Road Map To CFPB Compliance For The Auto Finance Industry

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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 is for informational and educational purposes only. It is not intended to provide legal analysis or advice on any specific issues and should not be relied upon. Please consult with an attorney who is authorized to practice law in the applicable jurisdiction regarding specific questions and issues. 2

Overview CFPB The Basics CFPB Authority, Purpose, Oversight and News CFPB Auto Finance Complaint Database/Company Portal Update Regulatory Focus On Auto Financing CFPB s First Party Collection Requirements CFPB s First Auto Lending Enforcement Action CFPB Auto Lending Enforcement: What s Next? Preparing For Regulatory Scrutiny The Compliance-Readiness Approach Indirect Lending Example: Compliance-Readiness Compliance Readiness Approach to Fair Lending Issues Takeaways Questions? 3

CFPB The Basics Washington s newest federal agency Created by the Dodd-Frank Act of 2010 Separately-funded directly by the Federal Reserve 2013 annual budget: $598 million Independent of the Congressional appropriation process Can use civil penalties for consumer restitution, education Civil penalties collected to date: $61.5 million Headed by a single Director appointed by the President More than 1,225 employees to date CFPB s Plan: 1,350 by 2013 fiscal year end About half assigned to supervision/enforcement 90% of those are attorneys and paralegals 4

CFPB Supervisory Authority Large Banks Authority to supervise banks, thrifts and credit unions with over $10 billion in assets (as well as their affiliates and certain service providers) to assess their compliance with Federal consumer financial law, evaluate their compliance management systems, and detect and assess risks to consumers and markets for consumer financial products and services. Nonbanks Authority to supervise certain nonbank consumer financial services companies. CFPB s nonbank supervision authority includes all mortgage originators, mortgage servicers, private education lenders, and payday lenders. Authority to supervise nonbanks that are larger participants in other markets for consumer financial products or services, as defined by rule. Authority to supervise other nonbank covered persons the Bureau finds are engaged or have engaged in conduct that poses a risk to consumers with regard to consumer financial products or services. 5

CFPB s Purpose Primary rulemaking, supervisory and enforcement authority over entities that offer consumer financial products and services Includes banks and covered non-banks Responsible for ensuring that markets for consumer financial products and services are fair, transparent and competitive 6

CFPB Oversight Oversees covered persons and service providers Covered Person Any entity that offers or provides consumer financial products or services Service Provider Any person that provides a material service to a covered person in connection with the offering or provision by such covered person of a consumer financial product or service. Includes all providers of outsourced services: Marketers Debt collectors Repossessors Dealers? 7

CFPB News Recent Developments: CFPB Director confirmed by the Senate July 2013 Confirms the Bureau s authority to engage in Rulemaking, Supervision and Enforcement! Collections Industry Consumer Complaints added to CFPB Complaint Database July 2013 Guidance Issued on Applicability of FDCPA to Parties Collecting Debts on Their Own Behalf July 2013 Guidance Regarding Use of Proxies in Analyzing Fair Lending Practices Aug. 2013 Guidance on Duty to Investigate Disputed Credit Information Furnished by Lenders Sept. 2013 8

CFPB Auto Finance Complaint Database 9

Company Portal Response Guidance Update Supplemental CFPB Guidance issued June 2013 Company responses should address: Application of customer s payments to the loan Should attach any contract or agreement on which you rely for your response to the consumer * Should include a copy of the customer s payment history * Should include any relevant account statements for the period in question * Fees or late charges: Include any contract or agreement on which you rely for your response to the consumer * Include any applicable fee schedule * Include any related notices and/or disclosures provided to the consumer * Include any account statements for the time period in question * * Include as attachment(s) to the response 10

Company Portal Response Guidance Update Repayment options: Include any loan agreement and other documents signed by consumer * Include any other contract or agreement on which you rely for your response to the consumer * Include any related notices and/or disclosures provided to the consumer, including at the time of consummation * Include any information about options available to the consumer for repayment, if applicable * Contact information for the relevant bank representative Include customer s payment history, if relevant to the complaint * Unlawful discrimination alleged: Include relevant company policy or procedures * Include any correspondence between the consumer and the company * Include any applications or agreements * * Include as attachment(s) to the response 11

Regulatory Focus On Auto Financing 1. FTC s 2011 Auto Financing Workshops Undisclosed dealer markups/discretion/discriminatory pricing Payment packing, deal packing, power booking, negative equity included in new loans Communication methods (autodialers, text messaging) Collection/repossession methods 2. 2012 DriveTime investigation CFPB Director promised Buy Here Pay Here scrutiny in Jan. 2012 CID issued to Buy Here Pay Here dealer in Apr. 2012 No enforcement actions filed to date Coming soon? 12

Regulatory Focus On Auto Financing 3. Fair Lending Practices Investigations Ally Bank March 2013 disclosure: under investigation Bloomberg/WSJ reports: CID s issued to banks, auto manufacturer financing arms Justice Department focus: discretionary pricing by dealers as potential ECOA violations CFPB focus: add-on products (warranties, insurance) as potential UDAP violations Adequacy of price disclosures? Misrepresentations? 13

Regulatory Focus On Auto Financing 4. CFPB Bulletin 2013-02 (March 2013) Indirect Auto Lending and Compliance with the Equal Credit Opportunity Act CFPB to hold auto loan finance companies responsible for discriminatory practices by dealers Based on the disparate impact test statistical discrimination Ostensibly results from dealer discretion in loan pricing Subject to legal challenge! Requires lenders to take appropriate measures : Impose controls on dealer markup and compensation Eliminate dealer discretion to mark up buy rates? Collect and analyze data for potential disparities 14

Regulatory Focus On Auto Financing CFPB s Fair Lending Compliance Must-Have s 1. Up-to-date fair lending policy statement. 2. Regular fair lending training - employees, officers, Board members 3. Compliance monitoring - policies for reducing fair lending risk. For example, controls on dealer discretion. 4. Review of lending policies for potential fair lending violations For example, potential disparate impact. 5. Analyze loan data for disparities on a prohibited basis in pricing, underwriting, or other aspects of the credit transaction. 6. Regular evaluation of loan marketing. 7. Meaningful oversight by management and the board of directors of fair lending compliance. 15

Regulatory Focus On Auto Financing 5. First Party Debt Collection Bulletin (2013-07) CFPB notifies companies that covered persons that collect their own debts must comply with Fair Debt Collection Practices Act (FDCPA) prohibitions Even though the FDCPA does not apply to first party collectors, FDCPA violations will be treated as UDAAP violations 16

CFPB s First Party Collection Requirements In collecting debts, Covered Persons cannot: Collect a debt (incl. interest, fees or other charges) not authorized by an agreement or permitted by law. Fail to post payments on a timely basis or credit timely payments to a consumer s account and charge late fees. Take possession of property without the legal right to do so. Reveal the consumer s debt, without the consumer s consent, to the consumer s employer and/or co-workers. Falsely represent the character, amount, or legal status of the debt. Misrepresent that a debt collection communication is from an attorney. 17

CFPB s First Party Collection Requirements In collecting debts, Covered Persons cannot: Misrepresent that a communication is from a government or government-affiliated source. Misrepresent if information about a payment or nonpayment will be furnished to a credit reporting agency. Misrepresent to consumers that their debts will be waived or forgiven if they agree to accept a settlement offer. Threaten any action that the collector does not intend to take. