Category: Education

  • MIL-OSI United Kingdom: Popular Fit & Fed programme set to return to Plymouth this year

    Source: City of Plymouth

    Thousands of children in Plymouth will once again enjoy healthy lunches and activities at free ‘Fit and Fed’ holiday clubs this year.  

    Plymouth City Council has welcomed the confirmation of funding from the Department for Education’s Holiday Activities and Food (HAF) programme for 2025, which means the popular Fit and Fed programme will return during the Easter, summer and Christmas holidays.  

    The HAF programme aims to support families with children that receive benefits-related free school meals. Eligible children and young people are given the opportunity to get active, try new activities and enjoy healthy, nutritious meals at free clubs during the school holidays.  

    In 2024, more than 30,000 holiday club places were provided to children aged between 5 and 16 years old with a huge range of activities on offer including football, dance and water sports.  

    More than 1,000 ‘Teen Taster’ activity sessions were also offered specifically to teenagers, with activities including trampolining, bowling, go karting and adventure golf.  

    At Christmas, new family activities were also offered with 700 activity sessions for parents and carers to enjoy with their children for free, which included ice skating, swimming sessions and trips to the National Marine Aquarium.  

    Each summer, Fit and Fed goes on tour to parks and green spaces across the city to provide free fun days that are open to all families. Last year 2,750 healthy lunches were handed out at the four events, which also saw a number of local organisations provide advice on a huge range of topics including road safety, dental hygiene, healthy relationships and the cost of living.  

    Mini golf at Fit and Fed on Tour in Central Park

    Councillor Sue Dann, Cabinet Member for Customer Services, Sport, Leisure and HR and OD, said: “Fit and Fed is an incredibly important programme and we’re delighted to have received confirmation that the funding will continue this year because it offers vital support to families throughout the school holidays.  

    “Not only do children and young people receive a healthy lunch, they’re also given the opportunity to get physically active, meet new friends and make special memories and we know that this all has a hugely positive impact.”  

    One parent of a child who attended a Fit and Fed club last year commented: “I am extremely grateful that my daughter was given this opportunity. It has certainly helped to grow her confidence and self-esteem.” 

    Louise Kelley MBE, Head of Active Wellbeing and Sport at Plymouth Active Leisure, welcomed the news. She said: “This funding makes a really difference to families in Plymouth. We are all aware of the ongoing challenges many families in the city face with the cost of living, so having access to fun, enjoyable activities in a safe and supported environment are essential.” 

    More information about this year’s Fit and Fed programme will be shared on the Council’s website later this year: www.plymouth.gov.uk/fit-and-fed.  

    If any organisation or holiday club provider would like be involved in Fit and Fed this year, please contact the Active Lifestyles team at Plymouth Active on [email protected].  

    MIL OSI United Kingdom

  • MIL-OSI Economics: Benin: An African Pioneer 

    Source: International Monetary Fund

    Benin: An African Pioneer

    January 31, 2025

    Innovation and a strong reform drive have strengthened Benin’s resilience to regional and global challenges and supported progress toward meeting the Sustainable Development Goals.

    Benin faced a number of negative spillovers in 2022: a deteriorating regional security situation at its northern border, the lingering scars of COVID-19, and higher living costs amid the war in Ukraine. To help counter those headwinds, the country tapped IMF support, including a $650 million blended Extended Fund Facility (EFF) and Extended Credit Facility (ECF) arrangement, complemented by a $200 million Resilience and Sustainability Facility (RSF) in 2023. Development partners’ confidence in the country’s reform program has been reflected in budget support consistently exceeding expectations. Moreover, Benin was among the first countries to re-access the international capital market last year, following a two-year hiatus, with several sovereign credit rating upgrades in recent years.  

    Despite challenges, there are promising signs of economic transformation. Among other achievements, growth has been strong, fiscal adjustment is proceeding while allowing for a significant increase in social spending, and efforts to strengthen governance are gaining ground.

    Following the combined Fifth Review of the ongoing EFF/ECF arrangement and Second Review of the RSF, IMF Country Focus discussed the country’s economic performance with Romuald Wadagni, Senior Minister of State of Economy and Finance for Benin, and Constant Lonkeng, IMF Mission Chief for Benin.

    How is the current reform program affecting the daily lives of Beninese people?

    Finance Minister Wadagni: First and foremost, our ongoing reform program has allowed us to navigate an episode of severe and repeated shocks, with technical and financial support from our development partners. As a result, our economy has shown remarkable resilience, with growth averaging more than 6.5 percent in recent years.

    Economic resilience is helping harness the potential of Benin’s people. A key focus of our reform program is enhancing human capital, as articulated under our people-centric Government Action Program (PAG 2021–26).

    Our Integrated School Feeding Program currently provides free meals to students in 95 percent of elementary schools in rural areas (more than 1.3 million children), with full coverage targeted this year. Lower education is now tuition-free for girls across all of Benin’s 77 communes (estimated 2 million girls), with an ongoing pilot to extend to upper secondary school. We are also putting emphasis on technical education and vocational training to prepare our large youth population to seize job opportunities in high value-added activities.  

    More broadly, our flagship Insurance for Human Capital Enhancement (ARCH) seeks to foster social resilience through various programs including micro-credits, access to healthcare, and pensions. The social registry—established early on under the EFF/ECF with World Bank technical support—is an essential tool for targeting our support to the most vulnerable.  

    How has IMF engagement supported the authorities’ policy agenda?

    IMF Mission Chief Lonkeng: One key design consideration of Benin’s IMF-supported program was balancing financing and fiscal adjustment in a shock-prone environment. Considering Benin’s established track record in macroeconomic management, we opted for a flexible design—a vote of confidence from the IMF.  

    Frontloaded financing supported the country’s appropriately strong counter-cyclical policy response to severe shocks—the IMF disbursed more than 40 percent of the total financing envelope of about 400 percent of Benin’s quota in the first 6 months of the 42-month program to smooth out fiscal adjustment. The EFF/ECF was subsequently complemented by an RSF (120 percent of Benin’s quota) to help enhance the country’s overall socio-economic resilience.  

    The authorities have since been re-building policy space, with domestic revenue mobilization being a key part of this effort and, more broadly, the cornerstone of the authorities’ reform program. A frontloaded tax policy reform under the program complemented efforts to digitalize the tax system to boost revenue collection. As the chart shows, Benin’s tax-to-GDP ratio increased by more than 2 percentage points during 2022–24, far exceeding the average improvement of other countries in this timeframe. 

    There are promising signs of economic transformation. How are you achieving this and what lessons did you learn along the way?

    Finance Minister Wadagni: We first conducted an in-depth diagnostic of our economic and financial situation about a decade ago. We then embarked on a first wave of reforms to lay the foundations for structural transformation, cognizant of the fact that sound public finances, reliable energy, and infrastructure—including digital—are key prerequisites for sustained economic expansion.  

    The ongoing second wave of reforms seek to consolidate our initial achievements and climb up value chains by processing commodities locally. The Glo-Djigbé Industrial Zone—which is dedicated to the local transformation of agricultural products including cotton, cashews, and soybeans—plays a strategic role in this regard. We intend to further develop the zone and, more broadly, pursue the structural transformation of our economy, including through continued modernization and enhanced resilience of agriculture. We will also step up investment in unlocking Benin’s tourism potential and modernizing the Port of Cotonou.

    In doing all of the above, we will expand the social safety nets to reach as many vulnerable people as possible. A key lesson from our experience so far is that sound governance is critical in economic transformation.  

    Benin innovated with the issuance of the first Social Development Goal (SDG) bond in the region – and is now extending this framework to catalyze private climate finance. Can you elaborate?

    Finance Minister Wadagni: We developed an SDG bond framework around the country’s social and climate priorities as an integral part of our development finance strategy. The framework was initially used to issue a €500 million SDG bond in 2021, a first in the region. It has since facilitated the financing of key social and energy transition projects. We intend to leverage the SDG bond framework to catalyze financing for climate change adaptation, resilient agriculture, sustainable ecosystem management, and the energy transition.

    Relatedly, we secured climate financing pledges from our partners during the recent COP29, following the climate finance roundtable that we co-convened in Cotonou with the IMF and the World Bank.

    What has been the key to program engagement in your view, and what do you see as the main challenges ahead?   

    IMF Mission Chief Lonkeng: First and foremost, program ownership has been key. Benin has an established tradition of public consultation around the country’s reform agenda—under the National Development Plan and the Government Action Program. The Fund-supported program therefore had a solid homegrown foundation to build on.  

    Going forward, continued expansion of the tax base, drawing on the country’s recently developed medium-term revenue strategy, would help fund Benin’s large development needs (the country’s median age is 18), and improve the country’s capacity to carry debt and preserve debt sustainability.  

    On the structural front, a continued move away from the traditional transit-centered growth model—supported by a balanced social contract—would foster private sector job creation in higher value-added activities for the large youth population. Enhancing resilience to climate change and maintaining the digitalization drive would also support overall socio-economic resilience in the long-term. All of this would help raise the living standards of the Beninese in a sustained and inclusive manner.

    MIL OSI Economics

  • MIL-OSI Global: Beyond depression: surprising health conditions antidepressants can treat

    Source: The Conversation – UK – By Dipa Kamdar, Senior Lecturer in Pharmacy Practice, Kingston University

    Antidepressants can be useful for treating a wide range of conditions. Kmpzzz/ Shutterstock

    Antidepressants are typically prescribed to manage depression. But this isn’t the only reason you may be prescribed an antidepressant. In fact, they can have a broad range of effects, which makes them suitable for managing a range of other health conditions that aren’t necessarily related to mental health.

    Here are five health conditions you may be prescribed an antidepressant for.

    1. Chronic nerve pain

    Many antidepressants are believed to work by increasing the levels of chemicals in the brain called neurotransmitters – although the exact science is still unknown. In particular, they increase levels of serotonin and noradrenaline, which are linked to mood.

    These neurotransmitters are also linked to pain pathways. It’s for this reason that some people who experience nerve pain may be prescribed a tricyclic antidepressant – such as amitriptyline and nortriptyline.

    Studies show that low doses of these drugs may be effective in treating nerve pain. This pain is often described as a shooting, burning pain, which may radiate outwards.

    Sometimes patients also experience tingling and numbness. This type of pain is typically caused by nerve damage. Nerve pain can occur in people with diabetes (diabetic neuropathy), trigeminal neuralgia (facial pain) and multiple sclerosis.

    Studies show these antidepressants are more likely to relieve nerve pain compared to traditional painkillers such as ibuprofen or paracetamol. Duloxetine is another antidepressant that may be used.

    Amitriptyline is also sometimes used to prevent migraines, chronic tension headaches and to treat abdominal pain in irritable bowel syndrome.

    2. Urinary incontinence

    Antidepressants may also be helpful in managing urinary incontinence (unintentionally passing urine) and stress incontinence (passing urine when there’s pressure on the bladder from coughing, jumping, laughing or sneezing).

    In clinical trials of the antidepressant duloxetine (a serotonin noradrenaline reuptake inhibitor, or SNRI), the drug is shown to be useful in treating severe urinary incontinence in women. However, duloxetine is usually only prescribed by a specialist as a second-choice treatment after surgery.

    It’s thought duloxetine increases serotonin and noradrenaline in the spinal cord. This helps contract the muscle that regulates urine flow from the urethra to the bladder.

    An SNRI is typically only prescribed as a second-line treatment option for incontinence.
    CrizzyStudio/ Shutterstock

    In children who experience bedwetting (nocturnal enuresis), studies show a tricyclic antidepressant, such as imipramine, may be used. Similarly to duloxetine, this is only used if other treatments have been unsatisfactory.

    Imipramine may help with bedwetting as it relaxes the bladder muscle so children are less likely to release urine.

    3. Eating disorders

    Bulimia is an eating disorder characterised by purging (for example, making themselves vomit) and binge eating. As it’s a complex mental health disorder, the first-choice treatment is psychotherapy. But fluoxetine, a selective serotonin reuptake inhibitor (SSRI), is the only antidepressant licensed for bulimia. It’s normally prescribed alongside psychotherapy if psychotherapy by itself hasn’t worked.

    A small study showed that fluoxetine was more effective than a placebo in treating some bulimia symptoms. It’s unclear what the exact mechanism is, but some research suggests fluoxetine reduces depressive symptoms which may be associated with bulimia in some patients – making it easier for them to engage in psychotherapy.

    4. OCD, panic and anxiety disorders

    Antidepressants may also be useful for treating other mental health conditions – including obsessive-compulsive disorder (OCD), panic disorder and generalised anxiety disorder.

    Research has shown SSRIs, such as fluoxetine and sertraline, may improve OCD symptoms in some patients. Both SSRIs and SNRIs have proven to be effective in managing symptoms of panic and generalised anxiety disorders.

    The exact mechanism that enables antidepressants to work for these conditions is unknown. But it may be due to the increase in serotonin levels or changes in brain pathways which regulate mood, anxiety and compulsions.

    5. Menopause

    Although antidepressants are not licensed for this condition, they are sometimes used to treat menopausal symptoms.

    Several studies show the SSRIs paroxetine and citalopram and the SNRI venlafaxine can help women. In particular, they reduce the frequency and severity of hot flushes – one of the most common menopause symptoms women seek help for. One review found that hot flushes can be reduced by up to 65% when using these antidepressants.

    In menopause, a woman’s oestrogen level drops. This is a hormone that stimulates the production of serotonin. But some studies suggest the lower levels of serotonin may be linked to hot flushes. This may explain why antidepressants are useful in managing hot flushes as they are thought to increase serotonin levels in the brain.

    Hormone replacement therapy (HRT) is the most effective option for managing menopause symptoms such as hot flushes. But antidepressants may be useful for women who are unable to use HRT. But as there is limited research on using antidepressants to manage menopause symptoms, more studies will be needed.

    For many of these conditions, antidepressants are the last treatment option. But for some, such as those with nerve pain, antidepressants are the most effective options. Antidepressants may not work for everyone – and they may cause side-effects in some people. This is why it’s important to talk with your pharmacist or doctor if you have questions about taking an antidepressant you’ve been prescribed.

    Dipa Kamdar does not work for, consult, own shares in or receive funding from any company or organisation that would benefit from this article, and has disclosed no relevant affiliations beyond their academic appointment.

    ref. Beyond depression: surprising health conditions antidepressants can treat – https://theconversation.com/beyond-depression-surprising-health-conditions-antidepressants-can-treat-247821

    MIL OSI – Global Reports

  • MIL-OSI Global: How Trump’s suggestion to ‘clean out’ Gaza sent shockwaves through the Middle East

    Source: The Conversation – UK – By Sam Phelps, Commissioning Editor, International Affairs

    This article was first published as World Affairs Briefing from The Conversation UK. Click here to receive this newsletter every Thursday, direct to your inbox.

    Hundreds of thousands of civilians returned to the northern Gaza Strip this week after checkpoints were reopened in line with the ceasefire agreement. Many will have found their homes destroyed after months of heavy fighting and bombardment – something the new US president, Donald Trump, has pointed out.

    In an exchange with reporters last weekend, Trump said: “I’m looking at the whole Gaza Strip right now and it’s a mess, it’s a real mess.” He then went on to suggest Palestinians there should be “evacuated” to Egypt and Jordan where “they could maybe live in peace for a change”. “You’re talking about a million and a half people … we just clean out that whole thing,” he continued.

    Trump is seemingly no stranger to airing whatever thoughts come into his head. At his inauguration he claimed – without providing evidence – that “China is operating the Panama canal”. And he has since called Vladimir Putin’s war in Ukraine “ridiculous”. But even by these standards, his suggestion to evict Gazans from their land is brash to say the least.


    Sign up to receive our weekly World Affairs Briefing newsletter from The Conversation UK. Every Thursday we’ll bring you expert analysis of the big stories in international relations.


    As Karin Aggestam of Lund University reports, Trump’s proposal has been met with disbelief across the Middle East. It has been widely criticised throughout the region as a potential “second Nakba” – referring to the displacement of Palestinians after Israel’s unilateral declaration of statehood in 1948.




    Read more:
    Donald Trump’s suggestion of ‘clearing out’ Gaza adds another risk to an already fragile ceasefire


    The proposal has also been rejected outright by Egypt and Jordan. Egypt’s ministry of foreign affairs released a statement on Sunday objecting to any forced displacement of Palestinians. And Jordan’s minister of foreign affairs, Ayman Safadi, said his country was committed to “ensuring that Palestinians remain on their land”. The Arab League regional bloc has accused Trump of advocating ethnic cleansing.

    Aggestam says it’s not yet certain if moving Palestinians out of Gaza will become an official US policy position, or whether it is yet another example of Trump speaking his mind. But, in her view, Trump’s latest pronouncement will further complicate the already fragile ceasefire.

    The idea of relocating Palestinians to other countries has thrilled Israel’s extreme ultra-nationalist parties. The Israeli finance minister and leader of the Religious Zionist party, Bezalel Smotrich, and the former national security minister, Itamar Ben-Gvir, have both previously encouraged the return of Israeli settlers to the Gaza Strip.

    Ben Gvir, who recently resigned from his ministerial position in protest at the Gaza ceasefire, asserted in October that “encouraging emigration” of Palestinian residents of Gaza would be the “most ethical” solution to the conflict.

    According to Leonie Fleischmann of City, University of London, the pair share an anti-Arab ideology and a messianic belief in the Jewish people’s right to what they call “Greater Israel”. This refers to a Jewish state that would also include the West Bank, which they referred to as “Judea and Samaria”, as well as Gaza and part of Jordan, Lebanon, Egypt, Syria, Iraq and Saudi Arabia.

    As Fleischmann explains, the West Bank and the Gaza Strip were the sites of many key events in biblical times and were the home of a number of Israelite kingdoms. In the Bible, God even promises this land to the descendants of Abraham – the Jewish people. This, Fleischmann writes, is the reason behind Smotrich and Ben Gvir’s belief that the Jewish people have the God-given right to settle the whole of Greater Israel.




    Read more:
    The growing influence of Israel’s ultranationalist settler movement


    This is not a position held by the majority of Israelis. But Israel’s ultra-nationalists wield considerable political power, with Prime Minister Benjamin Netanyahu’s government dependent on their support to remain in power. Indeed, days after Trump suggested clearing out Gaza, Smotrich spoke of turning it into an actionable policy.

    Speaking with reporters on Monday, he said: “There is nothing to be excited about the weak opposition of Egypt and Jordan to the plan. We saw yesterday how Trump [imposed his will on] Colombia to deport immigrants despite its opposition. When he wants it, it happens.”

    The events Smotrich was referring to in Colombia were certainly extraordinary. Outraged at the repatriation of Colombian migrants in military planes, Colombian president Gustavo Petro refused to allow the flights to land.

    Trump immediately vowed tariffs on Colombian goods and sanctions on government officials, which drew a furious social media response out of Petro and the start of a (very brief) trade war. But within a few hours, Petro had backed down and Colombia announced it would start receiving migrants, including on US military aircraft.

    The White House hailed the agreement as a victory for Trump’s hardline immigration strategy. However, according to Amalendu Misra of Lancaster University, Trump’s punishing tariff threats and foul rhetoric toward illegal immigrants may only damage the power and position of the US in the region.

    His willingness to wage a trade war with countries in Latin America could encourage others to speed up their search for alternative trade partners. And, worse still, he may even push them towards closer relations with governments and ideologies that are inimical to US interests, writes Misra.




    Read more:
    Trump’s method for repatriating migrants risks undermining US interests in Latin America


    Choppy waters ahead

    Back in the Middle East, the ceasefire in Gaza has offered the region a break from war. This has included a pledge by Houthi militants in Yemen not to attack commercial ships travelling through the Red Sea.

    These attacks have halved the number of ships passing through the Suez Canal, a crucial route for goods moving between Asia and Europe, with many diverting around the southern tip of Africa.

    This route adds thousands of miles to the journey, so supply chains have had to deal with higher shipping costs, product delivery delays and increased carbon emissions. In the view of Gokcay Balci, a logistics expert at Leeds University, this disruption is likely to continue.

    The situation in the Red Sea remains unpredictable, he writes. The leader of the Houthis, Abdul-Malik al-Houthi, said on Monday that the group was “ready to return to escalation again alongside our brothers, the fighters in Palestine”, and warned: “We have our finger on the trigger.” Shipping companies have, unsurprisingly, announced that they will continue to prioritise alternative routes.

    The Houthis seem unconvinced that the ceasefire in Gaza will hold. But, at least for now, it is providing civilians with some much-needed respite after more than a year of relentless violence.




    Read more:
    Red Sea crisis: supply chain issues set to continue despite Gaza ceasefire


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    ref. How Trump’s suggestion to ‘clean out’ Gaza sent shockwaves through the Middle East – https://theconversation.com/how-trumps-suggestion-to-clean-out-gaza-sent-shockwaves-through-the-middle-east-248461

    MIL OSI – Global Reports

  • MIL-OSI Global: Nonprofits that provide shelter for homeless people, disaster recovery help, and food for low-income Americans rely heavily on federal funding – they would be reeling if Trump froze that money

    Source: The Conversation – USA – By Dyana Mason, Associate Professor of Planning, Public Policy and Management, University of Oregon

    Food pantry staff members and volunteers hand out food in Chelsea, Mass., in November 2024. Joseph Prezioso/AFP via Getty Images

    On Jan. 27, 2025, the Trump administration ordered a freeze on federal grants and contracts covering a wide array of aid programs to take effect at 5 p.m. the following day. This freeze was partially prevented when a judge responded to a lawsuit filed by the National Council of Nonprofits and other organizations. The flow of funds on grants that had already been awarded was at least temporarily protected by the judge’s action. The attorneys general of 22 states and the District of Columbia have also sued to block this funding freeze.

    The Trump administration, which on Jan. 29 rescinded the memo ordering the funding suspension, has made clear that it may again seek to reduce or eliminate much of the money, totaling several hundred billion dollars, that funds many services that nonprofits provide, such as support for foster parents, after-school care and distributing food for free.

    Dyana Mason and Mirae Kim, two scholars of nonprofits, explain the role that federal funding plays in the nonprofit sector.

    How much do nonprofits rely on federal funding?

    Nonprofits partner with the government to deliver social services, such as child care for low-income families, housing for people experiencing homelessness, and job training and placement. These partnerships can form with local or state governments, as well as with the federal government, with this collaboration mostly taking place through grants and contracts.

    Government funding makes up about 33% of the revenue flowing into the nonprofit sector annually, according to the Urban Institute. The institute, a think tank, also found that nearly 40% of all nonprofits in the United States applied for federal grants in 2021, 2022 and 2023, and that about 10% applied for federal contracts. The share of government funding can be far larger for some kinds of social service nonprofits.

    Many other nonprofits applied for local and state grants during that three-year period. Those grants, however, are often themselves funded by the federal government indirectly through grants it makes to state and local government agencies. Those agencies, in turn, then provide grants or maintain contracts with local nonprofits to provide services.

    Although it’s hard to track with absolute precision due to those complex arrangements, government revenue is the second-largest source of income for nonprofits after the money these organizations and institutions earn through commercial activities.

    Also called “fee-for-service,” this revenue includes the money nonprofit hospitals get when patients and insurers pay medical bills, nonprofit theaters receive when they sell tickets to performances, and nonprofit private schools obtain when parents pay tuition.

    Some social service nonprofits charge fees too, typically on a sliding scale. That is, their clients with relatively higher incomes pay more, and those with extremely low incomes pay very little or nothing at all.

    How could freezing federal funding affect nonprofits?

    We have no doubt that a long freeze on federal grants and contracts would be devastating for nonprofits and the communities they serve.

    For example, Meals on Wheels, a program that delivers hot meals to more than 2 million homebound people over 65 and helps them maintain social connections, gets 37% of its funding from the federal government.

    Clackamas Women’s Services, a domestic and sexual violence organization based near Portland, Oregon, is one of the many local organizations that have expressed concern about what to expect. The group says it could lose half of its annual budget if federal funding were to be eliminated.

    Without federal funding, organizations like these – many of which already have waitlists – would have to cut back on the services they provide.

    Nonprofits are confused and concerned about the stability of federal funding, Scripps News reports.

    What’s the role of nonprofits in the US safety net?

    It’s very significant.

    For the past several decades, attempts to scale back the size of the government have led to government agencies essentially hiring nonprofits to do much of their work.

    Through contracts and grants, nonprofits then do such things as assist people who are recovering from fires, hurricanes and other disasters; provide services for veterans and active-duty members of the military; and help people with mental health conditions, including substance use problems, just to name a few.

    This arrangement typically provides nonprofits with a reliable and predictable source of funds that they can use to serve their communities. But it can also leave them vulnerable to policy changes – especially when new administrations take over, as the second Trump administration’s actions illustrate.

    Research we conducted about what happened to nonprofits during the COVID-19 pandemic showed that volatility in the economy has serious effects on the ability of nonprofits to do their work.

    For example, social service nonprofits struggled in March and April 2020 due to falling revenue at a time of increasing demand. Many of these organizations had to scale back their services. In some cases, they canceled them.

    We followed up with another survey in November and December 2020. By then, we found, 61% of the groups had received forgivable federal loans through the government’s Paycheck Protection Program.

    Nearly half of the nonprofits told us that they had, in addition, received other forms of emergency funding from the federal government, including Economic Injury Disaster Loans and emergency food distributions.

    This federal assistance made it possible for thousands of nonprofits to keep their staff employed and continue to provide important services as the economy recovered.

    What happens when nonprofits lose federal funds?

    It’s hard for social service organizations to replace federal funding.

    Nonprofits can, of course, appeal to their donors to help bridge the gap. But donations from individuals, foundations, corporations and bequests only amount to no more than 15% of the funds flowing into the nonprofit sector.

    The outcome of freezing, eliminating or scaling back federal funding for nonprofits would mean that those in need would get fewer services. We would also expect mass layoffs, which could harm the U.S. economy.

    Nonprofits employ more than 12 million people in the United States. That’s more workers than big industries such as construction, transportation and finance employ. Should millions of them suddenly become unemployed, demand would grow further for social services from providers already unable to meet lower levels of demand due to funding cuts.

    Has there ever been upheaval like this before?

    Congress appropriates money to provide for the services that the public needs and demands. These moves have led to great fear and uncertainty among organizations that serve people in need in the United States and abroad.

    Although it’s not unusual for funding priorities to change from one administration to the next, Donald Trump’s executive orders on international aid and nonprofit grants and contracts that underpin the U.S. safety net are unprecedented.

    Dyana Mason has received research funding from the National Institute for Transportation and Communities and the Joint Fire Science Program with the Bureau of Land Management (BLM). She is also a volunteer board member of the Southwest Oregon chapter of the American Red Cross.

    Mirae Kim is affiliated with the Association for Research on Nonprofit Organizations and Voluntary Action (ARNOVA) as a non-paid, at-large board member.

    ref. Nonprofits that provide shelter for homeless people, disaster recovery help, and food for low-income Americans rely heavily on federal funding – they would be reeling if Trump froze that money – https://theconversation.com/nonprofits-that-provide-shelter-for-homeless-people-disaster-recovery-help-and-food-for-low-income-americans-rely-heavily-on-federal-funding-they-would-be-reeling-if-trump-froze-that-money-248543

    MIL OSI – Global Reports

  • MIL-OSI Global: Scottish teachers to strike over pupil behaviour – my research shows what they’re dealing with

    Source: The Conversation – UK – By Moira Hulme, Professor of Education, University of the West of Scotland

    Teachers at a school in East Dunbartonshire, Scotland, are planning industrial action – not over pay but the behaviour of their pupils.

    It’s not the first time school staff in Scotland have taken this step. Teachers at a school in Glasgow took strike action in 2022 over “violent and abusive” pupil behaviour. A 2024 survey of staff in Aberdeen found that many had experienced violence and more than a third had been physically assaulted.

    Pupil behaviour is one factor – among others – severely affecting the wellbeing of teachers, as shown in my recent research with colleagues.

    Our national research project on teacher workload is a collaboration between the University of the West of Scotland, Cardiff Metropolitan University and Birmingham City University. We asked 1,834 teachers in primary, secondary and special schools in Scotland to fill out online diaries, logging how they spent their time over one week in March 2024.

    We found that long hours and high pressure were putting significant strain on teachers’ personal and professional lives.

    Time pressures

    Our study found that nearly a quarter of teachers’ lesson time was spent on low-level and serious behaviour interruptions. They spent time dealing with distressed behaviour and incidents of verbal and physical aggression, settling the class and working with pupils on individual plans to help them engage better with school.

    In 2023, research commissioned by the Scottish government on behaviour in schools found 67% of teachers experienced general verbal abuse, 59% physical aggression and 43% physical violence between pupils in the week preceding the survey.

    On average, our research found that teachers in Scotland worked 46 hours in a typical week. That is 11 more than their contracted hours. The reasons are complex, but we found patterns that repeated regardless of the kind of school teachers were in, their location or their experience. Teachers’ workload intensified when the demands made of them exceed the support and resources available.

