisory Committee on Economic Inclusion (ComE-IN)
developed the first strategic plan in 2006 to guide its work.
6
In 2014, the Division of Depositor and
Consumer Protection (DCP) developed a multi-year Economic Inclusion Strategic Plan for the FDIC that
was updated in 2019.
The 2024 Plan is the product of an in-depth process that included an environmental scan, an
assessment of market opportunities and challenges, and lessons learned from the FDIC’s experience
with the most effective approaches to fostering economic inclusion.
6
Federal Deposit Insurance Corporation, Economic Inclusion Strategic Plan June 2019 (June 2019).
ECONOMIC INCLUSION STRATEGIC PLAN
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State of Economic Inclusion in the United States
The environmental scan generated insights into the state of economic inclusion in the United States
that informed the development of this Economic Inclusion Strategic Plan. Some market trends, such
as a decline in the share of U.S. households that report being unbanked, point to ways in which
economic inclusion in banking has expanded since the Plan was last updated. Other trends, such as
the number and diversity of new nonbank entrants that offer basic financial services, suggest
consumers continue to have fundamental needs not fully addressed by the conventional banking
system.
This section summarizes key findings from the environmental scan and describes trends relevant to
each of the four Opportunity Areas.
The rate of unbanked households has reached historic lows. Over the past decade, the proportion
of unbanked householdsthose that do not have a checking or savings accounthas steadily
declined. The 2021 FDIC Household Survey found that about 4.5 percent of U.S. households are
unbanked, the lowest rate recorded since the survey began in 2009.
7
Though the decline in unbanked households is undoubtedly a promising trend, the 2021 FDIC
Household Survey highlights continued disparities across demographic groups. Households with lower
incomes and fewer years of formal education are disproportionately likely to be unbanked. The survey
also found that racial disparities in access to bank accounts continued: 2.1 percent of White
households are unbanked, compared to 11.3 percent of Black households, 9.3 percent of Hispanic
households, and 6.9 percent of Native American or Alaska Native households. Other groups
disproportionately represented among unbanked households include working-age households with a
disability and households led by a single parent.
The most common reasons that unbanked households cited in the 2021 FDIC Household Survey for not
having a bank account included not having enough money to meet minimum balance requirements
(cited by 40 percent of unbanked households), concerns about privacy (34 percent), lack of trust in
banks (33 percent), and bank account fees that are too high (29 percent) or unpredictable (27 percent).
A declining proportion of U.S. households are underbanked and rely on nonbank products to
meet basic financial services needs. The 2021 FDIC Household Survey found that 14.1 percent of U.S.
households are underbankedmeaning they have a bank account but use nonbank products or
services to meet some of their basic financial services needs. The rate of underbanked households
varies across demographic groups, following patterns similar to those observed for unbanked
households. More than 20 percent of Black, Hispanic, American Indian, and Alaska Native households
are underbanked, compared to 9.3 percent of White households. As with the unbanked rate, the
7
Federal Deposit Insurance Corporation, 2021 FDIC National Survey of Unbanked and Underbanked
Households (2021).
ECONOMIC INCLUSION STRATEGIC PLAN
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underbanked rate is higher among lower-income households and households with fewer years of
formal education.
Among underbanked households, 72 percent use nonbank transaction products such as money
orders, check cashing services, and international remittances. Some 18 percent of underbanked
households use nonbank credit products, such as payday loans and auto title loans. The remaining 10
percent or so of underbanked households use nonbank transaction products and nonbank credit
products in combination.
The COVID-19 pandemic affected the financial stability of families and accelerated the adoption
of technology in financial services. The pandemic had a dramatic effect on household finances and
the ways in which households engaged with the financial system.
Many households lost jobs or income during the pandemic. In the 2021 FDIC Household Survey, 29
percent of households reported that someone in their household lost or quit a job, was furloughed, or
had reduced hours; 23 percent reported a significant loss of income since March 2020. Unbanked
households were the most likely to report these types of financial hardships.
The government responded to pandemic-related hardships with increased benefits and stimulus
payments. These government payments, along with declines in household spending, led to an
increase in household savings during the pandemic.
8
However, the median level of household savings
has since fallen to below 5 percent, a level not seen since 2009.
9
Falling savings mean that U.S.
households are less able to manage day-to-day expenses and are less able to handle unexpected
expenses, which can have devastating consequences for household financial stability. In 2023, only 63
percent of adults said they could cover a hypothetical $400 expense using cash or cash equivalent and
only 54 percent reported they have three months of emergency savings.
10
The pandemic underscored the urgency of helping LMI consumers gain access to the banking system.
For consumers eligible to receive economic impact payments, Child Tax Credits, or a tax refund from
the Internal Revenue Service, the FDIC leveraged the #GetBanked
11
campaign to share information
about how to open a bank account and provide that bank account information to the Internal Revenue
Service. The FDIC also conducted outreach to banks and community-based organizations to enhance
consumer access to financial services that would allow receipt of government payments directly and
safely.
Households also changed how they made payments during the pandemic, with trends persisting aer
its acute phase. The share of transactions made in cash declined from 26 percent in 2019 to 19 percent
8
Federal Reserve Board, Excess Savings during the COVID-19 Pandemic (October 2022).
9
Federal Reserve Economic Data, Federal Reserve Bank of St. Louis, Personal Saving Rate (July 2023).
10
Federal Reserve Board, Report on the Economic Well-Being of U.S. Households in 2022 May 2023 (June
2023).
11
Federal Deposit Insurance Corporation, Press Release: FDIC Launches #GetBanked Campaign in Houston and
Atlanta (April 2021)
ECONOMIC INCLUSION STRATEGIC PLAN
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in 2020 and stood at 18 percent in 2022.
12
In place of cash, consumers increased use of credit and
electronic payments, including digital wallets and online payment accounts. Although the increase in
adoption of online payment accounts was steady in the years leading up to the pandemic, adoption
spiked in the second quarter of 2020.
13
In 2022, two-thirds of households reported using such
products.
14
The prospect of pandemic-related government payments (such as unemployment benefits or
pandemic-related stimulus payments) prompted households to open bank accounts, enabling fast and
secure receipt. In 2021, about one-third of recently banked households (34.9 percent) reported that
receiving a government benefit payment contributed to their opening a bank account.
15
In a 2020
paper published by the Federal Reserve Bank of Kansas City, the authors suggested that a desire to
quickly receive pandemic-related transfers could have prompted households to open nonbank
accounts.
16
Macroeconomic trends make it challenging for LMI and other underserved consumers and
communities to build wealth. Current macroeconomic trends have created a challenging
environment for consumer wealth-building activities. Obstacles to homeownership, a lack of
affordable housing options, and the burden of student loan debt collectively undermine the ability of
many households to achieve financial stability.
Homeownershipa key wealth-building activity and contributor to the intergenerational transfer of
wealthis out of reach for many households, particularly Black and Hispanic households. Challenges
that prospective homeowners face include high housing prices and rising interest rates. Mortgage
interest rates increased from historic lows in 2021 to more than 7 percent in 2023.
17
These challenges
are oen compounded for prospective homebuyers of color, who carry high amounts of non-mortgage
debt (including student loans) that make it harder to qualify for a mortgage. Data from the U.S. Census
Bureau show that the homeownership rate for Black households in the second quarter of 2023 (45.7
percent) lags behind the homeownership rate for White households (74.5 percent) by nearly 29
12
Federal Reserve Bank of San Francisco, 2023 Findings from the Diary of Consumer Payment Choice Cash
(May 2023).
13
Federal Reserve Board, Developments in Noncash Payments for 2019 and 2020: Findings from the Federal
Reserve Payments Study (January 2022).
14
Federal Reserve Bank of Atlanta, 2022 Survey and Diary of Consumer Payment Choice: Summary Results
(2023).
15
Federal Deposit Insurance Corporation, 2021 FDIC National Survey of Unbanked and Underbanked
Households (2021).
16
Federal Reserve Bank of Kansas City, How the COVID-19 Pandemic May Reshape the Digital Payments
Landscape (June 2020).
17
Freddie Mac, Mortgage Rates (October 2023).
ECONOMIC INCLUSION STRATEGIC PLAN
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pointsa gap that is greater now than it was in 1960.
18
The Hispanic homeownership rate (49.0
percent) also lags far behind the rate for White households.
19
High rental housing cost burdens also limit opportunities for savingincluding saving for a down
payment on a home.
20
Black households and other households of color are more likely to be renters
than homeowners and tend to have higher rent burdens than their White counterparts. Compared
with 44 percent of White renters, 55 percent of Black renters spend more than 30 percent of their
income on rent and utilities. This leaves little room for saving and investment. The inability to build
home equity through homeownership and limitations on savings related to high housing cost burdens
further compound the racial wealth gap and restrict opportunities for economic advancement.
Another challenge for many consumers is the burden of student loan debt. The cost of higher
education has skyrocketed, leaving a generation of consumers with substantial student loan
obligations. The challenge is magnified and most keenly felt by households that have amassed
student loan debt but who have not obtained a degree or credential that could lead to higher-earning
job opportunities. Among households with student loan debt, Black households have higher average
and median debt levels than do households of other races and ethnicities. For example, in 2019 about
30 percent of Black households had student loans, compared with 20 percent of White households.
21
This debt load can delay wealth accumulation, as individuals must allocate a significant portion of
their income toward loan repayment instead of saving or investing. For many, the burden of student
loans can hinder their ability to buy a home, start a business, or invest in assets that appreciate. As a
result, the weight of student loan debt can prolong the cycle of financial struggle for low-income
individuals and families, limiting their wealth-building prospects.
Nonbanks expanded their offerings and role in the market. A notable trend since the last update of
the Economic Inclusion Strategic Plan has been the continued expansion of nonbanks and the
introduction of new products that can be used as alternatives to bank products and services. These
nonbank products, including online payment accounts and digital wallets, may provide some of the
functionality offered by traditional checking and savings accounts, such as the ability to receive and
store money,
22
but may have different levels of consumer protection. Similarly, Buy Now Pay Later
18
U.S. Census Bureau, Quarterly Residential Vacancies and Homeownership, Second Quarter 2023 (August
2023); The Pew Charitable Trusts, Black Families Fall Further Behind on Homeownership (January 2023)
19
U.S. Census Bureau, Quarterly Residential Vacancies and Homeownership, Second Quarter 2023
(August 2023).
20
National Low Income Housing Coalition, The Gap: A Shortage of Affordable Homes (March 2023).
21
Urban Institute, Student Loan Debt and Access to Homeownership for Borrowers of Color (November 2022;
corrected February 2023).
22
Federal Deposit Insurance Corporation, FDIC Consumer News: Banking with Apps (November 2020).
ECONOMIC INCLUSION STRATEGIC PLAN
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loanswhich are offered at the point of sale and enable borrowers to pay for a purchase in
installmentsprovide an alternative to a credit or debit card.
23
In recent years, the share of mortgages made by nonbank lenders has significantly surpassed the
share originated by bank lenders. In June 2023, nonbank lenders made 79 percent of all mortgages
purchased by government-sponsored enterprises; the share was even higher93 percentfor
government-backed loans (e.g., Federal Housing Administration and Veterans Administration loans)
that disproportionately are used by first-time homebuyers and lower-income and non-White
borrowers.
24
Nonbank lenders also provide small business loans and services. In 2022, by some
reports, 24 percent of firms used financing from a financial company that is not a bank.
25
Recent events highlighted the value of deposit insurance. Crypto assets, such as Bitcoin and
Ethereum, have grown in popularity in recent years, with some proponents touting them as the future
of money. However, many consumers who invested in this market have collectively lost more than $1
billion over the past few years due to price volatility and various scams.
26
Consumers who fall victim to
scams related to crypto assets oen have limited recourse for recovering their investments. In
response to significant volatility and other vulnerabilities associated with the crypto-asset sector, the
Board of Governors of the Federal Reserve System (Federal Reserve), the Office of the Comptroller of
the Currency (OCC), and the FDIC issued a joint statement that underscored the risks associated with
this sector.
