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Capital Requirements
12 Months Ended
Dec. 31, 2025
Capital Requirements  
Capital Requirements

(18) Capital Requirements

Bank regulatory agencies limit the amount of dividends, which the Subsidiary Banks can pay, without obtaining prior approval from such agencies. At December 31, 2025, the Subsidiary Banks could pay dividends of up to $1,644,000,000 without prior regulatory approval and without adversely affecting their “well-capitalized” status under regulatory capital rules in effect at December 31, 2025. In addition to legal requirements, regulatory authorities also consider the adequacy of the Subsidiary Banks’ total capital in relation to their deposits and other factors. These capital adequacy considerations also limit amounts available for payment of dividends. We historically have not allowed any Subsidiary Bank to pay dividends in such a manner as to impair its capital adequacy.

We and the Subsidiary Banks are subject to various regulatory capital requirements administered by the federal banking agencies. Failure to meet minimum capital requirements can initiate certain mandatory and possibly additional discretionary actions by regulators that, if undertaken, could have a direct material effect on our consolidated financial statements. Under capital adequacy guidelines and the regulatory framework for prompt corrective action, we must meet specific capital guidelines that involve quantitative measures of our assets, liabilities, and certain off-statement of condition items as calculated under regulatory accounting practices. Our capital amounts and classification are also subject to qualitative judgments by the regulators about components, risk weightings, and other factors.

Current quantitative measures established by regulation to ensure capital adequacy require us to maintain minimum amounts and ratios (set forth in the table on the following page) of Total and Tier 1 capital to risk-weighted assets and of Tier 1 capital to average assets. Management believes, as of December 31, 2025, that we met all capital adequacy requirements to which we are subject.

       In July 2013, the FDIC and other regulatory bodies established a new, comprehensive capital framework for U.S. banking organizations, consisting of minimum requirements that increase both the quantity and quality of capital held by banking organizations. The final rules are a result of the implementation of the Basel III capital reforms and various related capital provisions of the Dodd-Frank Act. Consistent with the Basel international framework, the rules include a new minimum ratio of Common Equity Tier 1 (“CET1”) capital to risk-weighted assets of 4.5% and a CET1 capital conservation buffer of 2.5% of risk-weighted assets, effectively resulting in a minimum ratio of CET1 capital to risk-weighted assets of at least 7% upon full implementation. The capital conservation buffer is designed to absorb losses during periods of economic stress.  Banking institutions with a  ratio of CET1 capital to risk-weighted assets above the minimum but below the conservation buffer will face constraints on dividends, equity repurchases, and compensation based on the amount of the shortfall.  The rules also raised the minimum ratio of Tier 1 capital to risk-weighted assets from 4% to 6% and include a minimum leverage ratio of 4% for all banking organizations. Regarding the quality of capital, the rules emphasize CET1 capital and implements strict eligibility criteria for regulatory capital instruments. The rules also improve the methodology for calculating risk-weighted assets to enhance risk sensitivity. The rules were subject to a four-year phase-in period for mandatory compliance, and we were required to begin to phase-in the new rules beginning on January 1, 2015. We believe that as of December 31, 2025, we meet all fully phased-in capital adequacy requirements.

In November 2017, the OCC, the FRB and the FDIC finalized a proposed rule that extends the current treatment under the regulatory capital rules for certain regulatory capital deductions and risk weights and certain minority interest requirements, as they apply to banking organizations that are not subject to the advanced approaches capital rules. Effective January 1, 2018, the rule also paused the full transition to the Basel III treatment of mortgage servicing assets, certain deferred tax assets, investments in the capital of unconsolidated financial institutions and minority interests. The agencies are also considering whether to make adjustments to the capital rules in response to CECL (the FASB Standard relating to current expected credit loss) and its potential impact on regulatory capital.  Pursuant to rules issued by the federal bank regulatory agencies in February 2019 and March 2020, banking organizations were given options to phase in the adoption of CECL over a three-year transition period through December 31, 2022 or over a five-year transition period through December 31, 2025.  Rather than electing to make one of the phase-in options, we immediately recognized the capital impact upon adopting CECL accounting standards on January 1, 2020, which resulted in an increase in our allowance for probable loan losses and a one-time cumulative-effect adjustment to retained earnings upon adoption.

In December 2017, the Basel Committee on Banking Supervision unveiled its final set of standards and reforms to its Basel III regulatory capital framework, commonly called “Basel III Endgame” or “Basel IV.”  The Basel IV

framework makes changes to the capital framework first introduced as “Basel III” in 2010 and aim to reduce excessive variability in banks’ calculations of risk-weighted capital ratios. Implementation of Basel IV across the Basel Committee’s member jurisdictions began on January 1, 2023 and will continue over a five-year transition period by regulators in individual countries, including the U.S. federal bank regulatory agencies. The U.S. regulators originally targeted implementation of Basel IV to begin on July 1, 2025, subject to a three-year transition period with full compliance expected by July 1, 2028. However, the future implementation of Basel IV remains unclear, as the Federal Reserve continues to review the Basel IV rules and has indicated that it may craft a new risk-based capital rule that would be less onerous for banks and require less stringent capital requirements. Most recently, in September 2025, the federal banking agencies indicated that they intend to unveil a re-proposal of the Basel IV capital rules by early 2026.  Accordingly, the previously established implementation dates for Basel IV are no longer definitive, and the timing, scope, and final form of the re-proposed Basel IV framework remains uncertain.

