An Eye on the Bureau An Update from CFPB Monitor

Size: px
Start display at page:

Download "An Eye on the Bureau An Update from CFPB Monitor"

Transcription

1 An Eye on the Bureau An Update from CFPB Monitor The CFPB Is Coming! The CFPB Is Coming! COHEAO Annual Conference January 28, 2013 NCHER Knowledge Symposium November 7, 2012 John L. Culhane, Jr., Partner Consumer Financial Services Group Higher Education Group

2 A Busy Year for the CFPB Complaint Portal Extended to Private Student Loans March 1, 2012 Larger Participant Rule for Consumer Reporting Agencies July 16, 2012 The Private Student Loan Report July 20, 2012 Financial Aid Shopping Sheet July 23, 2012 The Private Student Loan Report Updates August 29,

3 A Busy Year for the CFPB (cont.) Consumer Response: A Snapshot of Complaints Received October 10, 2012 Annual Report of the CFPB Student Loan Ombudsman October 16, 2012 The Next Front? Student Loan Servicing and the Cost to Our Men and Women in Uniform October 18, 2012 The Larger Participant Rule for Debt Collection Agencies October 23,

4 A Busy Year for the CFPB (cont.) The CFPB Debt Collection Examination Procedures October 23, 2012 The Fair Lending Report of the Consumer Financial Protection Bureau December 6, 2012 The Paying for College Web Tool Beta Version December 13, 2012 The CFPB Education Loan Examination Procedures December 17,

5 Where They ve Been Private Student Loan Report Shows that borrowers (students and their families) desperately need the CFPB s help because they can t protect themselves Demonstrates the dysfunctional nature of the marketplace that necessitates a cop on the beat Stakes out the agenda for consumer financial protection (examination and enforcement implications) Shines the spotlight on fair lending issues (examination and enforcement implications) 5

6 Where They ve Been Ombudsman s Report Broadly characterizes virtually all complaints as servicing related First category complaints where responsible borrowers were stymied by servicing policies Second category complaints where borrowers were surprised by servicing procedures Third category complaints where struggling borrowers were frustrated by collection practices Fourth category complaints where military borrowers were reportedly disadvantaged by non-compliant programs 6

7 Where They ve Been Next Front Report Broadly focuses on repayment issues and problems facing servicemembers with private and federal student loans and identifies two major problems First, many servicemembers are not taking advantage of the most favorable repayment plans available, and are incurring significant additional debt as a result Second, many servicemembers are not receiving the protections and benefits to which they are entitled, particularly in the case of SCRA protections 7

8 Where They re Going Examination Objectives Assess quality of compliance risk management systems for preventing violations of federal consumer financial laws Identify acts or practices that materially increase the risk of violations of such laws Gather facts to determine whether entity engages in acts or practices that are likely to violate such laws Determine whether such a violation has occurred and whether further supervisory or enforcement actions are appropriate 8

9 Documents and Information To Be Reviewed at Outset Organizational charts and process flowcharts Board minutes, annual reports, or the equivalent to extent available Relevant management reporting Policies and procedures; rate sheets Fee sheets Loan applications, loan account documentation, notes, disclosures, and all other contents of loan underwriting and servicing of account files Operating checklists, worksheets, and review documents 9

10 Documents and Info. To Be Reviewed at Outset (cont.) Relevant computer program and system details Service provider contracts, due diligence, and monitoring procedures and lending procedures Underwriting guidelines Compensation policies Historical examination information Audit and compliance reports and management responses to findings 10

11 Documents and Info. To Be Reviewed at Outset (cont.) Training programs and materials Advertisements Consumer complaints and disputes, including those submitted to CFPB Consumer Response Center, Consumer Sentinel, the Better Business Bureau, or other sources as appropriate 11

12 Examination Modules 6 Substantive; 1 Procedural Module 1: Advertising, Marketing, and Lead Generation Module 2: Application, Qualification, Loan Origination, and Disbursement Module 3: Loan Repayment, Account Maintenance, Payoff Processing, and Payment Plans Module 4: Customer Inquiries and Complaints Module 5: Collections, Accounts in Default, and Credit Reporting Module 6: Information Sharing and Privacy Module 7: Examination Conclusion and Wrap-up 12

13 Module 1 Advertising Truth in Lending Risks Review general advertising requirements for closed-end credit (clear/conspicuous, offered terms, trigger terms) Review solicitation disclosures for private education loans (application disclosures are part of Module 2) Review compliance with co-branding and school endorsement requirements (proper disclosures) Review compliance with preferred lender requirements (delivery of required information for each type of loan) 13

14 Module 1 Advertising (cont.) Service Provider Risks (Agents, Brokers, Lead Generators) Assess lender review of service provider training Assess lender review of interactions with consumers (scripts, call recordings, transcripts of online chats, etc.) Other Risks (UDAAP) Review use of certain hot button terms or phrases (future employment, nature of loan, pre-approved, etc.) Review employee compensation structure (looking for rewards based on size or number of loans originated) 14

15 Module 1 Advertising (cont.) Fair Lending Risks Review of marketing and advertising, with focus on discrimination or discouragement Review of solicitation methods looking for differences by line of business, channel, loan product, etc. Review of factors used to identify recipients of solicitations and review of any prospect databases Review of policies and procedures regarding recommendations and referrals to different products or different lending channels (steering) 15

16 Module 2 Origination Truth in Lending Risks Review application, approval, and final disclosures (including general closed-end credit disclosure requirements) Review compliance with self-certification form requirements (verification of accuracy/completeness) Review procedures with regard to acceptance of offer, term change and re-disclosure, and right to cancel Assess compliance with E-SIGN (E-SIGN disclosures, affirmative consent, reasonable demonstration) 16

17 Module 2 Origination (cont.) Other Risks (UDAAP) Assess process for approving and communicating approval Determine whether prospective borrower gets full 30-day firm offer period with private education loan Review disclosures with optional or related products and services (insurance, debt cancellation, credit protection, consumer report update services) Review procedures with regard to required cosigners (consequences to borrower) and cosigner disclosures (consequences to cosigner) 17

