| 1. | Adequacy of the bank's process on self-assessment 
    and write-off/allowance 
      
        | yAssessmentz |  
        |  | All banks were found to have properly established 
        the process for self-assessment and write-off/allowance, and are expected to continue 
        their effort toward further strengthening and solidification. |  
        | yFlow of operation z |  
        |  | In general, the evaluation process - from 
        self-assessment to the write-off/allowance - is as follows: 1) branches carry out the 
        primary self-assessment at the end of December; 2) the credit risk management department 
        of the head office carries out the secondary self-assessment; and 3) the credit audit 
        department audits the secondary self-assessment. Also, 4) the correction process is 
        carried out in the likewise order from January to March; and 5) further amendments are 
        added to the result to take account of changes occurred during April to June. For 
        write-off/allowance, this aforementioned self-assessment is used as its base. Planning 
        division in accounting department may also be involved in the process. |  @ | 
  
    | 2. | Adequacy of self-assessment standards 
      
        | yAssessmentz |  
        |  | Banks' self-assessment standards were generally 
        consistent with the FSA's "Asset-Quality Assessment" guidelines, although some 
        minor problems were found in majority of the banks. |  
        | yProblematic Pointsz |  
        |  | (Examples of problems: one or a few banks came 
        under examples.) |  
        |  | 
          
            | 1) | Existence of rule allowing the credit 
            classification of affiliated companies to be based on the parent company's classification, 
            without taking into account of their financial situation. |  
            | 2) | Existence of rule which allows deduction of 
            expected cash-flow returns from classified credits of gNeed Attention" debtors, without taking 
            into account their financial situation. |  
            | 3) | Absence of rule to classify differential between 
            prospective collectable amounts of the collaterals and their estimated market prices, for 
            "Effectively Bankrupt" or "In Danger of Bankruptcy" debtors, as 
            category 3. |  @ |  | 
  
    | 3. | Adequacy of write-off/allowance standards 
      
        | yAssessmentz |  
        |  | Banks' standards of write-off/allowance were 
        generally in line with the Japanese Institute of Certified Public Accountants' guidelines 
        of the gInstructions for examination of internal control on the 
        financial institutions' self-assessment of assets, and auditing of bad debt 
        write-off/allowance", although some minor problems were found in majority of the 
        banks. |  
        | yProblematic Pointsz |  
        |  | (examples of problems: one or a few banks came 
        under examples.) |  
        |  | 
          
            | 1) | Application of separate rule for credits to 
            affiliated non-banks which allows their exclusion from general write-off/allowance rule. |  
            | 2) | Absence of self-assessment rule to subject category 3 credits to "Effectively Bankrupt" debtors to a full 
            write-off. |  
            | 3) | Calculation of historical loss rates by 
            disregarding majority of data as "abnormal" cases. |  @ |  | 
  
    | 4. | Accuracy of self-assessment results 
      
        | yAssessmentz |  
        |  | Errors in classification were found in all banks, 
        particularly with regard to banks' affiliates and major debtors. |  
        | yProblematic points: a bank or a few banks came under examples. z |  
        |  | 
          
            | 1) | Banks' affiliates were classified as 
            "Normal", "Needs Attention", or "Other" debtors, without 
            taking into account their financial situation. |  
            | 2) | Major debtors of the bank or affiliated companies 
            of other banks were either not classified or classified as category 2, 
            without talking into account their financial situation. |  
            | 3) | Self-assessment was based on inadequate credit 
            rating systems. |  
            | 4) | The correction process after the primary 
            self-assessment was inadequately carried out. |  |  | 
  
    | 5. | Adequacy of write-off/allowance results 
      
        | yAssessmentz |  
        |  | Additional amount of write-off/allowance was 
        required for all banks, mainly due to the inaccuracy of banks' self-assessment, and also 
        to faults in their write-off/allowance standards. |  
      
        | (billion yens, %) |  
        | 
          
            | Credits (1)
 | FSA 
            assessed write-off / allowance amount (2)
 | Self - 
            assessed write-off / allowance amount (3)
 | Additional 
            amount of write-off / allowance required (4)=(2)-(3)
 | Insufficiency 
            ratio (4)/(1)
 |  
            | 394,207.9 | 8,606.0 | 7,564.7 | 1,041.3 | 0.26 | 
          
            | Note: | eThe FSA 
            assessed write-off/allowance amount (2)' is calculated on the basis of banks' 
            write-off/allowance standards. |  |  | 
  
    |  | @  
    Adequacy of write-off/allowance 
      
        | (Insufficiency ratio) | (Number of banks) |  
        |  | less than 0.15% | 7 banks |  
        |  | 0.15 `less than 0.35% | 4 banks |  
        |  | 0.35% and over | 6 banks |  @ | 
  
    | 6. | Adequacy of disclosure 
      
        | yAssessmentz |  
        |  | Non-performing loans were adequately disclosed 
        following the previous@disclosure standard of non-performing 
        loan, although some omission or oversight were found . As from March 1998, banks also disclosed "risk-management loans "according to 
        the new the disclosure standard set by the Zenginkyo. The "restructured loans", 
        however, were found to have been disclosed in a unified manner, due to the difference in 
        definitions of the term employed by banks.
 |  
        | yProblematic pointsz |  
        |  | (New disclosure standard) |  
        |  | Examples of disclosure standard of 
        "restructured loans" used by banks: |  
        |  | 
          
            | 1) | The disclosure for spread lending in 
            "restructured loans" was limited to those with interest spread smaller than 0%, 
            or 0.125 %. (The disclosure standard for the spread lending set by banks ranged from 0.0% 
            to 0.375%.) |  
            | 2) | The long and short term prime rate lending was not 
            disclosed. |  @ |  |