As of December 31, 2025, our capital levels continue to exceed all capital adequacy requirements under the Basel III Capital Rules as currently applicable to us.

On May 24, 2018, the Economic Growth, Regulatory Relief and Consumer Protection Act of 2018 (“EGRRCPA”) was enacted, and, among other things, it includes a simplified capital rule change which effectively exempts banks with assets of less than $10 billion that exceed the “community bank leverage ratio,” from all risk-based capital requirements, including Basel III and its predecessors. The federal banking agencies established the “community bank leverage ratio” (a ratio of tangible equity to average consolidated assets) at 9%, which became effective on January 1, 2020, and qualifying community banks may elect to take advantage of this regulatory relief provision. Some of our Subsidiary Banks, with assets of less than $10 billion, may qualify for this exemption. Additionally, under the EGRRCPA, qualified bank holding companies with assets of up to $3 billion will be eligible for the FRB’s Small Bank Holding Company and Savings and Loan Holding Company Policy Statement, which eases limitations on the issuance of debt by holding companies. On August 28, 2018, the FRB issued an interim final rule expanding the applicability of its Small Bank Holding Company Policy Statement. While holding companies that meet the conditions of the policy statement are excluded from consolidated capital requirements, their depository institutions continue to be subject to minimum capital requirements. Finally, for banks that continue to be subject to the Basel III’s risk-based capital rules (e.g., assignment of a 150% risk weight to certain exposures), certain commercial real estate loans that were formally classified as high volatility commercial real estate (“HVCRE”) are not subject to heightened risk weights if they meet certain criteria. Also, while acquisition, development, and construction loans are generally subject to heightened risk weights, certain exceptions apply. In November 2019, the federal banking agencies issued a final rule modifying the agencies’ capital rules for HVCRE, which became effective on April 1, 2020.

As of December 31, 2025, the most recent notification from the FDIC categorized all our Subsidiary Banks as well-capitalized under the regulatory framework for prompt corrective action. To be categorized as “well capitalized,” we must maintain minimum Total risk-based, Tier 1 risk-based, and Tier 1 leverage ratios as set forth in the table. There are no conditions or events since that notification that management believes have changed our categorization as well-capitalized.

Our actual capital amounts and ratios for 2025 under current guidelines are presented in the following table:

For Capital Adequacy

To Be Well-Capitalized

 

Purposes

Under Prompt Corrective

 

Actual

Phase In Schedule

Action Provisions

 

Amount

Ratio

Amount

Ratio

Amount

Ratio

 

(greater than

(greater than

(greater than

(greater than

 

or equal to)

or equal to)

or equal to)

or equal to)

 

(Dollars in Thousands)

 

As of December 31, 2025:

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

Common Equity Tier 1 (to Risk Weighted Assets):

Consolidated

$

3,215,422

23.36

%  

$

963,331

 

7.000

%  

N/A

 

N/A

International Bank of Commerce, Laredo

 

1,823,239

20.87

 

611,605

 

7.000

$

567,919

 

6.50

%

International Bank of Commerce, Brownsville

633,425

28.78

154,089

7.000

143,083

6.50

International Bank of Commerce, Oklahoma

 

243,414

20.69

 

82,360

 

7.000

 

76,477

 

6.50

Commerce Bank

 

86,658

31.63

 

19,180

 

7.000

 

17,810

 

6.50

International Bank of Commerce, Zapata

 

70,163

32.63

 

15,051

 

7.000

13,976

 

6.50

Total Capital (to Risk Weighted Assets):

Consolidated

$

3,452,837

25.09

%  

$

1,444,997

 

10.500

%  

N/A

 

N/A

International Bank of Commerce, Laredo

 

1,932,526

22.12

 

917,407

 

10.500

$

873,721

 

10.00

%

International Bank of Commerce, Brownsville

660,969

30.03

231,134

10.500

220,127

10.00

International Bank of Commerce, Oklahoma

 

254,835

21.66

 

123,539

 

10.500

 

117,657

 

10.00

Commerce Bank

 

89,515

32.67

 

28,769

 

10.500

 

27,399

 

10.00

International Bank of Commerce, Zapata

 

72,573

33.75

 

22,577

 

10.500

 

21,502

 

10.00

Tier 1 Capital (to Risk Weighted Assets):

Consolidated

$

3,289,921

23.91

%  

$

1,169,760

 

8.500

%  

 