18 Module 2 Origination (cont.) Fair Lending Risk Review for use of CDR, graduation rate, or other school specific variables (eligibility, underwriting, and/or pricing) Review to determine whether lender did any analysis to support its business justification for use of any school specific variable (note assumption of disparate impact) Review of partnership, referral, and preferred lender arrangements and compensation terms for same Review of procedures related to school eligibility (adding school, monitoring school, and dropping school) 18

19 Module 2 Origination (cont.) Fair Lending Risk (cont.) Review of underwriting/pricing policies for differences by line of business, channel, division, geography, etc. Review of variables used in any credit scoring system (zip code is problematic) and documentation validating system Review of variables used in any automated underwriting system (AUS) and comparison of applicants underwritten with AUS with those underwritten without AUS Review of rate sheets for differences by line of business, channel, division, geography, school, or school type 19

20 Module 2 Origination (cont.) Fair Lending Risk (cont.) Review of underwriting and pricing policies looking for evidence of disparate treatment (for example, age) Review of school-specific and school type-specific underwriting and pricing criteria Assessment of differences in underwriting and pricing of products designed for specific schools or school types Assessment of polices for overrides or exceptions to underwriting or pricing, includes identification of any caps, exception reporting, and quality of review process 20

21 Module 2 Origination (cont.) Fair Lending Risk (cont.) Review of policies for providing adverse action notices (including policies for oral applications and requests for preapprovals) Review to determine how variables used in underwriting are reflected in adverse action reasons Review of circumstances under which a guarantor or cosigner is required Confirm lender is not collecting monitoring information unless it is for purposes of a self-test 21

22 Module 2 Disbursement Truth in Lending Risks Review timing of disbursement (at least 3 business days after receipt of final disclosure) Other Risks (UDAAP) Assess cancellation policy (less or no need) Assess disbursement of principal amount (lump sum or based on school calendar and requirements) Review limits on use of funds (tied to specific retailer?) Review disbursements to prepaid cards (fees, disclosures) 22

23 Module 3 Repayment Electronic Fund Transfer Act Risk Assess compliance for electronic payments and automatic transfers Other Risks (UDAAP and Other Laws) Review repayment status processing (disclosure of options, default option, contractual obligations, etc.) Review delivery of borrower benefits (adequate documentation, personnel, controls, etc.) Review impact of loan servicing transfers 23

24 Module 3 Repayment (cont.) Other Risks (UDAAP and Other Laws) (cont.) Review payment processing (assessment of late fees, prompt crediting of payments, failed transfers, access to information, and SCRA compliance) Order of application of payments (single loan, multiple loans, factors considered) Prepayment issues (improper fees, undue burden, credit to principal or pay ahead feature, etc.) Partial payment issues (use of suspense account, returned payments) 24

25 Module 3 Repayment (cont.) Other Risks UDAAP (cont.) Periodic statement issues (clear and conspicuous, method of delivery, use of additional media, rate changes, etc.) Legacy FFELP Loan Risks Repayment status processing (deferments, IBR, forbearance) Borrower benefits (public service loan forgiveness, IBR loan forgiveness) Loan servicing transfers (disclosure) 25

26 Module 3 Repayment (cont.) Legacy FFELP Loan Risks (cont.) Order of application of payments (different procedures for non-ibr, IBR) Prepayments (application to future installments) Truth in Lending Risks Treatment of credit balances in excess of $1 (credit to account, refund on written request, good faith effort to refund after 6 months) 26

27 Module 4 Complaints Micro Level: Customer Experience Types of inquiries and complaints Insights into weaknesses in lender s complaint handling Macro Level: Complaint Handling Infrastructure Customer interface (channels, staffing, training) Logging, categorizing, tracking, escalating Response (remedy, timeliness, corrective action) Oversight (trend reports, Board reports) 27

28 Module 5 - Collections General Examiners will be reviewing policies and procedures, individual customer files, and complaints, and listening to recordings FDCPA Risk Incorporates FDCPA exam procedures from CFPB Supervision and Examination Manual v. 2.0 for all servicers that qualify as debt collectors (looks to loan note to determine whether debt was in default when obtained private generally 15 or 30 days past due; federal 270 days past due) 28

29 Module 5 Collections (cont.) Other Risks (UDAAP) Telephone conduct frequency, time, and content Service Provider Risk Review of policies and procedures for monitoring service providers Workout Risk Loss mitigation waterfall procedures: whether the servicer reviews defaulted borrowers for all repayment status options before sending the account to collections 29

30 Module 5 Collections (cont.) ECOA Risk ECOA considerations in loss mitigation: whether the lender is providing the options consistently to all borrowers in similar situations Other possible ECOA considerations: whether the lender is prioritizing workout options based on loan type (FFELP loans versus private loans) 30

31 Module 5 Collections Hot Areas (cont.) Litigation Risk Collection documentation for litigation referrals: whether the lender has policies and controls in place to ensure the accuracy of information used to collect delinquent accounts through legal action FCRA Risk Credit reporting issues, especially disputed accounts 31

32 Module 6 Privacy GLBA and Regulation P Review based on the GLBA Modules in the CFPB Supervision and Examination Manual v. 2.0 Covers privacy notice, disclosure to non-affiliated third parties, honoring of opt-out, use or disclosure of information received from a non-affiliated financial institution, and disclosure of account numbers FCRA and Regulation V (Affiliate Sharing) Review based on FCRA Module 2 in the CFPB Supervision and Examination Manual v

33 Module 7 Wrap-Up Examiners summarize findings, supervisory concerns, and regulatory violations Examiners identify cause of each violation and necessary corrective action Findings are discussed with management and commitment is obtained for any corrective action Violations are recorded in the Report of Examination or a Supervisory Letter and go in the permanent record Examiners recommend enforcement action where appropriate 33