    Teachers face increased levels of cultural and linguistic diversity in the classroom, as well as rising numbers of children with additional support needs. Schools’ access to specialist support is falling while pupil needs are rising. Child poverty and poor mental health are contributing to increasing social, emotional and behavioural issues.

    We found that teachers spent 58% of the non-teaching time in their contracted hours on planning and preparation to meet the diverse needs of their pupils.

    Preparation and planning takes up a lot of teachers’ time.
    Chiarascura/Shutterstock

    The remaining 42% was consumed with administrative activities, data management and reporting, communicating with colleagues, parents and external agencies. These demands left teachers with just 35 minutes a week, on average, for professional learning.

    High stress and low job satisfaction are driving people out of teaching. Over 75% of the teachers in our study said they were considering leaving the job prior to retirement.

    Inclusive education

    Another issue affecting teachers in Scotland is the country’s approach to the education of children with additional needs, which differs from the rest of the UK. The default position in Scotland is that all children should be educated in mainstream schools, unless there is compelling evidence that a specialist setting would better serve a child’s educational needs.

    But our research identifies growing disquiet among teachers regarding the capacity of Scotland’s education system to fully support this “presumption to mainstream”.

    The number of pupils with recorded additional needs in Scottish schools rose by 84% between 2014 and 2023. In 2024, pupils with additional needs in mainstream classes reached a record high of 284,448 pupils. This is 40% of all pupils – a rise from 28.7% in 2018.

    Among Scotland’s 2,445 publicly funded schools, 107 are special schools, down from 133 in 2018. A reduction of 392 additional support needs teachers between 2013 and 2023 means a single teacher may now have a caseload of more than 80 pupils.

    Worsening conditions

    Unfortunately, the pressure on teachers looks set to increase as funding challenges affect teacher numbers.

    Scotland’s 32 councils face an overall total budget gap of £585 million in 2024-25. Audit Scotland estimate that this shortfall in funding will increase to £780 million by 2026-27.

    A Scottish National Party 2021 manifesto pledge to recruit 3,500 more teachers and reduce teachers’ contact time remains unfulfilled. In 2023-24, 26 of Scotland’s 32 local authorities reduced teacher numbers while the ratio of pupils to teachers rose.

    Pressures are particularly acute in Scotland’s largest local authority, Glasgow, and are set to intensify. In 2024, Glasgow City Council employed 5,492 full time equivalent teachers, compared to 5,725 in 2022. In spring 2024, the city proposed cutting 450 teaching posts over three years as part of an “education service reform” to address a £100 million funding shortfall.

    In November 2024, parental volunteer group Glasgow City Parents Group failed to secure a judicial review of the council’s education budget cuts. Reducing the teaching workforce across the city by nearly 10% is unlikely to be without consequence for teachers’ workload and the quality of education.

    A resilient education workforce requires highly skilled professionals and a supportive professional environment. As the demands made of teachers intensify, they risk being reduced to institutional “shock absorbers” rather than nurturing leaders of learning.

    Systematic reform of the school curriculum, national assessment and school inspection is under consideration in Scotland. But this will take place against a backdrop of service demands and budgetary pressures that are deeply affecting teaching staff. This must be addressed in order to avoid compromising learning in Scottish schools.

    Moira Hulme received funding from the Educational Institute of Scotland.

    ref. Scottish teachers to strike over pupil behaviour – my research shows what they’re dealing with – https://theconversation.com/scottish-teachers-to-strike-over-pupil-behaviour-my-research-shows-what-theyre-dealing-with-247525

    MIL OSI – Global Reports

  • MIL-OSI United Kingdom: Coventry chosen to lead global UNESCO project

    Source: City of Coventry

    UNESCO has chosen the city of Coventry and Warwick Business School (WBS) to participate in its global project to highlight the role of culture in building a sustainable future for the planet. 

    In a significant stride towards global cultural sustainability, Coventry City Council in collaboration with WBS, has been selected to participate in the prestigious UNESCO Culture 2030 Indicators initiative.  

    It aims to measure and highlight culture’s vital contribution in achieving the United Nations’ 2030 Agenda for Sustainable Development

    The UNESCO Culture 2030 Indicators project is a framework designed to monitor and evaluate the role of culture in sustainable development. 

    Coventry City Councillor Naeem Akhtar, Cabinet Member for Housing and the Communities, said: “We are honoured to be part of this ground-breaking initiative, along with Warwick Business School, to contribute to UNESCO’s global sustainability mission. 

    “Coventry is the home of many fantastic cultural organisations, artists, community groups and creatives, and we are delighted that UNESCO can see the value in working with Coventry as a city. 

    “This marks a major step forward in advancing global cultural sustainability, underscoring the essential role of culture in achieving the United Nations’ 2030 Agenda for Sustainable Development.” 

    Mark Scott, Research Fellow at WBS who is a leading place and culture data expert with extensive experience of working with the local cultural sector and colleagues in Coventry City Council, said: “The UNESCO project encompasses a range of thematic indicators that assess various aspects of cultural impact, from heritage preservation to cultural participation and education. 

    “The inclusion of the city of Coventry and WBS in this project not only reinforces Coventry’s legacy as a City of Culture but also highlights Warwick Business School’s commitment to leveraging research and data to drive impactful global change. 

    “Being part of the UNESCO Culture 2030 Indicators project is a tremendous honour for WBS. This collaboration underscores our dedication to cultural sustainability and our role in shaping a better future through informed research and data-driven strategies.” 

    The collaboration between WBS, Coventry, and UNESCO is also supported by the UK Department for Culture, Media and Sport. This partnership aims to position the UK as a leader in cultural data management and sustainable development. By contributing to this ground-breaking project, WBS and Coventry are helping to shape policies and practices that will benefit communities worldwide. 

    Jonathan Neelands, Professor of Creative Education at WBS, said: “By contributing to this initiative, we are helping to position the UK as a leader in cultural data management and sustainable development, further cementing the School’s place on the international stage.”  

    Mark Scott and Professor Neelands were leads in the research and evaluation for Coventry UK City of Culture 2021 and continue to be involved in other Coventry data-led and evidence-based policy projects like the recent Coventry Cultural Place Profiler. Coventry City Council has a unique pool of cultural and other data that makes the partnership distinctive. 

    MIL OSI United Kingdom

  • MIL-OSI Africa: South Africa’s debt has skyrocketed – new rules are needed to manage it

    Source: The Conversation – Africa – By Robert Botha, Research Fellow at the Impumelelo Economic Growth Lab. The Impumelelo Economic Growth Lab is a unit of the Bureau for Economic Research (BER), Stellenbosch University

    South Africa’s fiscal trajectory paints a concerning picture. Public expenditure exceeds revenue. As a result sovereign debt is building up and interest on this debt is increasing.

    This raises concerns over the South African government’s financial sustainability. The debt-to-GDP ratio has skyrocketed from 23.6% in 2008/09 to a projected 74.7% in 2024/25. The International Monetary Fund has recommended that, over the long term, South Africa should reduce its debt-to-GDP ratio to 60% of GDP, in line with that of peers.

    Arguably more important than the debt level is how quickly debt has accumulated. Debt servicing costs, which consist of the interest on government debt and other costs directly associated with borrowing, have been the fastest-growing line item in the national budget. Rising interest payments have been crowding out critical expenditures on services such as health, education and infrastructure.

    As I argue in a recently published report titled “A fiscal anchor for South Africa: Avoiding the mistakes of the past”, establishing a credible fiscal anchor (or fiscal rule) could be step towards avoiding a debt spiral and regaining fiscal sustainability and credibility.

    Fiscal rules are constraints on fiscal policy, designed to impose numerical limits. For example, a limit on the allowable debt-to-GDP ratio, or the allowable balance after accounting for government expenditure and revenue. Fiscal rules are widely used – 105 countries have adopted them so far.

    Failing to address the country’s fiscal challenges risks plunging South Africa into a debt trap. This happens when a country finds it difficult to escape a cycle of debt and has to borrow more to pay off old debt. If debt-servicing costs continue to rise, essential public services will come under even greater strain.

    Several emerging markets have experienced the severe consequences of unchecked debt accumulation and debt servicing costs. Argentina is one example. Without a credible plan to stabilise and reduce debt and debt servicing costs, the risk of economic stagnation and financial instability grows quickly.

    Fiscal erosion and credibility concerns

    The roots of South Africa’s current predicament lie in years of mistakes. These include:

    • spending beyond its means

    • questionable political decisions like bailing out state-owned entities

    • poor governance and oversight at municipal and local government level, which led to inefficient public spending.

    These factors were underpinned by an underperforming economy, unrealised forecasts and arguably weak institutional checks.

    For the last 15 years South Africa’s National Treasury has undertaken to stabilise the country’s debt-to-GDP ratio. This would have required keeping the ratio constant. But these commitments have consistently been deferred. Debt stabilisation targets have been revised upwards 13 times, from 40% in 2015/16 to the current 75.5%. The stabilisation year has been pushed back 10 times, from the initial year of 2015/16 to the current target of 2025/26. This has created a perception of inconsistent policy.

    Over-optimistic macroeconomic forecasting has undermined credibility. Over the last ten years, GDP growth projections have routinely overshot actual performance by an average of 0.5 percentage points in the first year of forecasts and even more in subsequent years. In defence of the National Treasury, the South African economy has performed worse than more forecasters expected in recent years.

    Adding to the fiscal strain are rising social expenditures, the public sector wage bill and repeated bailouts of state-owned enterprises. This spending relieves short-term political and social pressures, but undermines the country’s long-term fiscal health.

    Without credible mechanisms to constrain spending, South Africa’s fiscal framework lacks the discipline needed to ensure sustainability, and to restore credibility.

    Why fiscal rules matter

    Fiscal rules are there to promote discipline, ensure that debt can be paid and enhance credibility. The experience in the 105 countries that have adopted them suggests that strong, well-designed rules can signal a government’s commitment to fiscal prudence.

    It’s difficult to establish whether there is a causal relationship between fiscal rules and fiscal performance. But there’s at least a correlation. As a practical example of enforcing fiscal rules, in November 2023, the German constitutional court overruled a budget that was passed in the Bundestag but breached Germany’s fiscal rules.

    However, fiscal rules are not a panacea. Poorly designed or inadequately enforced rules can make the problems worse. For South Africa, this risk is acute.

    Political commitment and strong institutional frameworks are needed too. Also, a shift in how fiscal policy is conceived and implemented.

    Designing new rules

    Drawing lessons from global best practices, South Africa’s fiscal rules must be enforceable, flexible and simple. A well-designed rule should:

    • stabilise and eventually reduce the debt-to-GDP ratio

    • target government spending as a share of GDP, emphasising consumption spending like salaries and goods and services, rather than capital expenditure

    • have political buy-in

    • be overseen independently

    • be legally binding and enforceable.

    Context

    South Africa’s low economic growth rate is a complication. Average interest rates on government debt are higher than the nominal GDP growth rate. But reining in spending too much could stifle growth, creating a vicious cycle.

    That’s why stabilising debt first would make more sense than aiming to reduce debt too rapidly.

    South Africa’s fiscal rules must also have some flexibility. For instance, they could allow for shocks such as natural disasters or global economic crises.

    Fiscal rules could follow a phased approach to initially focus on stabilising debt, and then to move towards reducing debt. Both of these phases would entail expenditure rules to guide annual budget processes and to place limits on spending.

    The benefits

    Credible fiscal rules could have a number of benefits.

    Firstly, they could improve South Africa’s credibility by signalling to markets and international institutions that South Africa is committed to fiscal discipline.

    Secondly, fiscal credibility is associated with reduced sovereign risk premiums, which translates into lower debt-servicing costs. In turn this would free up resources for critical development priorities.

    Third, they can foster a more stable economic environment for investment and growth.

    Fourth, they would help coordinate policies. South Africa enjoys rule-based monetary policy in the form of inflation targeting but lacks the same for fiscal policy. This can lead to sub-optimal outcomes. For example, the central bank can keep interest rates too high, not necessarily because it thinks the treasury’s policies are inflationary, but because it cannot predict the treasury’s actions.

    The way forward

    Adopting fiscal rules in South Africa comes with risks. Weak institutional capacity, especially in oversight bodies like the Parliamentary Budget Office, could undermine rule enforcement.

    To shield against these risks, South Africa should have stronger institutions. It could create an independent statutory fiscal council, possibly falling under Parliament, the National Treasury or as an independent constitutional advisory body.

    Oversight bodies would also need to build their capacity.

    – South Africa’s debt has skyrocketed – new rules are needed to manage it
    – https://theconversation.com/south-africas-debt-has-skyrocketed-new-rules-are-needed-to-manage-it-248355

    MIL OSI Africa

  • MIL-OSI Russia: Innovations for public utilities discussed at SPbGASU

    Translartion. Region: Russians Fedetion –

    Source: Saint Petersburg State University of Architecture and Civil Engineering – Saint Petersburg State University of Architecture and Civil Engineering – Participants of the meeting

    On January 29, a meeting of the scientific and technical council of the Housing Committee of the Government of St. Petersburg was held at SPbGASU. The presidium of the meeting included Vice-Governor of St. Petersburg Evgeny Razumishkin, Chairman of the Scientific and Technical Council of the Housing Committee, Head of the Department of Construction Economics and Housing and Utilities of SPbGASU Veronika Asaul, Chairman of the Housing Committee Denis Udod, Deputy Chairman of the Committee for the Improvement of St. Petersburg Sergey Malinin. More than one hundred specialists in the housing and utilities sector took part in the meeting.

    Chief Engineer of the St. Petersburg State Budgetary Institution “Central Administration of Regional Roads and Improvement” Igor Mishustin spoke about the use of new models of municipal equipment for road cleaning. He reviewed the universal municipal machines used in the Northern capital, emphasized their positive characteristics and voiced proposals to manufacturers for technical improvement. “Interaction between road agencies and factories-manufacturers of municipal cleaning equipment continues on an ongoing basis,” the specialist noted.

    The head of the investment and technology center “Vympel” Yuri Murzin spoke about the results of testing an innovative electric loader in snowfall conditions. The speaker noted that the loader is distinguished by a high level of localization of production.

    Elena Aleksandrova, Head of the Educational and Methodological Department of SPbGASU, reported on how our university is training personnel for the housing and utilities sector. “Since the 2024/2025 academic year, SPbGASU, together with the self-regulatory organization “Association of Builders of St. Petersburg” as part of the work of the Consortium of the Construction Industry of the Northwestern Federal District, continues to work in school construction classes,” she said in particular.

    Elena Aleksandrova focused on the proposals of SPbGASU for the implementation of the Concept of training personnel for the construction industry and housing and utilities until 2025, approved by the Russian government. The university has introduced new educational programs for the industry, modules for developing competencies in the field of information modeling technologies, and increased the share of practical classes. Practitioners, including future employers of graduates, are widely involved in the educational process. The programs have been brought into line with the current needs of the industry. “Industrial partners play a significant role in our educational process,” she noted.

    Director of OOO ECOTERMIX SPB Konstantin Baranov reported on the results of the implementation of an innovative building material based on polyurethane. It has a wide range of applications both in new construction and in the improvement of already built facilities requiring routine and major repairs.

    At the end of the meeting, those gathered agreed on further cooperation between all participants in the housing and utilities sector of St. Petersburg in scientific research, the introduction of new technology and personnel training.

    Please note: This information is raw content directly from the source of the information. It is exactly what the source states and does not reflect the position of MIL-OSI or its clients.

    MIL OSI Russia News

  • MIL-OSI USA: Bowman, Brief Remarks on the Economy, and Perspective on Mutual and Community Banks

    Source: US State of New York Federal Reserve

    Let me begin by saying my thoughts and prayers are with the families of the passengers and crew who perished in the tragic flight accident in Washington, D.C. Wednesday evening.
    Thank you for the invitation to speak to you today.1 It is a pleasure to be with you virtually for your CEO Summit. I always enjoy the opportunity to meet bankers from across the country, especially New England, to learn about the issues that are important to you. The Federal Open Market Committee (FOMC) concluded its January meeting earlier this week, so I will begin by offering some brief remarks on the economy, and then share my views on a number of mutual and community bank issues, before addressing some questions that were submitted by your members in advance of today’s meeting.
    Update on the Most Recent FOMC MeetingAt our FOMC meeting this week, my colleagues and I voted to hold the federal funds rate target range at 4-1/4 to 4‑1/2 percent and to continue to reduce the Federal Reserve’s securities holdings. I supported this action because, after recalibrating the level of the policy rate towards the end of last year to reflect the progress made since 2023 on lowering inflation and cooling the labor market, I think that policy is now in a good place to position the Committee to pay closer attention to the inflation data as it evolves.
    Looking ahead to 2025, in my view, the current policy stance also provides the opportunity to review further indicators of economic activity and get clarity on the administration’s policies and their effects on the economy. It will be very important to have a better sense of the actual policies and how they will be implemented, in addition to greater confidence about how the economy will respond.
    Brief Remarks on the EconomyThe U.S. economy remained strong through the end of last year, with solid growth in economic activity and a labor market near full employment. Core inflation remains elevated, but my expectation is that it will moderate further this year. Even with this outlook, I continue to see upside risks to inflation.
    The rate of inflation declined significantly in 2023, but it slowed by noticeably less last year. Without having seen the December data released this morning, I estimate that the 12-month measure of core personal consumption expenditures inflation—which excludes food and energy prices—likely remained unchanged at 2.8 percent in December, only slightly below its 3.0 percent reading at the end of 2023. Progress has been slow and uneven since the spring of last year mostly due to a slowing in core goods price declines.
    After increasing at a solid pace, on average, over the initial three quarters of last year, gross domestic product appears to have risen a bit more slowly in the fourth quarter, reflecting a large drop in inventory investment, which is a volatile category. In contrast, private domestic final purchases, which provide a better signal about underlying growth in economic activity, maintained its strong momentum from earlier in the year, as personal consumption rose robustly again in the fourth quarter.
    Some measures of consumer sentiment appear to have improved recently but are still well below pre-pandemic levels, likely because of higher prices. And since housing, food, and energy price increases have far outpaced overall inflation since the pandemic, lower-income households have experienced the negative impacts of inflation hardest, especially as these households have limited options to trade down for lower-cost goods and services.
    Payroll employment gains rebounded strongly in December and averaged about 170,000 per month in the fourth quarter, a pace that is somewhat above average gains in the prior two quarters. The unemployment rate edged back down to 4.1 percent in December and has moved sideways since last June, remaining slightly below my estimate of full employment.
    The labor market appears to have stabilized in the second half of last year, after having loosened from extremely tight conditions. The rise in the unemployment rate since mid-2023 largely reflected weaker hiring, as job seekers entering or re-entering the labor force are taking longer to find work, while layoffs have remained low. The ratio of job vacancies to unemployed workers has remained close to the pre-pandemic level in recent months, and there are still more available jobs than available workers. The labor market no longer appears to be especially tight, but wage growth remains somewhat above the pace consistent with our inflation goal.
    I hope the revision of the Bureau of Labor Statistics labor data, which will be released next week, will more accurately capture the changing dynamics of immigration and net business creation and bring more clarity on the underlying pace of job growth. It is crucial that U.S. official data accurately capture structural changes in labor markets in real time, such as those in recent years, so we can more confidently rely on these data for monetary and economic policymaking. In the meantime, given conflicting economic signals, measurement challenges, and significant data revisions, I remain cautious about taking signal from only a limited set of real-time data releases.
    Assuming the economy evolves as I expect, I think that inflation will slow further this year. Its progress may be bumpy and uneven, and the upcoming inflation data for the first quarter will be an important indication of how quickly this will happen. That said, I continue to see greater risks to price stability, especially while the labor market remains near full employment.
    Despite the prospect for some reduction in geopolitical tensions in the Middle East, Eastern Europe, and Asia, global supply chains continue to be susceptible to disruptions, which could result in inflationary effects on food, energy, and other commodity markets. In addition, the release of pent-up demand following the election, especially with improving consumer and business sentiment, could lead to stronger economic activity, which could increase inflationary pressures.
    The Path ForwardAs we enter a new phase in the process of moving the federal funds rate toward a more neutral policy stance, I would prefer that future adjustments to the policy rate be gradual. We should take time to carefully assess the progress in achieving our inflation and employment goals and consider changes to the policy rate based on how the data evolves.
    Given the current stance of policy, I continue to be concerned that easier financial conditions over the past year may have contributed to the lack of further progress on slowing inflation. In light of the ongoing strength in the economy and with equity prices substantially higher than a year ago, it seems unlikely that the overall level of interest rates and borrowing costs are exerting meaningful restraint.
    I am also closely watching the increase in longer-term Treasury yields since we started the recalibration of our policy stance at the September meeting. Some have interpreted it as a reflection of investors’ concerns about the possibility of tighter-than-expected policy that may be required to address inflationary pressures. In light of these considerations, I continue to prefer a cautious and gradual approach to adjusting policy.
    There is still more work to be done to bring inflation closer to our 2 percent goal. I would like to see progress in lowering inflation resume before we make further adjustments to the target range. We need to keep inflation in focus while the labor market appears to be in balance and the unemployment rate continues to be at historically low levels. By the time of our March meeting, we will have received two inflation and two employment reports. I look forward to reviewing the first quarter inflation data, which, as I noted earlier, will be key to understanding the path of inflation going forward. I do expect that inflation will begin to decline again and that by year-end it will be lower than where it now stands.
    Looking forward, it is important to note that monetary policy is not on a preset course. At each FOMC meeting, my colleagues and I will make our decisions based on the incoming data and the implications for and risks to the outlook and guided by the Fed’s dual-mandate goals of maximum employment and stable prices. I will also continue to meet with a broad range of contacts as I assess the appropriateness of our monetary policy stance.
    Bringing inflation in line with our price stability goal is essential for sustaining a healthy labor market and fostering an economy that works for everyone in the longer run.
    Perspective on Mutual and Community BanksTurning to banking, I will start with a brief discussion of the important role of mutual banks in the banking system before addressing other bank regulatory issues. One of the unique characteristics of the U.S. banking system is the broad scope of institutions it includes and the wide range of customers and communities it serves. Given this institutional diversity, regulators must strive to foster a financial system that enables each and every bank, no matter its size, to thrive, supporting a vibrant economy and financial system.
    Mutual Bank IssuesIn the Northeast, everyone is familiar with mutual banks given their significant presence in this region. Since the early 1800s, these banks have been dedicated to serving their local communities.2 Their ownership structure differs from traditional banks in that mutuals are owned by their depositors, rather than by shareholders. Like other community banks, they focus on local issues that are important to their communities and to their depositors.
    Many of the challenges mutual banks face are similar to those faced by other financial institutions, including competition from other banks, credit unions, and non-banks. But mutual banks also face unique issues that can add cost and expense to their operations. Two issues I would like to discuss are the challenges mutual institutions face raising capital, and unique procedural hurdles mutuals face in managing the dividend process. While these issues are unique to mutuals, both highlight the challenges of a lack of transparency, and insufficient focus on efficiency.3
    Just as with other community banks, a challenge for many mutuals is the difficulty of raising additional capital. This difficulty is exacerbated by their ownership structure, which typically requires mutuals to rely heavily on retained earnings. Although mutual institutions have historically been more highly capitalized relative to their stock-owned peers, if a mutual capital raise is needed, it would be helpful to provide some regulatory flexibility in the process. Recently, some mutuals have issued subordinated debt as a form of capital, but another form of regulatory capital may be preferable: mutual capital certificates.
    To date, it has been unclear whether mutual capital certificates qualify as regulatory capital. These instruments could provide mutual banks an additional way to raise capital without disrupting their mutual structure. In my view, the banking agencies should be receptive to these kinds of instruments to ensure that mutual banks can both raise capital and maintain their depositor-owned structure. Mutuals need clarity and transparency about the regulatory treatment of these instruments and whether they qualify as regulatory capital.
    Another concern for mutuals is the annual requirement to receive regulatory approval for a mutual holding company’s waiver of a dividend issued by its subsidiary bank.4 The Board practice is to require a mutual holding company to submit an application each year to implement a waiver. This prior approval requirement is complex and imposes significant costs on these small institutions, reducing the investment they can make in their communities. Because of the time and expense of these waiver requirements, it is possible that the inefficiencies of the required application process erode the value of a mutual holding company structure, which would further constrain a mutual bank’s ability to raise capital.
    Since the Board has nearly 20 years of experience considering these waiver requests, it seems appropriate to consider whether the applications process for these waivers is efficient. What lessons have we learned? Is the prior approval requirement effective in its review of holding companies waiving receipt of their dividends, or can this be resolved in a more efficient and cost effective manner? In my view, the Board should consider whether this process is effective and efficient in addressing concerns related to dividend waivers.
    Mutual banks, like all community banks, are vital to the economic success of their communities. It is critical that our applications process not act as a limit on a particular type of institution simply due to regulatory inaction or lack of clarity and transparency. Regulators must find efficient and effective ways to support a vibrant and diverse banking system that enables these and other small institutions to thrive while supporting and investing in their local economy.
    TailoringTransparency and efficiency are just two of the necessary components of a regulatory approach that promotes a healthy and vibrant banking system. Another component that I speak about frequently is the use of “tailoring” in the regulatory framework. For those familiar with my philosophy on bank regulation and supervision, my interest and focus on tailoring will come as no surprise.5 In its most basic form, it is difficult to disagree with the virtue of regulatory and supervisory tailoring—calibrating the requirements and expectations imposed on a firm based on its size, business model, risk profile, and complexity—as a reasonable, appropriate and responsible approach for bank regulation and supervision. In fact, tailoring is embedded in the statutory fabric of the Federal Reserve’s bank regulatory responsibilities.6
    The bank regulatory framework inherently includes significant costs—both the cost of operating the banking agencies, and the cost to the banking industry of complying with regulations, the examination process, and supplying information to regulators both through formal information collections and through one-off requests. In the aggregate, these costs can ultimately affect the price and availability of credit, geographic access to banking services, and the broader economy. The cost of this framework—both to regulators and to the industry—reflects layers of policy decisions over many years. But this framework could be more effective in balancing the mandate to promote safety and soundness with the need to have a banking system that promotes economic growth.
    For example, let’s consider costs. As regulatory and supervisory demands grow, there is often parallel growth in the staff and budgets of the banking agencies. We should not only be cognizant of these costs, but we should act in a way that requires efficiency while ensuring safety and soundness. Some degree of elasticity in regulator capacity is necessary to respond to evolving economic and banking conditions, as well as emerging risks, but there must be reasonable constraints on growth. Expansion of the regulatory framework is not a cost-free endeavor, and the costs are shouldered by taxpayers, banks, and, ultimately, bank customers.
    The bank regulatory framework has great potential to provide significant benefits, including supporting an innovative banking system that enhances trust and confidence in our institutions, and promotes safety and soundness. When we consider the benefits and the costs, we can institute greater efficiencies in both banking regulation and in the banking industry itself. The bank regulatory framework is complex, and the various elements of this framework are intended to work in a complementary way. As banks evolve—by growing larger, or by engaging in new activities—tailoring can help us to quickly recalibrate requirements in light of the new risks posed by the firm.
    But the regulatory framework, especially how supervisors prioritize its application to the banking industry, can pose a serious threat to a bank’s viability. For example, imposing the same regulatory requirements on banks with assets of $2 billion to $2 trillion under the new rules implementing the Community Reinvestment Act demonstrated a missed opportunity to promote greater effectiveness and efficiency.7 I question the wisdom of applying the same evaluation standards to banks within such a broad range.
    Likewise, supervisory guidance can provide fertile ground to differentiate supervisory expectations under a more tailored approach. While supervisory guidance is not binding on banks as a legal matter, it can signal how regulators think about particular risks and activities, and often drives community banks to reallocate resources in a way that may not be necessary or appropriate. The Fed’s guidance on third-party risk management is an example of this. Originally, this guidance was published in a way that applied to all banks, including community banks. Yet, it was acknowledged even at the time of publication that it had known shortcomings, particularly in terms of its administration and lack of clarity for community banks.8
    Tailoring is important for all banks, but it is particularly important for community banks. There are real costs not only to banks, but to communities, when the framework is insufficiently tailored, as community banks faced with excessive regulatory burdens may be forced to raise prices or shut their doors completely. These banks often reach unbanked or underbanked corners of the U.S. economy, not only in terms of the customers they serve but also in terms of their geographic footprint. We are all familiar with banking deserts and the challenges many legitimate and law-abiding businesses and consumers have in accessing basic banking services and credit. It is difficult to imagine that a system with far fewer banks would as effectively serve U.S. banking and credit needs and sufficiently to support economic growth.
    It is imperative that we keep the benefits of tailoring in focus as the bank regulatory framework evolves. A tailored regulatory and supervisory approach can help inform our policies on a wide range of industry issues that are likely to emerge in the coming years.
    Problem-Based SolutionsOne of the most difficult challenges on the regulatory front is prioritization, both for banks managing their businesses and for regulators deciding how to fulfill their responsibilities. At a basic level, the role of regulators is dictated by statute. Congress granted the Federal Reserve and other banking agencies broad statutory powers but has constrained how those powers may be directed through the use of statutory mandates, including to promote a safe and sound banking system, and broader U.S. financial stability. In the execution of these responsibilities, the Federal Reserve must also balance the need to act in a way that enables the banking system to serve the U.S. economy and promote economic growth. While these objectives are not incompatible, they do require us to consider tradeoffs when establishing policy.
    How can regulators best meet these responsibilities? As many of you may already know, I strongly believe in a pragmatic approach to policymaking.9 This requires us to identify the problem we are trying to solve, determine whether we are the appropriate regulator to address the problem based on our statutory mandates and authorities, and explore options for addressing the identified issue.
    As a first step, we must be attuned to the banking system and how regulatory actions affect that system. We oversee a wide range of banks of varying sizes, activities, affiliates, and complexity. These banks interact with a range of service providers, financial market utilities, payments providers, and non-bank partners, regularly competing with non-bank financial intermediaries. The banking system can be a key driver of business formation, economic expansion, and opportunity.
    As we look at the banking system, including the regulatory framework, we must focus on those issues that are most important to advancing statutory priorities. There is always the risk of misidentification and mis-prioritization, and that we fail to take appropriately robust action on key issues or focus on issues that are less material to a bank’s safety and soundness. Our goal should be to develop a better filter to promote appropriate and effective prioritization.
    FraudWe have seen several instances where this filter did not produce appropriate results, as we have recently seen with fraud. The incidence of fraud, particularly check fraud, has been rising substantially over the past few years, causing harm to banks, damaging the perceived safety of the banking system, and importantly hurting consumers who are the victims of fraudulent activity. Sometimes these efforts target vulnerable populations, like the elderly, who are particularly susceptible to certain forms of fraud.
    Despite this known problem, efforts by regulators have been frustratingly slow to advance, and seem to have done little to address the underlying root causes of this increase in fraud. Why has this important issue failed to garner greater attention from all of the appropriate regulatory and law enforcement bodies? Different governmental agencies may share an important role in addressing this problem, but the need for a joint and coordinated solution does not excuse collective inaction.
    Climate-Related Financial RiskOf course, not every issue falls within the scope of the Federal Reserve’s responsibilities. Even when policymakers identify an issue or priority that they would like to pursue, it is imperative to ask whether that priority falls within the scope of our mandate and authorities. Statutes and regulations, paired with the “soft” power of examination, can be deployed in ways that may not be primarily directed towards the priorities mandated for banking regulators. I’ve noted previously that the banking agencies’ climate-related financial risk guidance arguably pushes the boundaries of appropriate regulatory responsibilities. Banks have long been required to manage all material risks, including weather- and climate-related risks. And while this additional guidance seemed to do little to advance the goals of promoting the safe and sound operation of banks it, in effect, posed significant risks of influencing credit allocation decisions. Ultimately, banking regulators should not dictate credit allocation decisions, either by rule or through supervision. Bank regulatory policy should be used to address the needs of the unbanked and expand the availability of banking services. It should not be used to limit or exclude access to banking services for legitimate customers and businesses in a way that is meant to further unrelated policy goals, sometimes referred to as “de-banking.”
    Once we have identified problems and determined that they are within the Fed’s responsibility, we must consider alternative approaches to address them, focusing on identifying efficient solutions. New technologies and services often require novel regulatory and supervisory approaches, and we recognize that past approaches may not be effective. Often regulators take a “more is better” approach to regulation and guidance. Over the past several years, the banking industry has faced an onslaught of proposed and final regulations and guidance, materials that require a significant time commitment to review, to comment on, and to implement. Many times, these require changes to policies and procedures or risk management practices.
    It is critical that in our urgency to address issues in the banking system—particularly for community banks—that we consider not just the direct and indirect effects of regulatory action but also this cumulative burden. Community banks are resilient and dedicated to serving their communities, but at some point, the cumulative burden of the bank regulatory framework can adversely affect the availability and pricing of banking services and threaten the ongoing viability of the community bank model. The community banks in this country are important economically and to their communities, and we should strive to support these institutions and their ongoing viability.
    Other Notable Issues and ConcernsIn preparation for today’s event, conference attendees were asked to submit questions in advance. So before concluding my remarks I’d like to address a few of these, since we won’t be able to do a live Q&A session in this virtual format. Thank you for submitting your questions in advance.
    As community bankers, we are deeply invested in supporting the growth and resilience of our local economies. With ongoing regulatory pressures, what specific actions can the Federal Reserve take to ensure smaller institutions like ours remain competitive and capable of delivering the personalized service that our communities depend on?One of the things I think is critical in identifying how to support community banks is listening to the industry—which issues are top-of-mind for you? Being an effective regulator requires a degree of humility, and receptiveness to hearing about issues that affect the business of banking, particularly when there are alternative ways that regulators can better promote safety and soundness, or where regulatory actions have resulted in unintended consequences. At the same time, during my conversations with banks, a few themes have emerged that deserve attention. This will be a non-exclusive list, but hopefully will give you a sense of the types of issues and concerns that I hear about most frequently when talking to community banks.
    First, I think there is room to improve the transparency of regulatory communication. Banks should not be left to guess what regulators think about the permissibility of particular activities, or what parameters and rules should apply to those activities. Uncertainty discourages investments in innovation and the expansion of banking activities, products, and services, and can call into question whether internal processes and procedures are consistent with supervisory expectations. Banks already must confront the challenges of dealing with evolving economic and credit conditions, regulators should not compound these challenges through opaque expectations and standards.
    Second, I think we need to address shortcomings in the processing of banking applications, employing a more nimble and predictable approach specifically in the de novo formation and mergers and acquisitions (M&A) contexts. Today, the process to obtain regulatory approval can be influenced by many factors under a bank’s control—for example, the completeness of the application filed and responsiveness to addressing questions and providing necessary additional information. However, the timeline for application decisions is often uncertain and beyond the bank’s control. This can be due to questions about the minimum amount of capital needed and early-stage supervisory expectations (for a de novo bank), or uncertainty about the competitive effects of a transaction, or the filing of a public comment raising concerns about an application in the M&A context.
    Finally, I think regulatory and supervisory “trickle-down” is real and it has significantly harmed community banks. I am referring to regulators conveying expectations to community banks (for example, during the examination process) that lack a foundation in applicable rules or guidance, or that were designed for larger institutions, or based on a horizontal review of unique banks.
    It is very difficult to insulate community banks from the harmful consequences of “trickle-down,” and broader structural changes may be needed to shield them from inapplicable and unreasonable expectations. At the same time, we must preserve strong supervisory standards as banks cross asset thresholds, so banks that grow larger and riskier are subject to appropriately tailored and calibrated requirements and expectations. I would also note that some degree of “trickle down” has occurred over time because the regulatory asset “line” defining community banks has remained constant at $10 billion in assets for over a decade. During that time, the economy has grown significantly, and inflation has rendered this asset definition obsolete. Many “community banks”—as defined by business model and activities rather than asset size—now exceed the threshold and must comply with broader regulatory requirements that may be excessive.
    What support or guidance can community banks expect from the Federal Reserve as we navigate technological innovation and increased cybersecurity threats?Both innovation and cybersecurity are issues that are top of mind for me. Innovation has always been a priority for banks of all sizes and business models. Banks in the U.S. have a long history of developing and implementing new technologies, and innovation has the potential to make the banking and payments systems faster and more efficient, to bring new products and services to customers, and even to enhance safety and soundness.
    Regulators must be open to innovation in the banking system. Our goal should be to build and support a clear and sensible regulatory framework that anticipates ongoing and evolving innovation—one that allows the private sector to innovate while also maintaining appropriate safeguards. We must promote innovation through transparency and open communication, including demonstrating a willingness to engage during the development process. By providing clarity and consistency, we can encourage long-term business investment, while also continuing to support today’s products and services. A clear regulatory framework would also empower supervisors to focus on safety and soundness, while ensuring a safe and efficient banking and payment system.
    On cybersecurity, banks often note cybersecurity and third-party risk management as areas that raise significant concerns. Cyber-related events, including ransomware attacks and business email compromises, are costly in terms of expense and reputation, and are time-consuming events that pose unique challenges for community banks.
    The maintenance of cyber assets and technology resources required to support a successful cybersecurity program are often difficult for smaller banks. Regulators can promote cybersecurity, and stronger cyber-incident “resilience” and response capabilities by identifying resources and opportunities, such as exercises, for banks to develop “muscle memory” in cyber incident response.
    The Federal Reserve plays an important role in supervising banks and supporting risk management practices. For example, the Federal Reserve hosts the Midwest Cyber Workshop, with the Federal Reserve Banks of Chicago, Kansas City, and St. Louis.10 Over the past couple of years, this workshop has provided a forum to discuss cyber risk among community bankers, regulators, law enforcement, and other industry stakeholders. Community banks can also turn to the Federal Financial Institutions Examination Council (FFIEC) website, which includes the FFIEC Cybersecurity Resource Guide and links to other external cybersecurity resources.
    We know well that cyber threats pose real risks to the banking system, and we recognize that community banks may have unique needs in preventing, remediating, and responding to cyber threats. Regulators should, therefore, ensure that a range of resources are available to support banks and seek further opportunities to help build bank resilience against these threats.
    Community banks are integral to rural and underserved communities. How can the Federal Reserve support us in maintaining our presence in these areas, particularly amid ongoing consolidation trends?As I noted earlier, it is essential that the U.S. banking system is broad and diverse, including institutions of all sizes serving all the different markets across the country. Community banks play a particularly valuable role in rural and underserved communities, and we need to ensure that the community banking model remains viable into the future.
    To do that, we need to have a regulatory system in which both de novo bank formations and M&A transactions are possible. Viable formation and merger options for banks of all sizes are necessary to avoid creating a “barbell” of the very largest and very smallest banks in the banking system, with the number of community banks continuing to erode over time.
    M&A ensures that banks have a meaningful path to transitioning bank ownership. In the absence of a viable M&A framework, there is potential for additional risks, including limited opportunities for succession planning, especially in smaller or rural communities. Uncertainty related to the M&A process also may act as a deterrent to de novo bank formation, as potential bank founders may stay on the sidelines knowing that future exit strategies—like the strategic acquisition of a de novo bank by a larger peer—may face long odds of success.
    Another challenge particularly in rural markets are the competitive “screens” that are used to evaluate the competitive effects of a proposed merger. Using these screens often results in a finding that M&A transactions in rural markets can have an adverse effect on competition and should therefore be disallowed.11 Even when these transactions are eventually approved, the mechanical approach to analyzing competitive effects often requires additional review or analysis and can lead to extensive delays in the regulatory approval process. Reducing the efficiency of the bank M&A process can be a deterrent to healthy bank transactions—it can reduce the effectiveness of M&A and de novo activity that preserves the presence of community banks in underserved areas, prevent institutions from pursuing prudent growth strategies, and actually undermine competition by preventing firms from growing to a larger scale.