N/A

 

N/A

International Bank of Commerce, Laredo

 

1,823,239

20.87

 

742,663

 

8.500

$

698,977

 

8.00

%

International Bank of Commerce, Brownsville

633,425

28.78

187,108

8.500

176,102

8.00

International Bank of Commerce, Oklahoma

 

243,414

20.69

 

100,008

 

8.500

 

94,125

 

8.00

Commerce Bank

 

86,658

31.63

 

23,289

 

8.500

 

21,920

 

8.00

International Bank of Commerce, Zapata

 

70,163

32.63

 

18,277

 

8.500

 

17,202

 

8.00

Tier 1 Capital (to Average Assets):

Consolidated

$

3,289,921

19.86

%  

$

662,702

 

4.00

%  

$

N/A

 

N/A

International Bank of Commerce, Laredo

 

1,823,239

18.58

 

392,594

 

4.00

 

490,743

 

5.00

%

International Bank of Commerce, Brownsville

633,425

14.17

178,829

4.00

223,536

5.00

International Bank of Commerce, Oklahoma

 

243,414

14.68

 

66,316

 

4.00

 

82,896

 

5.00

Commerce Bank

 

86,658

11.54

 

30,039

 

4.00

 

37,549

 

5.00

International Bank of Commerce, Zapata

 

70,163

13.43

 

20,898

 

4.00

 

26,123

 

5.00

Our actual capital amounts and ratios for 2024 are also presented in the following table:

To Be Well-Capitalized

For Capital Adequacy

Under Prompt Corrective

Actual

Purposes

Action Provisions

Amount

Ratio

Amount

Ratio

Amount

Ratio

 

(greater than

(greater than

(greater than

(greater than

 

or equal to)

or equal to)

or equal to)

or equal to)

 

(Dollars in Thousands)

 

As of December 31, 2024:

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

  ​ ​ ​

Common Equity Tier 1 (to Risk Weighted Assets):

Consolidated

$

2,893,228

22.42

%  

$

903,203

 

7.000

%  

N/A

 

N/A

International Bank of Commerce, Laredo

 

1,638,720

19.46

 

589,359

 

7.000

$

547,262

 

6.50

%

International Bank of Commerce, Oklahoma

554,879

26.11

148,761

7.000

138,136

6.50

International Bank of Commerce, Brownsville

 

240,023

20.57

 

81,679

 

7.000

 

75,845

 

6.50

International Bank of Commerce, Zapata

 

102,200

37.50

 

19,077

 

7.000

 

17,714

 

6.50

Commerce Bank

 

66,932

32.74

 

14,310

 

7.000

 

13,287

 

6.50

Total Capital (to Risk Weighted Assets):

Consolidated

$

3,136,215

24.31

%  

$

1,354,805

 

10.500

%  

N/A

 

N/A

%

International Bank of Commerce, Laredo

 

1,744,057

20.71

 

884,039

 

10.500

$

841,942

 

10.00

International Bank of Commerce, Oklahoma

578,515

27.22

223,142

10.500

212,516

10.00

International Bank of Commerce, Brownsville

 

254,659

21.82

 

122,519

 

10.500

 

116,685

 

10.00

International Bank of Commerce, Zapata

 

105,090

38.56

 

28,616

 

10.500

 

27,253

 

10.00

Commerce Bank

 

69,278

33.89

 

21,464

 

10.500

 

20,442

 

10.00

Tier 1 Capital (to Risk Weighted Assets):

%

Consolidated

$

2,974,881

23.06

%  

$

1,096,747

 

8.500

%  

 

N/A

 

N/A

International Bank of Commerce, Laredo

 

1,638,720

19.46

 

715,651

 

8.500

$

673,554

 

8.00

International Bank of Commerce, Oklahoma

554,879

26.11

180,639

8.500

170,013

8.00

International Bank of Commerce, Brownsville

 

240,023

20.57

 

99,182

 

8.500

 

93,348

 

8.00

International Bank of Commerce, Zapata

 

102,200

37.50

 

23,165

 

8.500

 

21,802

 

8.00

Commerce Bank

 

66,932

32.74

 

17,376

 

8.500

 

16,354

 

8.00

%

Tier 1 Capital (to Average Assets):

Consolidated

$

2,974,881

18.84

%  

$

631,755

 

4.00

%  

$

N/A

 

N/A

International Bank of Commerce, Laredo

 

1,638,720

17.67

 

370,911

 

4.00

 

463,639

 

5.00

International Bank of Commerce, Oklahoma

554,879

13.08

169,680

4.00

212,100

5.00

International Bank of Commerce, Brownsville

 

240,023

14.47

 

66,341

 

4.00

 

82,926

 

5.00

International Bank of Commerce, Zapata

 

102,200

13.53

 

30,219

 

4.00

 

37,774

 

5.00

Commerce Bank

 

66,932

13.44

 

19,917

 

4.00

 

24,896

 

5.00