34 The Next Step with Exams Appeals Bulletin issued on October 31, 2012 Provides for appeal of a less-than-satisfactory rating, any underlying adverse findings in an examination report, or any adverse findings in a supervisory letter Process requires written appeal submitted within 30 business days of the date of the transmission of the rating, report, or letter Appeal goes to an appellate committee, which submits its recommendations to the Associate Director, whose decision is final and cannot be appealed 34

35 Now What? All lenders and servicers should consider a third-party audit of their existing policies and procedures and substantive compliance Missing policies and procedures should be prepared and outdated policies and procedures should be revised Special attention should be placed on complaint handing and analysis and on fair lending compliance Substantive compliance issues should be addressed with counsel to preserve the ability to invoke the attorney-client privilege and any other applicable privilege 35

36 Questions / Resources If you have questions, please contact: John L. Culhane, Jr. Partner Consumer Financial Services Group Higher Education Group culhane@ballardspahr.com Visit our ABA award-winning blog at Subscribe to our e-alerts at (click subscribe ). 36 DMEAST # v1

Examination Procedures

Examination Procedures Examination Procedures Education Loan Examination Procedures After completing the risk assessment and examination scoping, examiners should use these procedures to conduct an education loan examination.

More information

Education Loan Examination Procedures

Education Loan Examination Procedures CFPB Education Loan Examination Procedures Education Loan Education Loan Examination Procedures After completing the risk assessment and examination scoping, examiners should use these procedures, in conjunction

More information

Short-Term, Small-Dollar Lending

Short-Term, Small-Dollar Lending Commonly Known as Payday Lending Exam Date: Prepared By: Reviewer: Docket #: Entity Name: [Click&type] [Click&type] [Click&type] [Click&type] [Click&type] These examination procedures apply to the short-term,

More information

How to Ace Your CFPB Exam

How to Ace Your CFPB Exam How to Ace Your CFPB Exam May 25, 2016 Moderator Alan S. Kaplinsky Practice Leader Consumer Financial Services 215.864.8544 kaplinsky@ballardspahr.com Panelists Richard J. Andreano, Jr. Practice Leader

More information

2. Customer Application, Qualification, Loan Origination, and Disbursement

2. Customer Application, Qualification, Loan Origination, and Disbursement Examination After completing the risk assessment and examination scoping, examiners should use these procedures, in conjunction with to conduct an education loan examination. Exam Date: Exam ID No. Prepared

More information

Examination Procedures

Examination Procedures After completing the risk assessment and examination scoping, examiners should use these procedures, in conjunction with the compliance management system Exam Date: Exam ID No. Prepared By: Reviewer: Docket

More information

What You Need to Know About the CFPB s Short-Term, Small- Dollar Lending Examination Procedures

What You Need to Know About the CFPB s Short-Term, Small- Dollar Lending Examination Procedures What You Need to Know About the CFPB s Short-Term, Small- Dollar Lending Examination Procedures Richard P. Eckman Timothy R. McTaggart Pepper Hamilton LLP John C. Soffronoff, Jr. ICS Risk Advisors September

More information

Presentation to COHEAO

Presentation to COHEAO Presentation to COHEAO Rohit Chopra CFPB Student Loan Ombudsman July 30, 2012 Cleveland Consumer Financial Protection Bureau http://www.consumerfinance.gov Establishment of the CFPB In July 2010, the Dodd-Frank

More information

CFPB: A Review of Supervisory Activities

CFPB: A Review of Supervisory Activities CFPB: A Review of Supervisory Activities Roberta Torian University of North Carolina Law School Center for Banking and Finance Banking Law Institute Charlotte, N.C. 22 March 2013 DRAFT v2 1 Authority The

More information

Consumer Response Annual Report

Consumer Response Annual Report MARCH 2013 Consumer Response Annual Report JANUARY 1 DECEMBER 31, 2012 Message from Richard Cordray Director of the CFPB On July 21, 2011, the Consumer Financial Protection Bureau (CFPB or Bureau) began

More information

Mortgage Servicing. Examination Objectives

Mortgage Servicing. Examination Objectives Mortgage Servicing After completing the risk assessment and examination scoping, examiners should use these procedures, in conjunction with the compliance Exam Date: Prepared By: Reviewer: Docket #: Entity

More information

National Association of Federal Credit Unions Fair Lending Training (Part II)

National Association of Federal Credit Unions Fair Lending Training (Part II) National Association of Federal Credit Unions Fair Lending Training (Part II) April 23, 2014 Jeremiah S. Buckley, Partner Lori J. Sommerfield, Counsel Order of Presentation Key Players in Fair Lending

More information

About this report. Confidential and proprietary information 2018 Navient Solutions, LLC. All rights reserved.

About this report. Confidential and proprietary information 2018 Navient Solutions, LLC. All rights reserved. CFPB Consumer Response Portal Summary of Navient Customer Submissions Through the CFPB Student Loan Complaint Portal October 1, 2016 - September 30, 2017 March 2018 About this report This report is Navient

More information

VIII 6.1. VIII. Privacy FCRA. Fair Credit Reporting Act 1. Introduction. Structure and Overview of Examination Modules.

VIII 6.1. VIII. Privacy FCRA. Fair Credit Reporting Act 1. Introduction. Structure and Overview of Examination Modules. Fair Credit Reporting Act 1 Introduction The Fair Credit Reporting Act (FCRA) (15 USC 1681-1681u) became effective on April 25, 1971. The FCRA is a part of a group of acts contained in the Federal Consumer

More information

CFPB Bulletin Date: February 11, Mortgage Servicing Transfers

CFPB Bulletin Date: February 11, Mortgage Servicing Transfers CFPB Bulletin 2013-01 Date: February 11, 2013 Subject: Mortgage Servicing Transfers The Consumer Financial Protection Bureau (CFPB) is issuing this guidance to residential mortgage servicers and subservicers

More information

CFPB Update. COHEAO Annual Conference. January 29, 2018 Arlington, VA. Heather S. Klein, Associate

CFPB Update. COHEAO Annual Conference. January 29, 2018 Arlington, VA. Heather S. Klein, Associate CFPB Update COHEAO Annual Conference January 29, 2018 Arlington, VA John L. Culhane, Jr., Partner Consumer Financial Services Group Higher Education Group 215.864.8535 culhane@ballardspahr.com Heather

More information

The DoD s 11th Hour Interpretive Rule For New MLA Rules

The DoD s 11th Hour Interpretive Rule For New MLA Rules The DoD s 11th Hour Interpretive Rule For New MLA Rules September 20, 2016 Moderator Alan S. Kaplinsky Practice Leader Consumer Financial Services 215.864.8544 kaplinsky@ballardspahr.com Panelists John

More information

Pushing the Envelope: Are There Any Limits to the CFPB s Jurisdiction?