    1. The views expressed here are my own and are not necessarily those of my colleagues on the Federal Reserve Board or the Federal Open Market Committee. Return to text
    2. The first mutual banks in the United States were chartered in 1816. The Provident Institution for Savings and the Philadelphia Savings Fund Society were both chartered that year. See https://www.jstor.org/stable/2123609; https://www.mass.gov/info-details/history-of-the-division-of-banks. Return to text
    3. Michelle W. Bowman, “Reflections on 2024: Monetary Policy, Economic Performance, and Lessons for Banking Regulation” (speech at the California Bankers Association 2025 Bank Presidents Seminar, Laguna Beach, California, January 9, 2025). Return to text
    4. 12 CFR § 239.8(d). Return to text
    5. See, e.g., Michelle W. Bowman, “Tailoring, Fidelity to the Rule of Law, and Unintended Consequences (PDF)” (speech at the Harvard Law School Faculty Club, Cambridge, Massachusetts, March 5, 2024). Return to text
    6. See, Economic Growth, Regulatory Relief, and Consumer Protection Act, Pub. L. No. 115-174, § 401(a)(1) (amending 12 U.S.C. § 5365), 132 Stat. 1296 (2018). Return to text
    7. See dissenting statement, “Statement on the Community Reinvestment Act Final Rule by Governor Michelle W. Bowman,” news release, October 24, 2023. Return to text
    8. See “Statement on Third Party Risk Management Guidance by Governor Michelle W. Bowman,” news release, June 6, 2023. Return to text
    9. Michelle W. Bowman, “Approaching Policymaking Pragmatically (PDF)” (remarks to the Forum Club of the Palm Beaches, West Palm Beach, Florida, November 20, 2024). Return to text
    10. See Federal Reserve Bank of Chicago, Federal Reserve Bank of St. Louis, and Federal Reserve Bank of Kansas City, “Midwest Cyber Workshop 2024,” June 25‑26, 2024. Return to text
    11. Michelle W. Bowman, “The Role of Research, Data, and Analysis in Banking Reforms (PDF)” (speech at the 2023 Community Banking Research Conference, St. Louis, MO, October 4, 2023); Michelle W. Bowman, “The New Landscape for Banking Competition (PDF),” (speech at the 2022 Community Banking Research Conference, St. Louis, MO, September 28, 2022). Return to text

    MIL OSI USA News

  • MIL-OSI Global: South Africa’s debt has skyrocketed – new rules are needed to manage it

    Source: The Conversation – Africa – By Robert Botha, Research Fellow at the Impumelelo Economic Growth Lab. The Impumelelo Economic Growth Lab is a unit of the Bureau for Economic Research (BER), Stellenbosch University

    South Africa’s fiscal trajectory paints a concerning picture. Public expenditure exceeds revenue. As a result sovereign debt is building up and interest on this debt is increasing.

    This raises concerns over the South African government’s financial sustainability. The debt-to-GDP ratio has skyrocketed from 23.6% in 2008/09 to a projected 74.7% in 2024/25. The International Monetary Fund has recommended that, over the long term, South Africa should reduce its debt-to-GDP ratio to 60% of GDP, in line with that of peers.

    Arguably more important than the debt level is how quickly debt has accumulated. Debt servicing costs, which consist of the interest on government debt and other costs directly associated with borrowing, have been the fastest-growing line item in the national budget. Rising interest payments have been crowding out critical expenditures on services such as health, education and infrastructure.

    As I argue in a recently published report titled “A fiscal anchor for South Africa: Avoiding the mistakes of the past”, establishing a credible fiscal anchor (or fiscal rule) could be step towards avoiding a debt spiral and regaining fiscal sustainability and credibility.

    Fiscal rules are constraints on fiscal policy, designed to impose numerical limits. For example, a limit on the allowable debt-to-GDP ratio, or the allowable balance after accounting for government expenditure and revenue. Fiscal rules are widely used – 105 countries have adopted them so far.

    Failing to address the country’s fiscal challenges risks plunging South Africa into a debt trap. This happens when a country finds it difficult to escape a cycle of debt and has to borrow more to pay off old debt. If debt-servicing costs continue to rise, essential public services will come under even greater strain.

    Several emerging markets have experienced the severe consequences of unchecked debt accumulation and debt servicing costs. Argentina is one example. Without a credible plan to stabilise and reduce debt and debt servicing costs, the risk of economic stagnation and financial instability grows quickly.

    Fiscal erosion and credibility concerns

    The roots of South Africa’s current predicament lie in years of mistakes. These include:

    • spending beyond its means

    • questionable political decisions like bailing out state-owned entities

    • poor governance and oversight at municipal and local government level, which led to inefficient public spending.

    These factors were underpinned by an underperforming economy, unrealised forecasts and arguably weak institutional checks.

    For the last 15 years South Africa’s National Treasury has undertaken to stabilise the country’s debt-to-GDP ratio. This would have required keeping the ratio constant. But these commitments have consistently been deferred. Debt stabilisation targets have been revised upwards 13 times, from 40% in 2015/16 to the current 75.5%. The stabilisation year has been pushed back 10 times, from the initial year of 2015/16 to the current target of 2025/26. This has created a perception of inconsistent policy.

    Over-optimistic macroeconomic forecasting has undermined credibility. Over the last ten years, GDP growth projections have routinely overshot actual performance by an average of 0.5 percentage points in the first year of forecasts and even more in subsequent years. In defence of the National Treasury, the South African economy has performed worse than more forecasters expected in recent years.

    Adding to the fiscal strain are rising social expenditures, the public sector wage bill and repeated bailouts of state-owned enterprises. This spending relieves short-term political and social pressures, but undermines the country’s long-term fiscal health.

    Without credible mechanisms to constrain spending, South Africa’s fiscal framework lacks the discipline needed to ensure sustainability, and to restore credibility.

    Why fiscal rules matter

    Fiscal rules are there to promote discipline, ensure that debt can be paid and enhance credibility. The experience in the 105 countries that have adopted them suggests that strong, well-designed rules can signal a government’s commitment to fiscal prudence.

    It’s difficult to establish whether there is a causal relationship between fiscal rules and fiscal performance. But there’s at least a correlation. As a practical example of enforcing fiscal rules, in November 2023, the German constitutional court overruled a budget that was passed in the Bundestag but breached Germany’s fiscal rules.

    However, fiscal rules are not a panacea. Poorly designed or inadequately enforced rules can make the problems worse. For South Africa, this risk is acute.

    Political commitment and strong institutional frameworks are needed too. Also, a shift in how fiscal policy is conceived and implemented.

    Designing new rules

    Drawing lessons from global best practices, South Africa’s fiscal rules must be enforceable, flexible and simple. A well-designed rule should:

    • stabilise and eventually reduce the debt-to-GDP ratio

    • target government spending as a share of GDP, emphasising consumption spending like salaries and goods and services, rather than capital expenditure

    • have political buy-in

    • be overseen independently

    • be legally binding and enforceable.

    Context

    South Africa’s low economic growth rate is a complication. Average interest rates on government debt are higher than the nominal GDP growth rate. But reining in spending too much could stifle growth, creating a vicious cycle.

    That’s why stabilising debt first would make more sense than aiming to reduce debt too rapidly.

    South Africa’s fiscal rules must also have some flexibility. For instance, they could allow for shocks such as natural disasters or global economic crises.

    Fiscal rules could follow a phased approach to initially focus on stabilising debt, and then to move towards reducing debt. Both of these phases would entail expenditure rules to guide annual budget processes and to place limits on spending.

    The benefits

    Credible fiscal rules could have a number of benefits.

    Firstly, they could improve South Africa’s credibility by signalling to markets and international institutions that South Africa is committed to fiscal discipline.

    Secondly, fiscal credibility is associated with reduced sovereign risk premiums, which translates into lower debt-servicing costs. In turn this would free up resources for critical development priorities.

    Third, they can foster a more stable economic environment for investment and growth.

    Fourth, they would help coordinate policies. South Africa enjoys rule-based monetary policy in the form of inflation targeting but lacks the same for fiscal policy. This can lead to sub-optimal outcomes. For example, the central bank can keep interest rates too high, not necessarily because it thinks the treasury’s policies are inflationary, but because it cannot predict the treasury’s actions.

    The way forward

    Adopting fiscal rules in South Africa comes with risks. Weak institutional capacity, especially in oversight bodies like the Parliamentary Budget Office, could undermine rule enforcement.

    To shield against these risks, South Africa should have stronger institutions. It could create an independent statutory fiscal council, possibly falling under Parliament, the National Treasury or as an independent constitutional advisory body.

    Oversight bodies would also need to build their capacity.

    Robert Botha is a Research Fellow at the Impumelelo Economic Growth Lab. The Impumelelo Economic Growth Lab is a unit of the Bureau for Economic Research (BER)

    ref. South Africa’s debt has skyrocketed – new rules are needed to manage it – https://theconversation.com/south-africas-debt-has-skyrocketed-new-rules-are-needed-to-manage-it-248355

    MIL OSI – Global Reports

  • MIL-OSI: Orrstown Financial Services, Inc. Reports Fourth Quarter 2024 Results

    Source: GlobeNewswire (MIL-OSI)

    • Net income of $13.7 million, or $0.71 per diluted share, for the three months ended December 31, 2024 compared to net loss of $7.9 million, or $0.41 per diluted share, for the three months ended September 30, 2024; the fourth quarter of 2024 included $3.9 million in expenses related to the merger and $0.5 million for a legal settlement compared to $17.0 million in expenses related to the merger, $15.5 million of provision for credit losses on non-purchase credit deteriorated loans and $4.8 million for an executive retirement, net of taxes, for the third quarter of 2024;
    • Excluding the impact of the non-recurring charges referenced above, net income and diluted earnings per share, respectively, were $16.7 million(1) and $0.87(1) for the fourth quarter of 2024 compared to adjusted net income and diluted earnings per share of $21.4 million(1) and $1.11(1), respectively;
    • The Board of Directors declared a cash dividend of $0.26 per common share, payable February 21, 2025, to shareholders of record as of February 14, 2025; this represents an increase in the Company’s quarterly cash dividend of $0.03 per share, or 13%;
    • The previously announced cost save target of 18% has been achieved for the go-forward operating run rate as of December 31, 2024;
    • With the core conversion being completed in November 2024, the fourth quarter results reflected several ongoing activities associated with the conversion and the transitional period; the fourth quarter also included elevated salaries and employee benefit expenses due to year end performance-based incentive accruals;
    • Net interest margin, on a tax equivalent basis, was 4.05% in the fourth quarter of 2024 compared to 4.14% in the third quarter of 2024; the net accretion impact of purchase accounting marks was $7.2 million of net interest income, which represents 52 basis points of net interest margin for the fourth quarter of 2024 compared to $5.8 million of net interest income, which represents 42 basis points of net interest margin, for the third quarter of 2024;
    • Commercial loans declined by $59.5 million, or 2%, from September 30, 2024 to December 31, 2024 due primarily to strategic actions to reduce risk in the portfolio, including reducing commercial real estate (“CRE”) loan concentrations; a pool of mostly commercial and industrial loans totaling $6.0 million was sold, including $2.6 million of nonaccrual loans; total classified loans declined by $16.9 million during the fourth quarter of 2024;
    • Noninterest income decreased by $1.2 million to $11.2 million in the three months ended December 31, 2024 compared to $12.4 million in the three months ended September 30, 2024; this reduction was driven by certain courtesy fee waivers provided to clients as well as tax credits recognized in the third quarter of 2024 that did not recur in the fourth quarter;
    • The provision for credit losses was $1.8 million for the three months ended December 31, 2024, inclusive of a charge-off of $2.4 million for one commercial and industrial (C&I) relationship and charge-offs associated with the loan sale of $0.6 million, which was offset by the acceleration of a purchase mark for the same amount;
    • Tangible book value per common share(1) increased to $21.19 per share at December 31, 2024 compared to $21.12 per share at September 30, 2024.

    (1) Non-GAAP measure. See Appendix A for additional information.

    HARRISBURG, Pa., Jan. 31, 2025 (GLOBE NEWSWIRE) — Orrstown Financial Services, Inc. (NASDAQ: ORRF), the parent company of Orrstown Bank (the “Bank”), announced earnings for the three months ended December 31, 2024. Net income totaled $13.7 million for the three months ended December 31, 2024, compared to net loss of $7.9 million for the three months ended September 30, 2024 and net income of $7.6 million for the three months ended December 31, 2023. Diluted earnings per share was $0.71 for the three months ended December 31, 2024, compared to diluted loss per share of $0.41 for the three months ended September 30, 2024 and diluted earnings per share of $0.73 for the three months ended December 31, 2023. For the fourth quarter of 2024, excluding the impact of merger-related expenses and other non-recurring charges, net of taxes, net income and diluted earnings per share were $16.7 million(1) and $0.87(1), respectively. For the third quarter of 2024, excluding the impact of the merger-related expenses, net of taxes, net income and diluted earnings per share were $21.4 million(1) and $1.11(1), respectively. For the fourth quarter of 2023, excluding the impact from the merger-related expenses, net income and diluted earnings per share were $8.6 million(1) and $0.83(1), respectively.

    “While we are pleased with another year of strong core earnings, we are even more excited about what lies ahead,” said Thomas R. Quinn, Jr., President and Chief Executive Officer. “We successfully completed our core conversion in November and have achieved the targeted 18% cost savings in our future operating run rate of the two banks’ combined noninterest expense base. With the integration behind us, we look forward to returning our focus to growing the company, enhancing shareholder value and building the premier community banking franchise in our Pennsylvania and Maryland markets.”

    (1) Non-GAAP measure. See Appendix A for additional information.

    DISCUSSION OF RESULTS

    Balance Sheet

    Loans

    Loans held for investment was $3.9 billion at December 31, 2024, a decrease of $50.2 million, compared to $4.0 billion at September 30, 2024. The decrease from the third quarter of 2024 was primarily due to strategic actions to reduce risk in the portfolio, including reducing CRE loan concentrations.

    Investment Securities

    Investment securities, all of which are classified as available-for-sale, increased by $2.9 million to $829.7 million at December 31, 2024 from $826.8 million at September 30, 2024. During the fourth quarter of 2024, investment securities totaling $37.7 million were purchased, partially offset by paydowns of $18.1 million and net unrealized losses of $16.2 million. The overall duration of the Company’s investment securities portfolio was 4.1 years at December 31, 2024 compared to 4.6 years at September 30, 2024. See Appendix B for a summary of the Bank’s investment securities at December 31, 2024, highlighting their concentrations, credit ratings and credit enhancement levels.

    Deposits

    During the fourth quarter of 2024, deposits decreased by $35.1 million to $4.6 billion at December 31, 2024 compared to $4.7 billion at September 30, 2024 due to normal seasonal activity. The Bank’s loan-to-deposit ratio decreased slightly to 85% at December 31, 2024 from 86% at September 30, 2024.

    Borrowings

    The Bank actively manages its liquidity position through its various sources of funding to meet the needs of its clients. FHLB advances and other borrowings remained at $115.4 million at December 31, 2024 and September 30, 2024. The Bank seeks to maintain sufficient liquidity to ensure client needs can be addressed in a timely basis. The Bank had available alternative funding sources, such as FHLB advances and other wholesale options, of approximately $1.7 billion at December 31, 2024.

    Goodwill and Intangible Assets

    Goodwill decreased by $2.5 million from September 30, 2024 to December 31, 2024 due to certain purchase accounting adjustments, primarily an increase in the core deposit intangible of $4.1 million.

    Income Statement

    Net Interest Income and Margin

    Net interest income was $50.6 million for the three months ended December 31, 2024 compared to $51.7 million for the three months ended September 30, 2024. The net interest margin, on a tax equivalent basis, decreased to 4.05% in the fourth quarter of 2024 from 4.14% in the third quarter of 2024. The net interest margin was positively impacted by the net accretion impact of purchase accounting marks on loans, securities, deposits and borrowings of $7.2 million, which represents 52 basis points of net interest margin during the fourth quarter of 2024. During the third quarter of 2024, the net accretion impact of purchase accounting marks was $5.8 million, which represented 42 basis points of net interest margin. Funding costs show signs of stabilizing.

    Interest income on loans, on a tax equivalent basis, decreased by $2.7 million to $68.1 million for the three months ended December 31, 2024 compared to $70.8 million for the three months ended September 30, 2024. Average loans decreased by $28.0 million during the three months ended December 31, 2024 compared to the three months ended September 30, 2024.

    Interest income on investment securities, on a tax equivalent basis, was $9.9 million for the fourth quarter of 2024 compared to $10.1 million in the third quarter of 2024.

    Interest expense, on a tax equivalent basis, decreased by $1.9 million to $29.4 million for the three months ended December 31, 2024 compared to $31.3 million for the three months ended September 30, 2024. Average interest-bearing deposits decreased by $58.1 million during the three months ended December 31, 2024 compared to the three months ended September 30, 2024. Average borrowings decreased by $1.3 million during the three months ended December 31, 2024 compared to the three months ended September 30, 2024. Interest expense includes $0.9 million and $1.5 million of amortization of purchase accounting marks for the three months ended December 31, 2024 and September 30, 2024, respectively.

    Provision for Credit Losses

    The allowance for credit losses (“ACL”) on loans decreased to $48.7 million at December 31, 2024 from $49.6 million at September 30, 2024. The ACL to total loans was 1.24% at December 31, 2024 compared to 1.25% at September 30, 2024. The Company recorded a provision for credit losses on loans of $2.1 million for the three months ended December 31, 2024 compared to $14.1 million for the three months ended September 30, 2024. Net charge-offs were $3.0 million for the three months ended December 31, 2024 compared to net charge-offs of $0.3 million for the three months ended September 30, 2024. During the fourth quarter of 2024, the Bank sold $6.0 million of mostly C&I loans, which resulted in a charge-off totaling $0.6 million. There was also a corresponding $0.6 million of purchase accounting accretion associated with these loans.

