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Regulatory Matters
12 Months Ended
Dec. 31, 2021
Regulatory Matters  
Regulatory Matters

Note 26—Regulatory Matters

The Company is subject to regulations with respect to certain risk-based capital ratios. These risk-based capital ratios measure the relationship of capital to a combination of balance sheet and off-balance sheet risks. The values of both balance sheet and off-balance sheet items are adjusted based on the rules to reflect categorical credit risk. In addition to the risk-based capital ratios, the regulatory agencies have also established a leverage ratio for assessing capital adequacy. The leverage ratio is equal to Tier 1 capital divided by total average consolidated on-balance sheet assets (minus amounts deducted from Tier 1 capital). The leverage ratio does not involve assigning risk weights to assets.

Under current regulations, the Company and the Bank are subject to a minimum ratio of common equity Tier 1 capital (“CET1”) to risk-weighted assets of 4.5%. and a minimum required ratio of Tier 1 capital to risk-weighted assets of 6%. The minimum required leverage ratio is 4%. The minimum required total capital to risk-weighted assets ratio is 8%.

In order to avoid restrictions on capital distributions and discretionary bonus payments to executives, under the new rules a covered banking organization is also required to maintain a “capital conservation buffer” in addition to its minimum risk-based capital requirements. This buffer is required to consist solely of CET1, and the buffer applies to all three risk-based measurements (CET1, Tier 1 capital and total capital). The capital conservation buffer became fully phased-in on January 1, 2019 and consists of an additional amount of Tier 1 common equity equal to 2.5% of risk-weighted assets.

The Bank is also subject to the regulatory framework for prompt corrective action, which identifies five capital categories for insured depository institutions (well capitalized, adequately capitalized, undercapitalized, significantly undercapitalized, and critically undercapitalized) and is based on specified thresholds for each of the three risk-based regulatory capital ratios (CET1, Tier 1 capital and total capital) and for the leverage ratio.

The following table presents actual and required capital ratios as of December 31, 2021 and December 31, 2020 for the Company and the Bank under the current capital rules. Capital levels required to be considered well capitalized are based upon prompt corrective action regulations.

 

Required to be

 

Minimum Capital

 

Considered Well

 

Actual

Required - Basel III

Capitalized

(Dollars in thousands)

    

Amount

    

Ratio

    

Capital Amount

    

Ratio

    

Capital Amount

    

Ratio

 

December 31, 2021:

    

    

    

    

    

    

Common equity Tier 1 to risk-weighted assets:

Consolidated

$

3,201,644

 

11.75

%  

$

1,906,831

7.00

%  

$

1,770,629

 

6.50

%  

SouthState Bank (the Bank)

 

3,431,069

 

12.62

%  

 

1,902,954

7.00

%  

 

1,767,029

 

6.50

%  

Tier 1 capital to risk-weighted assets:

Consolidated

 

3,201,644

 

11.75

%  

 

2,315,438

8.50

%  

 

2,179,236

 

8.00

%  

SouthState Bank (the Bank)

 

3,431,069

 

12.62

%  

 

2,310,730

8.50

%  

 

2,174,804

 

8.00

%  

Total capital to risk-weighted assets:

Consolidated

 

3,692,674

 

13.56

%  

 

2,860,247

10.50

%  

 

2,724,045

 

10.00

%  

SouthState Bank (the Bank)

 

3,594,099

 

13.22

%  

 

2,854,431

10.50

%  

 

2,718,505

 

10.00

%  

Tier 1 capital to average assets (leverage ratio):

Consolidated

 

3,201,644

 

8.05

%  

 

1,590,045

4.00

%  

 

1,987,556

 

5.00

%  

SouthState Bank (the Bank)

 

3,431,069

 

8.65

%  

 

1,587,212

4.00

%  

 

1,984,015

 

5.00

%  

December 31, 2020:

    

    

    

    

    

    

Common equity Tier 1 to risk-weighted assets:

Consolidated

$

3,010,174

 

11.77

%  

$

1,789,977

7.00

%  

$

1,662,122

 

6.50

%  

SouthState Bank (the Bank)

 

3,157,098

 

12.39

%  

 

1,784,113

7.00

%  

 

1,656,677

 

6.50

%  

Tier 1 capital to risk-weighted assets:

Consolidated

 

3,010,174

 

11.77

%  

 

2,173,544

8.50

%  

 

2,045,688

 

8.00

%  

SouthState Bank (the Bank)

 

3,157,098

 

12.39

%  

 

2,166,423

8.50

%  

 

2,038,987

 

8.00

%  

Total capital to risk-weighted assets:

Consolidated

 

3,642,039

 

14.24

%  

 

2,684,966

10.50

%  

 

2,557,110

 

10.00

%  

SouthState Bank (the Bank)

 

3,397,463

 

13.33

%  

 

2,676,170

10.50

%  

 

2,548,733

 

10.00

%  

Tier 1 capital to average assets (leverage ratio):

Consolidated

 

3,010,174

 

8.27

%  

 

1,455,139

4.00

%  

 

1,818,924

 

5.00

%  

SouthState Bank (the Bank)

 

3,157,098

 

8.71

%  

 

1,450,604

4.00

%  

 

1,813,255

 

5.00

%  

As of December 31, 2021 and 2020, the capital ratios of the Company and the Bank were well in excess of the minimum regulatory requirements and exceeded the thresholds for the “well capitalized” regulatory classification.

In June 2016, the FASB issued ASU No. 2016-13 which required an entity to utilize a new impairment model

known as the CECL model to estimate its lifetime “expected credit loss.” This standard was adopted and became effective on January 1, 2020 and the Company applied the provisions of the standard using the modified retrospective method as a cumulative-effect adjustment to retained earnings. Related to the implementation of ASU 2016-13, we recorded additional allowance for credit losses for loans of $54.4 million, deferred tax assets of $12.6 million, an additional reserve for unfunded commitments of $6.4 million and an adjustment to retained earnings of $44.8 million. Instead of recognizing the effects on regulatory capital from ASU 2016-13 at adoption, the Company initially elected the option for recognizing the adoption date effects on the Company’s regulatory capital calculations over a three-year phase-in. In March 2020, in response to the COVID-19 pandemic, the regulatory agencies provided an additional transitional method option of a two-year deferral for the start of the three-year phase-in of the recognition of the adoption date effects of ASU 2016-13 along with an option to defer the current impact on regulatory capital calculations of ASU 2016-13 during the first two years (“five-year method”). Under this five-year method, the Company would recognize an estimate of the previous incurred loss method for determining the allowance for credit losses in regulatory capital calculations and the difference from the CECL method would be deferred for two years. After two years, the effects from adoption date and the deferral difference from the first two years of applying CECL would be phased-in over three years using the straight-line method. The regulatory rules provide a one-time opportunity at the end of the first quarter of 2020 for covered banking organizations to choose its transition option for CECL. The Company chose the five-year method and is deferring the recognition of the effects from adoption date and the CECL difference from the first two years of application.