Pushing the Envelope: Are There Any Limits to the CFPB s Jurisdiction? Pushing the Envelope: Are There Any Limits to the CFPB s Jurisdiction? August 18, 2015 Moderator Alan S. Kaplinsky Practice Leader Consumer Financial Services 215.864.8544 kaplinsky@ballardspahr.com Panelists

More information

Regulatory Update NAFCU Webcast

Regulatory Update NAFCU Webcast Regulatory Update NAFCU Webcast Thursday, November 14 2:00 3:30 p.m. Presented by: Steve Van Beek, Esq. (248)723-0521 svb@h2law.com Overview CFPB s Agenda Supervisory Highlights CFPB s Radar AKA, What

More information

The CFPB s Priorities in Rulemaking, Supervision, and Enforcement

The CFPB s Priorities in Rulemaking, Supervision, and Enforcement The CFPB s Priorities in Rulemaking, Supervision, and Enforcement July 21, 2016 Scott M. Pearson Ballard Spahr LLP 424.204.4323 pearsons@ballardspahr.com John D. Socknat Ballard Spahr LLP 202.661.2253

More information

The Funnel Effect of The Dodd-Frank Act

The Funnel Effect of The Dodd-Frank Act The Funnel Effect of The Dodd-Frank Act 2012 NCHER Knowledge Symposium The Dodd-Frank Effect Model Increases in Regulation Lawsuits Financial Industry Reaction Complaints Customer Confusion 1 The Dodd-Frank

More information

Through the Crystal Ball: Predicting Important CFPB Developments in 2015

Through the Crystal Ball: Predicting Important CFPB Developments in 2015 Through the Crystal Ball: Predicting Important CFPB Developments in 2015 April 2, 2015 Moderator Alan S. Kaplinsky Practice Leader Consumer Financial Services 215.864.8544 kaplinsky@ballardspahr.com Panelists

More information

Fair & Responsible Lending in the Regulatory Crosshairs

Fair & Responsible Lending in the Regulatory Crosshairs Fair & Responsible Lending in the Regulatory Crosshairs Legal Counsel to the Financial Services Industry Minnesota Banking Law Institute April 5, 2013 Andrea K. Mitchell Partner Lori J. Sommerfield Counsel

More information

Reverse Mortgage. Examination Procedures

Reverse Mortgage. Examination Procedures Examination Procedures Reverse Mortgage Servicing Exam Date: Exam ID No. These examination procedures apply to reverse mortgage Prepared By: servicing and are a stand-alone resource to complete a reverse

More information

Leveling the Playing Field CFPB Regulations and Guidance Targeted for Review by Treasury Under President Trump s February 3 Executive Order

Leveling the Playing Field CFPB Regulations and Guidance Targeted for Review by Treasury Under President Trump s February 3 Executive Order Leveling the Playing Field CFPB Regulations and Guidance Targeted for Review by Treasury Under President Trump s February 3 Executive Order March 6, 2017 Moderator Richard J. Andreano, Jr. Practice Leader

More information

CU Campus Resources Third Annual Client Forum March 19-20, The Private Student Loan Landscape

CU Campus Resources Third Annual Client Forum March 19-20, The Private Student Loan Landscape CU Campus Resources Third Annual Client Forum March 19-20, 2015 The Private Student Loan Landscape Arthur J. Rotatori, Esq. arotatori@mcglinchey.com (216) 378-9932 Overview CFPB Concerns NCUA Supervisory

More information

Mortgage Banking. Solutions in Compliance, Transactions, and Defense. Attorney Advertising

Mortgage Banking. Solutions in Compliance, Transactions, and Defense. Attorney Advertising Mortgage Banking Solutions in Compliance, Transactions, and Defense Attorney Advertising The mortgage banking industry is changing rapidly. We offer broad regulatory experience, formidable skill in litigation,

More information

ABA Compliance School Foundational

ABA Compliance School Foundational ABA Compliance School Foundational Deposit/Operations Module March 10 13, 2018 Grand Hyatt Denver Denver, Colorado COURSE CATALOG aba.com 1-800-BANKERS October 2014 Session Emory Conference Center and

More information

HOW THE CALDWELL QC PLAN MEETS HUD REQUIREMENTS

HOW THE CALDWELL QC PLAN MEETS HUD REQUIREMENTS Q-5 How the Caldwell QC Plan Meets HUD Requirements HOW THE CALDWELL QC PLAN MEETS HUD REQUIREMENTS Every FHA-approved mortgage lender, including loan correspondents, must implement a written quality control

More information

Mortgage Procedures and Regulations (MPAR) Mortgage Origination Equal Credit Opportunity Act (ECOA) Phase

Mortgage Procedures and Regulations (MPAR) Mortgage Origination Equal Credit Opportunity Act (ECOA) Phase Mortgage Procedures and Regulations (MPAR) Mortgage Origination Equal Credit Opportunity Act (ECOA) Phase Sonia Lee Director, Affiliate Financial Service Agenda Today s goal: Equip participants with working

More information

Indiana OR/WA/HI Tri-State Conference Mortgage Servicing. Sonia Lee Director, Affiliate Financial Service HFHI

