CFPB Readiness Series: Understanding UDAAP

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

CFPB Compliance Bulletin Date: July 31, 2017

CFPB Readiness Series: GLBA and Regulation P

Voic Messages for Consumers

A SURVEY OF UNFAIR, DECEPTIVE, AND ABUSIVE PRACTICES ADAM D. MAAREC SEPTEMBER 10, 2014

The Consumer Financial Protection Bureau Turns Five: The Evolving Legal and Regulatory Landscape

2 Navigating Debt Buying in a Regulation By Enforcement Environment

UDAP Analysis, Examinations, Case Studies, and Emerging Risks

CFPB Outlines UDAAPs for Debt Collectors

3/11/2013. Federal Trade Commission Section 5(a) of the Federal Trade Commission Act

UDAAP. Understanding What It Is and Where It Applies. Presented by: Thomas Fox, Partner Schwartz & Ballen LLP

UDAAP: The CFPB s Emerging and Evolving Doctrine

The CFPB, UDAAP s and the FDCPA. Presented by Scott Holmquist President, Second Alliance, Inc.

The CFPB s Consent Orders Regulating the ARM Industry

Consumer Financial Protection Bureau Update

SUMMARY: The Bureau is reissuing its guidance on service providers, formerly titled CFPB

Examination Procedures

FAIR LENDING: A MIXED BAG OF CONCERNS

UDAAP Procedure UNFAIR, DECEPTIVE, OR ABUSIVE ACTS OR PRACTICES (UDAAP)

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

CFPB & UDAAP. Recent Developments & Hot Topics. Michael Stockham. Nicole Williams. June 23,

Preparing for a CFPB Examination or Investigation

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

Lawyers & Debt Collection. Legal Disclaimer

Keeping Fintech Fair: Thinking about Fair Lending and UDAP Risks

Keeping Fintech Fair: Thinking about Fair Lending and UDAP Risks

Road Map To CFPB Compliance For The Auto Finance Industry

CFPB Releases FDCPA Rule Outline; Creditor Collection Rule to Come

UDAAP and Its Implications

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

Compliance in the Collections Industry

CFPB Policy Considerations and Near Term Priority Goals. NACARA Annual Conference and Training Event October 12, 2016

Understanding the CFPB s Supervisory Highlights Report

Unfair, Deceptive, or Abusive Acts or Practices (UDAAP) Act Overview

Avoiding the Bureau s Crosshairs: Understanding UDAAP and Strategic Management of the Risk. Presented by: Michael C. Lueder Martin J.

Mortgage Regulation Update

Regulatory and Enforcement Trends

EMERGING CONSUMER RISKS FOR COMMUNITY BANKS

CFPB Complaints, Compliance, and Enforcement: Trends and Tips

Regulatory Practice Letter December 2014 RPL 14-22

CLIENT ALERT. Collection Practices Guidance After the CFPB - Navy Federal Credit Union Consent Order. October 17, 2016

Abusiveness. The CFPB s New Enforcement Tool. Ori Lev Partner Mayer Brown

Re: Request for Information Regarding Bureau Enforcement Processes (Docket No. CFPB )

Short-Term, Small-Dollar Lending

The CFPB & UDAAP a primer

Regulation by Enforcement CFPB s Use of UDAAP

CFPB Bulletin Date: February 11, Mortgage Servicing Transfers

Bureau Update: Debt Collection. Sep 2018

Examination Procedures

FOR IMMEDIATE RELEASE: September 9, 2015

The Funnel Effect of The Dodd-Frank Act

UNITED STATES OF AMERICA CONSUMER FINANCIAL PROTECTION BUREAU. The Consumer Financial Protection Bureau (Bureau) has reviewed the practices

How the new A in UDAAP Impacts the Retail Payments Industry. Richard Fraher - FRB Atlanta Paul Carrubba Adams and Reese LLP

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

UDAP or UDAAP? FTC Act s UDAP FRB s Regulation AA Dodd Frank Act s UDAAP

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

Summary of Debt Collection Proposals Under Consideration 1

State Debt Collection Laws

CFPB Update. GCOR XI April 5, Operational Risk & The Risk Management. The Risk Management Association JOIN. ENGAGE. LEAD.