27
The number of bank failures has fallen dramatically since 2008, with no bank failures recorded in 2021
or 2022. However, in 2023, three bankswith a total asset value exceeding $500 billionfailed in two
months.
28
The FDIC and other federal regulators reacted swily to protect depositors, maintain
stability and liquidity in the banking sector, and maintain public confidence in the banking system.
This episode reinforced the critical importance of deposit insurance for consumers.
Regulators have developed new rules for banks around community investment. The Federal
Reserve, OCC, and the FDIC provide oversight and support to encourage financial institutions to help
23
Consumer Financial Protection Bureau, Consumer Use of Buy Now, Pay Later: Insights from the CFPB Making
Ends Meet Survey (March 2023).
24
Urban Institute, Housing Finance at a Glance: A Monthly Chartbook (July 2023).
25
Federal Reserve Banks, 2023 Report on Employer Firms: Findings from the 2022 Small Business Credit Survey
(2023). This paper uses data from the Small Business Credit Survey, which is drawn from a convenience
sample.
26
Federal Trade Commission, New Analysis Finds Consumers Reported Losing More than $1 Billion in
Cryptocurrency to Scams since 2021 (June 2022).
27
Financial Institution Letter, Federal Deposit Insurance Corporation, Joint Statement on Crypto-Asset Risks to
Banking Organizations (January 2023).
28
Martin Gruenberg, Federal Deposit Insurance Corporation, Recent Bank Failures and the Federal Regulatory
Response (March 2023); Federal Deposit Insurance Corporation, Bank Failures in Brief - Summary 2001
through 2023 (July 2023).
ECONOMIC INCLUSION STRATEGIC PLAN
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meet the credit needs of their entire community, including low- and moderate-income neighborhoods
in which the institution does business to further the purpose of the Community Reinvestment Act
(CRA) of 1977. On October 24, 2023, the agencies issued a unified set of new rules aimed at
strengthening and modernizing CRA regulations by:
Encouraging banks to expand access to credit, investment, and banking services in LMI
communities;
Adapting to changes in the banking industry, including mobile and internet banking;
Providing greater clarity, consistency, and transparency in the application of the regulations;
and
Tailoring CRA evaluations and data collection to bank size and type.
29
29
Federal Deposit Insurance Corporation, Community Reinvestment Act (October 2023).
ECONOMIC INCLUSION STRATEGIC PLAN
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External factors can affect progress toward economic inclusion objectives
Many external factors beyond the FDICs control may affect progress toward the strategic objectives
described in this Plan. Some of these factors are:
Economy and financial environment: Changes in economic conditions are diicult to predict yet can
have a significant impact on household finances and banking behavior. As the recent past illustrates,
shis in economic conditions can have positive or negative impacts on economic inclusion prospects. For
example, the U.S. unemployment rate fell from about 15 percent in April 2020 to less than 4 percent in
2022 and 2003,
30
helping to improve consumer finances. The 2021 FDIC Household Survey suggests that
starting a new job can prompt households to open a bank account.
31
Conversely, from roughly second
quarter 2021 through first quarter 2023, the United States experienced high inflation that made it more
difficult for some LMI consumers to meet day-to-day and unexpected expenses. Credit became more
expensive, with higher interest rates on many consumer products including mortgages and credit cards.
Many consumers increased their borrowing in response to rising prices.
32
Emerging technologies: Rapidly evolving technologies continue to present both potential benefits and
challenges to consumers and banks and affect how consumers and banks interact. On the one hand,
advances in the digital space offer opportunities for banks to serve a broader set of consumers, improve
services, lower operating costs, and enhance customer experiences. On the other hand, emerging
technologies could present risks as banks manage operational and other technology-related
vulnerabilities and adapt compliance management systems. Consumers, especially those who might not
have access to or comfort with technology, could find that some products and services are not as readily
available outside of digital channels. Future technological developments could help expand economic
inclusion for some but could also exclude others. New technologies have supported the growth of
financial services from nonbank providers. A potential issue associated with this development is that
consumers might not be able to distinguish between bank and nonbank providers and could be unaware
of the risks associated with nonbanks (including gaps in consumer protection and regulation).
Climate change: Climate change presents a variety of risks to the financial health of consumers; these
risks are more acute for LMI and other underserved consumers due to limited financial resources to adapt
and respond to climate-related financial stressors. For example, extreme weather events such as
hurricanes, floods, and wildfires can result in property damage and loss, straining a households financial
security and increasing housing insecurity. The FDIC has taken an active role in promoting climate
resilience within the financial sector and has developed a framework to guide financial institutions in
how to prepare for and respond to climate-related financial risks.
33
Government actions: Executive, legislative, judicial, and state actions could affect the FDICs
achievement of its economic inclusion strategic objectives. In addition, actions taken by other financial
regulators at the federal and state levels could affect the financial regulatory environment and therefore
the success of the FDICs Economic Inclusion Strategic Plan strategies. The FDIC will monitor and respond
to these changes, adapting its economic inclusion strategies as needed.
30
U.S. Bureau of Labor Statistics, Civilian Unemployment Rate (2023).
ECONOMIC INCLUSION STRATEGIC PLAN
14
Application of Learning from the Environmental Scan
The four economic inclusion Opportunity Areas and associated strategies in this Economic Inclusion
Strategic Plan reflect the insights gained through the environmental scan. For example, the
environmental scan findings led the FDIC to make the following changes to the content and structure
of the previous Plan:
Focus Opportunity Areas on outcomes. During the environmental scan, stakeholders noted
that the Opportunity Areas in the FDIC’s previous Economic Inclusion Strategic Plan focused
on bank products and services that could be leveraged to foster economic inclusion. Many of
these stakeholders suggested the new Plan focus on desired outcomes for consumers and their
communities, especially LMI and other underserved populations, rather than on products and
services. This led the FDIC to organize the Opportunity Areas in this Plan around outcomes,
rather than bank products. This shiensures that the strategies in this Plan center on the
advancement of economic inclusion outcomes, including fostering greater access to safe and
affordable products, services, and investments.
Target and deliver just-in-time financial education. Drawing on lessons from research and
comments made during the environmental scan, the FDIC has integrated financial capability
strategies into each Opportunity Area, rather than having a separate Opportunity Area focused
on financial education. This shihelps to emphasize initiatives and programs that capitalize
on just-in-time financial education when a consumer is most likely to use the knowledge they
gain, such as when opening a bank account or considering whether to buy a home. The
literature suggests that these types of financial education interventions offer advantages over
general classroom-based instruction. The shialso signals that financial education is integral
to all of the FDICs efforts to advance economic inclusion, not just one program or product.
Focus more attention on sustained use of bank accounts. Findings from the environmental
scan underscore the importance of building on the FDICs successful eorts to facilitate
opening a bank account to include a greater emphasis on sustaining account use. Sustained
account use helps consumers deepen their banking relationships, with access to a wider range
of safe and affordable products and services. (See Opportunity Area 1. Create and Sustain
Foundational Banking Relationships.)
Emphasize household financial stability. Results from the environmental scan suggest that
the FDIC should focus more heavily on enhancing consumer financial stability. This can be
31
Federal Deposit Insurance Corporation, 2021 FDIC National Survey of Unbanked and Underbanked
Households (2021).
32
Federal Reserve Bank of Boston, Credit Card Spending and Borrowing Since the Start of the COVID-19
Pandemic (2023).
33
Financial Institution Letter, Federal Deposit Insurance Corporation, Principles for Climate-Related Financial
Risk Management for Large Financial Institutions (October 2023).
ECONOMIC INCLUSION STRATEGIC PLAN
15
accomplished through strategies that help consumers borrow and save in ways that allow
them to better meet both their daily needs and unexpected costs such as health care or car
repair bills. (See Opportunity Area 2. Build Household Financial Stability.)
Promote wealth-building activities. Results from the environmental scan support the
importance of helping consumers achieve their long-term financial goals by building wealth
and acquiring assets that can accumulate value. (See Opportunity Area 3. Achieve a Secure
Financial Future.)
Elevate the importance of community development. In the interviews conducted during the
environmental scan, stakeholders highlighted the value of having an Opportunity Area that
explicitly focuses on enhancing community development outcomes, with a particular
emphasis on LMI communities. (See Opportunity Area 4. Live in Strong and Healthy
Communities.)
Target strategies to reach LMI and other underserved communities. Results from the
environmental scan highlighted the disparities in access to safe and affordable financial
services across subpopulations. These findings, together with guidance from recent Executive
Orders,
34
emphasize the importance of enhancing economic inclusion among subgroups that
are disproportionately unbanked and underbanked, including Black, Hispanic, and American
Indian or Alaska Native households; working-age households with a disability; and single-
parent households.
The stakeholder interviews conducted as part of the environmental scan informed the strategies in the
Plan by highlighting three key levers the FDIC can use to promote economic inclusion:
Awareness and education. The FDIC has long been a trusted source of information for
consumers and plays an important role in raising awareness of safe and affordable financial
services. The FDIC offers financial education materials for consumers of all ages and
backgrounds through its Money Smart curriculum, Consumer News publication, and other
resources available on the FDIC website (FDIC.gov
). Stakeholders recommended the FDIC
leverage its experiences and expertise to provide targeted learning opportunities for
consumers using a just-in-time approach, such as when opening a bank account or
considering the purchase of a home. The FDIC also has a valued track record of helping banks
become aware of opportunities to expand economic inclusion, such as participating in federal
government programs designed to broaden the availability of credit. Stakeholders
recommended the FDIC continue to educate and support banks in their efforts to expand
34
See, for example, Executive Order 13985 (2021), which lays out a policy of developing a whole-of-government
approach to advancing equity for all and includes language that would support efforts by the FDIC to allocate
resources to address historic disinvestment. Also relevant is Executive Order 14031 (2021), which aims to build
on previous policies and help advance equity, justice, and opportunity for Asian Americans, Native Hawaiians,
and Pacific Islanders.
ECONOMIC INCLUSION STRATEGIC PLAN
16
economic inclusion and meet their regulatory obligations under the Community Reinvestment
Act through technical assistance and education.
In October 2023, the FDIC launched a national deposit insurance awareness campaign about
how it can protect consumersmoney in the event of a bank failure. Know Your Risk. Protect
Your Moneyis a consumer-focused campaign that aims to reach those who may have lower
confidence in the U.S. banking system or who are unbanked, as well as those who use mobile
payment systems, alternative banking services, and financial products that may appear to be
FDIC-insured but are not.
Partnerships and collaborations. The FDIC cultivates and invests in the development of
extensive national, regional, and local networks of financial institutions; community-based
organizations; and federal, state, and local agencies to identify opportunities to reduce
challenges for consumers, address community-specific challenges, and capitalize on
opportunities to promote economic inclusion. Stakeholders suggested the FDIC continue to
collaborate with existing and new partners to develop coordinated initiatives that meet the
needs of diverse consumers. Stakeholders emphasized that the FDIC should pay particular
attention to building out strategic partnerships that maximize its reach into LMI and other
underserved communities.
Research and innovation. The FDIC leads research initiatives, such as the FDIC National
Survey of Unbanked and Underbanked Households, that provide insights into consumers
changing needs. The FDIC also promotes innovative approaches to economic inclusion in the
banking sector by conducting pilot programs and disseminating promising practices.
Stakeholders emphasized the significant value of the FDICs research, which informs
practitionerswork and contributes to broader research efforts; for example, data from the
FDIC Household Survey are widely used by academics, policy researchers, and other
government agencies in their research and analyses.
ECONOMIC INCLUSION STRATEGIC PLAN
17
Implementation of the Economic Inclusion Strategic Plan
The Division of Depositor and Consumer Protection (DCP) supports the FDIC’s mission to maintain
stability and public confidence in the nations financial system by working to advance economic
inclusion, protect consumers, and build positive connections between banks and other stakeholders.
DCP ensures that banks keep their customersmoney safe, treat customers fairly, and operate in
compliance with federal consumer protection, anti-discrimination, and community reinvestment laws.