Indiana OR/WA/HI Tri-State Conference Mortgage Servicing. Sonia Lee Director, Affiliate Financial Service HFHI Indiana 2015 OR/WA/HI Tri-State Conference Mortgage Servicing Sonia Lee Director, Affiliate Financial Service HFHI Mortgage Servicing Mortgage Servicing New Policy 24 Mortgage Loan Servicing What is mortgage

More information

Consumer Financial Protection Bureau Update

Consumer Financial Protection Bureau Update Consumer Financial Protection Bureau Update Patricia Scherschel February 2016 Student Lending Program Manager Installment Lending and Collections Markets Division of Research, Markets, and Regulations

More information

U.S. Consumer Financial Services Regulation: What to Expect in 2016

U.S. Consumer Financial Services Regulation: What to Expect in 2016 U.S. Consumer Financial Services Regulation: What to Expect in 2016 Digital Payments Intensive April 13, 2016 Andrew J. Lorentz No. 1 RULEMAKING BY ENFORCEMENT 2 Rulemaking by enforcement New Consumer

More information

Consumer Finance Protection Bureau. About this presentation. The CFPB 1/26/2012

Consumer Finance Protection Bureau. About this presentation. The CFPB 1/26/2012 Consumer Finance Protection Bureau Annual Conference Coalition of Higher Education Assistance Organizations John Dean Washington Partners, LLC January 2012 About this presentation This presentation is

More information

Regulatory Practice Letter December 2014 RPL 14-22

Regulatory Practice Letter December 2014 RPL 14-22 Regulatory Practice Letter December 2014 RPL 14-22 Automobile Supervision and Enforcement Regulatory Actions and CFPB Proposed Rule Executive Summary The automobile finance industry is under heightened

More information

Consumer Complaint Database Breakdown

Consumer Complaint Database Breakdown Consumer Complaint Database Breakdown Today, the Consumer Financial Protection Bureau is going live with the largest collection of complaint data on federal consumer financial products and services ever

More information

Sonia Lee Director of Affiliate Financial Services HFH International

Sonia Lee Director of Affiliate Financial Services HFH International Sonia Lee Director of Affiliate Financial Services HFH International Topics for Today Anti-Discrimination Laws Other Laws Outreach and Marketing Application Intake Selection Criteria Procedural Issues

More information

Trendspotting the CFPB: What s Coming and How Institutions Can Prepare

Trendspotting the CFPB: What s Coming and How Institutions Can Prepare Trendspotting the CFPB: What s Coming and How Institutions Can Prepare Courtney H. Gilmer Baker Donelson Center Suite 800 211 Commerce Street Nashville, TN 37201 615.726.5747 cgilmer@bakerdonelson.com

More information

Documents Supported by Convoke Issuer Documents

Documents Supported by Convoke Issuer Documents Documents Supported by Convoke Issuer Documents 1) Access Check 19) Disbursement 2) Account Review Form 20) Disclosure Statement 3) Affidavit 21) Funding Packet 4) Affidavit Issuer 22) Goodbye Letter 5)

More information

Higher Education Opportunity Act

Higher Education Opportunity Act July 1, 2008 Schools Maximum duration of eligibility for students receiving a Pell Grant for the first time on or after July 1, 2008. (DCL page 104) Unsubsidized Stafford Loan Limits for loans first disbursed

More information

Platinum Correspondent

Platinum Correspondent Platinum Correspondent Correspondent Lending Division Seller Partner Eligibility Policy Overview Our Platinum Correspondent Division is designed as an opportunity to partner with experienced mortgage professionals

More information

Advertising Compliance

Advertising Compliance Advertising Compliance John Zasada Principal 218 790 1086 1 1 Credit Union Compliance Practice Review websites and social media for compliance before CU release Ongoing Regulatory Compliance Assistance

More information

Table of Contents. Money Smart for Small Business Page 2 of 19

Table of Contents. Money Smart for Small Business Page 2 of 19 Table of Contents Welcome... 4 What Do You Know? Credit Reporting for a Small Business... 5 Pre-Test... 6 Credit Reporting... 7 Credit Report Impact... 7 Business Credit Reports... 7 Discussion Point #1:

More information

Assessing Credit Risk

Assessing Credit Risk Assessing Credit Risk Objectives Discuss the following: Inherent Risk Quality of Risk Management Residual or Composite Risk Risk Trend 2 Inherent Risk Define the risk Identify sources of risk Quantify

More information

2018 Interagency Fair Lending Hot Topics

2018 Interagency Fair Lending Hot Topics 2018 Interagency Fair Lending Hot Topics Outlook Live Webinar December 3, 2018 Visit us at www.consumercomplianceoutlook.org Visit us at www.consumercomplianceoutlook.org Welcome to Outlook Live Logistics

More information

TITLE 10. DEPARTMENT OF BUSINESS OVERSIGHT

TITLE 10. DEPARTMENT OF BUSINESS OVERSIGHT TITLE 10. DEPARTMENT OF BUSINESS OVERSIGHT PROPOSED CHANGES UNDER THE STUDENT LOAN SERVICING ACT MODIFIED: MAY 31, 2018 (Additions shown by double underline and deletions shown by double strikethrough)

More information

Student Loan Terms to Know

Student Loan Terms to Know Definitions of terms related to federal student loans and the Nelnet repayment process Accrue The act of interest accumulating on the borrower s principal balance Adjusted Gross Income (AGI) The adjusted

More information

FINAL RULE ANALYSIS 2016 MORTGAGE SERVICING RULE AMENDMENTS (REG X) 2016 TRUTH IN LENDING AMENDMENTS (REG Z)

FINAL RULE ANALYSIS 2016 MORTGAGE SERVICING RULE AMENDMENTS (REG X) 2016 TRUTH IN LENDING AMENDMENTS (REG Z) FINAL RULE ANALYSIS 2016 MORTGAGE SERVICING RULE AMENDMENTS (REG X) 2016 TRUTH IN LENDING AMENDMENTS (REG Z) The following provisions have been amended or added by this final rule: Force-Placed Insurance