    Classified loans decreased by $16.9 million to $88.6 million at December 31, 2024 from $105.5 million at September 30, 2024 primarily due to a combination of repayments and net rating upgrades, in addition to the loan sale. Non-accrual loans decreased by $2.8 million to $24.1 million at December 31, 2024 from $26.9 million at September 30, 2024 partially due to a sale of mostly C&I loans on nonaccrual status totaling $2.6 million during the fourth quarter of 2024. Nonaccrual loans to total loans decreased to 0.61% at December 31, 2024 compared to 0.68% at September 30, 2024 and decreased from 1.11% at December 31, 2023. Management believes the ACL to be adequate based on current asset quality metrics and economic conditions.

    Noninterest Income

    Noninterest income decreased by $1.2 million to $11.2 million in the three months ended December 31, 2024 from $12.4 million in the three months ended September 30, 2024. There were reduced service charges in the fourth quarter due to fee waivers provided to clients in the post-conversion period from November through the end of the year.

    Wealth management income decreased to $4.9 million in the three months ended December 31, 2024 compared to $5.0 million for the three months ended September 30, 2024. The team continues to provide value added services to clients and deliver strong results.

    Other income decreased by $0.3 million to $1.6 million in the three months ended December 31, 2024 compared to $1.9 million in the three months ended September 30, 2024 due to income from solar tax credits totaling $0.3 million recorded during the third quarter of 2024.

    Noninterest Expenses

    Noninterest expenses decreased by $17.4 million to $42.9 million in the three months ended December 31, 2024 from $60.3 million in the three months ended September 30, 2024.

    The Company’s financial results for any periods ended prior to July 1, 2024 reflect Orrstown’s results only on a standalone basis. As a result of this factor and the merger-related items below, the Company’s financial results for the fourth quarter of 2024 may not be directly comparable to prior reported periods.

    For the three months ended December 31, 2024, merger-related expenses totaled $3.9 million, a decrease of $13.1 million, compared to $17.0 million for the three months ended September 30, 2024. The merger costs incurred during the fourth quarter of 2024 include employee separation costs, software conversion costs and professional fees. The Company expect to incur some additional merger-related expenses in the first quarter of 2025.

    Salaries and benefits expense decreased by $4.8 million to $22.4 million for the three months ended December 31, 2024 compared to $27.2 million for the three months ended September 30, 2024. The three months ended September 30, 2024 included $4.8 million of expenses associated with the retirement of an executive.

    Intangible asset amortization increased to $2.8 million for the three months ended December 31, 2024 compared to $2.5 million for the three months ended September 30, 2024. This increase is due to the amortization expense recognized on the core deposit intangible of $40.1 million and wealth customer relationship intangible of $10.4 million established on July 1, 2024 from the merger. Due to the aforementioned purchase accounting adjustment, the three months ended December 31, 2024 included $0.4 million of additional amortization expense associated with this adjustment.

    Taxes other than income decreased by $0.8 million in the three months ended December 31, 2024 compared to the three months ended September 30, 2024. This decrease reflects tax credits recognized during the fourth quarter of 2024.

    Income Taxes

    The Company’s effective tax rate was 20.1% for both the fourth and third quarters of 2024. The Company’s effective tax rate for the three months ended December 31, 2024 is less than the 21% federal statutory rate primarily due to tax-exempt income, including interest earned on tax-exempt loans and securities and income from life insurance policies and tax credits partially offset by the disallowed portion of interest expense against earnings in association with the Bank’s tax-exempt investments under the Tax Equity and Fiscal Responsibility Act of 1982 (“TEFRA”) and the impact of nondeductible merger-related costs. The Company regularly analyzes its projected taxable income and makes adjustments to the provision for income taxes accordingly.

    Capital

    Shareholders’ equity totaled $516.7 million at December 31, 2024 compared to $516.2 million at September 30, 2024. The impact of net income of $13.7 million was offset by a reduction of $10.4 million in accumulated other comprehensive loss from an increase in unrealized losses in the investment portfolio and dividend payments of $4.4 million.

    Tangible book value per share(1) increased to $21.19 per share at December 31, 2024 from $21.12 per share at September 30, 2024.

    The Company’s tangible common equity ratio was 7.5% at both December 31, 2024 and September 30, 2024. The Company’s total risk-based capital ratio was 12.4% at both December 31, 2024 and September 30, 2024. The Company’s Tier 1 leverage ratio increased to 8.3% at December 31, 2024 compared to 8.0% at September 30, 2024 driven by earnings and a decrease in average assets during the fourth quarter of 2024.

    At December 31, 2024, all four capital ratios applicable to the Company were above regulatory minimum levels to be deemed “well capitalized” under current bank regulatory guidelines. The Company continues to believe that capital is adequate to support the risks inherent in the balance sheet, as well as growth requirements.

    (1) Non-GAAP measure. See Appendix A for additional information.

    Investor Relations Contact:
    Neelesh Kalani
    Executive Vice President, Chief Financial Officer
    Phone (717) 510-7097
    FINANCIAL HIGHLIGHTS (Unaudited)              
                   
      Three Months Ended   Twelve Months Ended
      December 31,   December 31,   December 31,   December 31,
    (In thousands)   2024       2023       2024       2023  
                   
    Profitability for the period:              
    Net interest income $ 50,573     $ 26,018     $ 155,254     $ 104,906  
    Provision for credit losses   1,755       418       16,546       1,682  
    Noninterest income   11,247       6,491       37,435       25,652  
    Noninterest expenses   42,930       22,392       148,337       83,843  
    Income before income tax expense   17,135       9,699       27,806       45,033  
    Income tax expense   3,451       2,056       5,756       9,370  
    Net income available to common shareholders $ 13,684     $ 7,643     $ 22,050     $ 35,663  
                   
    Financial ratios:              
    Return on average assets (1)   1.00 %     1.00 %     0.51 %     1.19 %
    Return on average assets, adjusted (1) (2) (3)   1.22 %     1.13 %     1.30 %     1.22 %
    Return on average equity (1)   10.54 %     12.21 %     5.62 %     14.66 %
    Return on average equity, adjusted (1) (2) (3)   12.86 %     13.77 %     14.29 %     15.06 %
    Net interest margin (1)   4.05 %     3.71 %     3.92 %     3.80 %
    Efficiency ratio   69.4 %     68.9 %     77.0 %     64.2 %
    Efficiency ratio, adjusted (2) (3)   62.3 %     65.6 %     62.5 %     63.4 %
    Income per common share:              
    Basic $ 0.72     $ 0.74     $ 1.49     $ 3.45  
    Basic, adjusted (2) (3) $ 0.87     $ 0.84     $ 3.80     $ 3.54  
    Diluted $ 0.71     $ 0.73     $ 1.48     $ 3.42  
    Diluted, adjusted (2) (3) $ 0.87     $ 0.83     $ 3.76     $ 3.51  
                   
    Average equity to average assets   9.45 %     8.18 %     9.08 %     8.11 %
                   
    (1) Annualized for the three months ended December 31, 2024 and 2023.
    (2) Ratio has been adjusted for the non-recurring charges for all periods presented.
    (3) Non-GAAP based financial measure. Please refer to Appendix A – Supplemental Reporting of Non-GAAP Measures and GAAP to Non-GAAP Reconciliations for a discussion of our use of non-GAAP based financial measures, including tables reconciling GAAP and non-GAAP financial measures appearing herein.
    FINANCIAL HIGHLIGHTS (Unaudited)      
    (continued)      
      December 31,   December 31,
    (Dollars in thousands, except per share amounts)   2024       2023  
    At period-end:      
    Total assets $ 5,431,023     $ 3,064,240  
    Loans, net of allowance for credit losses   3,882,525       2,269,611  
    Loans held-for-sale, at fair value   6,614       5,816  
    Securities available for sale, at fair value   829,711       513,519  
    Total deposits   4,615,706       2,558,814  
    FHLB advances and other borrowings and Securities sold under agreements to repurchase   141,227       147,285  
    Subordinated notes and trust preferred debt   68,680       32,093  
    Shareholders’ equity   516,682       265,056  
           
    Credit quality and capital ratios (1):      
    Allowance for credit losses to total loans   1.24 %     1.25 %
    Total nonaccrual loans to total loans   0.61 %     1.11 %
    Nonperforming assets to total assets   0.45 %     0.83 %
    Allowance for credit losses to nonaccrual loans   202 %     112 %
    Total risk-based capital:      
    Orrstown Financial Services, Inc.   12.4 %     13.0 %
    Orrstown Bank   12.4 %     12.8 %
    Tier 1 risk-based capital:      
    Orrstown Financial Services, Inc.   10.2 %     10.8 %
    Orrstown Bank   11.2 %     11.6 %
    Tier 1 common equity risk-based capital:      
    Orrstown Financial Services, Inc.   10.0 %     10.8 %
    Orrstown Bank   11.2 %     11.6 %
    Tier 1 leverage capital:      
    Orrstown Financial Services, Inc.   8.3 %     8.9 %
    Orrstown Bank   9.1 %     9.5 %
           
    Book value per common share $ 26.65     $ 24.98  
           
    (1) Capital ratios are estimated for the current period, subject to regulatory filings. The Company elected the three-year phase in option for the day-one impact of ASU 2016-13 for current expected credit losses (“CECL”) to regulatory capital. Beginning in 2023, the Company adjusted retained earnings, allowance for credit losses includable in tier 2 capital and the deferred tax assets from temporary differences in risk weighted assets by the permitted percentage of the day-one impact from adopting the CECL standard.
    CONSOLIDATED BALANCE SHEETS (Unaudited)      
           
    (Dollars in thousands, except per share amounts) December 31, 2024   December 31, 2023
    Assets      
    Cash and due from banks $ 51,026     $ 32,586  
    Interest-bearing deposits with banks   187,282       32,575  
    Cash and cash equivalents   238,308       65,161  
    Restricted investments in bank stocks   20,232       11,992  
    Securities available for sale (amortized cost of $864,920 and $549,089 at December 31, 2024 and December 31, 2023, respectively)   829,711       513,519  
    Loans held for sale, at fair value   6,614       5,816  
    Loans   3,931,214       2,298,313  
    Less: Allowance for credit losses   (48,689 )     (28,702 )
    Net loans   3,882,525       2,269,611  
    Premises and equipment, net   50,217       29,393  
    Cash surrender value of life insurance   143,854       73,204  
    Goodwill   68,106       18,724  
    Other intangible assets, net   47,765       2,414  
    Accrued interest receivable   21,058       13,630  
    Deferred tax assets, net   42,647       22,017  
    Other assets   79,986       38,759  
    Total assets $ 5,431,023     $ 3,064,240  
           
    Liabilities      
    Deposits:      
    Noninterest-bearing $ 886,786     $ 430,959  
    Interest-bearing   3,728,920       2,127,855  
    Total deposits   4,615,706       2,558,814  
    Securities sold under agreements to repurchase and federal funds purchased   25,863       9,785  
    FHLB advances and other borrowings   115,364       137,500  
    Subordinated notes and trust preferred debt   68,680       32,093  
    Other liabilities   88,728       60,992  
    Total liabilities   4,914,341       2,799,184  
           
    Shareholders’ Equity      
    Preferred stock, $1.25 par value per share; 500,000 shares authorized; no shares issued or outstanding          
    Common stock, no par value—$0.05205 stated value per share; 50,000,000 shares authorized; 19,722,640 shares issued and 19,389,967 outstanding at December 31, 2024; 11,204,599 shares issued and 10,612,390 outstanding at December 31, 2023   1,027       583  
    Additional paid—in capital   423,274       189,027  
    Retained earnings   126,540       117,667  
    Accumulated other comprehensive loss   (26,316 )     (28,476 )
    Treasury stock— 332,673 and 592,209 shares, at cost at December 31, 2024 and December 31, 2023, respectively   (7,843 )     (13,745 )
    Total shareholders’ equity   516,682       265,056  
    Total liabilities and shareholders’ equity $ 5,431,023     $ 3,064,240  
    ORRSTOWN FINANCIAL SERVICES, INC.
    CONDENSED CONSOLIDATED STATEMENTS OF INCOME (Unaudited)
                     
        Three Months Ended   Twelve Months Ended
        December 31,   December 31,   December 31,   December 31,
    (Dollars in thousands, except per share amounts)     2024       2023       2024       2023  
    Interest income                
    Loans   $ 67,870     $ 33,910     $ 210,287     $ 126,595  
    Investment securities – taxable     8,773       4,787       27,361       18,031  
    Investment securities – tax-exempt     880       871       3,521       3,462  
    Short-term investments     2,492       460       7,764       1,809  
    Total interest income     80,015       40,028       248,933       149,897  
    Interest expense                
    Deposits     26,850       12,118       84,234       37,510  
    Securities sold under agreements to repurchase and federal funds purchased     67       30       215       114  
    FHLB advances and other borrowings     1,165       1,358       4,945       5,350  
    Subordinated notes and trust preferred debt     1,360       504       4,285       2,017  
    Total interest expense     29,442       14,010       93,679       44,991  
    Net interest income     50,573       26,018       155,254       104,906  
    Provision for credit losses     1,755       418       16,546       1,682  
    Net interest income after provision for credit losses     48,818       25,600       138,708       103,224  
    Noninterest income                
    Service charges     2,050       1,198       6,893       4,866  
    Interchange income     1,608       952       5,259       3,873  
    Swap fee income     597       588       1,676       1,039  
    Wealth management income     4,902       2,945       16,353       11,340  
    Mortgage banking activities     517       143       1,835       591  
    Investment securities (losses) gains     (5 )     (39 )     249       (47 )
    Other income     1,578       704       5,170       3,990  
    Total noninterest income     11,247       6,491       37,435       25,652  
    Noninterest expenses                
    Salaries and employee benefits     22,444       12,848       76,581       50,983  
    Occupancy, furniture and equipment     4,893       2,534       14,570       9,593  
    Data processing     1,540       1,247       6,088       4,913  
    Advertising and bank promotions     878       501       2,587       2,157  
    FDIC insurance     955       460       2,677       1,960  
    Professional services     1,591       702       4,142       2,905  
    Taxes other than income     (312 )     203       734       1,050  
    Intangible asset amortization     2,838       236       5,742       953  
    Merger-related expenses     3,887       1,059       22,671       1,059  
    Restructuring expenses     39             296        
    Other operating expenses     4,177       2,602       12,249       8,270  
    Total noninterest expenses     42,930       22,392       148,337       83,843  
    Income before income tax expense     17,135       9,699       27,806       45,033  
    Income tax expense     3,451       2,056       5,756       9,370  
    Net income   $ 13,684     $ 7,643     $ 22,050     $ 35,663  
    continued
                     
        Three Months Ended   Twelve Months Ended
        December 31,   December 31,   December 31,   December 31,
          2024       2023       2024       2023  
    Share information:                
    Basic earnings per share   $ 0.72     $ 0.74     $ 1.49     $ 3.45  
    Diluted earnings per share   $ 0.71     $ 0.73     $ 1.48     $ 3.42  
    Dividends paid per share   $ 0.23     $ 0.20     $ 0.86     $ 0.80  
    Weighted average shares – basic     19,118       10,321       14,761       10,340  
    Weighted average shares – diluted     19,300       10,419       14,914       10,435  
    ANALYSIS OF NET INTEREST INCOME        
    Average Balances and Interest Rates, Taxable-Equivalent Basis (Unaudited)    
         
      Three Months Ended
      12/31/2024   9/30/2024   6/30/2024   3/31/2024   12/31/2023
          Taxable-   Taxable-       Taxable-   Taxable-       Taxable-   Taxable-       Taxable-   Taxable-       Taxable-   Taxable-
      Average   Equivalent   Equivalent   Average   Equivalent   Equivalent   Average   Equivalent   Equivalent   Average   Equivalent   Equivalent   Average   Equivalent   Equivalent
    (In thousands) Balance   Interest   Rate   Balance   Interest   Rate   Balance   Interest   Rate   Balance   Interest   Rate   Balance   Interest   Rate
    Assets                                                          
    Federal funds sold & interest-bearing bank balances $ 199,236   $ 2,492     4.96 %   $ 184,465   $ 2,452     5.29 %   $ 142,868   $ 1,864     5.25 %   $ 74,523   $ 956     5.16 %   $ 37,873   $ 460     4.82 %
    Investment securities (1)(2)   849,389     9,887     4.66       849,700     10,123     4.77       538,451     6,114     4.54       519,851     5,694     4.39       508,891     5,890     4.63  
    Loans (1)(3)(4)(5)(6)   3,961,269     68,073     6.82       3,989,259     70,849     7.07       2,324,942     35,690     6.17       2,308,103     36,382     6.34       2,286,678     34,055     5.91  
    Total interest-earning assets   5,009,894     80,452     6.38       5,023,424     83,424     6.61       3,006,261     43,668     5.84       2,902,477     43,032     5.96       2,833,442     40,405     5.67  
    Other assets   454,271             491,719             204,863             196,295             204,382        
    Total assets $ 5,464,165           $ 5,515,143           $ 3,211,124           $ 3,098,772           $ 3,037,824        
    Liabilities and Shareholders’ Equity                                                
    Interest-bearing demand deposits(7) $ 1,257,316     5,360     1.69     $ 2,554,743     16,165     2.52     $ 1,649,753     10,118     2.47     $ 1,570,622     9,192     2.35     $ 1,543,575     8,333     2.14  
    Savings deposits(7)   1,538,287     10,381     2.68       283,337     148     0.21       165,467     140     0.34       170,005     144     0.34       178,351     153     0.34  
    Time deposits   998,963     11,109     4.41       1,014,628     12,290     4.82       481,721     5,007     4.18       428,443     4,180     3.92       392,085     3,632     3.67  
    Total interest-bearing deposits   3,794,566     26,850     2.81       3,852,708     28,603     2.95       2,296,941     15,265     2.67       2,169,070     13,516     2.51       2,114,011     12,118     2.27  
    Securities sold under agreements to repurchase and federal funds purchased   21,572     67     1.23       23,075     96     1.66       13,412     27     0.81       12,010     25     0.85       13,874     30     0.85  
    FHLB advances and other borrowings   115,373     1,165     4.01       115,388     1,154     3.98       115,000     1,152     4.03       137,505     1,474     4.31       127,843     1,358     4.21  
    Subordinated notes and trust preferred debt   68,571     1,360     7.88       68,399     1,437     8.36       32,118     734     9.19       32,100     754     9.45       32,083     504     6.29  
    Total interest-bearing liabilities   4,000,082     29,442     2.92       4,059,570     31,290     3.07       2,457,471     17,178     2.81       2,350,685     15,769     2.70       2,287,811     14,010     2.43  
    Noninterest-bearing demand deposits   849,999             807,886             423,037             417,469             441,695        
    Other liabilities   97,685             110,017             57,828             62,329             59,876        
    Total liabilities   4,947,766             4,977,473             2,938,336             2,830,483             2,789,382        
    Shareholders’ equity   516,399             537,670             272,788             268,289             248,442        
    Total $ 5,464,165           $ 5,515,143           $ 3,211,124           $ 3,098,772           $ 3,037,824        
    Taxable-equivalent net interest income / net interest spread       51,010     3.46 %         52,134     3.55 %         26,490     3.02 %         27,263     3.26 %         26,395     3.24 %
    Taxable-equivalent net interest margin         4.05 %           4.14 %           3.54 %           3.77 %           3.71 %
    Taxable-equivalent adjustment       (437 )             (437 )             (387 )             (382 )             (377 )    
    Net interest income     $ 50,573             $ 51,697             $ 26,103             $ 26,881             $ 26,018      
    Ratio of average interest-earning assets to average interest-bearing liabilities         125 %           124 %           122 %           123 %           124 %
                                                               
    NOTES:                                                          
    (1) Yields and interest income on tax-exempt assets have been computed on a taxable-equivalent basis assuming a 21% tax rate.
    (2) Average balance of investment securities is computed at fair value.
    (3) Average balances include nonaccrual loans.
    (4) Interest income on loans includes prepayment and late fees, where applicable.
    (5) Interest income on loans includes interest recovered of $1.6 million from the payoff of a commercial real estate loan on nonaccrual status in the three months ended March 31, 2024.
    (6) Interest income on loans includes accretion on purchase accounting marks of $7.6 million, $7.3 million, $0.2 million, $0.1 million and $0.1 million for the three months ended December 31, 2024, September 30, 2024, June 30, 2024, March 31, 2024 and December 31, 2023, respectively.
    (7) Changes between average deposit type balances are due to operational updates for deposit sweeps during the three months ended December 31, 2024.
    ANALYSIS OF NET INTEREST INCOME        
    Average Balances and Interest Rates, Taxable-Equivalent Basis (Unaudited)    
    (continued)                      
      Twelve Months Ended
      December 31, 2024   December 31, 2023
          Taxable-   Taxable-       Taxable-   Taxable-
      Average   Equivalent   Equivalent   Average   Equivalent   Equivalent
    (In thousands) Balance   Interest   Rate   Balance   Interest   Rate
    Assets                      
    Federal funds sold & interest-bearing bank balances $ 150,500     $ 7,764       5.14 %   $ 40,856     $ 1,809       4.43 %
    Investment securities (1)(2)   690,223       31,817       4.60       520,465       22,414       4.31  
    Loans (1)(3)(4)(5)(6)   3,150,425       210,994       6.68       2,239,574       127,107       5.68  
    Total interest-earning assets   3,991,148       250,575       6.26       2,800,895       151,330       5.40  
    Other assets   330,324               198,632          
    Total assets $ 4,321,472             $ 2,999,527          
    Liabilities and Shareholders’ Equity                      
    Interest-bearing demand deposits(7) $ 1,147,124       21,455       1.87     $ 1,525,204       26,944       1.77  
    Savings deposits(7)   1,153,097       30,193       2.61       198,157       585       0.30  
    Time deposits   732,446       32,586       4.44       338,170       9,981       2.95  
    Total interest-bearing deposits   3,032,667       84,234       2.77       2,061,531       37,510       1.82  
    Securities sold under agreements to repurchase and federal funds purchased   17,543       215       1.22       14,111       114       0.80  
    FHLB advances and other borrowings   120,787       4,945       4.08       123,697       5,350       4.32  
    Subordinated notes and trust preferred debt   50,397       4,285       8.48       32,058       2,017       6.29  
    Total interest-bearing liabilities   3,221,394       93,679       2.91       2,231,397       44,991       2.02  
    Noninterest-bearing demand deposits   625,714               470,349          
    Other liabilities   82,084               54,447          
    Total liabilities   3,929,192               2,756,193          
    Shareholders’ equity   392,280               243,334          
    Total liabilities and shareholders’ equity $ 4,321,472             $ 2,999,527          
    Taxable-equivalent net interest income / net interest spread       156,896       3.36 %         106,339       3.39 %
    Taxable-equivalent net interest margin           3.92 %             3.80 %
    Taxable-equivalent adjustment       (1,642 )             (1,433 )    
    Net interest income     $ 155,254             $ 104,906      
    Ratio of average interest-earning assets to average interest-bearing liabilities           124 %             126 %
                           
    NOTES TO ANALYSIS OF NET INTEREST INCOME:
    (1) Yields and interest income on tax-exempt assets have been computed on a taxable-equivalent basis assuming a 21% tax rate.
    (2) Average balance of investment securities is computed at fair value.
    (3) Average balances include nonaccrual loans.
    (4) Interest income on loans includes prepayment and late fees, where applicable.
    (5) Interest income on loans includes interest recovered of $1.6 million from the payoff of a commercial real estate loan on nonaccrual status for the twelve months ended December 31, 2024.
    (6) Interest income on loans includes accretion on purchase accounting marks of $15.2 million and $0.7 million for the twelve months ended December 31, 2024 and 2023, respectively.
    (7) Changes between average deposit type balances are due to operational updates for deposit sweeps during the three months ended December 31, 2024.
    ORRSTOWN FINANCIAL SERVICES, INC.        
    HISTORICAL TRENDS IN QUARTERLY FINANCIAL DATA (Unaudited)        
                       
    (In thousands) December 31,
    2024
      September 30,
    2024
      June 30,
    2024
      March 31,
    2024
      December 31,
    2023
    Profitability for the quarter:                  
    Net interest income $ 50,573     $ 51,697     $ 26,103     $ 26,881     $ 26,018  
    Provision for credit losses   1,755       13,681       812       298       418  
    Noninterest income   11,247       12,386       7,172       6,630       6,491  
    Noninterest expenses   42,930       60,299       22,639       22,469       22,392  
    Income (loss) before income taxes   17,135       (9,897 )     9,824       10,744       9,699  
    Income tax expense (benefit)   3,451       (1,994 )     2,086       2,213       2,056  
    Net income (loss) $ 13,684     $ (7,903 )   $ 7,738     $ 8,531     $ 7,643  
                       
    Financial ratios:                  
    Return on average assets (1)   1.00 %     (0.57) %     0.97 %     1.11 %     1.00 %
    Return on average assets, adjusted (1)(2)(3)   1.22 %     1.55 %     1.09 %     1.19 %     1.13 %
    Return on average equity (1)   10.54 %     (5.85) %     11.41 %     12.79 %     12.21 %
    Return on average equity, adjusted (1)(2)(3)   12.86 %     15.85 %     12.88 %     13.79 %     13.77 %
    Net interest margin (1)   4.05 %     4.14 %     3.54 %     3.77 %     3.71 %
    Efficiency ratio   69.4 %     94.1 %     68.0 %     67.0 %     68.9 %
    Efficiency ratio, adjusted (2)(3)   62.3 %     67.2 %     64.6 %     65.0 %     65.6 %
                       
    Per share information:                  
    Income (loss) per common share:                  
    Basic $ 0.72     $ (0.41 )   $ 0.74     $ 0.82     $ 0.74  
    Basic, adjusted (2)(3)   0.87       1.12       0.84       0.89       0.84  
    Diluted   0.71       (0.41 )     0.73       0.81       0.73  
    Diluted, adjusted (2)(3)   0.87       1.11       0.83       0.88       0.83  
    Book value   26.65       26.65       25.97       25.38       24.98  
    Book value, adjusted (2) (3)   28.40       28.24       26.12       25.44       25.07  
    Tangible book value (3)   21.19       21.12       24.08       23.47       23.03  
    Tangible book value, adjusted (2) (3)   22.94       22.72       24.23       23.53       23.12  
    Cash dividends paid   0.23       0.23       0.20       0.20       0.20  
                       
    Average basic shares   19,118       19,088       10,393       10,349       10,321  
    Average diluted shares   19,300       19,226       10,553       10,482       10,419  
                                           
    (1) Annualized.
    (2) Ratio has been adjusted for non-recurring expenses for all periods presented.
    (3) Non-GAAP based financial measure. Please refer to Appendix A – Supplemental Reporting of Non-GAAP Measures and GAAP to Non-GAAP Reconciliations for a discussion of our use of non-GAAP based financial measures, including tables reconciling GAAP and non-GAAP financial measures appearing herein.
    ORRSTOWN FINANCIAL SERVICES, INC.                
    HISTORICAL TRENDS IN QUARTERLY FINANCIAL DATA (Unaudited)        
    (continued)                  
    (In thousands) December 31,
    2024
      September 30,
    2024
      June 30,
    2024
      March 31,
    2024
      December 31,
    2023
    Noninterest income:                  
    Service charges $ 2,050     $ 2,360     $ 1,283     $ 1,200     $ 1,198  
    Interchange income   1,608       1,779       961       911       952  
    Swap fee income   597       505       375       199       588  
    Wealth management income   4,902       5,037       3,312       3,102       2,945  
    Mortgage banking activities   517       491       369       458       143  
    Other income   1,578       1,943       884       765       704  
    Investment securities (losses) gains   (5 )     271       (12 )     (5 )     (39 )
    Total noninterest income $ 11,247     $ 12,386     $ 7,172     $ 6,630     $ 6,491  
                       