In addition, DCP builds positive connections among banks, consumers, small businesses, and
communities to promote public confidence.
Two branches in DCP play a particular role in advancing economic inclusion. Through its national and
local partnerships, easy-to-access resources, and expansive stakeholder network, the Consumer and
Community Affairs Branch promotes access to banking services across the country. It comprises the
Community Affairs Program, the Consumer Affairs Program, and the National Center for Consumer and
Depositor Assistance, which includes the Consumer Response Unit and Deposit Insurance Section.
Community Affairs collaborates with bank regulatory agencies, federal agencies, financial institutions,
community-based organizations, and local and state governments to encourage partnerships to help
deliver credit to low- and moderate- income individuals and neighborhoods, inform financial
institutions and community organizations about the availability of public and private development
resources, and promote an understanding of the rights and responsibilities of individuals,
communities, and financial institutions regarding the Community Reinvestment Act and fair lending
laws.
Within Consumer Affairs, the Consumer Education Section provides consumers with resources and
products through social media, online content and interactive games, publications, and more. The
section develops and disseminates Money Smartthe FDIC financial education suite of curricula for all
agesand provides training to banks, teachers, parents, emerging small businesses, and nonprofit
training organizations.
DCP’s Policy and Research Branch also plays a critical role. Economists, analysts, and other
professionals in the branch develop authoritative data, articles, and reports that help measure and
provide better understanding of consumer participation in the banking system and identify
opportunities to enhance economic inclusion. The branch also conducts analyses to support FDIC
program development, implementation, and assessment. Policy analysts ensure economic inclusion
considerations are evaluated, as appropriate, in various policy processes. They also develop internal
and external guidance that can help clarify the ways in which legal requirements are consistent with,
and support, economic inclusion eorts, such as those associated with the Community Reinvestment
Act.
ECONOMIC INCLUSION STRATEGIC PLAN
18
Economic Inclusion Strategic Plan Framework
Strategic Goal:
Promote economic inclusion for all U.S. households
Vision Statement:
The FDIC supports economic inclusion by promoting a state in which all U.S. households,
including those in underserved communities, can establish, sustain, and benefit from
banking relationships to create a strong financial foundation, manage their day-to-day
finances, and build wealth and live in communities strengthened by bank lending, services,
and investments.
Opportunity Area Objective
1. Create and Sustain Foundational
Banking Relationships: Establish an on-
ramp to the U.S. financial system, setting
the stage for future financial success
Increase the share of households that establish and
sustain bank accounts, using them as their primary
means to receive income, make payments, and keep
their money safe
2. Build Household Financial Stability:
Help households save and increase access
to consumer credit to better manage
ongoing and emergency expenses
Increase the share of households that have access to
and benefit from banking products and services to
manage fluctuations in income and expenses, such as
variable work earnings and unanticipated expenses
3. Achieve a Secure Financial Future:
Build household wealth through
investments that can foster savings and
accumulate value over time
Increase the share of households that benefit from
banking services and other programs that expand
access to mortgage credit and broaden the
availability of small business financing and services,
particularly to small and very small businesses
4. Live in Strong and Healthy
Communities: Encourage bank lending,
investments, and services that support
strong and healthy communities, including
low- and moderate-income (LMI)
neighborhoods and other underserved
communities
Encourage financing and other resources available to
LMI and other underserved communities from banks
to improve conditions for residents, including
improving community facilities, increasing affordable
housing, and enhancing employment opportunities
ECONOMIC INCLUSION STRATEGIC PLAN
19
Opportunity Area 1. Create and Sustain Foundational Banking
Relationships: Establish an on-ramp to the U.S. financial system, setting the
stage for future financial success.
Objective: Increase the share of households that establish and sustain bank
accounts, using them as their primary means to receive income, make
payments, and keep their money safe
Monitoring Measures
1.A. The share of U.S. households that are unbanked
35
1.B. The share of U.S. households that are underbanked
36
1.C. The share of unbanked U.S. households that express interest in opening a
bank account
37
1.D. The share of U.S. households that are recently unbanked
38
Motivation
Opening and maintaining a bank account is a fundamentally important step, enabling consumers to
make progress toward achieving their financial goals. Bank accounts provide households with (1) a
safe place to store their money while maintaining easy access to it, (2) the ability to make payments
swily and securely, and (3) tools for monitoring payments and balances. Opening a bank account is
the primary way consumers establish a banking relationship and improve their access to other helpful
financial products they can use to build savings and access credit. Consumers benefiting from a
banking relationship in these ways develop positive associations that cumulatively bolster public
confidence in the U.S. financial system.
The FDIC is committed to helping households establish a strong financial foundation by working to
increase the share of households with safe, secure, and affordable bank accounts that meet their
needs. Though considerable progress has been made in recent years in reducing the share of
unbanked households, the 2021 FDIC Household Survey showed that about 4.5 percent of U.S.
35
Federal Deposit Insurance Corporation, 2021 FDIC National Survey of Unbanked and Underbanked
Households (2021).
36
Ibid
37
Ibid
38
Federal Deposit Insurance Corporation, 2021 FDIC National Survey of Unbanked and Underbanked
Households (2021). The FDIC National Survey of Unbanked and Underbanked Households defines recently
unbankedhouseholds as those not having a bank account at the time of the survey who did, however, have a
bank account at some point in the previous 12 months.
ECONOMIC INCLUSION STRATEGIC PLAN
20
households still do not have a checking or savings account; among households with a bank account,
14.1 percent also used nonbank financial services to meet their financial needs.
39
The 2021 FDIC Household Survey also found that lower-income households, households with fewer
years of formal education, Black households, Hispanic households, working-age households with a
disability, and single-parent households, among others, are more likely to be unbanked or
underbanked. These households face multiple challenges to opening and sustaining bank accounts.
The most commonly cited reason is lack of funds to meet minimum balance requirements.
Other
challenges include trust-related concerns, concerns about privacy, high and unpredictable fees, and
challenges related to proximity to and cultural competency of bank branches.
40
These challenges
could help explain why nearly three-quarters of unbanked households surveyed reported beingnot
veryor not at allinterested in opening an account. Some unbanked households are denied the
opportunity to open an account because they lack commonly accepted identification credentials or
have negative information in systems that banks use to assess a potential customers risks.
41
The
challenges that unbanked and underbanked households face when trying to use banking services can
lead them to use nonbank financial services that can have fewer consumer protections, cost more, and
be less secure or less convenient.
Banks report several challenges to serving unbanked or underbanked consumers, including navigating
legal requirements and the perceived lack of profitability.
42
In addition, limitations of the systems that
banks use to manage accounts can make it harder for banks to offer innovative new products. Finally,
though some banks have paired products and services that meet the needs of underserved
households with strategies that enable them to attract, serve, and retain customer relationships with
those households, many banks have not yet implemented these strategies fully.
43
During the pandemic, the FDIC undertook eorts to connect households to safe and secure accounts.
Public awareness campaigns directed at consumers focused on the benefits of opening a bank
account, and events for financial institutions focused on expanding account access. The FDIC is well-
39
Federal Deposit Insurance Corporation, 2021 FDIC National Survey of Unbanked and Underbanked
Households (2021).
40
U.S. Government Accountability Office, Financial Technology: Products Have Benefits and Risks to
Underserved Consumers, and Regulatory Clarity Is Needed (March 2023); The Aspen Institute, The Price of
Entry: Banking in America (February 2023); and Federal Reserve Bank of Cleveland, Unbanked in America: A
Review of the Literature (May 2022).
41
Dennis Campbell, F. Asís Martínez-Jerez, and Peter Tufano, Bouncing Out of the Banking System: An Empirical
Analysis of Involuntary Bank Account Closures (April 2012), note that involuntary account closures have
historically been more frequent in U.S. counties with overall lower education levels, lower wealth levels,
higher unemployment rates, and a larger fraction of single mothers. See also The Aspen Institute, The Price of
Entry: Banking in America (February 2023).
42
Federal Deposit Insurance Corporation, Bank Efforts to Serve Unbanked and Underbanked Consumers
(May 2016).
43
Ibid
ECONOMIC INCLUSION STRATEGIC PLAN
21
positioned to build on these efforts to help spark sustainable relationships between consumers and
banks.
Theory of Change
Figure 3. Theory of Change for Opportunity Area 1: Create and Sustain Foundational Banking Relationships
A primary objective of the FDICs work in this Opportunity Area is to increase the share of households
that establish and sustain bank accounts, using them as their primary means of conducting their basic
financial affairs. To advance this objective, the FDIC will implement strategies that address challenges
and leverage opportunities for expanding bank account access and use. As reflected in Figure 3, key
challenges for consumers include a lack of trust in the banking system and concerns about
requirements and costs associated with bank accounts. To improve consumer trust in the banking
system, the FDIC will leverage strategic partnerships with trusted organizations that serve the
unbanked and underbanked to raise their awareness about the benefits of safe and aordable
accounts. In particular, the FDIC will seek out partnerships with organizations that serve LMI and other
underserved consumers.
Among other strategies, the FDIC will work with these partners to leverage its Money Smart curriculum
focused on establishing and sustaining bank accounts. These partners will then help raise consumer
awareness and understanding about banking products and services that meet their needs, including
account monitoring tools to help consumers avoid fees and lessen the need for reliance on credit.
Having a greater understanding of the banking products and services available will help consumers
maintain a sense of control over their finances, which will encourage ongoing account use. To
overcome consumer concerns about costs, the FDIC will work to expand the availability of low-cost
ECONOMIC INCLUSION STRATEGIC PLAN
22
bank accounts, such as those that align with the Bank On National Standards for certified Bank On
accounts.
44
The FDIC will also work to increase access to safe and aordable accounts for consumers by engaging
banks. Key challenges for banks to serve unbanked and underbanked households include a
perception that expanding bank account access would increase compliance risk and hinder bank
profitability, as well as technological limitations that prevent banks from innovating. The FDIC will
address these challenges by directly communicating with banks, by reducing perceived challenges to
offering programs and services that meet consumer needs, and by drawing attention to successful
examples. As part of these efforts, the FDIC will leverage its relationships with other regulators, banks,
and trade groups to raise awareness and counter misperceptions about regulatory challenges to
serving LMI and other underserved populations. The agency will highlight and promote safe and
secure products and services that meet the needs of these consumers.
The FDIC will also seek partnerships with relevant agencies and organizations to connect consumers
to safe and affordable accounts, leveraging program-specific bankable moments,” such as the FDICs
partnership with the Internal Revenue Service that encouraged consumers to open safe and secure
accounts to receive economic stimulus payments during the pandemic. In addition, the FDIC will
explore collaborations with other federal agencies to develop guidance for banks that support
reducing challenges to account access.
The FDICs eorts will be informed by research it leads related to account opening and use, including
the biennial FDIC National Survey of Unbanked and Underbanked Households, which collects data that
will continually inform how strategies are targeted and implemented.
Strategies
Awareness and Education
1.1 Raise awareness of and interest in establishing and using accounts through direct
communications with consumers by the FDIC and partners that serve LMI and other underserved
consumers.
45
1.2 Raise awareness and interest among banks, particularly community banks, in offering safe and
affordable accounts (such as Bank On certified accounts), with no overdra or insufficient funds
fees, other low-cost features, and features facilitating broad functionality, accessibility, and
availability.
44
The FDIC developed the Model Safe Account Template in 2012; Federal Deposit Insurance Corporation, FDIC
Model Safe Accounts Template (2012). The Bank On National Standards incorporated the core principles
outlined in the template; Martin Gruenberg, Federal Deposit Insurance Corporation, Bank On/Cities for
Financial Empowerment National Launch of Account Standards (2015).
45
The FDIC will continually monitor the needs among underserved populations and adjust its work to address
emerging or changing needs.
ECONOMIC INCLUSION STRATEGIC PLAN
23
1.3 Encourage banks to make safe and affordable accounts readily available in all channels,
including branches, and to develop strategies promoting them effectively to consumers,
including by prominently featuring them on bank websites and in marketing materials.