More information

FAIR LENDING POLICY I. INTRODUCTION A. OVERVIEW

FAIR LENDING POLICY I. INTRODUCTION A. OVERVIEW FAIR LENDING POLICY I. INTRODUCTION A. OVERVIEW The purpose of this Fair Lending Policy ( Policy ) is to implement consumer protection mechanisms that ensure compliance with all applicable federal and

More information

Loan Growth and Compliance Pitfalls

Loan Growth and Compliance Pitfalls Loan Growth and Compliance Pitfalls presented by LOANLINER Compliance Information provided in this presentation, including all materials, should not be construed as legal services, legal advice, or in

More information

Loan Disclosures and Terms - Closed-End Residential Mortgage Loans. Loan Disclosures and Terms - Other Residential Mortgage Loans

Loan Disclosures and Terms - Closed-End Residential Mortgage Loans. Loan Disclosures and Terms - Other Residential Mortgage Loans Exam Date: [Click&type] Exam ID No. [Click&type] These (Procedures) consist of modules covering the various elements of the mortgage origination process; each module identifies specific matters for review.

More information

Complaint Management. Leah M. Hamilton, Chief Compliance Officer. Compliance Services Temenos USA. All rights reserved.

Complaint Management. Leah M. Hamilton, Chief Compliance Officer. Compliance Services Temenos USA. All rights reserved. Complaint Management Leah M. Hamilton, Chief Compliance Officer 1 2016 Temenos USA. All rights reserved. What you will learn Complaint management Regulator expectations Origin of complaints What is a complaint

More information

CFPB Compliance Bulletin Date: July 31, 2017

CFPB Compliance Bulletin Date: July 31, 2017 1700 G Street NW, Washington, DC 20552 CFPB Compliance Bulletin 2017-01 Date: July 31, 2017 Subject: Phone Pay Fees The Consumer Financial Protection Bureau (CFPB or Bureau) issues this Compliance Bulletin

More information

CFPB Complaints, Compliance, and Enforcement: Trends and Tips

CFPB Complaints, Compliance, and Enforcement: Trends and Tips CFPB Complaints, Compliance, and Enforcement: Trends and Tips Wednesday, February 17, 2016 David Morgan Jonathan L. Pompan PerformLine Venable LLP Chief Revenue Officer Partner and Co-Chair of CFPB Task

More information

Road Map To CFPB Compliance For The Auto Finance Industry

Road Map To CFPB Compliance For The Auto Finance Industry Road Map To CFPB Compliance For The Auto Finance Industry Michael A. Thurman, Partner Consumer Protection Defense Department LOEB & LOEB Adds Value 2012 LOEB & LOEB LLP The Usual Disclaimers This presentation

More information

The Compliance Challenges of Credit Union Collections. Collections and Compliance?

The Compliance Challenges of Credit Union Collections. Collections and Compliance? The Compliance Challenges of Credit Union Collections Presented by Maria Peyton NSWC Federal Credit Union Collections and Compliance? Yes! It is about more than just collecting a debt Collectors must be

More information

Fair Lending Issues and Hot Topics

Fair Lending Issues and Hot Topics Fair Lending Issues and Hot Topics Outlook Live Webinar November 2, 2011 Non-Discrimination Working Group of the Financial Fraud Enforcement Task Force Visit us at www.consumercomplianceoutlook.org informational

More information

BULLETIN. DESKTOP UNDERWRITER SCHEDULE (Non-Seller/Servicer (DU Only) Version)

BULLETIN. DESKTOP UNDERWRITER SCHEDULE (Non-Seller/Servicer (DU Only) Version) DU Only 16-01 Effective Date: November 14, 2016 BULLETIN DESKTOP UNDERWRITER SCHEDULE (Non-Seller/Servicer (DU Only) Version) This Bulletin is issued in accordance with the section of the Fannie Mae Software

More information

OCC Policy Statement on Tax Refund-Related Products

OCC Policy Statement on Tax Refund-Related Products OCC Policy Statement on Tax Refund-Related Products The Office of the Comptroller of the Currency (OCC) is issuing the following policy statement setting forth the measures national banks are expected

More information

CFPB National Servicing Standards, Are Servicers Ready?

CFPB National Servicing Standards, Are Servicers Ready? CFPB National Servicing Standards, Are Servicers Ready? On January 13 th of this year the US Consumer Financial Protection Bureau (CFPB) published comprehensive rules establishing national servicing standards

More information

Uncovering the Truth about Repayment Plans. Laura Kowalski, TG Ed Brandt, Xerox Education Services, LLC Kristi Davis, Edfinancial

Uncovering the Truth about Repayment Plans. Laura Kowalski, TG Ed Brandt, Xerox Education Services, LLC Kristi Davis, Edfinancial Uncovering the Truth about Repayment Plans Laura Kowalski, TG Ed Brandt, Xerox Education Services, LLC Kristi Davis, Edfinancial Agenda Preparing borrowers for repayment Overview of repayment plans Income-driven

More information

Recent Developments: Consumer Financial Protection Bureau

Recent Developments: Consumer Financial Protection Bureau Recent Developments: Consumer Financial Protection Bureau The Banking Institute University of North Carolina School of Law Center for Banking and Finance March 30, 2012 Reginald J. Brown Eric J. Mogilnicki

More information

CHAPTER TEN FREQUENTLY ASKED LOAN QUESTIONS

CHAPTER TEN FREQUENTLY ASKED LOAN QUESTIONS 1. What is a Grace Period? CHAPTER TEN FREQUENTLY ASKED LOAN QUESTIONS A Grace Period is a block time frame (defined in your promissory note) where you are not required to make any loan payments. A student

More information

Correspondent Lending Division Seller Partner Eligibility Policy

Correspondent Lending Division Seller Partner Eligibility Policy Correspondent Lending Division Seller Partner Eligibility Policy Overview Nations Direct Mortgage, LLC Correspondent Division (NDM Correspondent) is designed as an opportunity to partner with experienced

