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1.
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We note your disclosure that management does not rely on any single source of liquidity and
monitors your liquidity level. We also note that your liquidity section only appears to describe and quantify FHLB advances as a liquidity source, and that your risk factors (10-K page 27) note that your liquidity contingency funding is
highly concentrated in FHLB funding. In future filings, please enhance your liquidity disclosures to, as applicable: (i) note and quantify any other liquidity sources; (ii) provide comparative discussion of uninsured deposits versus
available sources of liquidity; and (iii) discuss any policy guidelines or metrics related to managing liquidity (e.g., funding or coverage ratios, etc.) and uninsured deposits (e.g., internal limits on concentrations in uninsured or
brokered deposits, etc.).
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2.
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Given the significance of commercial real estate (“CRE”) in your total loan portfolio, please revise your
disclosures, in future filings, to further disaggregate the composition of your CRE loan portfolio by borrower type (e.g., by office, hotel, multifamily, etc.), geographic concentrations and other characteristics (e.g., current weighted
average and/or range of loan-to-value ratios, occupancy rates, etc.), if any. In addition, revise to describe the specific details of any risk management policies, procedures or other actions undertaken by management in response to the
current environment.
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3.
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We note your disclosures here and in Note 10 regarding increased brokered deposits as of
September 30, 2023 as compared to December 31, 2022, which primarily were to fund asset growth. We also note that your June 30, 2023 Form 10-Q filing refers to increased brokered CD issuances to manage your tightened liquidity position
during the first six months of 2023. Where applicable, please revise your disclosure in future filings to provide additional quantitative and qualitative information relating to your deposits, liquidity and risk management approach, such
as:
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stressors causing tightened liquidity and any resulting changes in your related management approach;
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changes in your deposit base and funding costs that are likely to result in material liquidity or funding cost
changes;
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any impact that deposit changes have on your liquidity and funding costs;
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any related negative impacts to net interest margin; and
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potential effects on liquidity and funding for deposits that fail to roll over.
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Sincerely,
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Scott W. Shockey
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Chief Financial Officer
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