1.4 Identify organizations that work with unbanked and underbanked households and train them on
Money Smart materials on establishing and sustaining bank accounts. Focus training efforts on
organizations that serve LMI and other underserved populations.
1.5 Educate banks on the opportunity for CRA consideration, including with respect to digital and
other delivery systems that respond to the needs of LMI consumers.
Partnerships and Collaborations
1.6 Develop partnerships with relevant agencies and other organizations to connect consumers to
safe and affordable accounts, leveraging program-specific bankable momentsthat capitalize
on consumersinterest in receiving payments swily and securely.
1.7 Encourage core service providers to adapt their systems to enable banks to easily offer safe and
affordable accounts (such as Bank On certified accounts) with no overdra or insufficient funds
fees and with other features that enhance functionality, accessibility, and inclusive access.
1.8 Identify potential opportunities to work with other banking agencies, the Consumer Financial
Protection Bureau, and other relevant stakeholders to address actual or perceived challenges to
opening accounts.
Research and Innovation
1.9 Conduct research to measure consumer participation in the banking system, assess bank efforts
to serve unbanked and underbanked populations, and better identify challenges to account
opening and sustained use, clarifying the conditions under which various challenges are most
prominent.
1.10 Identify and assess promising approaches that expand account access and sustained use of
banking services. Highlight effective programs to banks, trade groups, community networks, and
other stakeholders.
Key Performance Indicators
Awareness and Education
Number of communications about bank account access and use sent to consumers by the
FDIC and its partners; percentage of consumers who engaged with the information as
measured by impressions and unique visits to websites linked to the communications;
percentage who reported that the information was valuable.
ECONOMIC INCLUSION STRATEGIC PLAN
24
Number of stakeholders (and market share of banks) that participate in FDIC training and
outreach related to account opening and use; share of these partners reporting intent to take
action aer engaging with the FDIC.
Number and market share of banks reporting they are more interested in offering certified or
other responsive accounts aer an FDIC engagement.
Share of households that felt more confident in their ability to establish and maintain a
banking relationship aer participating in a program offering Money Smart.
Partnerships and Collaborations
Number of banks that offer Bank On certified or other responsive accounts; share of U.S.
households in markets served by a bank that offers such accounts.
Number of unique visits to web pages that include materials created or promoted by the FDIC
and shared as part of an FDIC outreach communication initiative; share of web page visitors
who reported that the information was valuable.
Number of engagements (e.g., events and meetings) with community-based organizations in
which Community Affairs personnel provide resources related to safe and affordable bank
accounts; number of follow-up engagements with these community organizations related to
addressing challenges in bank account access.
Research and Innovation
Number of presentations made to banks, trade groups, community networks, and other
stakeholders about promising approaches that expand account access and sustained use of
banking services; share of attendees that report finding this information useful.
Number of research articles and reports from the FDIC and other sources related to bank
accounts, banking relationships, and consumer payments citing FDIC economic inclusion
research or data.
Number of unique visits to FDIC web pages that feature economic inclusion research, data, and
related information; share of web page visitors who report finding the information valuable.
Number of readers and other consumers of popular media reporting on FDIC economic
inclusion research or data.
ECONOMIC INCLUSION STRATEGIC PLAN
25
Opportunity Area 2. Build Household Financial Stability: Help households
save and increase access to consumer credit to better manage ongoing and
emergency expenses.
Objective: Increase the share of households that have access to and benefit
from banking products and services to manage fluctuations in income and
expenses, such as variable work earnings and unanticipated expenses.
Monitoring Measures
2.A. The share of households with a dedicated savings account.
46
2.B. The share of adults who say they can cover a $400 expense using cash or cash
equivalent
47
2.C. The share of households with a credit score
48
2.D. The share of households with a prime credit score
49
Motivation
Access to savings or other liquid financial resources enables consumers to better handle both regular
expenses and financial shocks or unexpected expenses, such as a sudden medical bill or car repair or a
period of unemployment. Without these resources, it can be difficult for consumersespecially LMI
consumersto meet their immediate needs and maintain the financial stability that serves as a
foundation for realizing longer-term financial goals. Banking products such as savings accounts,
credit-building products, and small-dollar credit options can help families build and access liquid
resources to meet their day-to-day needs and manage financial ups and downs.
The FDIC is committed to promoting broad availability of accessible savings and affordable credit from
banks and to helping households understand the benefits of and gain access to such products to help
them be better prepared to meet their needs and manage unexpected expenses.
46
Federal Reserve Board, 2019 Survey of Consumer Finances (2019).
47
Federal Reserve Board, Report on the Economic Well-Being of U.S. Households in 2022 (May 2023).
48
Federal Deposit Insurance Corporation, How America Banks: Household Use of Banking and Financial
Services (2019).
49
There are a number of different ways to determine the share of households with a prime credit score. For
example, the Financial Health Networks Financial Health Pulse 2022 U.S. Trends Report (September 2022)
notes the share of consumers that report having a prime credit score. Periodic reports from commercial credit
bureaus also note the share of consumers with a prime credit score. If needed, the FDIC might consider
purchasing data from one or more credit bureaus to assess this monitoring measure or partnering with
another federal agency that has access to these data.
ECONOMIC INCLUSION STRATEGIC PLAN
26
Many households do not have enough savings to draw on to manage unexpected expenses. In 2023,
only 63 percent of adults said they could cover a hypothetical $400 expense using cash or cash
equivalent and only 54 percent reported they have three months of emergency savings.
50
For many
LMI and other underserved consumers, limited cash flow is a key impediment to saving, including
building emergency savings.
51
Low- and no-fee transaction and savings accounts with low or no
minimum balance requirements that allow easy access to funds are particularly important for
consumers trying to build an emergency fund. Features such as automatic deposits and matched
savings programs can help facilitate regular contributions by consumers so they can build savings over
time. In addition, products or services offered when the consumer has money to save, such as when
they receive a tax refund, public benefit, or a raise at work, are an opportunity for consumers to
contribute to their savings.
52
Small-dollar credit products, such as safe and affordable consumer loans, or credit cards can also help
households manage expenses. Some consumer credit products can be costly, and many less costly
options require applicants to have an established positive credit score. However, about one-fih of
households likely do not include a member with a credit score.
53
Low-income, young, Black, and
Hispanic consumers are among those most likely to lack a credit score.
54
Some bank representatives cite difficulties ascertaining the creditworthiness of LMI potential
borrowers as a challenge to lending to these households.
55
Banks most oen use traditional
underwriting practices to determine borrower creditworthiness. These practices increase the
likelihood that borrowers with lowor nocredit score are rejected. However, technological
developments have made it easier to analyze financial transaction data from bank accounts. Using
certain information rarely found in credit reports could help banks evaluate the creditworthiness of
consumers who might not obtain credit using traditional underwriting standards.
56
Other approaches,
such as making credit products available to established customers in good standing, leveraging
automation and partnerships to lower the cost of acquisition and delivery, and designing programs
that support consumer repayment, can also expand the number of consumers who qualify.
50
Federal Reserve Board, Report on the Economic Well-Being of U.S. Households in 2022 (May 2023).
51
The Aspen Institute, Short-Term Financial Stability: A Foundation for Security and Well-Being (April 2019).
52
Consumer Financial Protection Bureau, Building a Brighter Future by Saving at Tax Time (October 2018); and
Consumer Financial Protection Bureau, Planning for Tax-Time Savings: Innovation Insights (September 2019).
A number of efforts have been undertaken to encourage consumers to apply for refundable tax credits, such
as the Earned Income Tax Credit and the Child Tax Credit. Building on these efforts could provide an
opportunity for the FDIC to facilitate partnerships to help LMI and other underserved households increase
savings.
53
Federal Deposit Insurance Corporation, How America Banks: Household Use of Banking and Financial
Services (2019).
54
Consumer Financial Protection Bureau, Data Point: Credit Invisibles (2015).
55
Lawrence J. White, The Community Reinvestment Act at 40: Why Is It Still Necessary to Lean on Banks? (2020).
56
Federal Deposit Insurance Corporation, Interagency Statement on the Use of Alternative Data in Credit
Underwriting (2019).
ECONOMIC INCLUSION STRATEGIC PLAN
27
The FDIC is well-positioned to encourage banks to develop savings and credit products that can help
families manage financial ups and downs affordably. Over the years, the FDIC has helped households
build savings and access small-dollar loans by developing Money Smart resources related to savings
strategies; supporting national and regional initiatives, such as America Saves; and conducting
research about safe small-dollar loans. For example, the FDIC facilitates the Youth Banking Network,
which consists of 85 banks, by supporting bank efforts to engage and educate youth across the
country and connect them with savings accounts.
Theory of Change
Figure 4. Theory of Change for Opportunity Area 2: Build Household Financial Stability
To improve household financial stability, the FDIC will implement strategies that address the
challenges that inhibit LMI and other underserved consumers from saving and accessing consumer
credit. As reflected in Figure 4, key challenges that affect the ability of consumers to save and access
credit include a lack of cash flow available for savings, a lack of effective engagement with products
ECONOMIC INCLUSION STRATEGIC PLAN
28
and programs that support savings, no or a low credit score (which inhibits access to credit), a lack of
responsive credit products, and limited awareness of products and services that meet their needs.
To facilitate savings by consumers with limited incomes, the FDIC will facilitate programmatic
partnerships between banks and community-based organizations and government agencies that
administer programs that provide opportunities to save. This could include initiatives that help
consumers access additional funds, such as from tax refunds (e.g., those who receive the Earned
Income Tax Credit
57
or the Child Tax Credit) or from guaranteed income programs. The FDIC will
identify and build strategic partnerships with community-based organizations to help consumers
capitalize on times when they have income they can save and take advantage of other strategies that
support savings behavior. Further, the FDIC will facilitate partnerships between these organizations
and banks to foster consumer savings in safe and affordable accounts. To help consumers gain access
to credit, the FDIC will continue to encourage banks to offer products that help consumers build their
credit scores, such as credit-builder loans or secured credit cards. The FDIC will raise consumer
awareness of products and services through partnerships with organizations whose clients include
unbanked and underbanked consumers. The FDIC will encourage these partners to offer its Money
Smart curriculum focused on savings and building credit.
The FDIC will seek to address the lack of products and services by educating and building awareness
among banks about promising approaches to offering credit-building and responsible small-dollar
lending products. This could include, for example, the potential to use deposit account data in the
underwriting process and engaging with core service providers
58
and others with a role in enabling
banks to offer such products.
The FDICs work in this area will be informed by FDIC research on promising practices for overcoming
challenges and capitalizing on opportunities related to consumer savings and credit, with a focus on
the experiences and perceptions of LMI and other underserved households.
Strategies
Awareness and Education
2.1 Identify partners that work with unbanked and underbanked consumers, including youth and
young adults, and train them to use Money Smart materials to expand awareness and
understanding of the benefits of building savings and promising strategies for doing so.
57
Internal Revenue Service, EITC Participation Rate by States Tax Years 2012 through 2019 (2022). Many
households eligible for the Earned Income Tax Credit do not claim it. In tax year 2019, 79.3 percent of eligible
residents nationally claimed the credit, though participation rates varied by state. Efforts that aim to increase
the share of eligible households that claim the tax credit could complement tax-time savings efforts.
58
Core service providers are the companies that offer soware and technology solutions to financial
institutions, primarily banks, to manage their core banking functions and operations.
ECONOMIC INCLUSION STRATEGIC PLAN
29
2.2 Identify partners that work with unbanked and underbanked consumers, including LMI and other
underserved consumers, and train them to use Money Smart materials to build awareness and
understanding of the benefits of building a positive credit history and score and promising
strategies for doing so.
2.3 Raise awareness of opportunities to build savings and positive credit history through
communications and resources for consumers and partners that serve LMI and other underserved
consumers.
2.4 Engage community organizations and their members to assess their needs, increase awareness of
the FDIC and other resources related to savings and credit.