More information

7 Steps to Reduce UDAAP Risks. Steve Van Beek, Esq., NCCO Howard & Howard Attorneys PLLC

7 Steps to Reduce UDAAP Risks. Steve Van Beek, Esq., NCCO Howard & Howard Attorneys PLLC 7 Steps to Reduce UDAAP Risks Steve Van Beek, Esq., NCCO Howard & Howard Attorneys PLLC svb@h2law.com 248.723.0521 Overview What is UDAAP? UDAP versus UDAAP 7 Steps to Reduce UDAAP Risk Conducting UDAAP

More information

Servicing Agent Oversight and Surveillance Program Best Practices

Servicing Agent Oversight and Surveillance Program Best Practices Servicing Agent Oversight and Surveillance Program Best Practices Freddie Mac Single-Family Seller/Servicer Guide ( Guide ) Section 8102.1 requires Servicers to establish an oversight and surveillance

More information

2015 STAR Best Practices

2015 STAR Best Practices 2015 STAR Best Practices 2015 STAR Best Practices General Servicing Best Practices... 3 Investor Reporting and Accounting... 3 Optimizing personnel... 3 Quality and management oversight... 3 Reporting,

More information

Adverse Action Notice / Denial Letter Policy

Adverse Action Notice / Denial Letter Policy Adverse Action Notice / Denial Letter Policy The following policy & procedures should be regular practice in every store location. This section of the manual outlines the company Adverse Action / Denial

More information

Action Taken. Boot Camp 360 Series Presented by Kimberly Lundquist

Action Taken. Boot Camp 360 Series Presented by Kimberly Lundquist Action Taken Boot Camp 360 Series Presented by Kimberly Lundquist Action Taken During the Pre-Application Process, most of the laws pertaining to real estate lending will come into play. We must be careful

More information

Available at:

Available at: Available at: http://www.dfs.ny.gov/legal/regulations/emergency/banking/ar419tx.htm Regulations Adopted on an Emergency Basis Part 419. Servicing Mortgage Loans: Business Conduct Rules (Statutory Authority:

More information

Perkins Loan Terms and Conditions

Perkins Loan Terms and Conditions Perkins Loan Terms and Conditions APPLICABLE LAW - The terms of this Federal Perkins Loan Master Promissory Note (hereinafter called the Note) and any disbursements made under this Note shall be interpreted

More information

Mortgage Regulation Update

Mortgage Regulation Update Presented by: Mortgage Regulation Update Wisconsin Credit Union League Convention 1 Objectives At the end of this session, you will: Recognize recent updates to existing mortgage rules TILA/RESPA Integrated

More information

Regulatory and Enforcement Trends

Regulatory and Enforcement Trends NY2 717563 Regulatory and Enforcement Trends April 11, 2013 2013 Morrison & Foerster LLP All Rights Reserved mofo.com Agenda We will provide an overview of the regulatory and enforcement trends that may

More information

Oct. 16, p.m. CST

Oct. 16, p.m. CST Part One: An Originator s Guide to the CFPB A study of the most important rule changes facing mortgage originators including but not limited to originator compensation, qualification and compliance. Oct.

More information

BULLETIN. DESKTOP UNDERWRITER SCHEDULE (Seller/Servicer Version) Among other things, the New DU Schedule addresses and/or provides for:

BULLETIN. DESKTOP UNDERWRITER SCHEDULE (Seller/Servicer Version) Among other things, the New DU Schedule addresses and/or provides for: DU 16-02 Effective Date: December 10, 2016 BULLETIN DESKTOP UNDERWRITER SCHEDULE (Seller/Servicer Version) This Bulletin is issued in accordance with the section of the Fannie Mae Software Subscription

More information

Keeping Fintech Fair: Thinking about Fair Lending and UDAP Risks

Keeping Fintech Fair: Thinking about Fair Lending and UDAP Risks Keeping Fintech Fair: Thinking about Fair Lending and UDAP Risks Outlook Live Webinar July 16, 2018 Carol A. Evans Associate Director Div. of Consumer & Community Affairs Federal Reserve Board Katrina

More information

Keeping Fintech Fair: Thinking about Fair Lending and UDAP Risks

Keeping Fintech Fair: Thinking about Fair Lending and UDAP Risks Keeping Fintech Fair: Thinking about Fair Lending and UDAP Risks Outlook Live Webinar July 16, 2018 Carol A. Evans Associate Director Div. of Consumer & Community Affairs Federal Reserve Board Katrina

More information

Privacy for Customer Contact Personnel Privacy for Customer Contact Personnel

Privacy for Customer Contact Personnel Privacy for Customer Contact Personnel Privacy for Customer Contact Personnel 12/2015 American Bankers Association Page 1 Menu Course Introduction Overview of Privacy Related Laws Privacy and the GLBA Benefits of Information Sharing Course

More information

The CFPB s First Anniversary: A Look Back at What is has Accomplished and Where it is Headed December 13, 2012

The CFPB s First Anniversary: A Look Back at What is has Accomplished and Where it is Headed December 13, 2012 The CFPB s First Anniversary: A Look Back at What is has Accomplished and Where it is Headed December 13, 2012 Alan S. Kaplinsky, Practice Leader Consumer Financial Services Group Ballard Spahr LLP 1735

More information

FAIR SERVICING: REGULATORS WATCH FOR DISCRIMINATION BY SERVICERS

FAIR SERVICING: REGULATORS WATCH FOR DISCRIMINATION BY SERVICERS FAIR SERVICING: REGULATORS WATCH FOR DISCRIMINATION BY SERVICERS BY BENJAMIN P. SAUL AND DANIEL ZYTNICK Fair lending requirements apply throughout the life of the loan! 1 Federal regulators delivered that

More information

Expert Analysis Understanding the Evolving Legal And Regulatory Landscape for Consumer Marketplace Lending

Expert Analysis Understanding the Evolving Legal And Regulatory Landscape for Consumer Marketplace Lending Westlaw Journal bank & Lender Liability Litigation News and Analysis Legislation Regulation Expert Commentary VOLUME 21, issue 19 / february 8, 2016 Expert Analysis Understanding the Evolving Legal And

