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1st Quarter, 2014 Report www.dcul.org SVP of Regulatory Advocacy, Mary Dunn, speaks at GAC. Revising NCAA Risked Capital Proposal Is No. 1 Priority Tunas Regulatory Advocacy teams No. 1 priority is
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How to fill out revising NCUA's Risk-Based Capital:

01
Familiarize yourself with the NCUA's Risk-Based Capital regulation and guidelines. This will help you understand the requirements and ensure compliance.
02
Collect all relevant financial data and information about your credit union. This may include balance sheets, income statements, loan portfolio information, and other financial performance indicators.
03
Use the NCUA's risk-based capital calculator or software to enter the necessary data. This tool will help you calculate the risk-based capital ratio and determine if your credit union meets the required thresholds.
04
Review the calculated results and assess if any adjustments or revisions are needed to improve your credit union's risk-based capital ratio. This may involve analyzing your loan portfolio, capital adequacy, and risk management strategies.
05
Document and provide any supporting information or explanations required by the NCUA. This could include narrative explanations for certain risk categories, details about mitigation strategies, and any other relevant documentation.
06
Submit the completed revising NCUA's Risk-Based Capital form or report, along with any attachments or supporting documents, to the appropriate NCUA office or designated authority.

Who needs revising NCUA's Risk-Based Capital?

01
Credit unions regulated by the National Credit Union Administration (NCUA) need to revise their risk-based capital. This includes federally-insured credit unions in the United States.
02
Credit union management, particularly those responsible for financial analysis, risk management, and regulatory compliance, should be involved in revising NCUA's Risk-Based Capital.
03
NCUA examiners and auditors may also request credit unions to revise their risk-based capital when conducting examinations or assessments to ensure regulatory compliance and financial soundness.
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Revising NCUA's risk-based capital involves updating and adjusting the capital requirements for credit unions to address risks.
Credit unions are required to file revising NCUA's risk-based capital based on their risk profile and asset size.
To fill out revising NCUA's risk-based capital, credit unions must provide detailed information on their assets, liabilities, and risk exposure.
The purpose of revising NCUA's risk-based capital is to ensure that credit unions maintain adequate capital to cover potential losses.
Credit unions must report information on their balance sheet, risk-weighted assets, capital ratios, and risk management practices.
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