2012 Winston & Strawn LLP

David K. Stein. Partner. Professional & Community Activities

UNITED STATES BANKRUPTCY COURT DISTRICT OF OREGON COMPLAINT

Risk Alert Navy FCU Consent Order

Consumer Compliance Hot Topics

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

The New UDAAP: The CFPB Abusive Standard Will You Know It When You See It?

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

WELCOME & INTRODUCTION

How to Ace Your CFPB Exam

Bureau Update: Debt Collection

UNITED STATES OF AMERICA CONSUMER FINANCIAL PROTECTION BUREAU

Debt Collection CFPB Reveals Outline for Future Rulemaking

DEBT COLLECTION: ISSUES WITH TIME-BARRED DEBT

CFPB Consumer Laws and Regulations

December 19, Director Kathleen Kraninger Consumer Financial Protection Bureau 1700 G Street NW Washington, DC 20552

Auto Lending Compliance: Staying Off The Regulators Radar Screen

Loan Originator Compensation Rules for Reverse Mortgages NRMLA Western Regional May 11, Jim Milano

Fair Debt Collection Practices

Case 4:14-cv Document 1 Filed in TXSD on 06/17/14 Page 1 of 16 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION

Having a Problem with a Debt Collector? You Also Have Protections

CFPB Consumer Laws and Regulations

Presentation Overview

June 6, Introduction

Cybersecurity, Privacy and Communications Webinar: Financial Privacy Primer

A Review and Analysis of the CFPB s Focus and Enforcement Activity related to Mortgage Origination and Servicing. By: Elizabeth Bohn 1

Initial Analysis of Consumer Financial Protection Bureau s Proposed Outline to Address Debt Collection Abuses

Is the CFPB Targeting You?


3 District Court Decisions Highlight Limits To CFPB Claims

The TSR s New Prohibitions on Certain Payment Methods: Do They Apply to Online Lenders? February 16, 2016

October 10, Paul Watkins, Director, Office of Innovation Bureau of Consumer Financial Protection 1700 G Street NW Washington, DC 20552

Update on Unfair and Deceptive Acts and Practices (UDAP): Select Regulatory and Legislative Activity

Regulatory Update NAFCU Webcast

SAMPLE. 1 Bank Secrecy Act / Anti-Money Laundering. 2 E-Sign Act / Electronic Funds Transfer Act

Minimizing UDAAP Risks for Consumer Financial Services Lessons From CFPB Enforcement Actions and Other UDAP Litigation

The Short Legislative History of Abusive Acts or Practices (or Why Are We Here, Anyway?)

Regulatory review RR

Education Loan Examination Procedures

An Eye on the Bureau An Update from CFPB Monitor

Overdraft Protection:

Transcription:

CFPB Readiness Series: Understanding UDAAP

Legal Disclaimer This information is not intended to be legal advice and may not be used as legal advice. Legal advice must be tailored to the specific circumstances of each case. Every effort has been made to assure that this information is up-to-date as of the date of publication. It is not intended to be a full and exhaustive explanation of the law in any area, nor should it be used to replace the advice of your own legal counsel.

Who is KirkpatrickPrice? KirkpatrickPrice is a licensed CPA firm, providing assurance services to over 200 clients in more than 40 states, Canada, Asia and Europe. The firm has over 10 years of experience in information assurance by performing assessments, audits, and tests that strengthen information security, and compliance controls.

Welcome Tomio Narita is a partner with the California law firm, Simmonds & Narita. His practice focuses on defending creditors, debt buyers, collection agencies, and collection law firms in consumer litigation, including individual actions and class actions arising under the Fair Debt Collection Practices Act, the Fair Credit Reporting Act and the Telephone Consumer Protection Act.