    Noninterest expenses:                  
    Salaries and employee benefits $ 22,444     $ 27,190     $ 13,195     $ 13,752     $ 12,848  
    Occupancy, furniture and equipment   4,893       4,333       2,705       2,639       2,534  
    Data processing   1,540       2,046       1,237       1,265       1,247  
    Advertising and bank promotions   878       537       774       398       501  
    FDIC insurance   955       862       419       441       460  
    Professional services   1,591       1,119       801       631       702  
    Taxes other than income   (312 )     503       49       494       203  
    Intangible asset amortization   2,838       2,464       215       225       236  
    Merger-related expenses   3,887       16,977       1,135       672       1,059  
    Restructuring expenses   39       257                    
    Other operating expenses   4,177       4,011       2,109       1,952       2,602  
    Total noninterest expenses $ 42,930     $ 60,299     $ 22,639     $ 22,469     $ 22,392  
    HISTORICAL TRENDS IN QUARTERLY FINANCIAL DATA (Unaudited)            
    (continued)                  
    (In thousands) December 31,
    2024
      September 30,
    2024
      June 30,
    2024
      March 31,
    2024
      December 31,
    2023
    Balance Sheet at quarter end:                  
    Cash and cash equivalents $ 238,308     $ 236,780     $ 132,509     $ 182,722     $ 65,161  
    Restricted investments in bank stocks   20,232       20,247       11,147       11,453       11,992  
    Securities available for sale   829,711       826,828       529,082       514,909       513,519  
    Loans held for sale, at fair value   6,614       3,561       1,562       535       5,816  
    Loans:                  
    Commercial real estate:                  
    Owner occupied   633,567       622,726       371,301       364,280       373,757  
    Non-owner occupied   1,160,238       1,164,501       710,477       707,871       694,638  
    Multi-family   274,135       276,296       151,542       147,773       150,675  
    Non-owner occupied residential   179,512       190,786       89,156       91,858       95,040  
    Agricultural   125,156       129,486       25,551       25,909       26,847  
    Commercial and industrial   451,384       471,983       349,425       339,615       340,238  
    Acquisition and development:                  
    1-4 family residential construction   47,432       56,383       32,439       22,277       24,516  
    Commercial and land development   241,424       262,317       129,883       118,010       115,249  
    Municipal   30,044       27,960       10,594       10,925       9,812  
    Total commercial loans   3,142,892       3,202,438       1,870,368       1,828,518       1,830,772  
    Residential mortgage:                  
    First lien   460,297       451,195       271,153       270,748       266,239  
    Home equity – term   5,988       6,508       4,633       4,966       5,078  
    Home equity – lines of credit   303,561       303,165       192,736       189,966       186,450  
    Installment and other loans   18,476       18,131       8,713       8,875       9,774  
    Total loans   3,931,214       3,981,437       2,347,603       2,303,073       2,298,313  
    Allowance for credit losses   (48,689 )     (49,630 )     (29,864 )     (29,165 )     (28,702 )
    Net loans held for investment   3,882,525       3,931,807       2,317,739       2,273,908       2,269,611  
    Goodwill   68,106       70,655       18,724       18,724       18,724  
    Other intangible assets, net   47,765       46,144       1,974       2,189       2,414  
    Total assets   5,431,023       5,470,589       3,198,782       3,183,331       3,064,240  
    Total deposits   4,615,706       4,650,853       2,702,884       2,695,951       2,558,814  
    FHLB advances and other borrowings and Securities sold under agreements to repurchase   141,227       137,310       129,625       127,099       147,285  
    Subordinated notes and trust preferred debt   68,680       68,510       32,128       32,111       32,093  
    Total shareholders’ equity   516,682       516,206       278,376       271,682       265,056  
    HISTORICAL TRENDS IN QUARTERLY FINANCIAL DATA (Unaudited)            
    (continued)                  
      December 31,
    2024
      September 30,
    2024
      June 30,
    2024
      March 31,
    2024
      December 31,
    2023
    Capital and credit quality measures (1):                  
    Total risk-based capital:                  
    Orrstown Financial Services, Inc.   12.4 %     12.4 %     13.3 %     13.4 %     13.0 %
    Orrstown Bank   12.4 %     12.2 %     13.1 %     13.1 %     12.8 %
    Tier 1 risk-based capital:                  
    Orrstown Financial Services, Inc.   10.2 %     10.0 %     11.1 %     11.2 %     10.8 %
    Orrstown Bank   11.2 %     11.0 %     12.0 %     11.9 %     11.6 %
    Tier 1 common equity risk-based capital:                  
    Orrstown Financial Services, Inc.   10.0 %     9.8 %     11.1 %     11.2 %     10.8 %
    Orrstown Bank   11.2 %     11.0 %     12.0 %     11.9 %     11.6 %
    Tier 1 leverage capital:                  
    Orrstown Financial Services, Inc.   8.3 %     8.0 %     8.9 %     9.0 %     8.9 %
    Orrstown Bank   9.1 %     8.8 %     9.5 %     9.6 %     9.5 %
                       
    Average equity to average assets   9.45 %     9.75 %     8.50 %     8.66 %     8.18 %
    Allowance for credit losses to total loans   1.24 %     1.25 %     1.27 %     1.27 %     1.25 %
    Total nonaccrual loans to total loans   0.61 %     0.68 %     0.36 %     0.56 %     1.11 %
    Nonperforming assets to total assets   0.45 %     0.49 %     0.26 %     0.40 %     0.83 %
    Allowance for credit losses to nonaccrual loans   202 %     184 %     357 %     226 %     112 %
                       
    Other information:                  
    Net charge-offs (recoveries) $ 3,002     $ 269     $ 113     $ (42 )   $ (6 )
    Classified loans   88,628       105,465       48,722       48,997       55,030  
    Nonperforming and other risk assets:                  
    Nonaccrual loans   24,111       26,927       8,363       12,886       25,527  
    Other real estate owned   138       138                    
    Total nonperforming assets   24,249       27,065       8,363       12,886       25,527  
    Financial difficulty modifications still accruing   4,897       9,497                   9  
    Loans past due 90 days or more and still accruing   641       337       187       99       66  
    Total nonperforming and other risk assets $ 29,787     $ 36,899     $ 8,550     $ 12,985     $ 25,602  
     
    (1) Capital ratios are estimated for the current period, subject to regulatory filings. The Company elected the three-year phase in option for the day-one impact of ASU 2016-13 for current expected credit losses (“CECL”) to regulatory capital. Beginning in 2023, the Company adjusted retained earnings, allowance for credit losses includable in tier 2 capital and the deferred tax assets from temporary differences in risk weighted assets by the permitted percentage of the day-one impact from adopting the new CECL standard.


    Appendix A – Supplemental Reporting of Non-GAAP Measures and GAAP to Non-GAAP Reconciliations

    Management believes providing certain other “non-GAAP” financial information will assist investors in their understanding of the effect on recent financial results from non-recurring charges.

    As a result of acquisitions, the Company has intangible assets consisting of goodwill, core deposit and other intangible assets, which totaled $115.9 million and $21.1 million at December 31, 2024 and December 31, 2023, respectively. In addition, during the three months ended December 31, 2024, September 30, 2024, June 30, 2024, March 31, 2024 and December 31, 2023, the Company incurred $3.9 million, $17.0 million, $1.1 million, $0.7 million and $1.1 million in merger-related expenses, respectively. During the three months ended December 31, 2024 and September 30, 2024, the Company incurred other non-recurring charges totaling $0.5 million and $20.2 million, respectively.

    Tangible book value per common share and the impact of the non-recurring expenses on net income and associated ratios, as used by the Company in this earnings release, are determined by methods other than in accordance with U.S. Generally Accepted Accounting Principles (“GAAP”). While we believe this information is a useful supplement to GAAP based measures presented in this earnings release, readers are cautioned that this non-GAAP disclosure has limitations as an analytical tool, should not be viewed as a substitute for financial measures determined in accordance with GAAP, and should not be considered in isolation or as a substitute for analysis of our results and financial condition as reported under GAAP, nor are such measures necessarily comparable to non-GAAP performance measures that may be presented by other companies. This supplemental presentation should not be construed as an inference that our future results will be unaffected by similar adjustments to be determined in accordance with GAAP.

    The following tables present the computation of each non-GAAP based measure:

    (In thousands)

    Tangible Book Value per Common Share   December 31,
    2024
      September 30,
    2024
      June 30,
    2024
      March 31,
    2024
      December 31,
    2023
    Shareholders’ equity (most directly comparable GAAP-based measure)   $ 516,682     $ 516,206     $ 278,376     $ 271,682     $ 265,056  
    Less: Goodwill     68,106       70,655       18,724       18,724       18,724  
    Other intangible assets     47,765       46,144       1,974       2,189       2,414  
    Related tax effect     (10,031 )     (9,690 )     (415 )     (460 )     (507 )
    Tangible common equity (non-GAAP)   $ 410,842     $ 409,097     $ 258,093     $ 251,229     $ 244,425  
                         
    Common shares outstanding     19,390       19,373       10,720       10,705       10,612  
                         
    Book value per share (most directly comparable GAAP-based measure)   $ 26.65     $ 26.65     $ 25.97     $ 25.38     $ 24.98  
    Intangible assets per share     5.46       5.53       1.89       1.91       1.95  
    Tangible book value per share (non-GAAP)   $ 21.19     $ 21.12     $ 24.08     $ 23.47     $ 23.03  
    (In thousands) Three Months Ended   Twelve Months Ended
    Adjusted Ratios for Non-recurring Charges December 31,
    2024
      September 30, 2024   June 30,
    2024
      March 31,
    2024
      December 31,
    2023
      December 31,
    2024
      December 31,
    2023
    Net income (loss) (A) – most directly comparable GAAP-based measure $ 13,684     $ (7,903 )   $ 7,738     $ 8,531     $ 7,643     $ 22,050     $ 35,663  
    Plus: Merger-related expenses (B)   3,887       16,977       1,135       672       1,059       22,671       1,059  
    Plus: Executive retirement expenses (B)   35       4,758                         4,793        
    Plus: Provision for credit losses on non-PCD loans (B)         15,504                         15,504        
    Plus: Provision for legal settlement (B)   478                               478        
    Less: Related tax effect (C)   (1,386 )     (7,915 )     (139 )     (1 )     (79 )     (9,442 )     (79 )
    Adjusted net income (D=A+B-C) – Non-GAAP $ 16,698     $ 21,421     $ 8,734     $ 9,202     $ 8,623     $ 56,054     $ 36,643  
                               
    Average assets (E) $ 5,464,165     $ 5,515,143     $ 3,211,124     $ 3,098,772     $ 3,037,824     $ 4,321,472     $ 2,999,527  
    Return on average assets (= A / E) – most directly comparable GAAP-based measure (1)   1.00 %      (0.57) %     0.97 %     1.11 %     1.00 %     0.51 %     1.19 %
    Return on average assets, adjusted (= D / E) – Non-GAAP (1)   1.22 %     1.55 %     1.09 %     1.19 %     1.13 %     1.30 %     1.22 %
                               
    Average equity (F) $ 516,399     $ 537,670     $ 272,788     $ 268,289     $ 248,442     $ 392,280     $ 243,334  
    Return on average equity (= A / F) – most directly comparable GAAP-based measure (1)   10.54 %     (5.85) %     11.41 %     12.79 %     12.21 %     5.62 %     14.66 %
    Return on average equity, adjusted (= D / F) – Non-GAAP (1)   12.86 %     15.85 %     12.88 %     13.79 %     13.77 %     14.29 %     15.06 %
                               
    Weighted average shares – basic (G) – most directly comparable GAAP-based measure   19,118       19,088       10,393       10,349       10,321       14,761       10,340  
    Basic earnings (loss) per share (= A / G) – most directly comparable GAAP-based measure $ 0.72     $ (0.41 )   $ 0.74     $ 0.82     $ 0.74     $ 1.49     $ 3.45  
    Basic earnings per share, adjusted (= D / G) – Non-GAAP $ 0.87     $ 1.12     $ 0.84     $ 0.89     $ 0.84     $ 3.80     $ 3.54  
                               
    Weighted average shares – diluted (H) – most directly comparable GAAP-based measure   19,300       19,226       10,553       10,482       10,419       14,914       10,435  
    Diluted earnings (loss) per share (= A / H) – most directly comparable GAAP-based measure $ 0.71     $ (0.41 )   $ 0.73     $ 0.81     $ 0.73     $ 1.48     $ 3.42  
    Diluted earnings per share, adjusted (= D / H) – Non-GAAP $ 0.87     $ 1.11     $ 0.83     $ 0.88     $ 0.83     $ 3.76     $ 3.51  
                               
    continued
    (1) Annualized                          
      Three Months Ended   Twelve Months Ended
      December 31,
    2024
      September 30, 2024   June 30,
    2024
      March 31,
    2024
      December 31,
    2023
      December 31,
    2024
      December 31,
    2023
    Noninterest expense (I) – most directly comparable GAAP-based measure $ 42,930     $ 60,299     $ 22,639     $ 22,469     $ 22,392     $ 148,337     $ 83,843  
    Less: Merger-related expenses (B)   (3,887 )     (16,977 )     (1,135 )     (672 )     (1,059 )     (22,671 )     (1,059 )
    Less: Executive retirement expenses (B)   (35 )     (4,758 )                       (4,793 )      
    Less: Provision for legal settlement (B)   (478 )                             (478 )      
    Adjusted noninterest expense (J = I – B) – Non-GAAP $ 38,531     $ 38,564     $ 21,504     $ 21,797     $ 21,333     $ 120,396     $ 82,784  
                               
    Net interest income (K) $ 50,573     $ 51,697     $ 26,103     $ 26,881     $ 26,018     $ 155,254     $ 104,906  
    Noninterest income (L)   11,247       12,386       7,172       6,630       6,491       37,435       25,652  
    Total operating income (M = K + L) $ 61,820     $ 64,083     $ 33,275     $ 33,511     $ 32,509     $ 192,689     $ 130,558  
                               
    Efficiency ratio (= I / M) – most directly comparable GAAP-based measure   69.4 %     94.1 %     68.0 %     67.0 %     68.9 %     77.0 %     64.2 %
    Efficiency ratio, adjusted (= J / M) – Non-GAAP   62.3 %     60.2 %     64.6 %     65.0 %     65.6 %     62.5 %     63.4 %
                               
    (1) Annualized                          


    Appendix B – Investment Portfolio Concentrations

    The following table summarizes the credit ratings and collateral associated with the Company’s investment security portfolio, excluding equity securities, at December 31, 2024:

    (In thousands)

    Sector Portfolio
    Mix
      Amortized
    Book
      Fair Value   Credit Enhancement   AAA   AA   A   BBB   NR   Collateral / Guarantee Type
    Unsecured ABS %   $ 3,073   $ 2,854   27 %   %   %   %   %   100 %   Unsecured Consumer Debt
    Student Loan ABS 1       4,060     4,035   27                     100     Seasoned Student Loans
    Federal Family Education Loan ABS 9       80,121     80,063   11     7     81         12         Federal Family Education Loan (1)
    PACE Loan ABS       1,985     1,727   7     100                     PACE Loans (2)
    Non-Agency CMBS 2       15,920     15,901   27                     100      
    Non-Agency RMBS 2       16,555     14,528   16     100                     Reverse Mortgages (3)
    Municipal – General Obligation 12       99,515     90,767       11     82     7              
    Municipal – Revenue 14       120,903     109,261           82     12         6      
    SBA ReRemic (5)       2,283     2,278           100                 SBA Guarantee (4)
    Small Business Administration 1       5,926     6,263           100                 SBA Guarantee (4)
    Agency MBS 19       160,027     155,778           100                 Residential Mortgages (4)
    Agency CMO 38       332,380     326,045           100                  
    U.S. Treasury securities 2       20,043     18,063           100                 U.S. Government Guarantee (4)
    Corporate bonds       1,935     1,954               52     48          
      100 %   $ 864,726   $ 829,517       4 %   89 %   3 %   1 %   3 %    
                                           
    (1) 97% guaranteed by U.S. government
    (2) PACE acronym represents Property Assessed Clean Energy loans
    (3) Non-agency reverse mortgages with current structural credit enhancements
    (4) Guaranteed by U.S. government or U.S. government agencies
    (5) SBA ReRemic acronym represents Re-Securitization of Real Estate Mortgage Investment Conduits
                                           
    Note: Ratings in table are the lowest of the six rating agencies (Standard & Poor’s, Moody’s, Fitch, Morningstar, DBRS and Kroll Bond Rating Agency). Standard & Poor’s rates U.S. government obligations at AA+.


    About the Company

    With $5.4 billion in assets, Orrstown Financial Services, Inc. and its wholly-owned subsidiary, Orrstown Bank, provide a wide range of consumer and business financial services in Berks, Cumberland, Dauphin, Franklin, Lancaster, Perry, and York Counties, Pennsylvania and Anne Arundel, Baltimore, Harford, Howard, and Washington Counties, Maryland, as well as Baltimore City, Maryland. The Company’s lending area also includes adjacent counties in Pennsylvania and Maryland, as well as Loudon County, Virginia and Berkeley, Jefferson and Morgan Counties, West Virginia. Orrstown Bank is an Equal Housing Lender and its deposits are insured up to the legal maximum by the FDIC. Orrstown Financial Services, Inc.’s common stock is traded on Nasdaq (ORRF). For more information about Orrstown Financial Services, Inc. and Orrstown Bank, visit www.orrstown.com.

    Cautionary Note Regarding Forward-Looking Statements

    This press release contains “forward-looking statements” within the meaning of Section 27A of the Securities Act and Section 21E of the Exchange Act. Forward-looking statements reflect the current views of the Company’s management with respect to, among other things, future events and the Company’s financial performance. These statements are often, but not always, made through the use of words or phrases such as “may,” “should,” “could,” “predict,” “potential,” “believe,” “will likely result,” “expect,” “continue,” “will,” “anticipate,” “seek,” “estimate,” “intend,” “plan,” “project,” “forecast,” “goal,” “target,” “would” and “outlook,” or the negative variations of those words or other comparable words of a future or forward-looking nature. These forward-looking statements are not historical facts, and are based on current expectations, estimates, predictions or projections about events or the Company’s industry, management’s beliefs and certain assumptions made by management, many of which, by their nature, are inherently uncertain and beyond the Company’s control. Accordingly, the Company cautions you that any such forward-looking statements are not guarantees of future performance and are subject to risks, assumptions and uncertainties that are difficult to predict. Although the Company believes that the expectations reflected in these forward-looking statements are reasonable as of the date made, actual results may prove to be materially different from the results expressed or implied by the forward-looking statements and there can be no assurances that the Company will achieve the desired level of new business development and new loans, growth in the balance sheet and fee-based revenue lines of business, cost savings initiatives and continued reductions in risk assets or mitigation of losses in the future. Factors which could cause the actual results of the Company’s operations to differ materially from expectations include, but are not limited to: general economic conditions (including inflation and concerns about liquidity) on a national basis or in the local markets in which the Company operates; ineffectiveness of the Company’s strategic growth plan due to changes in current or future market conditions; changes in interest rates; the diversion of management’s attention from ongoing business operations and opportunities; the effects of competition and how it may impact our community banking model, including industry consolidation and development of competing financial products and services; changes in consumer behavior due to changing political, business and economic conditions, or legislative or regulatory initiatives; changes in laws and regulations; changes in credit quality; inability to raise capital, if necessary, under favorable conditions; volatility in the securities markets; the demand for our products and services; deteriorating economic conditions; geopolitical tensions; operational risks including, but not limited to, cybersecurity incidents, fraud, natural disasters and future pandemics; expenses associated with litigation and legal proceedings; the possibility that the anticipated benefits of the merger with Codorus (the “Merger”) are not realized when expected or at all; the possibility that the Merger may be more expensive to complete than anticipated; the possibility that revenues following the Merger may be lower than expected; potential adverse reactions or changes to business or employee relationships, including those resulting from the completion of the Merger; the ability to complete the integration of the two companies successfully; the dilution caused by the Company’s issuance of additional shares of its capital stock in connection with the Merger; and other risks and uncertainties, including those detailed in our Annual Report on Form 10-K for the year ended December 31, 2023 under the sections titled “Risk Factors” and “Management’s Discussion and Analysis of Financial Condition and Results of Operations” and in subsequent filings made with the Securities and Exchange Commission.

    The foregoing list of factors is not exhaustive. If one or more events related to these or other risks or uncertainties materializes, or if the Company’s underlying assumptions prove to be incorrect, actual results may differ materially from what the Company anticipates. Accordingly, you should not place undue reliance on any such forward-looking statements. Any forward-looking statement speaks only as of the date on which it is made, and the Company disclaims any obligation to publicly update or review any forward-looking statement, whether as a result of new information, future developments or otherwise. New risks and uncertainties arise from time to time, and it is not possible for the Company to predict those events or how they may affect it. In addition, the Company cannot assess the impact of each factor on its business or the extent to which any factor, or combination of factors, may cause actual results to differ materially from those contained in any forward-looking statements. All forward-looking statements, expressed or implied, included in this press release are expressly qualified in their entirety by this cautionary statement. This cautionary statement should also be considered in connection with any subsequent written or oral forward-looking statements that the Company or persons acting on the Company’s behalf may issue.

    The review period for subsequent events extends up to and includes the filing date of a public company’s financial statements, when filed with the Securities and Exchange Commission. Accordingly, the consolidated financial information presented in this announcement is subject to change. Annualized, pro forma, projected and estimated numbers in this document are used for illustrative purposes only and are not forecasts and may not reflect actual results.

    The MIL Network

  • MIL-OSI United Kingdom: Awards spotlight Canterbury’s community heroes

    Source: City of Canterbury

    Three pillars of the community were presented with Lord Mayor’s Awards to recognise all the work they do to make the district a better place. 

    The awards celebrate local heroes living in Canterbury, Herne Bay, Whitstable and the surrounding villages. 

    This year’s deserving winners were revealed by the Lord Mayor of Canterbury, Cllr Jean Butcher, at a special ceremony at Tower House on Thursday (30 January). 

    The first recipient was Dan Rattigan from Canterbury who runs Warhammer Alliance Canterbury – a free youth club that provides a setting for young people to take part in the Warhammer hobby. 

    Described as ‘kind, patient and inspiring’, Dan runs the youth club in his own time on top of his job as a teacher and holding tabletop hobby events and gaming sessions as part of Gothic Games Canterbury. 

    His nominations cite his support for the University of Kent’s Warhammer club by donating free equipment as well as his fundraising events for local charities. 

    The second recipient was Maureen Hawkes from Hoath whose nomination noted her unwavering service to the community by organising a number of local initiatives including monthly coffee mornings, festive events, and a regular community newsletter. 

    Maureen’s nomination highlights how she ‘has fostered a close-knit, vibrant community where everyone feels they belong’ through her voluntary work and that she brings ‘warmth, joy, and a strong sense of connection to residents of all ages.’ 

    Barbara Plews from Canterbury was the final award winner, having been nominated for setting up a low-cost badminton club for local children back in 2017. 

    She created Canterbury Junior Badminton Club after feeling there was a lack of opportunities for children to play badminton locally and now gives up her time to coach every Saturday morning on top of accompanying the children at local tournaments and league matches.  

    Cllr Butcher said: “Reading the heart-warming nominations sent in was incredibly inspiring but certainly made judging a really tough job. 

    “Although there were so many who deserved thanks, each of the winners selected have shown a true sense of community spirit and had a profound impact on the lives of those living in the district.  

    “It’s a real privilege to recognise Dan, Maureen and Barbara for their deep commitment to our community through the Lord Mayor’s Awards.” 

    Pictured above, from left to right, are Lady Mayoress Di Baldock, Maureen Hawkes, Dan Rattigan, Barbara Plews, and Lord Mayor Cllr Jean Butcher.  

    Published: 31 January 2025

    MIL OSI United Kingdom

  • MIL-OSI Africa: South African troops are dying in the DRC: why they’re there and what’s going wrong

    Source: The Conversation – Africa – By Lindy Heinecken, Professor of Sociology in the Department of Sociology and Social Anthropology., Stellenbosch University

    The death of South African soldiers on a Southern African Development Community (SADC) mission in the Democratic Republic of Congo (DRC) has sparked fierce debate about the deployment of South African National Defence Force (SANDF) soldiers there. Some, including political parties, have questioned whether the soldiers were adequately trained, equipped and supported. Lindy Heinecken has spent decades researching the South African military in peacekeeping operations and has interviewed hundreds of soldiers about their experiences and the challenges during deployment. We asked her for her insights.

    What is South Africa doing in the DRC?

    The country is part of the Southern African Development Community Mission in the Democratic Republic of Congo (SAMIDRC), which includes troops from Malawi and Tanzania. This deployment followed approval by the Southern African Development Community in May 2023, in response to the deteriorating security situation in eastern DRC. The South African National Defence Force is leading the mission.

    Their mandate is to support the DRC government, a member of the 16-member SADC group, in restoring peace, security and stability. The fact that the mandate states that it is to support the DRC government in combating armed groups that threaten peace and security in the eastern DRC implies that this is not a peacekeeping mission.

    The legal basis for the deployment lies in the SADC Mutual Defence Pact, (2003), which states that

    Any armed attack perpetrated against one of the States Parties shall be considered a threat to regional peace and security and shall be met with immediate collective action.

    The mandate gives them the responsibility to protect civilians, disarm armed groups, and help implement the August 2024 ceasefire agreement between the DRC and Rwanda, brokered by Angola as part of the Luanda Process. This agreement aimed to provide a more secure environment, and protect critical infrastructure to ensure the safe delivery of humanitarian aid. This is in line with the United Nations’ responsibility to protect victims of genocide, war crimes, ethnic cleansing and crimes against humanity.


    Read more: South Africa to lead new military force in the DRC: an expert on what it’s up against


    The M23 rebel group, which is supported by Rwanda, has committed a wide range of atrocities in the eastern DRC which can be traced back to the 1994 genocide.

    The impact on civilians has been devastating. While pinning down an exact number is difficult, it’s clear that the rebel forces operating in the eastern DRC, particularly the M23, pose a significant challenge to the stability of the region, and the safety and security of civilians.

    The rebels are implicated in mass killings of civilians, rape and other forms of sexual violence and attacks on camps for internally displaced persons. The M23’s atrocities have been condemned by the international community. The United Nations and human rights bodies have called for an end to the violence. They also demand accountability for the perpetrators.

    In sum, South African soldiers – alongside Malawians and Tanzanians – are in the DRC to assist the Congolese army in combating the armed groups and to protect civilians from violence and human rights abuses.

    Are the soldiers adequately prepared and equipped?

    Many questions have been asked about whether South African troops on the mission forces are adequately trained and equipped. Critics claim this deployment is suicidal.

    South African soldiers are well-trained and have served in numerous peace operations. Their extensive deployment means that they have accumulated valuable experience. They have been part of the UN Stabilisation Mission in the DR Congo, Monusco, almost since inception in 1999.

    Monusco forces are still present in the DRC, but in the process of withdrawing. Congolese president Félix Tshisekedi requested they leave because of their perceived ineffectiveness.

    Nonetheless, there are some valid concerns about the South Africans’ current level of preparedness for the DRC mission. Not least given the complex political situation. There are over 100 diverse armed groups involved. And the terrain is difficult.

    The combination of budget cuts, resource limitations, and the complex nature of the conflict raises questions about the South African National Defence Force’s ability to effectively achieve its objectives, and ensure the safety of its personnel.

    The force takes its own equipment on missions to ensure it is self-sufficient and can meet its specialised needs. The problem is that this equipment is old, leading to shortages due to maintenance problems. This affects the force’s ability to carry out its duties.

    Budget cuts for defence over the years, to less than 1% of GDP compared to the global average of 2%, have severely affected the military’s ability to maintain equipment, conduct training exercises and modernise its force. This has led to a decline in overall readiness.

    South African troops in the DRC lack essential resources, including adequate air support, attack helicopters and modern equipment. This limits their ability to respond quickly to threats and provide close air support for ground troops.

    Despite having one of the most capable air forces in Africa, it is unable to deploy its Gripen and Rooivalk helicopters because they have not been serviced and lack spare parts.

    The use of older equipment has also been less effective against the well-equipped M23.

    Besides being outgunned, the regional mission is also out-manned.

    The SADC mission in the DRC was authorised to have 5,000 troops from Malawi, South Africa and Tanzania. The actual deployment has fallen far short of this number. As of late January 2025, only about 1,300 troops had been deployed.


    Read more: Rwanda’s role in eastern DRC conflict: why international law is failing to end the fighting


    Where to from here?

    There are concerns in the DRC about the presence of multiple foreign forces, given the relative ineffectiveness of these interventions.

    There are also questions about the legitimacy of the mission. Rwanda has opposed the deployment, saying that the SAMIDRC, and specifically South Africa’s involvement, undermines regional unity and cooperation.

    The best approach to peace and stability in the DRC requires a concerted effort by regional actors – the DRC, Rwanda, Uganda, Burundi, Kenya and the Southern African Development Community – to address the underlying causes of the conflict. This requires political dialogue with the regional actors, the UN, the international community and, most importantly, the Congolese people.


    Read more: DRC conflict risks spreading: African leaders must push for solutions beyond military intervention


    As for South Africa, it is time for some critical reflection on the future roles of its military. The equipment shortages and challenges it faces raise serious concerns about the defence force’s ability to carry out its core mandate of protecting South Africa, its territorial integrity and its people in accordance with the constitution.

    The tragedy in the DRC highlights the dire need for the South African National Defence Force to be redesigned, modernised and funded to become more effective and capable, ready to meet the immediate challenges it faces (like ageing equipment) and ensure the security of South Africa.

    – South African troops are dying in the DRC: why they’re there and what’s going wrong
    – https://theconversation.com/south-african-troops-are-dying-in-the-drc-why-theyre-there-and-whats-going-wrong-248696

    MIL OSI Africa

  • MIL-OSI Global: South African troops are dying in the DRC: why they’re there and what’s going wrong

    Source: The Conversation – Africa – By Lindy Heinecken, Professor of Sociology in the Department of Sociology and Social Anthropology., Stellenbosch University

    The death of South African soldiers on a Southern African Development Community (SADC) mission in the Democratic Republic of Congo (DRC) has sparked fierce debate about the deployment of South African National Defence Force (SANDF) soldiers there. Some, including political parties, have questioned whether the soldiers were adequately trained, equipped and supported. Lindy Heinecken has spent decades researching the South African military in peacekeeping operations and has interviewed hundreds of soldiers about their experiences and the challenges during deployment. We asked her for her insights.