2.5 Expand awareness among banks of promising approaches to offering credit products that help
LMI and other underserved households establish a positive credit history, such as credit-builder
loans or secured credit cards.
2.6 Expand awareness among banks of promising approaches to offering safe and affordable credit
products that help LMI and other underserved consumers address cash fluctuations, such as
responsible small-dollar loans.
Partnerships and Collaborations
2.7 Partner with federal, state, and local government benefit programs to identify opportunities to
help LMI and other underserved households save. Facilitate partnerships between these
programs and banks to help LMI and other underserved households increase savings.
2.8 Partner with community-based organizations and nonprofit financial counseling agencies to
cross-promote resources related to credit building and to gain an understanding of the credit
needs of consumers.
Research and Innovation
2.9 Conduct research to measure consumer use of bank and nonbank credit and savings products;
conduct research to understand banksprovision of products and programs to meet the savings
and credit needs of a wide range of consumers and obstacles to consumersability to access and
benefit from them.
59
Key Performance Indicators
Awareness and Education
Number of households reached through Money Smart materials focusing on savings; share of
users reporting more understanding of and interest in savings.
59
This information may come from outreach events, listening sessions, or formal research.
ECONOMIC INCLUSION STRATEGIC PLAN
30
Number of households reached through Money Smart materials focusing on credit building;
share of users reporting more understanding of and interest in credit building.
Number of households sent direct communications from the FDIC or a partner; percentage
who engaged with the information as measured by impressions and unique visits to websites
linked to the communications; share who reported that the information was valuable.
Number and market share of institutions that offer responsible credit-building products, such
as credit-builder loans or secured credit cards; share of U.S. households served by a bank that
offers credit-building products.
Number and market share of institutions that offer responsible small-dollar credit products,
such as affordable small-dollar loans; share of U.S. households served by a bank that offers
safe, affordable short-term credit products, such as affordable small-dollar loans.
Partnerships and Collaborations
Number and market share of institutions that partner with community-based or government
programs that help LMI and other underserved populations save.
Number of stakeholders that participate in FDIC training and outreach on maximizing
opportunities to save; percentage reporting intent to take action aer engaging with the FDIC;
number of households served by those partners or institutions.
Number of partners that participate in FDIC training and outreach related to credit building;
percentage reporting intent to take action aer engaging with the FDIC; number of households
served by those partners or institutions.
Research and Innovation
Number of research articles and reports from the FDIC and other sources related to consumer
credit, credit scores, credit building, or savings citing FDIC economic inclusion research or
data.
Number of unique visits to FDIC web pages that feature economic inclusion research, data, and
related information on credit or savings; share of web page visitors who report finding the
information valuable.
Number of readers and other consumers of popular media reporting on FDIC economic
inclusion research or data related to credit or savings.
ECONOMIC INCLUSION STRATEGIC PLAN
31
Opportunity Area 3. Achieve a Secure Financial Future: Build household
wealth through investments that can foster savings and accumulate value
over time.
Objective: Increase the share of households that benefit from banking
services and other programs that expand access to mortgage credit and
broaden the availability of small business financing and services, particularly
to small and very small businesses.
Monitoring Measures
3.A. The share of small businesses that receive credit from banks
60
3.B. The share of bankshome purchase lending to low- or moderate-income
borrowers and to borrowers in low- and moderate-income areas.
61
Motivation
Building household wealth is an important part of promoting consumer financial stability, well-being,
and future opportunities, including the opportunity for intergenerational wealth transfer. Though a
range of wealth-building activities help consumers work toward long-term financial stability, including
building retirement savings and accessing education loans, this Economic Inclusion Strategic Plan
focuses the FDICs efforts on homeownership and small business ownership. These are areas where
banks can play an important role and where the FDIC is well-positioned to support their work. Buying
a house or starting a business requires long-term planning and preparation. To meet these financial
goals, consumers need access to safe and affordable financial products that facilitate wealth building
and access to long-term credit.
The FDIC is committed to improving consumer access to banking resources needed to become a
homeowner or start or grow a business, including affordable mortgages and small business loans.
These investments will help consumers build long-term savings and assets and make progress toward
financial security. When banks provide mortgages and small business services and loans, confidence
increases that the products will be well-suited to the needs of consumers and will likely benefit them
over the long term.
Homeownership. Owning a home can help households build home equitya significant
source of household wealth, including wealth that can be passed on to the next generation.
Homeowners build home equity through bothforced savings(a portion of each monthly
payment on an amortizing mortgage contributes to home equity) and home value
appreciation (gain when the value of the home exceeds its original purchase price).
60
Federal Reserve Board, Availability of Credit to Small Businesses (October 2022).
61
Federal Financial Institutions Examination Council, The Home Mortgage Disclosure Act (June 2023).
ECONOMIC INCLUSION STRATEGIC PLAN
32
Homeownership is also supported by several public policies, including the tax code, which can
bolster household balance sheets.
In 2020, the median wealth of homeownerscomprising mostly home equityexceeded that
of renters by $330,372, or 58 percent.
62
However, homeownership may be out of reach for
many households. In 2023, two-fihs (40 percent) of all renters reported they cannot qualify
for a mortgage and 65 percent said they cannot afford the down payment for a home.
63
Homeownership affordability has also declined in recent years as home prices and interest
rates have risen.
64
Studies have underscored the importance of not just attaining
homeownership, but sustaining homeownership over time. In one study, low- and moderate-
income households that sustained homeownership had more than 20 times the wealth of
similarly situated households that remained renters.
65
Homeownership rates vary significantly
by race and ethnicity. In the second quarter of 2023, more than 74 percent of White non-
Hispanic households owned their home, compared to 46 percent of Black households, 49
percent of Hispanic households (of any race), and 58 percent of other households of color.
66
Current market conditions underscore the need for programs and services to proactively meet
the needs of LMI and other historically underserved communities. Current housing prices
combined with mortgage rates that are at a 20-year high as of 2023require consumers to pay
a large share of their income for housing. In June 2023, the share of median income needed for
the average monthly mortgage payment was 33.9 percent.
67
Given these costs, it is not
surprising that the share of purchase mortgages going to LMI homebuyers has declinedfrom
39.4 percent in 2018 to 23.1 percent in 2022.
68
Over the past decade, nonbanks have played a growing role in the mortgage market. In June
2023, nonbank lenders made 79 percent of all mortgages purchased by government-
sponsored enterprises. The share was even higher93 percentfor government-backed loans
(e.g., Federal Housing Administration and Veterans Administration loans) that
disproportionately are used by first-time homebuyers and lower-income and non-White
borrowers.
69
However, banks continue to have a meaningful role to play in the mortgage
62
Donald Hays and Briana Sullivan, The Wealth of Households: 2020, U.S. Census Bureau (August 2022).
63
Federal Reserve Board, Supplemental Appendixes to the Report on the Economic Well-Being of U.S.
Households in 2022 (May 2023).
64
Urban Institute, Housing Finance at a Glance: A Monthly Chartbook (July 2023).
65
Freeman, A. and R.G. Quercia. 2014. Low and Moderate-Income Homeownership and Wealth Creation. UNC
Center for Community Capital Working Paper. Chapel Hill, NC: UNC Center for Community Capital.
66
U.S. Census Bureau, Quarterly Residential Vacancies and Homeownership, Second Quarter 2023 (August
2023).
67
Urban Institute, Housing Finance at a Glance: A Monthly Chartbook (July 2023).
68
Ibid
69
Ibid
ECONOMIC INCLUSION STRATEGIC PLAN
33
market. From an economic inclusion standpoint, fostering consumer use of aordable
mortgage products and increasing bank participation in mortgage lending remain important.
Business Ownership. Building a business can provide additional financial stability that helps
business owners increase their income over time and generate wealth that can be passed on to
the next generation. In addition, providing loans and grants to diverse entrepreneurs is seen
by many as an important way to address the racial wealth gap.
70
Small business loans provide
business owners with the capital needed to start, expand, or improve their businesses. For
example, research shows that loans of less than $50,000or microloansare the financing
product that will reach the greatest number of Black and Hispanic/Latino entrepreneurs.
71
However, accessing credit can be challenging. Only about 15 percent of small businesses
applied for credit in 2020; just 60 percent received the amount requested, and 12 percent
received none. Trends in Paycheck Protection Program (PPP) lending suggest that lending in
historically underserved areas, including LMI and rural areas, is lower than for urban, higher-
income areas.
72,73
Community development financial institutions (CDFIs) have long been a
source of support for businesses in LMI communities and those businesses with owners of
color who have lacked access to traditional sources of capital and small business support.
Banks, especially community banks, play a unique role as service providers to and financers of
small businesses in their areas and are important participants in the Small Business
Administrationguaranteed 7(a) loan program. Small business loans oen represent a majority
of community bankscommercial and industrial portfolios. Community banks have a locally-
minded focus and emphasize relationship building that allow them to be key supporters of
small businesses in their area. Leveraging practices and competencies that meet the specific
contexts of entrepreneurs who face barriers to accessing credit due to a range of factors, such
as differences in cultural experiences and languages, low levels of wealth, or thin or no credit
files, can enable community banks to more successfully reach the full range of creditworthy
entrepreneurs.
74
Taken together, the trends in homeownership and business ownership underscore the importance of
ensuring that consumers, particularly LMI and other underserved consumers, are aware of and have
access to programs and services available to them on their wealth-building journeys. By facilitating
70
The Aspen Institute, Scaling Lending to Entrepreneurs of Color: Part I (November 2021).
71
Ibid
72
U.S. Small Business Administration, Paycheck Protection Program (May 2021). For example, 28 percent of
approved PPP loans were in LMI areas, and 16.6 percent of approved PPP loans were in rural areas.
73
Federal Reserve Board, Availability of Credit to Small Businesses (November 2022).
74
The Aspen Institute, Scaling Lending to Entrepreneurs of Color: Part I (November 2021).
ECONOMIC INCLUSION STRATEGIC PLAN
34
wealth building and access to long-term credit, banks can help LMI and other underserved
populations build a secure financial future.
The FDIC is well-positioned to grow its efforts to support consumer wealth building through
homeownership and small business ownership. For example, the FDICs online Affordable Mortgage
Lending Center, which provides information to banks and promotes responsible, affordable mortgage
lending, has more than 54,800 subscribers.
75
On the small business lending front, the FDIC is a trusted
resource, facilitator, and connector. For example, Money Smart for Small Business and the practitioner
network of training providers within the Money Smart Alliance are established resources that the FDIC
can leverage to support the financial goals of aspiring entrepreneurs. The FDIC has networks that
include a well-established partnership with the Small Business Administration (SBA) and relationships
with trusted community partners, including SBA’s Small Business Development Centers, Womens
Business Centers, Veteran Outreach Centers, and others.
Theory of Change
Figure 5. Theory of Change for Opportunity Area 3: Achieve a Secure Financial Future
75
As of August 2023.
ECONOMIC INCLUSION STRATEGIC PLAN
35
To support consumersjourneys toward long-term financial security, the FDIC will implement a suite of
strategies that address the key challenges to consumer access to banking products and services that
support homeownership and business ownership and growth.
76
As reflected in Figure 5, consumers
face multiple challenges to accessing homeownership and business ownership and growth, including
insufficient savings for a down payment or to seed a small business, high levels of debt, low incomes,
and low credit scores. Some entrepreneurs lack awareness of processes and the capacity to fulfill
requirements to establish a small business and apply for resources available through loans or
technical assistance programs. Consumers also could be unaware of programs that can help them
overcome these challenges, such as down payment assistance or technical assistance for small
businesses. To build consumer awareness and increase use of these resources, the FDIC will partner
with intermediaries, including community-based organizations that offer financial resources,
education, and technical assistance. To promote the uptake of these opportunities, the FDIC will
facilitate strategic partnerships between community-based organizations and banks.