Topics to Be Covered Overview of CFPB Authority Definition of UDAAP CFPB Guidance/Expectations CFPB/FTC Enforcement Trends Hot Buttons

Scope of CFPB Authority Inherited regulatory powers, including FDCPA Supervision and Examination Powers More than just Larger Participants Rulemaking authority, including FDCPA Enforcement powers FTC still active; sharing information Coordinating with state attorney generals

UDAAP Defined Dodd-Frank Act prohibits unfair, deceptive or abusive acts or practices by covered persons when collecting consumer debts The contours of unfair and deceptive practices under the Dodd-Frank Act will be informed by the standards for the same terms under Section 5 of the FTC Act Abusive is a new concept

What is Unfair? An act or practice is unfair if (1) It causes or is likely to cause substantial injury to consumers; (2) The injury is not reasonably avoidable by consumers; and (3) The injury is not outweighed by countervailing benefits to consumers or to competition Injury can be monetary or emotional; actual injury or substantial risk of injury

What is Deceptive? An act or practice is deceptive if (1) The act or practice misleads or is likely to mislead the consumer; (2) The consumer s interpretation is reasonable under the circumstances; and (3) The misleading act or practice is material Omissions and implied representations covered; full context is considered Material if would impact the consumer s choices regarding the product or service

What is Abusive? An act or practice is abusive if it 1) Materially interferes with the ability of a consumer to understand a term or condition of a consumer financial product or service; or (2) Takes unreasonable advantage of (A) a consumer s lack of understanding of the material risks, costs, or conditions of the product or service; (B) a consumer s inability to protect his or her interests in selecting or using a consumer financial product or service; or (C) a consumer s reasonable reliance on a covered person to act in his or her interests

Guidance on UDAAP July 13, 2013 CFPB Bulletin regarding UDAAPs in Debt Collection Examination Procedures For Debt Collection (what will CFPB look for when examining Larger Participants)

CFPB and Service Providers CFPB Bulletin April 2012 - Supervised banks and nonbanks must oversee their business relationships with service providers in a manner that ensures compliance with Federal consumer financial law, which is designed to protect the interests of consumers and avoid consumer harm. If consumers are harmed due to a service provider s failure to comply legal responsibility my lie with the supervised bank or nonbank as well as with the supervised service provider.

CFPB/FTC Enforcement Activity CFPB/FDIC Amex Consent Order (credit reporting issues; obsolete debt disclosure) CFPB CapOne Enforcement Action (service provider management system) FTC Asset Acceptance Consent Order (time barred debt disclosure) see also CFPB/FTC amicus brief in Delgado v. Capital Management. FTC NCO Consent Order (voicemail messages)

CFPB Hot Buttons Consumer complaints (including lawsuits) Media attention Documentation used for collection (access to media; disclaimers of data accuracy; affidavits) Time-barred debts; obsolete debts Third party disclosures (employers, co-workers) Improper service fees Dispute investigation and resolution procedures Representations regarding credit reporting or impact on credit scores

Welcome Jessie Skibbe is a former Chief Compliance Officer with over 10 years of ARM industry experience. A recent addition to the KirkpatrickPrice team, she is focused on assisting clients in meeting regulatory compliance & information security objectives. Certified Credit & Collections Compliance Officer (CCCO) Certified Information Systems Security Professional (CISSP) Certified Information Security Manager (CISM)

Operational Objectives

Risk Assessment Cast a wide net reviewing all departments with consumer contact: Skip, collections, customer service, payment processing, legal Review all types of communication: Telephone calls, letters Resource: FDIC Compliance Examination Manual VII

Policies, Procedures & Training Clearly define unacceptable behavior to employees Require employee sign off indicating their understanding and agreement of the policies Perform training regarding unacceptable behavior using sample calls and real world examples to demonstrate behavior patterns

Internal Audit & Monitoring Establish a structured internal audit program to include monitoring requirements and frequency according to level of risk Establish independence for the individuals conducting the audits Document audit and monitoring results including statistics on issues found and remediation performed

Consumer Complaint Tracking Indicate potential UDAAP violations via your complaint tracking log Indicate the source of the complaint so that improvement efforts can be measured and documented Utilize key words and phrases to indicate a UDAAP related complaint

Third-Party Monitoring Don t forget about third-party activity!!! Include third parties in: Risk Assessment Process Policy & Procedure Review Training Evaluation Audit and Monitoring efforts Complaint Tracking

Thank you for attending our Webinar Q & A For further information contact: Todd Stephenson t.stephenson@kirkpatrickprice.com 800.977.3154 Ext. 202