    What is South Africa doing in the DRC?

    The country is part of the Southern African Development Community Mission in the Democratic Republic of Congo (SAMIDRC), which includes troops from Malawi and Tanzania. This deployment followed approval by the Southern African Development Community in May 2023, in response to the deteriorating security situation in eastern DRC. The South African National Defence Force is leading the mission.

    Their mandate is to support the DRC government, a member of the 16-member SADC group, in restoring peace, security and stability. The fact that the mandate states that it is to support the DRC government in combating armed groups that threaten peace and security in the eastern DRC implies that this is not a peacekeeping mission.

    The legal basis for the deployment lies in the SADC Mutual Defence Pact, (2003), which states that

    Any armed attack perpetrated against one of the States Parties shall be considered a threat to regional peace and security and shall be met with immediate collective action.

    The mandate gives them the responsibility to protect civilians, disarm armed groups, and help implement the August 2024 ceasefire agreement between the DRC and Rwanda, brokered by Angola as part of the Luanda Process. This agreement aimed to provide a more secure environment, and protect critical infrastructure to ensure the safe delivery of humanitarian aid. This is in line with the United Nations’ responsibility to protect victims of genocide, war crimes, ethnic cleansing and crimes against humanity.




    Read more:
    South Africa to lead new military force in the DRC: an expert on what it’s up against


    The M23 rebel group, which is supported by Rwanda, has committed a wide range of atrocities in the eastern DRC which can be traced back to the 1994 genocide.

    The impact on civilians has been devastating. While pinning down an exact number is difficult, it’s clear that the rebel forces operating in the eastern DRC, particularly the M23, pose a significant challenge to the stability of the region, and the safety and security of civilians.

    The rebels are implicated in mass killings of civilians, rape and other forms of sexual violence and attacks on camps for internally displaced persons. The M23’s atrocities have been condemned by the international community. The United Nations and human rights bodies have called for an end to the violence. They also demand accountability for the perpetrators.

    In sum, South African soldiers – alongside Malawians and Tanzanians – are in the DRC to assist the Congolese army in combating the armed groups and to protect civilians from violence and human rights abuses.

    Are the soldiers adequately prepared and equipped?

    Many questions have been asked about whether South African troops on the mission forces are adequately trained and equipped.
    Critics claim this deployment is suicidal.

    South African soldiers are well-trained and have served in numerous peace operations. Their extensive deployment means that they have accumulated valuable experience. They have been part of the UN Stabilisation Mission in the DR Congo, Monusco, almost since inception in 1999.

    Monusco forces are still present in the DRC, but in the process of withdrawing. Congolese president Félix Tshisekedi requested they leave because of their perceived ineffectiveness.

    Nonetheless, there are some valid concerns about the South Africans’ current level of preparedness for the DRC mission. Not least given the complex political situation. There are over 100 diverse armed groups involved. And the terrain is difficult.

    The combination of budget cuts, resource limitations, and the complex nature of the conflict raises questions about the South African National Defence Force’s ability to effectively achieve its objectives, and ensure the safety of its personnel.

    The force takes its own equipment on missions to ensure it is self-sufficient and can meet its specialised needs. The problem is that this equipment is old, leading to shortages due to maintenance problems. This affects the force’s ability to carry out its duties.

    Budget cuts for defence over the years, to less than 1% of GDP compared to the global average of 2%, have severely affected the military’s ability to maintain equipment, conduct training exercises and modernise its force. This has led to a decline in overall readiness.

    South African troops in the DRC lack essential resources, including adequate air support, attack helicopters and modern equipment. This limits their ability to respond quickly to threats and provide close air support for ground troops.

    Despite having one of the most capable air forces in Africa, it is unable to deploy its Gripen and Rooivalk helicopters because they have not been serviced and lack spare parts.

    The use of older equipment has also been less effective against the well-equipped M23.

    Besides being outgunned, the regional mission is also out-manned.

    The SADC mission in the DRC was authorised to have 5,000 troops from Malawi, South Africa and Tanzania. The actual deployment has fallen far short of this number. As of late January 2025, only about 1,300 troops had been deployed.




    Read more:
    Rwanda’s role in eastern DRC conflict: why international law is failing to end the fighting


    Where to from here?

    There are concerns in the DRC about the presence of multiple foreign forces, given the relative ineffectiveness of these interventions.

    There are also questions about the legitimacy of the mission. Rwanda has opposed the deployment, saying that the SAMIDRC, and specifically South Africa’s involvement, undermines regional unity and cooperation.

    The best approach to peace and stability in the DRC requires a concerted effort by regional actors – the DRC, Rwanda, Uganda, Burundi, Kenya and the Southern African Development Community – to address the underlying causes of the conflict. This requires political dialogue with the regional actors, the UN, the international community and, most importantly, the Congolese people.




    Read more:
    DRC conflict risks spreading: African leaders must push for solutions beyond military intervention


    As for South Africa, it is time for some critical reflection on the future roles of its military. The equipment shortages and challenges it faces raise serious concerns about the defence force’s ability to carry out its core mandate of protecting South Africa, its territorial integrity and its people in accordance with the constitution.

    The tragedy in the DRC highlights the dire need for the South African National Defence Force to be redesigned, modernised and funded to become more effective and capable, ready to meet the immediate challenges it faces (like ageing equipment) and ensure the security of South Africa.

    Lindy Heinecken does not work for, consult, own shares in or receive funding from any company or organisation that would benefit from this article, and has disclosed no relevant affiliations beyond their academic appointment.

    ref. South African troops are dying in the DRC: why they’re there and what’s going wrong – https://theconversation.com/south-african-troops-are-dying-in-the-drc-why-theyre-there-and-whats-going-wrong-248696

    MIL OSI – Global Reports

  • MIL-OSI United Kingdom: Civil Service course gets digital refresh to help civil servants

    Source: United Kingdom – Executive Government & Departments

    The popular online writing course Foundations of Writing in Government has been updated, to help more civil servants improve essential communication skills.

    Jonathan Marshall, Government Skills

    The free course which learners can do at their own pace, was launched in 2022 and now includes new animations on effective sentence and paragraph structuring. It also has an updated section on digital editing tools.

    “Writing well is one of the stand-out skills which civil servants need to have in their jobs and to progress in their careers,” said Jonathan Marshall, Government Skills learning expert. “Whether it’s a simple email to a colleague or a detailed briefing paper for ministers, how you express yourself and your ideas in writing is crucial.”

    The four hour online course takes participants through the JASPER principles: 

    • Jargon-free
    • Acronyms explained
    • Short sentences
    • Plain English
    • Editors
    • Readers

    “The ultimate aim of our writing is to communicate effectively,” Jonathan explained. “From the beginning to the end of the writing process, we should think about who our audience is and what they need.”

    The course forms part of the Civil Service recommended learning curriculum which includes further training on drafting, briefing, and advanced writing techniques. 

    Read more about the course and Jonathan Marshall’s top tips on writing  here. 

    Civil servants can now access the updated Foundations of Writing in Government (JASPER) course on Civil Service Learning.

    Updates to this page

    Published 31 January 2025

    MIL OSI United Kingdom

  • MIL-OSI Russia: New educational program will prepare effective managers of innovative businesses

    Translartion. Region: Russians Fedetion –

    Source: State University Higher School of Economics – State University Higher School of Economics –

    In today’s rapidly changing world, innovations are becoming the basis for competitiveness and the driver of business development. In these conditions, new requirements are imposed on management – heads of companies, projects, products, teams – in terms of approaches, thinking, methods and individual tools. Especially for them School of Innovation and Entrepreneurship HSE University is opening a new continuing education programHead of Innovative Business“.

    The new DPO program will help you solve the problem of updating and systematizing knowledge, master new competencies in the field of innovation management, improve your leadership, communication, and public speaking skills, and make new acquaintances in the professional community.

    What awaits listeners

    Future Innovative business leaders study technological trends and corporate innovation, learn about the culture of innovation and operational efficiency. They will learn how to develop and manage an innovative product, project, portfolio. Students will receive an algorithm for finding strong solutions and innovative strategies, study the specifics of leadership and communications in this area, as well as a number of other topics and disciplines.

    Over several months of immersion in an intensive, yet convenient format for workers, program participants will receive:

    competencies at the intersection of entrepreneurship, innovation, management and soft skills;

    the opportunity to implement your own management or business project from idea to implementation;

    inspiration, insights, like-minded people, new ideas and broadening of horizons, opportunities and solutions;

    MBA-level networking and immersion in a professional environment.

    Who should I learn from?

    The teaching staff is 100% experts and practitioners who create and manage innovative businesses in such structures as Aeroflot, Skolkovo, Rosatom, VTB, Uralchem and others, and the content of the program is based on real cases and business tasks, in the solution of which students are helped by a well-structured and most relevant theoretical base.

    Who is expected at the program?

    “We invite those who have management experience in any field of activity and who seek to discover opportunities for professional and career growth through innovation to the “Head of Innovative Business” program,” says Alexander Pushko, head of the program. “This program is for those who dream of learning to fly and conquer new heights. During the training, you will discover new horizons, reboot and get inspired, learn how to select and coordinate a crew into a single team, get off the ground and feel confident in flight even in conditions of high turbulence, find strong solutions, maintain a high quality bar and invariably win applause during a soft landing.”

    Training format

    Upon completion of the training, students will receive a diploma with the qualification of “Specialized Master in Innovative Business” and will be able to immediately implement the knowledge they have gained in their work.

    The training lasts seven months and ends with the defense of the project. The training format is mixed and involves three offline modules of three days in Moscow, the rest of the time online classes three times a week on weekday evenings and on Saturdays.

    Detailed information about the program, admission requirements, study mode and discounts is available at website. Training begins on October 17th.

    Please note: This information is raw content directly from the source of the information. It is exactly what the source states and does not reflect the position of MIL-OSI or its clients.

    MIL OSI Russia News

  • MIL-OSI Europe: Press release – Polish Presidency debriefs EP committees on priorities

    Source: European Parliament

    Poland holds the Presidency of the Council until the end of June 2025. This text will be updated regularly as the hearings take place.

    Environment, Climate and Food Safety

    On 23 January, Paulina Hennig-Kloska, Minister of Climate and Environment, highlighted the need for climate adaptation measures, combating climate disinformation, and to advance key legislative files such as the waste framework directive on textiles and food, the European soil monitoring law, and the “One Substance, One Assessment” chemicals package. The Presidency also plans to secure agreement with Parliament on plastic pellet losses, water pollutants, and detergents rules.

    MEPs asked about the Presidency’s stance on the new emissions trading system ETS II, the 2040 emissions target, renewable energy, and soil monitoring. They also debated the impact of climate regulations on competitiveness, and raised concerns about agricultural pollution and the role of genomic technologies.

    Security and defence

    On 27 January, Secretary of State at the Ministry of National Defence Paweł Zalewski said the Presidency’s first priority is to strengthen EU support for Ukraine by using all the tools at the EU’s disposal, including the European Peace Facility and the profits from frozen Russian assets or loans guaranteed from Moscow. He also highlighted the need to reinforce the EU’s defence industries by ensuring adequate financing as well as deepening EU-U.S. cooperation, including between the EU and NATO.

    MEPs quizzed Mr Zalewski on several issues, including the EU’s role in possible future peace talks between Ukraine and Russia, developing an EU defence pillar, reforming the EU Investment Bank to allow for more investment in the defence sector and establishing viable “European champions” (i.e. large corporations) in the defence sector.

    Women’s rights and gender equality

    On 28 January, Minister for Equality Katarzyna Kotula emphasised enhancing digital security for women and girls, particularly in the context of the rapid development of AI, as a Presidency priority. She pledged to follow up on the Digital Services Act to make sure that AI accelerates rather than undermines gender equality. The Presidency is also determined to advance the work on the Anti-discrimination Directive.

    MEPS welcomed her commitment on strengthening the digital protection of women and girls, particularly concerning deepfakes, revenge porn and hate speech. They also raised women’s sexual and reproductive health and rights, the protection of LGBTQI+ communities, the challenges faced by ageing women and the prospect for an EU-wide definition of rape including the notion of consent.

    Internal market and consumer protection

    On 28 January, Economic Development and Technology Minister Krzysztof Paszyk focused on the need to eliminate the remaining barriers in the single market, as well as highlighting issues around security, competitiveness, and reducing red tape. The Presidency will look for a compromise on the e-declaration of posted workers file, on late payments, and on the travel package proposals. They will also, he said, try to reach political agreements on toy safety, the Green Claims Directive and on the alternative dispute resolution file.

    On digital policy, Secretary of State, Ministry of Digitalisation Dariusz Standerski outlined plans for an informal meeting on cybersecurity to focus on defence, the application of the Artificial Intelligence Act, and new initiatives on AI factories and the “AI Apply Strategy”. On customs, Undersecretary of State, Ministry of Finance Małgorzata Krok stated the Presidency’s intention was to reach a common position in the Council on the reform of the Union Customs Code.

    MEPs asked about reducing reporting obligations, e-declarations of posted workers, the implementation of digital services act and the AI Act, including in the context of EU-US relations. Several members wanted to hear more about cutting red tape, unblocking progress on late payments, and the need for an AI liability act. Questions also focused on issues around unfair trading practices, single market on defence and climate disinformation.

    Fisheries

    On 28 January, Jacek Czerniak, Secretary of State at the Ministry of Agriculture and Rural Development, which includes fisheries, identified improving EU fisheries competitiveness and defending EU interests in regional fisheries organisations and international agreements as Presidency priorities. Poland will also launch discussions on the review of the Common Fisheries Policy (CFP) and start negotiations to introduce measures against non-EU countries that allow unsustainable fishing practices.

    MEPs questioned Mr Czerniak on addressing the critical state of fish stocks in the Baltic Sea, in addition to issues of security and reducing the complexity of regulations. Others supported a reform of the CFP to better balance the interests of the fishery sector with the EU’s environmental goals. MEPs also argued that trade policies should be aligned with fisheries policies.

    Employment and social affairs

    On 28 January, Minister of Family, Labour and Social Policy Agnieszka Dziemianowicz-Bąk and Minister of Senior Policy Marzena Okła-Drewnowicz said the Presidency would focus on the future of employment in the digital transformation, a Europe of equality, cohesion and inclusion, and the challenges prompted by the EU’s aging population.

    MEPs quizzed the ministers on their plans for the regulation on the coordination of social security systems, emphasising the importance of finalising negotiations on the file. They also raised the impact of AI in the workplace, and the importance of addressing demographic issues in the EU. MEPs also raised the importance of social dialogue, upcoming negotiations on European Work Councils, and the expected Commission initiative on the “Right to Disconnect”.

    Transport and tourism

    On 29 January, Dariusz Klimczak, Minister of Infrastructure, said the Presidency will focus on resilience and competitiveness in the transport sector, the protection of transport operators, dual use infrastructure, and military mobility. He committed to reaching a deal with Parliament on new railway infrastructure, road and maritime safety rules as well advancing negotiations on air passenger rights rules that have been stalled in the Council since 2013. Piotr Borys, Secretary of State at the Ministry of Sport and Tourism added that the Presidency will focus on making Europe a safe and more popular destination for tourism despite Russia’s war in Ukraine and the challenges posed by climate change.

    MEPs asked the Presidency to secure adequate financing for transport policies within the next EU long-term budget, and want them to secure a Council position on the maximum weights and dimensions directive, and address labour shortages and working conditions in all transport modes. Completing Trans-European transport networks, developing high speed rail, and ensuring connectivity for Europe’s islands were also raised.

    Constitutional affairs

    On 29 January, Minister for European Affairs Adam Szłapka said the Presidency wants to promote institutional reforms, stressing at the same time that EU Treaties could prove difficult to revise. The Presidency wants to complete work on the new rules on European political parties and foundations and the electoral rights of mobile citizens. They will work on the transparency of interest representation and on the EU’s accession to the European Convention on Human Rights.

    Most MEPs asked questions about the need to reform the EU’s institutional architecture, especially in light of imminent enlargement, with many of them highlighting the need to overcome what they saw as the obstacle of unanimity in key policy areas either through Treaty revision or using existing rules. Some called for progress on Parliament’s right of initiative, its right of inquiry, and rules on European elections.

    Agriculture and Rural Development

    On 29 January, Czesław Siekierski, Minister of Agriculture and Rural Development said that the Council will discuss the future shape of the Common Agricultural Policy (CAP) beyond 2027. The Presidency wants to simplify the green architecture of the CAP and assess the impact of current EU trade agreements on agriculture.

    Questions from MEPs focused on ensuring fair income for farmers and adapting the CAP to the future enlargement of the EU. A number of MEPs also asked about the position of the Presidency on the EU-Mercosur Partnership Agreement and stressed the need to invest in European food sovereignty.

    International trade

    On 29 January, Krzysztof Paszyk, Minister of Economic Development and Technology, said the Presidency will continue working on ambitious, sustainable and mutually profitable trade agreements. He hopes to finalise the legislation on the screening of foreign direct investment and resume talks on the Generalised System of Preferences (GSP) scheme, the EU’s preferential trade arrangement with developing countries. On Ukraine, Mr Paszyk said support for Ukraine remains steadfast, while the Presidency prefers not to extend the current temporary trade liberalisation measures with the country, but rather reach a new agreement.

    MEPs asked about possible timelines for the adoption of trade deals with Mercosur and Mexico, possible shift in US trade policy as well as on trade with Ukraine and safeguards for the agricultural market. Some MEPs argued that GSP should not be a migration tool, others demanded a clear link between migration and the scheme.

    Industry, Research and Energy

    On 29 January, Minister of Economics, Development and Technology, Krzysztof Paszyk said the Presidency’s priorities include boosting Europe’s industrial competitiveness with a new instrument and advancing the Clean Industry Act to support businesses, address high energy prices, and cut red tape and tax burdens for SMEs. They also plan to maximize the use of spaceimaging and AI algorithms for crisis management, and improve cooperation during natural disasters.

    During the debate, MEPs stressed the need to support innovative businesses through a unified capital market, and to combine environmental policies with industrial policies to achieve the ecological transition. Others focused on the importance of transatlantic relations and the need to secure European tech sovereignty.

    Dariusz Stenderski, Secretary of State in the Ministry of Digital Affairs, said that his key focus areas would be cyber security, with a revised blueprint for coordinated EU response to cyber attacks and an informal Council on its civilian and military aspects.He also referred to the boosting of AI development through shared investment and simplified rules to support startups.

    On 30 January Marcin Kulasek, Minister of Science and Higher Education, outlined three main focus areas: openness and inclusivity, synergies between EU and national programs, and AI and science.He stressed the need to develop EU cooperation networks without losing top talents, and the value of synergies between EU and national research programs.

    MEPs called for the full implementation of the 5G toolbox and for the simplification of administrative procedures to foster innovation. Others highlighted the need to improve EU cooperation in research and innovation, retain top talent, and ensure an inclusive access to funds. The discussions also covered the need for ethical standards in AI, a strong support for scientists, as well as academic freedom and the free flow of scientific knowledge.

    Culture, Education, Youth and Sport

    On 30 January, Education Minister Barbara Nowacka said the Presidency wants to include young people – as part of a new cycle of the EU Youth Dialogue – in EU-level debates and projects to strengthen EU values of democracy, freedom and rule of law, thereby making them more resilient against the risk of disinformation and manipulation. Providing better support to teachers is also a priority, she said, and EU education ministers will gather in May to discuss what they can do to improve this.

    The Presidency wants to advance work on the “European degree” – a degree awarded jointly by several universities in different EU countries – by adopting a roadmap to implement it. A European quality assurance system to guarantee trust among universities and improve the recognition of higher education diplomas will also be discussed, Minister of Science and High Education Marcin Kulasek said.

    Culture Minister Hanna Wróblewska said the Presidency will present proposals to support young artists and creators, and will launch discussions on the future of the Creative Europe programme beyond 2027. Audiovisual and intellectual property rights, security and AI, and a possible revision of the Audiovisual Media Services Directive are also among the Presidency’s priorities, she said.

    Piotr Borys, Secretary of State of Sport, will focus on pushing EU countries to better promote sport in schools, address mental health, and adopt a common methodology to gather statistics on sport.

    MEPs questioned the ministers on countering Russian disinformation under the European Media Freedom Act, as well as on delays in the creation of the European degree, pleading for EU-wide recognition of diplomas, including Erasmus+ and vocational education training. MEPs also raised concerns about possible reductions in Erasmus+ funding, which ensures the financial sustainability of the European Education Area, which in turn is essential for the “Union of Skills”.

    MIL OSI Europe News

  • MIL-OSI United Kingdom: Environment Secretary announces Land Use Framework

    Source: United Kingdom – Government Statements

    Steve Reed sets out how the most sophisticated land use data ever published will support decision-making by local government, landowners, businesses and farmers

    Thanks to Tim for the introduction, and to the Royal Geographical Society for hosting us here today.

    I want to start by celebrating the work of the late Sir Dudley Stamp, President of the Royal Geographical Society from 1963 – 1966.

    In the 1930s, Sir Dudley carried out the Land Utilisation Survey of Great Britain, the first-of-its-kind nation-wide survey of how land was then being used in our country.

    He recruited the help of thousands of schoolchildren and their teachers, who embarked on a trip right around Britain to map mountains, rivers, fields, back gardens, forests, covering every piece of land across the country.

    You can see examples of these maps can be found in this room today.

    Across the survey, some maps were clearly done quickly as a pupil ran out of time, or perhaps even lost interest, others are coloured meticulously with additional notes and labels for good measure.

    Yet, whether they were rushed or done in painstaking detail, Sir Dudley’s maps are invaluable, providing a comprehensive record of how land was being used across England, Wales and Scotland.

    These maps were quickly put to use with the dawn of the Second World War, used by the local War Agricultural Committees to identify land that could maximise food production.

    Sir Dudley’s maps are a snapshot in history – a fascinating insight into how the countryside has changed over time.

    But the story of our land goes much deeper even than that.

    Our landscape embodies our lives, our culture, our celebrations, and our tragedies.

    How it looks has changed as our population has grown and shrunk, through wars, in times of disease and hardship, through changing industries and shifting habits. The stories of our ancestors are embedded in the rich heritage of our land.

    In the woodlands of the New Forest where, in 1697, trees were protected by law to supply timber for the Royal Navy’s growing fleet.

    In the ridges and furrows in our fields, and the stone walls of enclosures, that give a glimpse into the lives of millions of farmers who’ve worked our land for tens of thousands of years.

    In the parkland designed by ‘Capability’ Brown across England’s glorious Georgian Estates, visited by millions of us to this day.

    Our landscape reflects generations of innovators.

    In the emergence of new terraced houses in the industrial towns of Lancashire and West Yorkshire, remnants of the late 18th century textile revolution.

    In the creation of our transport system, from canals to the railways through the 19th century, to the opening of England’s first motorway in 1958.

    From the world’s first public electricity supply in Surrey in 1851, to the UK producing its trillionth kilowatt hour of electricity from renewable sources in May 2023.

    It’s the fabric of Stevenage and Harlow, created under the New Towns Act of 1946 to meet the urgent need for housing in the post war years, and in the opening of our National Parks during that same period, representing the desire of a nation to get out and enjoy the great outdoors.

    It tells the story of farmers who have changed how they farm time and again to grow the food we need and steward our countryside, embracing mechanisation in the 20th century, automation in more recent decades, and the nature-friendly practices we’re seeing emerge today.

    Wherever you are in England, the history of our landscape is ever present. The distinctive features that make up the nation we know and love are never far away.

    Two hours from the room we’re all in right now, I could be at Stonehenge. Go the other way, I’m in the Norfolk Broads or on the beach at Margate. I can easily get to the canals of Birmingham, the uplands of the Yorkshire Dales or the sparkling white cliffs of Dover.

    This is one of England’s greatest joys. But also one of its challenges. Because England’s land area is small. To put it in perspective, France is four times bigger than England but our population is around the same.

    And there are more demands and more opportunities on our land than ever before.

    To grow the economy and deliver the change that this Government was elected to do, we must make the best use of the land around us. But we need better data and tools to inform decision making. 

    So we can grow the food to feed the nation. Build 1.5 million new homes to address the housing crisis. Construct the energy infrastructure to secure home-grown clean power. And, underpinning all these ambitions, protect and restore nature here in one of the most nature-depleted countries on Earth. 

    In the years since Sir Dudley’s work, we’ve seen subsequent land use surveys, and advances in spatial data science and earth observation means we have detailed land analysis at our fingertips, including that used by Tim in Land App, to help people plan how we use our land better.

    But, until now, there has been no clear direction set by Government on how our land could best be used across England. How to support those who make decisions about the land. How to minimise trade-offs and maximise its potential.

    Today, following Sir Dudley’s groundbreaking survey almost 100 years ago, I’m asking for your help to shape the first-ever comprehensive Land Use Framework for England.

    This will be the most sophisticated land use data and toolkit ever published in our country’s history.

    This Government has a cast-iron commitment to maintain long-term food security.

    The primary purpose of farming will always be to produce the food that feeds the nation.

    This framework will give decision makers the toolkit they need to protect our highest quality agricultural land, and make decisions about the long term future of farm businesses.

    Farming faces a rapidly changing climate. More severe flooding and droughts are damaging food production, hitting yields and hitting profits. At the same time our natural environment is in decline. Much-loved British birds and wildlife are at risk of national extinction.

    Our rivers, lakes and seas are choked by unacceptable levels of pollution.

    Some of our most treasured landscapes are in a very poor condition.

    This is the scale of the challenge we face.  And we must do more to restore our natural world while maintaining and strengthening food production. 

    That is why the Government must go further and faster to support farmers through the transition to a more sustainable way of farming.

    But there’s good news too.  That transition is already underway. Embracing innovation that will boost long-term food production. Restoring habitats and supporting once-endangered species. Doing things like planting orchards alongside cropland, or restoring and maintaining peatland.

    I know from conversations with farmers and landowners that they not only understand the need for change, they are already making change happen. 

    They know their land best, and it is only right that they lead this transition.

    We can make the most of food production, nature’s restoration and economic growth if we support farmers and landowners with better information to help them navigate their way into the future. 

    That may mean doing things differently, and I know that can be worrying, but the decision on how to manage land will and must always rest with the individual farmer or landowner.

    We will work with farmers to shape the framework and support them in making their businesses more sustainable, productive and profitable by opening up Government data so innovators like Tim can put new insights into the hands of farmers, planners and developers when taking their own decisions about the best use for their land.

    It will look at how we create the certainty that private investors need to invest in farming businesses, and consider how best to use public funding to secure the most benefits for food production and for nature.

    We are working on common sense changes that create a win-win for nature and the economy, and the Land Use Framework is a significant part of that.

    Nature is the common thread that runs through the Government’s missions. It is healthy soils and abundant pollinators that enable us to grow the food we need despite the changing climate. It’s a resilient water supply that is essential to building the homes, schools, hospitals, and datacentres that we need. And trees and vegetation that help the land hold more water and give us better protection from flooding.

    It’s the biodiversity and wildlife that safeguards our ecosystems to fight off animal and plant diseases, while access to our wild landscapes and green spaces helps improve mental and physical health and reduce the burden on our NHS.

    Beyond nature and the farming sector, this Framework will unlock growth through better spatial planning.

    It will work hand in hand with our housing and our energy plans, so we can meet our ambitious housing targets and achieve Clean Power by 2030, without jeopardising food production or nature.

    This land use data will shape decision-making about where and how we build things in this country so we can grow the economy and meet the challenges of future decades.

    Major infrastructure will be built with sensitivity to our landscapes, by ensuring our strategic spatial energy plan and 10 year infrastructure strategy draw from the land use framework.

    And by linking the Framework with our spatial approach to housing, we can develop new settlements that make space for nature and allow access to our beautiful green countryside.

    This is about creating a coherent set of policies that work together, rather than against each other.

    We have taken on recommendations from Henry Dimbleby’s Food Strategy, the Food Farming and Countryside Commission, a House of Lords Committee, and a range of other voices – many who I see in front of me in this room, to consult on a Land Use Framework for England.

    Starting a national conversation on the vast opportunities for how we use land in this country.  

    It won’t tell anyone what to do with their land, it will help them take better decisions shaped by the life experiences of farmers, landowners and planners.

    Using the most sophisticated land use data ever published, we will boost food production, protect the best agricultural land, restore our natural world and drive economic growth.

    This is not a set of rules. This is providing better data and information to make sure the farming transition that is already happening is fair and just.

    Ensuring the evidence gathered here will also feed into the wider reform that we are delivering through our Farming Roadmap and Food Strategy.

    So just as Sir Dudley asked schoolteachers and their pupils for help all those years ago, I am asking for your help.

    I won’t be giving out mapping sheets and testing your colouring skills you’ll be pleased to hear.

    But I do want to hear your views and draw from your expertise on what a Land Use Framework for England should look like and – importantly – how we get there.