For banks, key challenges to engaging in mortgage and small business lending for LMI and other
underserved populations include perceived complexity, risk, and lack of profitability. For mortgages
specifically, some banks have withdrawn their participation in federally sponsored mortgage
programs and others have never participated.
77
To counter these challenges, the FDIC will work with
banks and other relevant stakeholders to raise awareness and interest in promising approaches such
as government-backed guarantee programs, down payment assistance, and Special Purpose Credit
programs.
The FDICs work in this area will be informed by ongoing FDIC research on promising practices related
to supporting small business ownership and homeownership. This work will include conducting and
disseminating information about promising approaches and products.
Strategies
Awareness and Education
3.1 Educate banks about community-based and government programs that promote
homeownership among LMI and other underserved consumers (including down payment
assistance programs, public housing agency programs that support homeownership, and
homebuyer education and counseling programs).
76
The environmental scan conducted as part of the strategic planning process informed this approach; rather
than having separate opportunity areas for business lending and mortgages, the FDIC will focus on fostering
bank-related activities that promote long-term financial stability, including activities that promote ownership
of homes and small businesses.
77
Following the passage of new regulations aer the 2008 financial crisis, most mortgages follow product
parameters that conform to those laid out by the government-sponsored enterprises (GSEs) Fannie Mae and
Freddie Mac.
ECONOMIC INCLUSION STRATEGIC PLAN
36
3.2 Educate banks about community-based and government programs that support aspiring
entrepreneurs (such as capital access and technical assistance programs).
3.3 Identify organizations that work with residents of LMI and other underserved communities and
educate them about government and bank products and programs that support aspiring
homebuyers and small business owners.
3.4 Identify partners that work with LMI consumers and train them to use Money Smart materials that
address home buying and homeownership.
3.5 Support organizations that provide training and technical assistance using the Money Smart
financial education program to build awareness of how entrepreneurs can start and run their
small business and how to access and apply for resources to support it.
3.6 Educate and raise awareness among organizations that work with LMI and other underserved
entrepreneurs about promising strategies to help small businesses active in LMI neighborhoods
make informed choices about credit options, particularly given gaps in regulatory protections
that may result, for example, in them receiving less fulsome disclosures.
3.7 Educate and raise awareness among banks about promising approaches to developing Special
Purpose Credit programs and other products to help LMI consumers access capital for
homeownership and small business ownership.
3.8 Educate and raise awareness among banks about promising approaches to developing products
that support LMI homeowners to maintain or make renovations or modifications needed to stay
in their homes.
Partnerships and Collaborations
3.9 Develop strategic partnerships with organizations and government agencies that support
homeownership and small businesses; identify gaps (in knowledge, resources, etc.) and
opportunities for collaboration.
3.10 Encourage banks to partner with federal, state, and local government programs and programs
offered by nonprofit organizations that help LMI and other underserved consumers access down
payment funds or homebuyer/owner education and counseling services.
3.11 Facilitate collaboration between community banks and small business technical assistance
providers to support consumers in their pursuit of small business financing.
Research and Innovation
3.12 Stay current on leading research; conduct research and analyze available data to inform FDIC
program development and implementation, including trends in bank residential mortgage
lending and lending to businesses, including very small businesses, woman- and minority-owned
small businesses, and other business segments identified as underserved.
ECONOMIC INCLUSION STRATEGIC PLAN
37
Key Performance Indicators
Awareness and Education
Number of unique visits to FDIC online resources about mortgages and small business lending;
percentage of visitors who reported that the information was valuable.
Number of banks and community-based organizations trained on teaching Money Smart for
Small Business; percentage of those trained that report feeling more confident in helping
small businesses aer they attended the training.
Number of consumers reached through Money Smart materials focusing on homeownership
and business ownership.
o Share of users reporting a better understanding of the homebuying process and the
steps required to obtain a mortgage.
o Share of users reporting increased confidence managing small business finances.
Number of community-based organizations, small business owners, and entrepreneurs that
attend FDIC-led education that helps small businesses active in LMI neighborhoods make
informed choices about credit options; percentage of attendees reporting increased
confidence to make informed choices about credit options; number of households served by
those organizations.
Number and market share of banks that attend FDIC-led education related to developing
Special Purpose Credit programs and other products to help LMI consumers access capital for
homeownership and small business ownership; percentage and market share reporting intent
to take action aer engaging with the FDIC; number of households served by those partners or
institutions.
Number of banks that attend FDIC-led education related to promising approaches to
developing products that support LMI homeowners to maintain and/or make renovations or
modifications needed to stay in their homes; percentage and market share reporting intent to
take action aer engaging with the FDIC; number of households served by those banks.
Partnerships and Collaborations
Number of banks that attend FDIC partnership-oriented engagements related to small
business and homeownership programs; percentage that report making new contacts;
percentage and market share reporting intent to take action aer engaging with the FDIC.
ECONOMIC INCLUSION STRATEGIC PLAN
38
Opportunity Area 4. Live in Strong and Healthy Communities: Encourage
bank lending, investments, and services that support strong and healthy
communities, including low- and moderate-income (LMI) neighborhoods and
other underserved communities.
Objective: Encourage financing and other resources available to LMI and
other underserved communities from banks to improve conditions for
residents, including improving community facilities, increasing affordable
housing, and enhancing employment opportunities.
Monitoring Measures
4.A. Dollar amount of community development lending by CRA reporters
78
4.B. Share of CRA reporters that report community development lending
79
Motivation
For more than a century, a wide range of partners have worked to reduce poverty and improve living
conditions and quality of life in LMI neighborhoods across the United States. In the modern era, these
efforts have focused on developing quality, affordable, and mixed-income housing; investing in small
businesses that provide jobs and services in these neighborhoods; encouraging and supporting
investments by banks and other financial institutions to provide the capital needed to strengthen
communities; and engaging community residents, organizations, and businesses as partners in the
community development process. Key community development partners include community
development corporations and other community-based nonprofit organizations that build housing,
improve streetscapes, provide essential services, and advocate for stronger policies and funding;
anchor institutions like universities and hospitals that provide jobs, local leadership, and financial
support; local governments that administer federal and state programs and provide vital social
services; and banks and community development financial institutions (CDFIs) that provide capital for
housing, small businesses, and other community needs.
Todays community development efforts are supported by federal policies and programs that work
collectively to improve local conditions. These include the Low-Income Housing Tax Credit, which has
78
Federal Financial Institutions Examination Council, CRA National Aggregate Table 3: Community Development
Lending (2021). CRA reporters are institutions that have CRA obligations; they include national banks, savings
associations, and state-chartered commercial and savings banks that are FDIC insured.
79
Ibid
ECONOMIC INCLUSION STRATEGIC PLAN
39
produced or preserved more than 3.5 million affordable rental units,
80
and the New Markets Tax Credit,
which, through the end of fiscal year 2021, had, “supported the construction of 76.9 million square feet
of manufacturing space, 118.3 million square feet of office space, and 77.1 million square feet of retail
spaceand helped create or retain more than 938,000 jobs.
81
A third key federal support for
community development efforts is the CDFI Fund that provides funding and technical assistance to
CDFIs that in turn support small businesses, aordable housing, and other community needs. Among
the many other federal programs that support community development efforts are the Community
Development Block Grant and affordable housing programs administered by the U.S. Department of
Housing and Urban Development and the U.S. Department of Agriculture’s Rural Housing Service.
Another key federal policy supporting community development is the CRA, which encourages banks to
provide services, lend, and invest in the communities in which they do business, including LMI
communities, consistent with safe and sound operations. The FDIC is one of three federal regulators
responsible for implementing the CRA. In this role, the FDIC assesses the extent to which banks fulfill
their CRA obligations. The CRA plays an important part in expanding the availability of credit and
banking services in LMI and other underserved communities, critically helping to ensure that banks
are actively engaged in community development efforts.
Bank engagement with LMI individuals and in LMI and other underserved communities can result in
substantial social, economic, and environmental benefits. For example, according to community
development lending data reported by large banks, in 2021, banks made more than $151 million in
community development loans that are eligible for CRA credit, benefiting such individuals and
communities.
82
Since 1996, certain large financial institutions have been mandated to report their
community development loans. These reports indicate notable increases in affordable housing
lending, with substantial increases in the construction and preservation of new housing units. Beyond
housing, bank community development loans and investments have also expanded the number of
community facilities and fostered the establishment of new businesses and job opportunities.
Despite these various programs and CRAs positive impact on community development outcomes,
83
LMI neighborhoods still fall short on measures of community health and well-being such as access to
health care, safe and affordable housing, and employment opportunities. The FDIC is well-positioned
80
U.S. Department of Housing and Urban Development, Low-Income Housing Tax Credit (LIHTC): Property Level
Data (2023).
81
Community Development Financial Institutions Fund, Fact Sheet: New Markets Tax Credit Program (2022).
82
Federal Financial Institutions Examination Council, Findings from Analysis of Nationwide Summary Statistics
for 2021 Community Reinvestment Act Data Fact Sheet (2022).
83
Panagiotis Avramidis, George Pennacchi, Konstantinos Serfes, and Kejia Wu, The Role of Regulation and Bank
Competition in Small Firm Financing: Evidence from the Community Reinvestment Act (April 2022); Lei Ding
and Carolina K. Reid, The Community Reinvestment Act (CRA) and Bank Branching Patterns (September
2019); and Lei Ding and Leonard I. Nakamura, Don't Know What You Got Till Its Gone”—The Community
Reinvestment Act in a Changing Financial Landscape (February 2020).
ECONOMIC INCLUSION STRATEGIC PLAN
40
to encourage and support community development loans, services, and investments that benefit LMI
communities. The FDIC hosts regular meetings across the country where banks and community-based
organizations meet to discuss local challenges and pursue promising solutions. In addition, in 2023,
the FDIC and the other two federal regulators with responsibility for the CRA finalized a regulation that
strengthens and modernizes CRA.
84
This Economic Inclusion Strategic Plan signals the FDICs commitment to continuing to encourage
banks to direct their resources in ways that support all the communities in which they operate.
Theory of Change
Figure 6. Theory of Change for Opportunity Area 4: Live in Strong and Healthy Communities
The strategies that the FDIC implements in this Opportunity Area will result in growth in bank loans,
investments, and services that are responsive and contribute to positive community development
84
Federal Deposit Insurance Corporation, Interagency Overview of the Community Reinvestment Act Final Rule
(October 2023).
ECONOMIC INCLUSION STRATEGIC PLAN
41
outcomes, including greater access to affordable health care, aordable housing, and employment for
community residents.
As shown in Figure 6, many community stakeholders are not aware of the types of bank loans,
investments, and services that may qualify as community development for CRA purposes. The FDIC
will build partnerships and networks with nonprofit and government programs that raise awareness
about opportunities to access loans and investments that may qualify under CRA. In addition, the FDIC
will bring together local and regional nonprofit organizations and private and public sector
stakeholders to find areas of alignment across community development needs and available
resources. These networks of stakeholders will be better equipped to partner with banks to leverage
investments in community infrastructure that improves community health and well-being.
Some banks, especially community banks, would be better positioned to meet the needs of their
community by increasing their awareness of community development needs and models of
community development financing that have been implemented successfully elsewhere. To improve
bank knowledge of and interest in investing in LMI communities, the FDIC will educate banks about
opportunities for CRA-qualified lending activities, including promising approaches that leverage
private, government, and philanthropic investments. The FDIC expects that this awareness will lead
banks to explore and pursue activities that are CRA-qualified and benefit communities. The FDIC will
also raise awareness among banks about opportunities to achieve community development
objectives through investments in financial institutions that are located in and serve LMI communities,
including minority depository institutions (MDIs), women depository institutions (WDIs), low-income
credit unions (LICUs), and CDFIs.
The FDICs work in this area will be informed by ongoing FDIC research that identifies and elevates
successful strategies for banks to invest in building and maintaining affordable housing and essential
community facilities and infrastructure, promising practices for bank engagement and outreach to LMI
communities, and opportunities for bank investments that leverage government-sponsored
community development programs and initiatives.