More information

HOT TOPICS FOR CUS & CUSOS. Brian Lauer Amanda Smith Michael Heller Jennifer Winston Mark Vakil

HOT TOPICS FOR CUS & CUSOS. Brian Lauer Amanda Smith Michael Heller Jennifer Winston Mark Vakil HOT TOPICS FOR CUS & CUSOS Brian Lauer Amanda Smith Michael Heller Jennifer Winston Mark Vakil Items for Discussion Run Down of Regulatory and Policy Trends CUSO Registry Discussion CFPB and Consumer Regulatory

More information

Regulatory Compliance Update. Hoi Luk, Senior Manager, Financial Services Consulting

Regulatory Compliance Update. Hoi Luk, Senior Manager, Financial Services Consulting Regulatory Compliance Update Hoi Luk, Senior Manager, Financial Services Consulting What are WE Seeing and Hearing? Supervisory Committee Workshop 3 Supervisory Letter SL 17-01 March 29, 2017 Evaluating

More information

Consumer Compliance Hot Topics

Consumer Compliance Hot Topics Consumer Compliance Hot Topics Agenda Regulatory Timeline: Issued in 2014 On the Horizon for 2015 Areas of Supervisory Focus: Fair Lending Unfair or Deceptive Acts or Practices (UDAP) Flood Vendor Management

More information

NCCO Exam Study Guide

NCCO Exam Study Guide NCCO Exam Study Guide The questions on the NCCO exams are drawn from material contained in NAFCU s Credit Union Compliance GPS. Purchase of the Compliance GPS is not required in order to take the NCCO

More information

MORTGAGE BANKERS ASSOCIATION OF ALABAMA

MORTGAGE BANKERS ASSOCIATION OF ALABAMA MORTGAGE BANKERS ASSOCIATION OF ALABAMA What s on the horizon for 2017? January 17, 2017 Presented by: J. David Dresher Jason R. Bushby Bradley Arant Boult Cummings LLP Attorney-Client Privilege. Agenda

More information

Examination Procedures Consumer Reporting Agencies

Examination Procedures Consumer Reporting Agencies Examination Procedures Consumer Reporting Agencies These examination procedures are intended for use in examining larger participants in the consumer reporting market. The procedures contain a series of

More information

Small Business Borrowers Bill of Rights (2.0 Update)

Small Business Borrowers Bill of Rights (2.0 Update) Small Business Borrowers Bill of Rights (2.0 Update) Attestation Form and Attestation Worksheet for Lenders and Marketplaces In order for a lender or marketplace to become a signatory of the Small Business

More information

includes information about a recent public enforcement action that was a result, at least in part,

includes information about a recent public enforcement action that was a result, at least in part, This document is scheduled to be published in the Federal Register on 11/22/2016 and available online at https://federalregister.gov/d/2016-28094, and on FDsys.gov Billing Code: 4810-AM-P BUREAU OF CONSUMER

More information

Subpart G: Servicing

Subpart G: Servicing Page 1 Subpart G: Servicing SERVICING LOANS GENERALLY 1005.701 Definitions 1005.703 Loan servicing generally 1005.705 Responsibility for servicing 1005.707 Providing information to borrower 1005.709 Assumption

More information

Company Name Mortgage Servicing Policies and Procedures. Table of Contents

Company Name Mortgage Servicing Policies and Procedures. Table of Contents Table of Contents Table of Contents...i Mortgage Servicing Overview...1 Overall Business Objective & Strategies... 1 Computer Processing System Information... 2 Employee Reference Resources... 3 Servicing

More information

Financial Literacy South Florida State College

Financial Literacy South Florida State College Financial Literacy South Florida State College Financial Literacy This Financial Literacy workshop provides tips on managing money, keeping track of your finances and planning ahead. You will also learn

More information

Direct Consolidation Loan Application and Promissory Note William D. Ford Federal Direct Loan Program

Direct Consolidation Loan Application and Promissory Note William D. Ford Federal Direct Loan Program Direct Consolidation Loan Application and Promissory Note William D. Ford Federal Direct Loan Program OMB No. 1845-0053 Form Approved Exp. Date 04/30/2019 WARNING: Any person who knowingly makes a false

More information

Mortgage terminology.

Mortgage terminology. Mortgage terminology. Adjustable Rate Mortgage (ARM). A mortgage on which the interest rate, after an initial period, can be changed by the lender. While ARMs in many countries abroad allow rate changes

More information

Appendix C Remedial Action Plan

Appendix C Remedial Action Plan Appendix C Remedial Action Plan A. Compliance and Government Affairs Officer 1. SunTrust Mortgage ( STM ) will designate a STM employee to serve as the Compliance and Government Affairs Officer for its

More information

Navigating the New Federal and State Debt Collection Enforcement Landscape Presented by Venable LLP Speakers:

Navigating the New Federal and State Debt Collection Enforcement Landscape Presented by Venable LLP Speakers: Navigating the New Federal and State Debt Collection Enforcement Landscape Presented by Venable LLP Speakers: Jonathan L. Pompan, Esq. Kevin L. Turner, Esq. Alexandra Megaris, Esq. Andrew E. Bigart, Esq.

More information

Distance Learning 2018

Distance Learning 2018 Distance Learning 2018 Unmatched Financial Training for over 110 Years Independent Study Courses Credits Length Accounting II 3 4 months $595 Advertising 3 4 months $595 Agricultural Lending 3 4 months

More information

Compliance Risk Assessments Chicago Region Banker Workshop Series

Compliance Risk Assessments Chicago Region Banker Workshop Series Compliance Risk Assessments 2016 Chicago Region Banker Workshop Series Statement During the onsite portion of a compliance examination, examiners review adherence to all consumer protection-related regulations.

More information

CFPB Supervision and Examination Process

CFPB Supervision and Examination Process Background Title X of the Dodd-Frank Wall Street Reform and Consumer Protection Act of 2010 (the Act) 1 established the Consumer Financial Protection Bureau (CFPB) and authorizes it to supervise certain

More information