    Today we are launching a 12-week consultation, that will be supported by workshops and roundtables around the country.

    Bringing together farmers, landowners, businesses, planners – everyone involved in how we use our land.

    We’ll be asking for your views on a future vision for the land, what our policies on land use need to include, and what you need to realise that vision.

    Tell us how can we change the way our spatial data is presented and shared so it’s more valuable in decision making and can be used to drive economic growth.

    Tell us where the skills gaps are, and what skills we need to transition our land.

    Tell us how we can best help landowners, land managers and communities understand and prepare for the challenges of climate change,

    Or support farmers to make land-use changes while boosting food production.

    If we get that right, the prize is huge.

    We can have a multifunctional landscape that delivers economic growth and puts money back in the pockets of hardworking people.

    Where farmers continue to produce the food we need, working with nature and maximising the potential of their land to strengthen food security in the face of climate change and geopolitical shocks. 

    We can have healthy ecosystems, abundant habitats and species, clean waterways and beautiful countryside for everyone to enjoy.

    We can have families living in well-designed homes, with green spaces, amenities and protection from flooding.

    We can lower energy bills and increase national energy security by generating more homegrown, clean energy.

    This is about shaping the future England we want to see.

    The consultation may be just 12 weeks – but the conversation will be ongoing.

    Just as it has throughout history, our landscape will continue to change – and we will work with you so that the Land Use Framework evolves to reflect this. 

    Our landscape is shaped by those who’ve lived and worked it for generations.

    This is England’s next chapter. We are the authors. Let’s write it together.

    Updates to this page

    Published 31 January 2025

    MIL OSI United Kingdom

  • MIL-OSI Russia: Anti-terrorist training held at Polytechnic University

    Translartion. Region: Russians Fedetion –

    Source: Peter the Great St Petersburg Polytechnic University – Peter the Great St Petersburg Polytechnic University –

    On January 30, the Polytechnic University held a training session aimed at practicing anti-terrorist protection of university facilities and territories.

    The Polytechnic University regularly holds events related to civil defense, prevention and elimination of emergency situations, as well as anti-terrorist protection and fire safety.

    This time, the training was attended by employees of the Civil Security Department of SPbPU and employees of the security organization “U-Piter”. The head of the Civil Security Department, Oleg Savoshinsky, was the head of the event.

    Participants worked out algorithms for actions when committing or threatening to commit terrorist crimes in two scenarios: “placing an explosive device” and “attack by an unmanned aerial vehicle.”

    The goals and objectives were fully achieved. Following the exercise, the SPbPU management highly appreciated the actions of the university staff and employees.

    Please note: This information is raw content directly from the source of the information. It is exactly what the source states and does not reflect the position of MIL-OSI or its clients.

    MIL OSI Russia News

  • MIL-OSI Russia: The Ivanov Dynasty

    Translartion. Region: Russians Fedetion –

    Source: Peter the Great St Petersburg Polytechnic University – Peter the Great St Petersburg Polytechnic University –

    Five generations of the Ivanov family are closely connected with the Polytechnic University. Evgeny Aleksandrovich Ivanov was among the first students, and his son Konstantin also became a Polytechnician. Both grandsons of the first representative of the dynasty, Vadim and Aleksandr, have been working at the university for several decades now. Doctor of Physical and Mathematical Sciences, Professor of the Physics Department of the Institute of Physics and Mathematics V. K. Ivanov told about the history of his family and about how the family tradition is continued by his children and grandchildren.

    Please note: This information is raw content directly from the source of the information. It is exactly what the source states and does not reflect the position of MIL-OSI or its clients.

    MIL OSI Russia News

  • MIL-OSI USA: Fuel for California Fires

    Source: NASA

    When hurricane-force winds whipped through Los Angeles County in early January 2025, the hills had ample fuels available to feed a wildland fire. Back-to-back wet years in California led to grasses and chaparral accumulating in the mountains and foothills. Then, warm, dry weather in Los Angeles during the last eight months of 2024 left the vegetation primed to burn.
    On January 7, blazes spread quickly in the hills of Pacific Palisades and Eaton Canyon. Santa Ana winds pushed the fires down hills and into neighborhoods, and the two fires eventually covered 37,000 acres (150 square kilometers). Most of the fire spread in the first day after ignition, a characteristic of “fast fires.” These destructive events are usually propelled by strong winds and burn in the autumn or winter when fuels are exceptionally dry.
    Researchers at the University of California, Los Angeles (UCLA) noted that several factors contributed to the severity of the fires, including a buildup of vegetation between 2022 and into 2024, followed by very warm and dry conditions in summer 2024. The rapid swing from wet to dry—dubbed “hydroclimate whiplash”—can amplify the risk of wildland fires and has become more common in the 21st century.
    From 2022 to early 2024, Southern California received above-average precipitation, said Gavin Madakumbura, a postdoctoral researcher at UCLA. The 2022-2023 water year, which runs from October through September, saw unrelenting atmospheric rivers that delivered torrential rain to California. Much of the 2023-2024 water year was also wet, and rainfall totals for both periods, measured in downtown LA, were nearly twice the long-term average (1877-2024).
    The ample rain allowed vegetation to build up, which is apparent in the map above. It shows a satellite-based index of plant health, or “greenness,” over the meteorological summer before the fires. This metric, known as the Normalized Difference Vegetation Index (NDVI), is based on data collected by the Landsat satellites.
    The map indicates that many parts of Los Angeles County were 30 percent greener than average in summer 2024 (compared to a record from 1991 to 2020). That July, the National Interagency Fire Center warned that “herbaceous fuel loadings” were above normal throughout California, and in some hilly areas, were twice the normal amount.

    Conditions shifted in the last half of 2024. According to Madakumbura and colleagues, the Los Angeles region received no significant rain between May 2024 and early January 2025, which dried out the accumulated vegetation. On January 4, 2025, the Los Angeles Times reported that the downtown area had only one instance in the previous eight months when rainfall exceeded a tenth of an inch—the threshold considered helpful for reducing wildfire risk by keeping plants from drying out. That made it the second-driest May to January on a record that goes back to 1877.
    The landscape’s dryness was made worse by heatwaves that struck the U.S. Southwest in June and July 2024, either breaking or tying temperature records in several cities in California.
    The map above shows moisture relative to normal in the top 40 inches (100 centimeters) of soil, in the “root zone,” on January 7, 2025, the day the Palisades and Eaton fires ignited. The data are from NASA’s SPoRT (Short-term Prediction Research and Transition) Center at Marshall Space Flight Center. The soil moisture in much of Southern California was in the bottom 2 percent of historical records (1981-2013) for that day.
    “This is historically low soil moisture,” said Jonathan Case, a meteorologist with NASA SPoRT who has studied how moisture conditions can contribute to fire risk.
    SPoRT’s Land Information System (SPoRT-LIS) provides 3-kilometer resolution gridded soil moisture products in near real-time to support regional and local modeling and is used by the U.S. Drought Monitor to track drought conditions across the country.
    NASA Earth Observatory images by Michala Garrison, using Landsat data from the U.S. Geological Survey and soil moisture data from NASA’s Short-term Prediction Research and Transition (SPoRT) Center. Story by Emily Cassidy.

    MIL OSI USA News

  • MIL-OSI USA: Governor Newsom announces appointments 1.30.25

    Source: US State of California 2

    Jan 30, 2025

    SACRAMENTO – Governor Gavin Newsom today announced the following appointments:

    Jacqueline Yannacci, of Folsom, has been appointed Executive Director of California Volunteers in the Governor’s Office of Service and Community Engagement, where she has been Chief Program Officer since 2020. Yannacci was a Consultant at Jacy Consulting from 2018 to 2020. She held several positions at American Red Cross from 2006 to 2018, including Director of Community Mobilization and Partnerships, Program Manager for Community Resilience, Program Manager for Behavioral Health, and Officer of Mental Health. Yannacci was Program Manager for Knowledge Management at NRI, Inc., from 2005 to 2006, where she was previously Research Associate from 2003 to 2005. She was a Research Associate at Drug Strategies from 1993 to 2003. Yannacci earned a Master of Public Policy degree from American University, and Bachelor of Science degree in Behavioral Science and Psychology from Pennsylvania State University. This position does not require Senate confirmation, and the compensation is $186,792. Yannacci is a Democrat.

    Leticia Palamidessi, of West Sacramento, has been appointed Deputy Director of Communications at the Governor’s Office of Land Use and Climate Innovation, where she has been a Supervising Communications Officer since and Lead Communications Officer to the Executive Director at the California Strategic Growth Council since 2024. From 2020 to 2024, Palamidessi was an Executive Marketing Specialist at the California Department of Fish and Wildlife, and prior to that she was an Information Officer for the California Department of Water Resources where she led outreach for the Climate Change Program, Division of Environmental Services, and Division of Engineering. Prior to state service, Palamidessi spent more than a decade elevating community voices and highlighting issues impacting Californians as a member of the media at various new organizations throughout Northern California – including being a General Assignment Reporter and Traffic Anchor for KCRA Channel 3 from 2017 to 2020. She is a California native and product of the state’s junior college and CSU systems, obtaining a Bachelor of Arts degree in Journalism from California State University, Sacramento. This position does not require Senate confirmation, and the compensation is $141,420. Palamidessi is registered without party preference.

    Carol Dahmen-Eckery, of Carmichael, has been appointed Chief of Strategic Communications at the California High-Speed Rail Authority. Dahmen-Eckery has been Chief Executive Officer of CDE Strategies since 2023. She was Senior Political Manager at Effectv from 2005 to 2022. Dahmen-Eckery was Communications Director at the California Secretary of State’s Office from 2004 to 2005. She was Deputy Communications Director in the Office of Governor Davis from 1999 to 2003. Dahmen-Eckery was Deputy Director of Advance for Gray Davis for Governor from 1998 to 2002. She is a member of the American Association of Political Consultants Board of Directors. Dahmen-Eckery earned a Bachelor of Arts degree in Journalism and Government from California State University, Sacramento. This position does not require Senate confirmation, and the compensation is $170,004. Dahmen-Eckery is a Democrat.

    Dr. Sergio Aguilar-Gaxiola, of Sacramento, has been appointed to the Protect Access to Health Care Act Stakeholder Advisory Committee. Dr. Aguilar-Gaxiola has been a Professor of Clinical Internal Medicine and Founder and Director at the Center of Reducing Health Disparities at University of California, Davis School of Medicine since 2005, and Director of the Community Engagement Program at the Clinical and Translational Science Center since 2006. He was Co-Director at the Latino Aging Research and Resource Center from 2012 to 2016. Dr. Aguilar-Gaxiola was a Professor of Psychology at California State University, Fresno from 1990 to 2005. He is a member of the Governor’s Council on Physical Fitness and Mental Well-Being. Dr. Aguilar-Gaxiola earned a Doctor of Philosophy degree in Clinical-Community Psychology from Vanderbilt University, a Master of Science degree in Psychology from Vanderbilt University, and a Doctor of Medicine degree from Autonomous University of Guadalajara. This position does not require Senate confirmation, and there is no compensation. Dr. Aguilar-Gaxiola is a Democrat.

    Tam Ma, of Sacramento, has been appointed to the Protect Access to Health Care Act Stakeholder Advisory Committee. Ma has been Associate Vice President for Health Policy and Regulatory Affairs at the University of California Office of the President since 2022. She was a Deputy Legislative Secretary at the Office of Governor Gavin Newsom from 2019 to 2022. Ma was a Lecturer at the University of California, Davis School of Law in 2022. She was an Assistant Secretary at the California Health and Human Services Agency from 2018 to 2019. Ma was Legal and Policy Director at Health Access California from 2015 to 2018. She was a Principal Consultant for the Office of Senator Mark Leno at the California State Senate from 2013 to 2015. Ma was a Lecturer at University of California, Berkeley School of Law in 2014. She was an Attorney at Legal Services of Northern California from 2011 to 2013. Ma was a California Senate Fellow and Policy Consultant for the Office of Senator Sheila Kuehl at the California State Senate from 2002 to 2008. She is a Member of the Board of Directors of the Berkeley Law Alumni Association. She earned a Juris Doctor degree and a Bachelor of Arts degree in Political Science from University of California, Berkeley. This position does not require Senate confirmation, and there is no compensation. Ma is a Democrat.
     
    Amy Moy, of Portola Valley, has been appointed to the Protect Access to Health Care Act Stakeholder Advisory Committee. Moy has been Co-Chief Executive Officer at Essential Access Health since 2022, where she was previously Chief External Affairs Officer from 2019 to 2022 and Vice President of Public Affairs from 2011 to 2019. She was a Public Affairs and Community Engagement Strategist for the Women’s Funding Network from 2009 to 2011. Moy was Associate Vice President of Public Affairs at the Planned Parenthood Golden Gate from 2003 to 2009 and Director of the Planned Parenthood Golden Gate Action Fund from 2004 to 2009. She held several roles at Planned Parenthood of New York City from 1999 to 2003, including Director of Community Affairs, Grassroots Manager, and Media Relations Associate. Moy is a member of the Executive Committee of the Family Planning Councils of America. She earned a Bachelor of Arts degree in Communications from Ithaca College. This position does not require Senate confirmation, and there is no compensation. Moy is a Democrat.

    Kristen Cerf, of Nevada County, has been appointed to the Protect Access to Health Care Act Stakeholder Advisory Committee. Cerf has been President and Chief Executive Officer at Blue Shield of California Promise Health Plan since 2020, where she has held several positions there and at Blue Shield of California since 2016, including Vice President of Medi-Cal Growth Strategy, Chief Legal Officer, and Associate General Counsel. She held several roles at Molina Healthcare from 2010 to 2015, including Associate Vice President and Assistant General Counsel, Senior Associate General Counsel and Associate General Counsel. Cerf was an Associate Attorney at Locke Lord LLP from 2007 to 2010. She held several roles at the California Department of Managed Care from 2004 to 2006, including Licensing Counsel, Graduate Legal Assistant and Senior Law Clerk. Cerf is a Board Member of Project Angel Food. She earned a Juris Doctor degree from the University of the Pacific, McGeorge School of Law and a Bachelor of Science degree in Microbiology from University of California, Davis. This position does not require Senate confirmation, and there is no compensation. Cerf is a Democrat.

    Dr. Irving Ayala-Rodriguez, of Bakersfield, has been appointed to the Protect Access to Health Care Act Stakeholder Advisory Committee. Dr. Ayala-Rodriguez has been Chief Medical Officer with Clinica Sierra Vista since 2022, where he previously served as a Walk-In Clinic Director and Associate Medical Director from 2020 to 2022. He was a Family Medicine Resident at the University of California, Los Angeles from 2016 to 2019. Dr. Ayala-Rodriguez has served on the California Medical Board since 2024. He earned a Doctor of Medicine degree from the Autonomous University of Guadalajara. This position does not require Senate confirmation, and there is no compensation. Dr. Ayala-Rodriguez is a Democrat.

    Press Releases, Recent News

    Recent news

    News What you need to know: Governor Newsom is deploying resources and thousands of personnel to communities throughout Northern California in anticipation of a potentially major storm system. SACRAMENTO – With an atmospheric river expected to arrive in Northern…

    News Sacramento, California – Governor Gavin Newsom today issued a proclamation declaring January 30, 2025, as Fred Korematsu Day.The text of the proclamation and a copy can be found below: PROCLAMATION Fred Korematsu did not set out to become a civil rights hero, but…

    News What you need to know: As part of ongoing actions to help support workers and businesses impacted by the Los Angeles area fires, Governor Newsom is issuing an executive order to defer licensing fees and streamline requirements for certain small businesses. The…

    MIL OSI USA News

  • MIL-OSI United Kingdom: New Honorary King’s Counsel welcomed by Lord Chancellor

    Source: United Kingdom – Executive Government & Departments

    His Majesty The King has approved the award of 9 new Honorary King’s Counsel (KC Honoris Causa) in England and Wales.

    His Majesty The King has approved the award of nine new Honorary King’s Counsel (KC Honoris Causa). Their biographies are listed below. Honorary KC is awarded to those who have made a major contribution to the law of England and Wales, outside practice in the courts. 

    The Lord Chancellor will preside over the award ceremony at Westminster Hall in March 2025, where she will formally award the Honorary KC to the successful nominees. 

    Honorary King’s Counsel biographies 

    Professor Martin Dixon  

    Professor Dixon is a legal scholar specialising in real property law. He is the Professor of the Law of Real Property at the University of Cambridge, where he is also Director of the Cambridge Centre for Property Law (CCPL) and a Fellow of Queens’ College. 

    He was nominated for his work on property law through his scholarship, co-authorship of leading practitioner texts, and participation in Law Commission projects. Additionally, for his co-founding of the Modern Studies in Property Law Conference and for his Editorship of The Conveyancer. 

    Rebecca Hilsenrath 

    Rebecca Hilsenrath is a lawyer and public servant with a career spanning corporate law, human rights, and strategic leadership. Currently the interim Parliamentary and Health Service Ombudsman (PHSO), she has served as Chief Executive of the PHSO, Legal Adviser to the Attorney General, and Chief Executive of LawWorks. Previously, she was the Chief Executive Officer and Chief Legal Officer of the Equality and Human Rights Commission (EHRC), where she championed equality and tackled human rights issues.   

    She was nominated for her efforts in promoting diversity in panel counsel appointments for the government and at the EHRC, increasing pro bono contributions in the legal sector, and leading international legal engagement in equality and human rights. 

    Rachel Horman-Brown 

    Rachel Horman-Brown is a solicitor focused on cases involving domestic abuse, stalking, coercive control, and forced marriage. As Director, she leads the Family Department at Watson Ramsbottom Solicitors. She is also the Chair of Paladin, the National Stalking Advocacy Service.   

    She was nominated for her campaigning for policy and legislative changes around stalking, domestic abuse, and violence against women and girls. In addition, for her work with Paladin, where she shaped legislation, including for the creation of coercive control as a specific criminal offence. She has also provided evidence to parliamentary committees and advisory groups, thereby influencing police practices and approaches to trauma. 

    Dr Laura Janes  

    Dr Laura Janes is a solicitor specialising in complex cases involving people detained in the criminal justice and mental health systems. As Legal Director at the Howard League for Penal Reform from 2016 to 2022, she led a legal service for young people in custody and spearheaded challenges against practices such as solitary confinement. She is a consultant solicitor at GT Stewart Solicitors and Scott-Moncrieff and Associates. Laura Janes is an advocate for access to justice, having founded Young Legal Aid Lawyers and held leadership roles in several legal organisations. She holds a professional doctorate in youth justice and teaches law at London South Bank University.  

    She was nominated for her contributions to the legal profession promoting access to justice, her work to drive policy changes, representing vulnerable individuals in prison, advocating for the rights of children and young people in custody and reforms to the IPP sentence.   

    Susanna McGibbon  

    Susanna McGibbon is an employed barrister and the current Treasury Solicitor, HM Procurator General and Permanent Secretary of the Government Legal Department (GLD). As the most senior Civil Service lawyer she is head of the Government Legal Profession. Her previous roles include serving as Director of GLD Litigation Group, Legal Director at the Department for Communities and Local Government and Legal Director at the Department for Business, Innovation and Skills. She is a Bencher of Lincoln’s Inn and this year holds the office of Keeper of the Walks. 

    Ms McGibbon was nominated for her legal advice on complex and sensitive issues within government especially in public and administrative law and national security. Also, for her leadership in a range of high-profile cases and inquiries and for her advocacy for diversity and inclusion across the legal profession.   

    Professor Renato Nazzini  

    Professor Nazzini is a legal scholar focusing on competition law, commercial arbitration, and construction law. He is the Director of the Centre of Construction Law and Dispute Resolution at King’s College London and a partner at LMS Legal LLP.   

    He was nominated for his contributions to competition law by developing policies on collective actions and abuse of dominance, influencing the Consumer Rights Act 2015 and the 2008 European Commission Guidance on Article 102. He has also contributed to construction law, including by leading the Centre of Construction Law and Dispute Resolution at King’s College London, producing reports on construction adjudication and promoting diversity within the field.    

    Susan Willman  

    Susan Willman (known as Sue Willman) is a solicitor specialising in public interest litigation, focusing on human rights, environmental justice, and migrants’ rights. She is a senior consultant at legal aid firm, Deighton Pierce Glynn, and has led cases addressing systemic social and environmental injustices. She is also employed by the Dickson Poon School of Law, King’s College, London as a Senior Lecturer, and Assistant Director of the King’s Legal Clinic. She has held key leadership roles, including Chair of the Law Society Human Rights Committee.    

    She was nominated for founding the Asylum Support Appeals Project (ASAP), providing free representation to destitute asylum-seekers. As well as for publishing articles, authoring a series of textbooks on asylum support, and advising a parliamentary committee on an inquiry to drive legislative reforms. 

    Douglas Wilson OBE 

    Douglas Wilson is a government lawyer currently serving as Director General and Head of the Attorney General’s Office. He has previously held positions such as Director of Legal Affairs and International Relations at GCHQ, Legal Director at the Foreign and Commonwealth Office, and has served in legal and diplomatic roles at UK posts overseas. 

    He was nominated for advising on issues such as Brexit, military operations, and intelligence cooperation, which shaped the law on the use of military force, cyberspace, and investigatory powers. Furthermore, he has promoted effective and inclusive legal practice within government.  

    Professor Adrian Zuckerman 

    Professor Zuckerman is a scholar in civil procedure and evidence law. He is Emeritus Professor of Civil Procedure at the University of Oxford and Emeritus Fellow of University College, Oxford. He is Editor-in-Chief of the Civil Justice Quarterly and a Consultant Editor of Halsbury’s Laws of England. 

    Professor Zuckerman is a prominent commentator on the administration of civil justice. He has influenced legislative policy and judicial practice, notably through contributions to the Woolf Report on Access to Justice, and the Jackson Review of Civil Litigation Costs. He has campaigned for improving access to court and for making justice available to all at proportionate cost. His work on criminal evidence refocused evidence scholarship around fundamental normative principles. 

    He was nominated for his contributions to the Civil Procedure Rules in England and Wales. His academic work, particularly “Zuckerman on Civil Procedure,” is cited in courts across the common law world. 

    Further information 

    Honorary KC is awarded by HM The King, on the advice of the Lord Chancellor. The Lord Chancellor is advised by a selection panel of senior representatives from across the legal sector, civil service, judiciary, and academia. More information about the purpose of the award can be found on GOV.UK. 

    For further information, please contact the Ministry of Justice press office. Follow us @MoJGovUK. 

    Updates to this page

    Published 31 January 2025

    MIL OSI United Kingdom

  • MIL-OSI Economics: ECB selects motifs for future euro banknotes

    Source: European Central Bank

    31 January 2025

    • ECB shortlisted motifs based on the two possible themes for new banknotes: “European culture: shared cultural spaces” and “Rivers and birds: resilience in diversity”
    • The decision builds on an inclusive process involving feedback from public surveys and groups of experts
    • ECB to launch design contest in 2025 allowing Governing Council to select final designs in 2026
    • First new banknotes will go into circulation several years after final decision on designs and following production process

    The Governing Council of the European Central Bank (ECB) has selected motifs to illustrate the two possible themes for future euro banknotes. “European culture” focuses on shared cultural spaces and prominent Europeans. “Rivers and birds” focuses on the resilience and diversity of the natural world, complemented by the European institutions.

    The decision benefited from the suggestions provided by two multidisciplinary advisory groups from across the euro area and is consistent with the preferences on the themes expressed by more than 365,000 Europeans in public surveys held in summer 2023 and in focus groups conducted between December 2021 and March 2022.

    “We are excited to present these real-life motifs that reflect our commitment to Europe and celebrate its cultural heritage and natural environment,” said ECB President Christine Lagarde. “The new banknotes will symbolise our shared European identity and the diversity that makes us strong.”

    European culture: shared cultural spaces

    “European culture” celebrates the shared cultural spaces that have shaped European identity over the centuries. The motifs for this theme depict various cultural activities and spaces, and iconic European personalities who have contributed to building Europe’s cultural heritage. Their lives span six centuries, during which they lived, travelled and worked across our continent, and their accomplishments have resonated around the world.

    The motifs selected are:

    Table 1

    European culture

    Front

    Reverse

    €5
    Performing arts

    Maria Callas

    Street performers (music/dance/theatre) entertaining passersby

    €10
    Music

    Ludwig van Beethoven

    A song festival with a choir of children and young adults singing

    €20
    Universities and schools

    Marie Curie

    A school or university with a female teacher with young students. There are notebooks and books on the tables

    €50
    Libraries

    Miguel de Cervantes

    A library with some adults reading paper and digital books. A little boy and girl in front of a bookcase trying to get a book

    €100
    Museums and exhibitions

    Leonardo da Vinci

    Adults and children admiring some examples of street art, contemporary art, etc.

    €200
    Public squares

    Bertha von Suttner

    A tree-covered square allowing people to come together, with adults and children talking, walking, playing, etc.

    Rivers and birds: resilience in diversity

    “Rivers and birds” highlights the resilience and diversity of Europe’s natural ecosystems by showcasing different stages of rivers and various bird species, emphasising the importance of nature and environmental protection. The European institutions featured on the banknotes remind us of the fundamental values of the European project, which also embraces environmental protection.

    The motifs selected are:

    Table 2

    Rivers and birds

    Front

    Reverse

    €5

    Mountain spring
    Wallcreeper next to a mountain landscape

    European Parliament

    €10

    Waterfall
    Kingfisher in a waterfall or run pool

    European Commission

    €20

    Confined river valley
    Bee-eater colony in a sand wall on the side of a large, confined river valley along a riverbank

    European Central Bank

    €50

    Meandering river
    White stork flying over a meandering river in an unconfined river valley 

    Court of Justice of the European Union

    €100

    River mouth
    Avocet sweeping over the surface of a mud flat

    European Council and Council of the European Union

    €200

    Seascape
    Northern gannet flying over big ocean waves

    European Court of Auditors

    Next steps

    In 2025 the ECB will establish a jury and launch a design contest, which will be open to designers from across the European Union. The ECB will continue to involve the public and experts to ensure the designs selected are relatable for Europeans of all ages. In 2026 the ECB will ask the public which designs they prefer based on a shortlist.

    “We are developing new banknotes because we are committed to cash now and in the future. Banknotes are a symbol of our European unity and with the new motifs, we celebrate our shared history and commitment to a sustainable future,” said ECB Executive Board member Piero Cipollone.

    The Governing Council is expected to make the final decision on the designs in 2026. The new banknotes will be ready to enter circulation some years after this decision and following the production process.

    For media queries, please contact Belén Pérez Esteve tel.: +49 173 533 4269 or Alessandro Speciale, tel. +49 172 167 0791.

    Notes

    1. It is the duty of the ECB and the euro area national central banks to ensure that euro banknotes remain an innovative, secure and efficient means of payment. Developing new series of banknotes regularly is standard practice for all central banks. In a world where banknote reproduction technologies are rapidly evolving and counterfeiters can easily access information and materials, it is necessary to issue new banknotes on a regular basis. Beyond security considerations, the ECB is committed to reducing the environmental impact of euro banknotes throughout their life cycle, while also making them more relatable and inclusive for Europeans of all ages and backgrounds, including vulnerable groups such as the visually impaired. For more information, see the future banknotes page.
    2. The current theme of the euro banknotes is “Ages and styles” and the main motifs on each banknote are windows, doorways and bridges based on architectural styles from various periods in Europe’s history. For more information, see the banknotes design elements page.

    MIL OSI Economics

  • MIL-OSI: Speakers at Biz2X Frontiers of Digital Finance Conference Kick Off 2025 and Predict What’s Next in Fintech and Business Finance

    Source: GlobeNewswire (MIL-OSI)

    NEW YORK and MIAMI, Jan. 31, 2025 (GLOBE NEWSWIRE) — The Biz2X 2025 Frontiers of Digital Finance (FDF) Conference at University of Miami’s Business School, held on January 14, brought together top global leaders in technology, business and government to examine the rapidly changing digital finance landscape, particularly AI’s transformative impact on small business lending. For video highlights, click here.

    FDF assembled a ‘Who’s Who’ of digital finance experts who delved into major issues, such as potential changes in regulation in the new Trump administration, increased use of AI in lending, and the rise of alternative lenders. Speakers from over 25 organizations were represented, in an invite-only audience of more than 200 delegates. Among the A-List speakers were:

    • Former Congressman Patrick McHenry, who served as Chair of the House Financial Services Committee for the past two years. His keynote address, The Future of Fintech Regulation, drew upon his more than two-decades in Congress. The session was moderated by Charlie Gasparino of Fox Business News.
    • USAA President & CEO Wayne Peacock spoke about Leadership in Fintech in The Next Decade. Under Peacock’s visionary leadership, USAA has become a household name. At FDF, he shared insights from his expertise in mission-driven leadership to navigate the evolving financial services landscape.
    • Jim Esposito, President of Citadel Securities, led a discussion entitled Building the Future: Technology in Financial Markets in which he shared his insights for driving long-term growth and building global client and partner relationships.
    • Miami Mayor Francis X. Suarez examined Where Innovation Meets Opportunity – A Legal and Economic Vision, together with legendary litigator Marc Kasowitz from Kasowitz Benson Torres. They shared their perspectives on the legal and economic forces shaping today’s business landscape, and Mayor Suarez explored how cities like Miami can become innovation hubs for the private sector.