Strategies
Awareness and Education
4.1 Educate and inform banks about opportunities for CRA-qualified community development
lending, investment, and service activities, including opportunities that support affordable
housing, economic development, community support services, community revitalization, and
essential community facilities and infrastructure.
4.2 Facilitate meetings and forums that bring together banks, community development practitioners,
and other relevant public and private sector stakeholders to explore community needs and
identify how CRA-qualified investment opportunities can meet those needs.
4.3 Educate and build awareness among community-based organizations about opportunities to work
with banks to increase CRA-qualified lending and investment that support community needs.
ECONOMIC INCLUSION STRATEGIC PLAN
42
Partnerships and Collaborations
4.4 Encourage bank activities that support MDIs, WDIs, LICUs, and CDFIs to expand their reach in LMI
communities, including in rural areas.
4.5 Facilitate collaborations among banks and federal, state, local, and tribal government agencies;
CDFIs; and other stakeholders to identify initiatives, opportunities, and promising practices to
achieve local community development goals; share learning to encourage replication of promising
approaches and identify gaps where further policy development efforts are needed.
Research and Innovation
4.6 Stay current on research related to community development needs and approaches; conduct
research and analyze available data to inform FDIC program development and implementation
related to bank involvement in community development efforts, such as investments in affordable
housing, economic development, community support services, community revitalization, and
essential community facilities and infrastructure.
Key Performance Indicators
Awareness and Education
Number and market share of banks that participate in FDIC training and outreach related to CRA-
qualified community development activities; percentage and market share of those banks
reporting intent to take action aer engaging with the FDIC.
Partnerships and Collaborations
Number and market share of banks that receive information from the FDIC about promising
practices for community engagement and outreach by banks; percentage and market share of
banks that attend FDIC partnership-oriented engagements and report making new contacts.
Number of attendees at engagements with federal, state, and local stakeholders that explore how
banks can address community development outcomes; percentage of and market share of bank
attendees reporting intent to take action aerward.
Research and Innovation
Number of unique visits to FDIC web pages that include publications and resources related to the
role of banks in community development; percentage of those visitors who report finding the
information valuable.
ECONOMIC INCLUSION STRATEGIC PLAN
43
Appendices
Appendix A: Overview of Environmental Scan Process........................................................... A-1
Appendix B: Research Questions and Associated Literature Sources from the
Environmental Scan ............................................................................................................ B-1
ECONOMIC INCLUSION STRATEGIC PLAN
A-1
Appendix A: Overview of Environmental Scan Process
The FDIC draed this Economic Inclusion Strategic Plan according to applicable requirements of the
Government Performance and Results Act of 1993 (GPRA), as amended, the GPRA Modernization Act of
2010, and OMB Circular A-11. The FDIC is also developing internal processes to facilitate monitoring
and evaluating the four strategic objectives outlined in this Plan.
The strategic planning process for this Plan included an in-depth environmental scan comprising two
streams of research activities: (1) a literature review and (2) internal and external stakeholder
interviews and listening sessions. The insights from that research informed the development of the
Opportunity Areas, objectives, and strategies in this Plan.
Seven research questions guided the literature review. The review also included a summary of
relevant executive orders and other relevant literature that emerged during the environmental scan.
Appendix B lists the research questions guiding the literature review and the sources reviewed, which
included peer-reviewed articles, white papers, and FDIC internal documents.
The stakeholder listening sessions involved 19 FDIC stakeholders and 39 external stakeholders
including researchers, practitioners, career staff from other federal agencies, and sta from financial
institutions and nonprofit organizations.
ECONOMIC INCLUSION STRATEGIC PLAN
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Appendix B: Research Questions and Associated Literature Sources
from the Environmental Scan
The environmental scan included a literature review guided by seven research questions. The review
also included relevant executive orders and other relevant literature that emerged during the scan.
1. What kinds of activities were included in the FDICs current Economic Strategic
Inclusion Plan, and what did the FDIC accomplish? (Summarize key activities,
accomplishments, barriers and challenges, and opportunities)
Federal Deposit Insurance Corporation. (2019). Economic Inclusion Strategic Plan.
Federal Deposit Insurance Corporation. (2007). A Longitudinal Evaluation of the Intermediate-
term Impact of the Money Smart Financial Education Curriculum upon ConsumersBehavior
and Confidence.
2. What is the broader research landscape saying about successes and
challenges/barriers in getting the unbanked and underbanked banked nationally?
Boel, P. & Zimmerman, P. (2022). Unbanked in America: A Review of the Literature. Economic
Commentary 2022-07. Federal Reserve Bank of Cleveland.
Burhouse, S., Navarro, B., Osaki, Y. (2016). Opportunities for Mobile Financial Services to
Engage Underserved Consumers: Qualitative Research Findings. Federal Deposit Insurance
Corporation.
Elmi, S., Kohli, S., and Lopez, B. (2023). The Price of Entry: Banking in America. Aspen Institute.
Federal Deposit Insurance Corporation. (2022). 2021 FDIC National Survey of Unbanked and
Underbanked Households. https://www.fdic.gov/analysis/household-survey/2021report.pdf
.
Government Accountability Oice. (2023). Financial Technology: Products have Benefits and
Risks to Underserved Consumers, and Regulatory Clarity is Needed. (GAO 23-105536.)
Hayashi, F., & Minhas, S. (2018). Who Are the Unbanked? Characteristics Beyond Income.
Economic Review, Federal Reserve Bank of Kansas City, 103(2), 55-70.
National Federation of Community Development Credit Unions. (2016). Beyond Financial
Access: Striving for Deeper Immigrant Financial Inclusion (p. 52). National Federation of
Community Development Credit Unions.
http://www.inclusiv.org/wp-
content/uploads/2017/07/Federation_Immigration-Report_r4_WEB_singlepages.pdf.
White, L. (2020). The Community Reinvestment Act at 40: Why Is It Still Necessary to Lean on
Banks? Housing Policy Debate, 30(1), 110-115. https://doi.org/10.1080/10511482.2019.1665832.
ECONOMIC INCLUSION STRATEGIC PLAN
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3. What does the literature say about how banks respond to the Community
Reinvestment Act?
Avramidis, P., Pennacchi, G., Serfes, K., Wu, K. (2022). The Role of Regulation and Bank
Competition in Small Firm Financing: Evidence from the Community Reinvestment Act.
Journal of Money, Credit and Banking, 54(8), 2301-2340. https://doi.org/10.1111/jmcb.12938
.
Ding, L., & Nakamura, L. (2021). Don't Know What You Got till Its Gone”: The Community
Reinvestment Act in a Changing Financial Landscape. Journal of Real Estate Research, 43(1),
96-122.
Ding, L., & Reid, C. K. (2020). The Community Reinvestment Act (CRA) and Bank Branching
Patterns. Housing Policy Debate, 30(1), 27-45.
Long, M. (2020). Informal Borrowers and Financial Exclusion: The Invisible Unbanked at the
Intersections of Race and Gender. The Review of Black Political Economy 47(4), 363-403.
White, L. (2020). The Community Reinvestment Act at 40: Why Is It Still Necessary to Lean on
Banks? Housing Policy Debate, 30(1), 110-115. https://doi.org/10.1080/10511482.2019.1665832
.
Zuluaga, D., & Forrester, A. C. (2020). The Impact of the Community Reinvestment Act on
Neighborhood Gentrification. Quarterly Journal of Finance & Accounting, 58(3).
4. Is financial education effective? How effective is financial education broadly in
changing consumer behavior? What do we know about the efficacy of financial education
in getting the unbanked and underbanked banked?
Al-Bahrani, A., Weathers, J., & Patel, D. (2019). Racial Dierences in the Returns to Financial
Literacy Education. The Journal of Consumer Affairs, 53(2), 572-599. doi:10.1111/joca.12205.
Davis, H., & Hasler, A. (2021). Testing the Use of the Mint App in an Interactive Personal Finance
Module. Global Financial Literacy Excellence Center.
https://gflec.org/wp-
content/uploads/2021/02/Mint-Report-Final-Version-February-10-2021.pdf?x73402.
Elliott, D., Theodos, B., Teles, D., Adaeze, O., & Docter B. (2020). An Evaluation of the $tand By
Me® Financial Coaching Program. Urban Institute.
https://www.urban.org/sites/default/files/publication/103036/an-evaluation-of-the-tand-by-
me-financial-coaching-program_0.pdf.
Kaiser, T., & Menkho, L. (2017). Does Financial Education Impact Financial Literacy and
Financial Behavior, and If So, When? (DIW Berlin Discussion Paper No. 1562). German Institute
for Economic Research. http://dx.doi.org/10.2139/ssrn.2753510
.
Kaiser, T., Lusardi, A., Menkhoff, L., & Urban, C. J. (2021). Financial Education Aects Financial
Knowledge and Downstream Behaviors. Journal of Financial Economics.
https://doi.org/10.1016/j.jfineco.2021.09.022
.
ECONOMIC INCLUSION STRATEGIC PLAN
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Kim, K. T., & Xiao, J. (2020). Racial/Ethnic Differences in Consumer Financial Capability: The
Role of Financial Education. International Journal of Consumer Studies, 45, 379-395.
https://doi.org/10.1111/ijcs.12628
Langholz, K., & Selby, C. (2019). Promoting Financial Empowerment Through Building Native
Communities: Financial Skills for Families. Oweesta. https://www.oweesta.org/wp-
content/uploads/2019/10/Oweesta-Key-Bank-Report-2019-Digital-Edition.pdf.
Pense, R. G. (2021). The Impact of Financial Education on the Lives of Cherokee Nation
Citizens. Dissertation, Walden University, College of Management and Technology.
Short, K. J. (2020). Knowledge is Power”: The Eect of Peer-Led Financial Education on
Financial Stress among Graduate Students. University of Georgia, Department of Financial
Planning, Housing and Consumer Economics.
https://esploro.libs.uga.edu/esploro/outputs/9949365653202959
.
Walker, J. T., Bocian, D. G., DeMarco, D. & Freeman, B. (2018). Understanding the Pathways to
Financial Well-Being. Abt Associates. https://www.abtassociates.com/sites/default/files/2018-
09/FWB%20Report%202_Final_180709.pdf.
Wagner, J., & Walstad, W. B. (2019). The Effects of Financial Education on Short-Term and Long-
Term Financial Behaviors. The Journal of Consumer Affairs, 53, 234-259.
doi:10.1111/joca.12210.
5. What are promising practices, strategies, or products being used to help LMI families
build savings?
Ain, J., Iwry, J. M., Newville, D. (2018). Saving for Now & Saving for Later: Rainy Day Savings
Accounts to Boost Low-Wage WorkersFinancial Security. Prosperity Now.
Aspen Institute. (2019). Short-Term Financial Stability: A Foundation for Security and Well-
Being. Aspen Institute Financial Security Program.
Azzolini, D., McKernan, S. M., & Martinchek, K. (2020). Households with Low Incomes Can Save:
Evidence and Lessons from Matched Savings Programs in the US and Italy. Urban Institute.
Cohen, P., Landry, S., Grober-Morrow, M., Ivila, I., and Chan, P. (2020). Saving for Now, Soon and
Later: How Savings Products Can Better Meet the Needs of Low- to Middle-Income Individuals.
Prosperity Now & Prudential Foundation.
Cohen, P., Landry, S., & Sueiro, S. (2019). Part One: The Savings Crisis and the Need for Holistic
Solutions. Prosperity Now.
Commonwealth. (2020). Emergency Savings Features that Work for Employees Earning Low to
Moderate Incomes. Commonwealth and Defined Contribution Institutional Investment
Association (DCIIA).
ECONOMIC INCLUSION STRATEGIC PLAN
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Consumer Financial Protection Bureau. (2019). Planning for Tax-Time Savings: Innovation
Insights.
Consumer Financial Protection Bureau, Office of Community Affairs. (2018). Building a Brighter
Future by Saving at Tax Time.