    BCG & Biz2X Launch New SMB Finance White Paper at FDF Miami

    Biz2X partnered with Boston Consulting Group (BCG), one of the world’s top business consulting firms, to unveil a brand-new proprietary white paper entitled, The Forthcoming Revolution in Small Business Lending.

    The study examines the rapidly changing dynamics of small business lending. Biz2X and BCG analyzed the reasons why banks — particularly the country’s largest institutions — place limitations on lending to small and medium-sized businesses. BCG identifies a global small business funding gap that exceeds $5 trillion.

    Biz2X and BCG conclude that SMB lending must be fundamentally altered through technology such as digital lending platforms to achieve lower risk, broader access to capital, and a significantly-improved digital experience for both borrowers and lenders. To download the full report, click here.

    Looking Ahead to Future FDF Conferences

    “FDF Miami 2025 was the highest-attended conference yet in our continuing series of these events. Our goal with FDF is to create a platform that drives the finance industry forward by bringing together the right people from all sides of industry and policy,” said Conference Chair and the CEO & Co-Founder of Biz2X, Rohit Arora.

    Future editions of FDF in 2025 are being planned in Riyadh and Mumbai, along with a likely return to Miami, with dates to be announced. For more information about FDF sponsors, speakers, and to see exclusive content from FDF Miami and previous FDF events, visit frontiersofdigitalfinance.com.

    About Frontiers of Digital Finance (FDF)
    FDF is an invitation only, global conference series that assembles global experts in the field. These include top financial institutions, innovative startups, investors, policy makers, technologists, and other leaders to learn about trends in digital finance and build relationships with key executives in the fintech industry.

    Attendees gain valuable insights from distinguished speakers and forge meaningful connections with key industry executives through curated networking events. Previous conferences have been held in some of the world’s most dynamic financial hubs: Dubai, Riyadh, Abu Dhabi, Mumbai, New York (at Columbia Business School) and Miami. Visit frontiersofdigitalfinance.com and LinkedIn for more information and highlights from the conferences.

    About Biz2X 
    Biz2X® is the digital lending platform chosen by successful business lenders, with more than $10 billion funded globally to businesses through the company’s innovative technology. The platform has been chosen for business lending at banks and financial institutions around the world. Lenders choose the platform because they want to transform their lending practices digitally. Biz2X makes this possible through best-in-class technology and AI-powered underwriting models. Biz2X LLC is a subsidiary of Biz2Credit. Visit Biz2X.com for more information.

    Contact: John Mooney, Over The Moon PR, 908-720-6057, john@overthemoonpr.com

    The MIL Network

  • MIL-OSI NGOs: Myanmar: Four years after coup, world must demand accountability for atrocity crimes

    Source: Amnesty International –

    The international community must take urgent action to ensure accountability for atrocities in Myanmar, 46 organizations said today ahead of the four-year anniversary of the 1 February 2021 military coup.

    This year represents a turning point for accountability in Myanmar. While the military remains in control, they are losing ground in many areas. Amid rapidly evolving patterns of hostilities and changing political dynamics, renewed efforts must push for justice and ensure a future built on a lasting culture of respect for human rights.

    Since the 2021 coup, Myanmar’s military junta has killed more than 6,000 people, arbitrarily detained more than 20,000, and renewed judicial executions. More than 3.5 million people are internally displaced. Human rights groups have documented the military’s torture and other ill-treatment of detainees, indiscriminate attacks, and the denial of humanitarian aid, which may amount to crimes against humanity and war crimes.

    Myanmar’s military junta has carried out widespread and systematic attacks against the civilian population nationwide, bombing schools, hospitals, and religious buildings with total impunity. Armed groups fighting the military have also committed human rights violations. While some have pledged to hold perpetrators accountable, it remains to be seen whether these efforts are genuine and can meet international standards.

    Last year, 2024, also marked the worst year of violence against the Rohingya community since 2017, with men, women, and children dying in bombings while being trapped in the middle of the armed conflict between the Myanmar military and the armed group the Arakan Army in Rakhine State.

    At the same time, Myanmar’s military has lost an unprecedented amount of territory across the country to a loose coalition of ethnic armed groups, which have captured two regional commands, high-ranking military officers, dozens of towns, and border crossings. These groups have also been implicated in human rights abuses.

    In areas controlled by ethnic armed groups or overseen by the National Unity Government—formed by democratically elected lawmakers and officials ousted in the 2021 coup—local structures of governance and civil society are emerging. These include schools, hospitals, administrative offices, prisons, police stations, and courts.

    Our undersigned organizations call on all parties to the armed conflict in Myanmar to comply with international humanitarian law and engage with international justice mechanisms, including the Independent Investigative Mechanism for Myanmar. All countries, including regional actors in ASEAN and neighbouring states, must increase pressure on the junta by blocking arms shipments, suspending aviation fuel shipments and supporting international justice mechanisms, including by prosecuting or extraditing any suspected perpetrators. ASEAN must move beyond its failed Five-Point Consensus and take decisive action to hold the junta accountable. We also urge the international community to commit to a coordinated, long-term international justice strategy.

    Globally, some highly anticipated international justice efforts are moving forward. In November 2024, the International Criminal Court’s (ICC) Office of the Prosecutor requested an arrest warrant for Myanmar’s Senior General Min Aung Hlaing for the crimes against humanity of deportation and persecution of the Rohingya committed in Myanmar and in part in Bangladesh between August and December 2017. Requests targeting other senior military officials are expected.

    If these requests are granted, authorities in ICC member states must urgently comply with an arrest warrant for a suspect present within their jurisdiction and hand the person over to the ICC to face their accusers in a fair trial for alleged crimes under international law. The international community must deny safe haven to those accused of serious crimes by ensuring their immediate arrest and transfer to the ICC. The world must not allow perpetrators to evade international justice.

    While the present arrest warrant request is a welcome step, it remains limited in scope, location, and time and does not cover any alleged crimes after the 2021 coup. The ICC Prosecutor should demonstrate further progress in his investigation, including considering crimes under international law committed after 2017 and in the four years since the coup. The UN Security Council and Member States of the ICC must refer the full situation in all of Myanmar to the ICC to ensure justice for all victims.

    Governments, donors, and international agencies should support and pursue a wide variety of accountability efforts, including universal jurisdiction,and the potential creation of ‘hybrid’ or similar tailored justice mechanisms. The international community must also impose a global arms embargo, suspend jet fuel exports, and engage with all relevant national stakeholders, including civil society and those most affected by crimes.

    The UN Human Rights Council resolution from April 2024 stressed the need for “close and timely cooperation” between the Independent Investigative Mechanism for Myanmar, a body established by the UN Human Rights Council to collect and preserve evidence of atrocity crimes in Myanmar for future prosecutions, and “any future investigations or proceedings by national, regional or international courts or tribunals, including by the International Criminal Court or the International Court of Justice.”

    It also requested the UN High Commissioner for Human Rights to maintain a focus on accountability regarding international human rights law, international humanitarian law, and the rule of law and submit a future report on ways to “fulfil the aspirations of the people of Myanmar for human rights protection, accountability, democracy, and a civilian government.”

    Myanmar will be discussed at the upcoming UN Human Rights Council session from 24 February to 4 April 2025. UN member states must use this opportunity to take a bold and innovative approach on Myanmar and adopt a resolution aimed at breaking the cycle of impunity for atrocity crimes. The international community must also amplify the voices of survivors, activists and the people of Myanmar who continue to resist oppression at great personal risk.

    Myanmar’s human rights crisis did not begin with the coup. Decades of oppression have led to this moment. Ending impunity requires bold and adapted solutions and long-term political and financial commitment. The world must act now.

    1. #Sisters2Sisters
    2. Ah Nah Podcast – Conversations with Myanmar
    3. Amnesty International
    4. Arakan Rohingya National Organisation
    5. Arakan Rohingya National Union
    6. Assistance Association for Myanmar-based Independent Journalists
    7. Athan – Freedom of Expression Activist Organization
    8. Blood Money Campaign
    9. Burma Action Ireland
    10. Burma Campaign UK
    11. Burma Civil War Museum
    12. Burma Human Rights Network
    13. Burma War Crimes Investigation
    14. Burmese Rohingya Organisation UK
    15. CAN-Myanmar
    16. Center for Ah Nyar Studies
    17. Chin Human Rights Organization
    18. Community Rebuilding Center
    19. Defend Myanmar Democracy
    20. EarthRights International
    21. Fortify Rights
    22. Free Rohingya Coalition 
    23. Global Myanmar Spring Revolution
    24. Human Rights Foundation of Monland
    25. Independent Myanmar Journalists Association
    26. Kaladan Press Network
    27. Karen Human Rights Group
    28. Karenni Human Rights Group
    29. Mayu Region Human Rights Documentation Center
    30. Mother’s Embrace
    31. Myanmar Ethnic Rohingya Human Rights Organization in Malaysia
    32. New Myanmar Foundation
    33. Odhikar
    34. Progressive Muslim Youth Association
    35. Political Prisoners Network – Myanmar
    36. Refugee Women for Peace and Justice
    37. Refugees International
    38. Rohingya Human Rights Initiative
    39. Rohingya Student League
    40. Rohingya Student Network
    41. Rohingya Student Union
    42. Rohingya Youth for Legal Action
    43. RW Welfare Society
    44. Sitt Nyein Pann Foundation
    45. Women Organization of Political Prisoners
    46. Youth Congress Rohingya
       

    MIL OSI NGO

  • MIL-OSI Europe: The Mumbai of Subaltern Women Through the Award-Winning Film “All We Imagine as Light”

    Source: Universities – Science Po in English

    The first session of the CERI cinéclub, hosted by Christophe Jaffrelot, Senior Researcher at the Center for International Studies (CERI) and  Co-Director of the South Asia Program, and devoted to the film All we imagine as light, plunged the audience into an atmosphere that was both poetic and political.

    Christophe Jaffrelot has written a sensitive tribute to a deeply moving film that teaches us a great deal about Mumbai and Indian society.

    All we imagine as light, written and directed by Payal Kapadia, is the first film from India to win the Grand Prix at the Cannes Film Festival. It immediately brings to mind the masterpieces of Satyajit Ray, another Indian filmmaker to have been celebrated at Cannes, for Pather Panchali (Song of the Little Road) in 1956.

    Like Ray in that first film in the Apu Trilogy, Kapadia provides viewers with close-ups that are intensely beautiful and strikingly expressive, even when their subjects remain impassive and enigmatic. These two filmmakers excel in the art of deliciously slow, even static, shots, which never appear overly long but instead draw the viewer into the intimate worlds of men and (especially) women, as we will see. Nor does this virtuosity slide into mere aestheticism, for behind the heady poetry of her cinematographic style, Kapadia’s work is, in fact, just as political as that of Ray.

    Indeed, the young director first became known in the early 2020s for a militant documentary on the caste system—winner of the Golden Eye at Cannes in 2021. When she was still a film student, Kapadia participated in protests against the Modi government’s nomination of a fellow Hindu nationalist at the head of the Film and Television Institute of India (FTII), and saw her scholarship revoked in response to her opposition.

    The smoke and mirrors of Mumbai

    All we imagine as light is political in a different way. The film focuses on ordinary, everyday victims, first and foremost those who came to Mumbai in search of an Eldorado and who are losing hope. These are the migrants whose anonymous voices— they do not appear on screen—mark the opening moments of the film. They no longer live in the illusion created by the smoke and mirrors of the city, and it is that contrast between dreams and reality that is expressed in the title of the film.

    Why does Mumbai disappoint those who left their villages in hope of a better life? Firstly because it is difficult to find housing, or indeed any shelter, there. The cost of accommodation per meter square has increased so much that the factories that filled the city centre until the 1980s have been transformed into skyscrapers. Here, luxury flats are sold to what Indians call the “middle-class,” but who are in fact, an elite. One of the advertising posters in the film unreservedly boasts of this housing, reserved for a “privileged” few. In Mumbai, property speculation has deadly consequences.

    Parvati, one of the film’s heroines, is the widow of a worker in the now-abandoned factories, and the target of a property developer who has managed to force her to leave her home and return to her village. She tried to join forces with other victims of the same injustice (along the lines of great revolutionaries like Jyotirao Phule and Bhagat Singh whose portraits appear in the film) but in vain.

    Since the Bombay Textile Worker’s strike was broken in the early 1980s, the city has fallen into hands of business interests and their political allies. This is no longer a time for class struggle, but for religion. Kapadia shows this Hindu nationalist version of the “opium of the masses”, documentary-style, by filming the Ganesha Chaturthi processions, where participants dance and sing.

    When they have nowhere to return to, Mumbai’s poor must pile into the overcrowded slums, which are pushed as far away from the city centre as possible. The members of the lower middle class are also relegated to buildings on the outskirts, which forces them to commute by train from the outlying suburbs. The length of these commuter journeys increases as the city spreads, along the two trainlines stretching north and south, and which structure both the time (minutes are counted in the number of stations) and the imaginary of Mumbaikars.

    These trains, which the viewers take several times with the films’ heroines, are a symbol of urban violence. Hundreds of people die every year on the tracks, whether from falling from open doors, or from electrocution. But this daily commute also provides respite for workers—drowsy with sleep on the way out, exhausted by the day on the way home—and particularly for women who have the benefit of the “Ladies Compartment”.

    Three women

    As well as being a film about a major city, All we imagine as light, is a film about women, about the women who are victims of the city, of men, and of social norms. The two main characters, Prabha, the eldest, and Anu, the youngest, illustrate two forms of oppression that Indian women face today—and have long faced.

    They both come from Kerala, work together in a hospital, and share the same flat, but are otherwise unlike each other. The eldest, Prabha, is a woman of duty. She values strength; as a nurse, she rebukes the novice midwives who are repulsed by the smell of placenta. Although she takes no nonsense, she is extraordinarily sensitive, and even expressive in her largely unsmiling reserve. Her husband has left to work in Germany, and she has had no news of him for a year.

    One day, he sends her a rice-cooker, with no note, and she projects all her unfulfilled desires onto this anonymous object. A doctor at the hospital courts her delicately, giving her a poem that she reads once night has fallen and the city is asleep. Yet, she does not take the hand he offers. She is married and thus devoted to one man alone, in accordance with Hindu tradition.

    Anu, by contrast, rejects this tradition. She is graceful, laughs easily, and spends more than she earns—leading to debts she owes to Prabha—and says she will refuse all the suitors her parents propose, according to that same tradition of arranged marriage. Worse, she is secretly involved in a romantic relationship—which Prabha knows and disapproves of—with, worse still, a young Muslim man.

    Although today a young couple can be more open than before about their relationship when they are both from the same community, a romance between a Hindu and a Muslim puts both parties in extreme danger. Indeed, Hindu nationalists have declared war on what they call “love jihad”, a term referring to the idea that young Muslim men are good at seducing Hindu girls, converting them to Islam and thus swelling the ranks of the Muslim community with their children…  When discovered, mixed couples like this are hunted down and the men beaten, even lynched. Anu’s young lover Shiaz hides in terror at the idea of being found in her presence.

    Where can these two live their love safely? Not in Mumbai, which is somewhat of a paradox, given this city was long reputed for its cosmopolitanism, and for providing an anonymity that made it an ideal site for forbidden encounters. In the film, when the two women help Parvarti to return to her original fishing village, Anu invites Shiaz to follow them secretly— and this is where they are finally able to fulfil their love.

    The city no longer provides the same security as the mangrove trees. It no longer conceals forbidden love, not only because of the intense promiscuity resulting from skyrocketing population density, but also because spying and informing on others has become a national sport.

    While the standard Bollywood dream is in Hindi, All we imagine as light speaks the language of migrants—Malayalam, Bengali, Marathi—and reveals an unvarnished reality which borders on tragic. Anu still believes she can rebel, but for Prabha this struggle is in vain: no one can escape their destiny. Yet, there is no place for sadness here, gravitas and grace (in the quasi-mystical sense) are what dominate.

    Kapadia’s women are exceptionally dignified, intensely human, and show unwavering solidarity. They also share delectable moments of freedom, like Anu and Parvati’s slightly tipsy impromptu dancing, under the half-amused, half-disapproving gaze of Prabha, on the beach, far from the city that is the melting pot for all woes.

    Above all, this is the moment that it seems Prabha might shift towards a new destiny. When the sea washes a man’s body up onto the beach, she is the one who resuscitates him, by performing CPR, before the disconcerted villagers. The man, whom she then washes, has lost his memory and the villagers believe Prabha is his wife.

    She tries to set the record straight and then uses this misunderstanding to tell this play-husband (who joins in the pretence for a few phrases) that she does not ever want to see her husband again. This break-up opens up her heart, and she encourages Anu to call Shiaz—who is hiding in the forest—to join them openly.

    A new hope is born from this rejection of social norms by the woman who had previously resigned herself to their constraints. Prabha shows the way to all those who are smothered by the condition Indian women are subject to. This is one of the reasons why only a few cinemas are screening this film in India, the director has offered to organise screenings from city to city to those who request it.

    And All we imagine as light would undoubtedly not have escaped censorship if it had not won the Grand Prix at Cannes, for which the festival should be duly thanked, along with the French co-producer of the film, Petit Chaos.

    MIL OSI Europe News

  • MIL-OSI Europe: ECB selects motifs for future euro banknotes

    Source: European Central Bank

    31 January 2025

    • ECB shortlisted motifs based on the two possible themes for new banknotes: “European culture: shared cultural spaces” and “Rivers and birds: resilience in diversity”
    • The decision builds on an inclusive process involving feedback from public surveys and groups of experts
    • ECB to launch design contest in 2025 allowing Governing Council to select final designs in 2026
    • First new banknotes will go into circulation several years after final decision on designs and following production process

    The Governing Council of the European Central Bank (ECB) has selected motifs to illustrate the two possible themes for future euro banknotes. “European culture” focuses on shared cultural spaces and prominent Europeans. “Rivers and birds” focuses on the resilience and diversity of the natural world, complemented by the European institutions.

    The decision benefited from the suggestions provided by two multidisciplinary advisory groups from across the euro area and is consistent with the preferences on the themes expressed by more than 365,000 Europeans in public surveys held in summer 2023 and in focus groups conducted between December 2021 and March 2022.

    “We are excited to present these real-life motifs that reflect our commitment to Europe and celebrate its cultural heritage and natural environment,” said ECB President Christine Lagarde. “The new banknotes will symbolise our shared European identity and the diversity that makes us strong.”

    European culture: shared cultural spaces

    “European culture” celebrates the shared cultural spaces that have shaped European identity over the centuries. The motifs for this theme depict various cultural activities and spaces, and iconic European personalities who have contributed to building Europe’s cultural heritage. Their lives span six centuries, during which they lived, travelled and worked across our continent, and their accomplishments have resonated around the world.

    The motifs selected are:

    Table 1

    European culture

    Front

    Reverse

    €5
    Performing arts

    Maria Callas

    Street performers (music/dance/theatre) entertaining passersby

    €10
    Music

    Ludwig van Beethoven

    A song festival with a choir of children and young adults singing

    €20
    Universities and schools

    Marie Curie

    A school or university with a female teacher with young students. There are notebooks and books on the tables

    €50
    Libraries

    Miguel de Cervantes

    A library with some adults reading paper and digital books. A little boy and girl in front of a bookcase trying to get a book

    €100
    Museums and exhibitions

    Leonardo da Vinci

    Adults and children admiring some examples of street art, contemporary art, etc.

    €200
    Public squares

    Bertha von Suttner

    A tree-covered square allowing people to come together, with adults and children talking, walking, playing, etc.

    Rivers and birds: resilience in diversity

    “Rivers and birds” highlights the resilience and diversity of Europe’s natural ecosystems by showcasing different stages of rivers and various bird species, emphasising the importance of nature and environmental protection. The European institutions featured on the banknotes remind us of the fundamental values of the European project, which also embraces environmental protection.

    The motifs selected are:

    Table 2

    Rivers and birds

    Front

    Reverse

    €5

    Mountain spring
    Wallcreeper next to a mountain landscape

    European Parliament

    €10

    Waterfall
    Kingfisher in a waterfall or run pool

    European Commission

    €20

    Confined river valley
    Bee-eater colony in a sand wall on the side of a large, confined river valley along a riverbank

    European Central Bank

    €50

    Meandering river
    White stork flying over a meandering river in an unconfined river valley 

    Court of Justice of the European Union

    €100

    River mouth
    Avocet sweeping over the surface of a mud flat

    European Council and Council of the European Union

    €200

    Seascape
    Northern gannet flying over big ocean waves

    European Court of Auditors

    Next steps

    In 2025 the ECB will establish a jury and launch a design contest, which will be open to designers from across the European Union. The ECB will continue to involve the public and experts to ensure the designs selected are relatable for Europeans of all ages. In 2026 the ECB will ask the public which designs they prefer based on a shortlist.

    “We are developing new banknotes because we are committed to cash now and in the future. Banknotes are a symbol of our European unity and with the new motifs, we celebrate our shared history and commitment to a sustainable future,” said ECB Executive Board member Piero Cipollone.

    The Governing Council is expected to make the final decision on the designs in 2026. The new banknotes will be ready to enter circulation some years after this decision and following the production process.

    For media queries, please contact Belén Pérez Esteve tel.: +49 173 533 4269 or Alessandro Speciale, tel. +49 172 167 0791.

    Notes

    1. It is the duty of the ECB and the euro area national central banks to ensure that euro banknotes remain an innovative, secure and efficient means of payment. Developing new series of banknotes regularly is standard practice for all central banks. In a world where banknote reproduction technologies are rapidly evolving and counterfeiters can easily access information and materials, it is necessary to issue new banknotes on a regular basis. Beyond security considerations, the ECB is committed to reducing the environmental impact of euro banknotes throughout their life cycle, while also making them more relatable and inclusive for Europeans of all ages and backgrounds, including vulnerable groups such as the visually impaired. For more information, see the future banknotes page.
    2. The current theme of the euro banknotes is “Ages and styles” and the main motifs on each banknote are windows, doorways and bridges based on architectural styles from various periods in Europe’s history. For more information, see the banknotes design elements page.

    MIL OSI Europe News

  • MIL-OSI Submissions: Myanmar: Four years after coup, world must demand accountability for atrocity crimes

    Source: Amnesty International

    The international community must take urgent action to ensure accountability for atrocities in Myanmar, 46 organizations said today ahead of the four-year anniversary of the 1 February 2021 military coup.

    This year represents a turning point for accountability in Myanmar. While the military remains in control, they are losing ground in many areas. Amid rapidly evolving patterns of hostilities and changing political dynamics, renewed efforts must push for justice and ensure a future built on a lasting culture of respect for human rights.

    Since the 2021 coup, Myanmar’s military junta has killed more than 6,000 people, arbitrarily detained more than 20,000, and renewed judicial executions. More than 3.5 million people are internally displaced. Human rights groups have documented the military’s torture and other ill-treatment of detainees, indiscriminate attacks, and the denial of humanitarian aid, which may amount to crimes against humanity and war crimes.

    Myanmar’s military junta has carried out widespread and systematic attacks against the civilian population nationwide, bombing schools, hospitals, and religious buildings with total impunity. Armed groups fighting the military have also committed human rights violations. While some have pledged to hold perpetrators accountable, it remains to be seen whether these efforts are genuine and can meet international standards.

    Last year, 2024, also marked the worst year of violence against the Rohingya community since 2017, with men, women, and children dying in bombings while being trapped in the middle of the armed conflict between the Myanmar military and the armed group the Arakan Army in Rakhine State.

    At the same time, Myanmar’s military has lost an unprecedented amount of territory across the country to a loose coalition of ethnic armed groups, which have captured two regional commands, high-ranking military officers, dozens of towns, and border crossings. These groups have also been implicated in human rights abuses.

    In areas controlled by ethnic armed groups or overseen by the National Unity Government—formed by democratically elected lawmakers and officials ousted in the 2021 coup—local structures of governance and civil society are emerging. These include schools, hospitals, administrative offices, prisons, police stations, and courts.

    Our undersigned organizations call on all parties to the armed conflict in Myanmar to comply with international humanitarian law and engage with international justice mechanisms, including the Independent Investigative Mechanism for Myanmar. All countries, including regional actors in ASEAN and neighbouring states, must increase pressure on the junta by blocking arms shipments, suspending aviation fuel shipments and supporting international justice mechanisms, including by prosecuting or extraditing any suspected perpetrators. ASEAN must move beyond its failed Five-Point Consensus and take decisive action to hold the junta accountable. We also urge the international community to commit to a coordinated, long-term international justice strategy.

    Globally, some highly anticipated international justice efforts are moving forward. In November 2024, the International Criminal Court’s (ICC) Office of the Prosecutor requested an arrest warrant for Myanmar’s Senior General Min Aung Hlaing for the crimes against humanity of deportation and persecution of the Rohingya committed in Myanmar and in part in Bangladesh between August and December 2017. Requests targeting other senior military officials are expected.

    If these requests are granted, authorities in ICC member states must urgently comply with an arrest warrant for a suspect present within their jurisdiction and hand the person over to the ICC to face their accusers in a fair trial for alleged crimes under international law. The international community must deny safe haven to those accused of serious crimes by ensuring their immediate arrest and transfer to the ICC. The world must not allow perpetrators to evade international justice.

    While the present arrest warrant request is a welcome step, it remains limited in scope, location, and time and does not cover any alleged crimes after the 2021 coup. The ICC Prosecutor should demonstrate further progress in his investigation, including considering crimes under international law committed after 2017 and in the four years since the coup. The UN Security Council and Member States of the ICC must refer the full situation in all of Myanmar to the ICC to ensure justice for all victims.

    Governments, donors, and international agencies should support and pursue a wide variety of accountability efforts, including universal jurisdiction, and the potential creation of ‘hybrid’ or similar tailored justice mechanisms. The international community must also impose a global arms embargo, suspend jet fuel exports, and engage with all relevant national stakeholders, including civil society and those most affected by crimes.

    The UN Human Rights Council resolution from April 2024 stressed the need for “close and timely cooperation” between the Independent Investigative Mechanism for Myanmar, a body established by the UN Human Rights Council to collect and preserve evidence of atrocity crimes in Myanmar for future prosecutions, and “any future investigations or proceedings by national, regional or international courts or tribunals, including by the International Criminal Court or the International Court of Justice.”

    It also requested the UN High Commissioner for Human Rights to maintain a focus on accountability regarding international human rights law, international humanitarian law, and the rule of law and submit a future report on ways to “fulfil the aspirations of the people of Myanmar for human rights protection, accountability, democracy, and a civilian government.”

    Myanmar will be discussed at the upcoming UN Human Rights Council session from 24 February to 4 April 2025. UN member states must use this opportunity to take a bold and innovative approach on Myanmar and adopt a resolution aimed at breaking the cycle of impunity for atrocity crimes. The international community must also amplify the voices of survivors, activists and the people of Myanmar who continue to resist oppression at great personal risk.

    Myanmar’s human rights crisis did not begin with the coup. Decades of oppression have led to this moment. Ending impunity requires bold and adapted solutions and long-term political and financial commitment. The world must act now.

    #Sisters2Sisters
    Ah Nah Podcast – Conversations with Myanmar
    Amnesty International
    Arakan Rohingya National Organisation
    Arakan Rohingya National Union
    Assistance Association for Myanmar-based Independent Journalists
    Athan – Freedom of Expression Activist Organization
    Blood Money Campaign
    Burma Action Ireland
    Burma Campaign UK
    Burma Civil War Museum
    Burma Human Rights Network
    Burma War Crimes Investigation
    Burmese Rohingya Organisation UK
    CAN-Myanmar
    Center for Ah Nyar Studies
    Chin Human Rights Organization
    Community Rebuilding Center
    Defend Myanmar Democracy
    EarthRights International
    Fortify Rights
    Free Rohingya Coalition
    Global Myanmar Spring Revolution
    Human Rights Foundation of Monland
    Independent Myanmar Journalists Association
    Kaladan Press Network
    Karen Human Rights Group
    Karenni Human Rights Group
    Mayu Region Human Rights Documentation Center
    Mother’s Embrace
    Myanmar Ethnic Rohingya Human Rights Organization in Malaysia
    New Myanmar Foundation
    Odhikar
    Progressive Muslim Youth Association
    Political Prisoners Network – Myanmar
    Refugee Women for Peace and Justice
    Refugees International
    Rohingya Human Rights Initiative
    Rohingya Student League
    Rohingya Student Network
    Rohingya Student Union
    Rohingya Youth for Legal Action
    RW Welfare Society
    Sitt Nyein Pann Foundation
    Women Organization of Political Prisoners
    Youth Congress Rohingya.

    MIL OSI – Submitted News