Commonwealth & SaverLife. (2022). Accounting for Emergencies: Low- to Moderate-Income
Household Perceptions on the Relationship between Emergency Savings and Retirement
Savings. Commonwealth.
Dunn, A., & Johnson, H. (2022). Building Consumer Savings with Fintech Innovations Savings
Are a Critical Component of Financial Health, and New Approaches Can Encourage Consumer
Savings. Financial Health Network.
https://finhealthnetwork.org/wp-
content/uploads/2022/07/Building-Consumer-Savings-with-Fintech-Innovations-2022.pdf.
Johnson, H. & Celik, N. (2021). Targeting Small-Dollar Savings Suggestions to Low-Balance
Customers. Financial Health Network.
Landry, S. (2019). Part Two: Savings Solutions. Prosperity Now.
Landry, S. (2019). Part Three: Savings Solutions Features. Prosperity Now.
Landry, S. (2019). Part Four: Consumer Experience of Savings Solutions. Prosperity Now.
McKay, K. (2021). Eight Truths about Savings and Four Principles for Inclusion. Aspen Institute
Financial Security Program.
Sueiro, S., & Cohen, P. (2019). Part Five: Delivering Savings Solutions. Prosperity Now.
6. What small-dollar loan pilots are identified in the literature, and what barriers or
challenges do they face?
Bank of America. Balance AssisCan Help with Unexpected Expenses.
https://promotions.bankofamerica.com/deposits/balance-assist.
Bank of America. (2021). Bank of America SafeBalance Banking Surpasses Three Million Client
Accounts; New Balance Assist Offering to Surpass 100,000 Loans in Less Than a Year.
https://newsroom.bankofamerica.com/content/newsroom/press-releases/2021/09/bank-of-
america-safebalance-banking-surpasses-three-million-clie.html.
Financial Health Network. (2020). Industry Insights: How Financial Institutions Can Structure
Small-Dollar Credit for Financial Health. Financial Health Network.
Hahn, H., Quakenbush, C., Martincheck, K., McKernan, S., Sarver, S. (2020). Employer-
Sponsored Small-Dollar Loans. Urban Institute.
Huntington. Standby Cash. https://www.huntington.com/Personal/checking/standby-cash
ECONOMIC INCLUSION STRATEGIC PLAN
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Huntington Bancshares Inc. (2021). Huntington Launches Standby Cash(SM) to Give Eligible
Customers an Instant Line of Credit for Unexpected Expenses.
https://www.prnewswire.com/news-rel
eases/huntington-launches-standby-cashsm-to-give-
eligible-customers-an-instant-line-of-credit-for-unexpected-expenses-301302362.html.
Sutaria, N., Townsend Kiernan, K., Miller, S. (2022). Partnerships between Community
Development Financial Institutions and Workforce Development Organizations. Federal
Reserve Bank of Atlanta.
Veling, J. (2023). Wells Fargo Flex Loan: 2023 Review.
7. What promising practices and strategies are financial institutions (including banks,
nonprofits, and fintech companies) using to engage underserved consumers outside of
account opening?
Balyuk, T. (2023). FinTech Lending and Bank Credit Access for Consumers. Management
Science 69(1):555-575.
Cornelli, G., Frost, J., Gambacorta, L., Jagtiani, J. (2022). The Impact of Fintech Lending on
Credit Access for U.S. Small Businesses. (BIS Working Papers No 1041).
Di Maggio, M., Ratnadiwakara, D., Carmichael, D. (2022). Invisible Primes: Fintech Lending with
Alternative Data. (National Bureau of Economic Research Working Paper 29840).
Government Accountability Oice. (2023). Financial Technology: Products Have Benefits and
Risks to Underserved Consumers, and Regulatory Clarity Is Needed. (GAO-23-105536).
Payments Dive. (2020). PrimaHealth Credit Launches ‘Buy Now, Pay LaterSolution for credit-
Challenged Patients. Industry Dive.
https://www.paymentsdive.com/ex/mpt/news/primahealth-credit-launches-buy-now-pay-
later-solution-for-credit-challenged-patients/?.
Relevant Executive Orders
Exec. Order No. 13985, 86 Fed. Reg. 14 (January 20, 2021).
https://www.federalregister.gov/documents/2021/01/25/2021-01753/advancing-racial-equity-
and-support-for-underserved-communities-through-the-federal-government
Exec. Order No. 14031, 86 Fed. Reg. 105 (May 28, 2021).
https://www.federalregister.gov/documents/2021/06/03/2021-11792/advancing-equity-
justice-and-opportunity-for-asian-americans-native-hawaiians-and-pacific-islanders
Exec. Order No. 14045, 86 Fed. Reg. 177 (September 13, 2021).
https://www.federalregister.gov/documents/2021/09/16/2021-20165/white-house-initiative-
on-advancing-educational-equity-excellence-and-economic-opportunity-for
ECONOMIC INCLUSION STRATEGIC PLAN
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Exec. Order No. 14049, 86 Fed. Reg. 196 (October 11, 2021).
https://www.federalregister.gov/do
cuments/2021/10/14/2021-22588/white-house-initiative-
on-advancing-educational-equity-excellence-and-economic-opportunity-for
Exec. Order No. 14050, 86 Fed. Reg. 202 (October 19, 2021).
https://www.federalregister.gov/documents/2021/10/22/2021-23224/white-house-initiative-
on-advancing-educational-equity-excellence-and-economic-opportunity-for-black
Other Relevant Literature
Federal Deposit Insurance Corporation. (n.d.). #GetBanked. Retrieved April 24, 2023, from
https://www.fdic.gov/getbanked/.
Accion Venture Lab. (2020, November 18). Win from Within: How Fintech Startups Can Grow by
Building Value for Existing Users. https://www.accion.org/win-from-within-how-fintech-
startups-can-grow-by-building-value-for-existing-users.
Aspen Institute. (2020). The Cycle of Savings: What We Gain When We Understand Savings as a
Dynamic Process. Aspen Institute Financial Security Program.
https://www.aspeninstitute.org/wp-content/uploads/2020/09/The-Cycle-of-Savings.pdf
.
Barcellos, S., & Zamarro, G. (2021). Unbanked Status and Use of Alternative Financial Services
among Minority Populations. Journal of Pension Economics and Finance, 20, 468-481.
doi:10.1017/S1474747219000052.
Calem, P., Lambie-Hanson, L. & Wachter, S. (2019). Is the Community Reinvestment Act Still
Relevant to Mortgage Lending? Housing Policy Debate 30(1), 46-60. doi:10.2139/ssrn.3445415.
Chen, Z., & Friedline, T. (2022). Make the Invisible Underbanked Visible: Who Are the
Underbanked? Journal of Financial Counseling and Planning, 33(2), 160-170. doi:10.1891/JFCP-
2021-0046.
Congressional Research Service. (2022, July 29). Big Tech in Financial Services.
https://crsreports.congress.gov/product/pdf/R/R47104/3
.
Di Maggio, M., Ma, A., Williams, E. (2020). In the Red: Overdras, Payday Lending and the
Underbanked. National Bureau of Economic Research. (Working Paper 28242).
http://www.nber.org/papers/w28242
.
Dlugosz, J., Melzer, B., & Morgan, D. P. (2021, June 1). Who Pays the Price? Overdra Fee
Ceilings and the Unbanked. Federal Reserve Bank of New York Staff Report, (973).
https://www.newyorkfed.org/research/sta_reports/sr973.html
.
Federal Deposit Insurance Corporation. (n.d.). Affordable Mortgage Lending Center: Federal
Agencies and Government Sponsored Enterprises Programs & Products. Retrieved April 24,
2023, from
https://www.fdic.gov/resources/bankers/aordable-mortgage-lending-
center/products.html.
ECONOMIC INCLUSION STRATEGIC PLAN
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Federal Deposit Insurance Corporation. (n.d.). Bankers Resource Center: Affordable Mortgage
Lending Center. Retrieved April 24, 2023, from
https://www.fdic.gov/resources/bankers/affordable-m
ortgage-lending-center/index.html
.
Federal Deposit Insurance Corporation. (2017). Creating Youth Savings Programs in Your
Community. Retrieved April 4, 2023, from https://www.fdic.gov/resources/consumers/youth-
banking-resource-center/documents/ys-roadmap.pdf.
Federal Deposit Insurance Corporation. (2022). Executive Summary: 2021 FDIC National Survey
of Unbanked and Underbanked Households. Retrieved April 13, 2023, from
https://www.fdic.gov/analysis/household-survey/2021report.pdf
.
Federal Deposit Insurance Corporation.(2023, February 27). FDIC Money Smart Resources.
Retrieved April 13, 2023, from https://www.fdic.gov/resources/consumers/money-
smart/index.html.
Federal Deposit Insurance Corporation. (n.d.). FDIC Money Smart Resources: How Money
Smart Are You? Retrieved April 23, 2023, from https://playmoneysmart.fdic.gov/games.
Federal Deposit Insurance Corporation. (n.d.). FDIC Money Smart Resources: Learn Money
Smart. Retrieved April 24, 2023, from https://www.fdic.gov/resources/consumers/money-
smart/learn-money-smart/index.html.
Federal Deposit Insurance Corporation. (n.d.). FDIC Money Smart Resources: Teach Money
Smart. Retrieved April 23, 2023, from https://www.fdic.gov/resources/consumers/money-
smart/teach-money-smart/index.html.
Federal Deposit Insurance Corporation. (2022, October 11). FDIC Youth Banking Resource
Center. Retrieved April 13, 2023, from https://www.fdic.gov/resources/consumers/youth-
banking-resource-center/index.html.
Federal Deposit Insurance Corporation. (2021, March 19). FDIC Youth Banking Resource Center:
The Promise of Youth Savings Programs. Retrieved April 13, 2023, from
https://www.fdic.gov/resources/consumers/youth-banking-resource-center/the-promise-of-
youth-savings-programs.html.
Federal Deposit Insurance Corporation. (n.d.). FDIC Youth Employment Resource Center.
Retrieved April 24, 2023, from https://www.fdic.gov/resources/consumers/youth-employment-
resource-center/index.html.
Federal Deposit Insurance Corporation. (2017). Guide to Organizing Reality Fairs. Retrieved
April 4, 2023, from https://www.fdic.gov/resources/consumers/money-smart/organizing-
reality-fairs/documents/guide-to-organizing-reality-fairs.pdf.
Federal Deposit Insurance Corporation. (n.d.). Inclusion: Alliance for Economic Inclusion.
Retrieved April 24, 2023, from https://www.fdic.gov/consumers/community/aei/.
ECONOMIC INCLUSION STRATEGIC PLAN
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Federal Deposit Insurance Corporation (2019). Minutes from the Advisory Committee on
Economic Inclusion, 2019-10
-22. Retrieved from https://www.fdic.gov/about/advisory-
committees/economic-inclusion/2019/2019-10-22-minutes.pdf
Federal Deposit Insurance Corporation. (n.d.). Welcome to the FDIC Knowledge Center.
Retrieved April 23, 2023, from https://ask.fdic.gov/fdicinformationandsupportcenter/s/public-
information?language=en_US.
Long, M. (2020). Informal Borrowers and Financial Exclusion: The Invisible Unbanked at the
Intersections of Race and Gender. The Review of Black Political Economy, 47(4), 363-403.
doi:10.1177/0034644620938620.
Rengert, K., & Rhine, S. (2016). Bank Efforts to Serve Unbanked and Underbanked Consumers:
Qualitative Research. Federal Deposit Insurance Company.
https://www.fdic.gov/consumers/community/research/qualitativeresearch_may2016.pdf
.
Toh, Y.L. (2022). Promoting Payment Inclusion in the United States. Payment System Research
Briefing. Federal Reserve Bank of Kansas City.
https://www.kansascityfed.org/research/payments-system-research-briefings/promoting-
payment-inclusion-in-the-united-states/.
Xu, X. (2019). The Underbanked Phenomena. Journal of Financial Economic Policy, 11(3), 385-
404. doi:10.1108/JFEP-09-2018-0125.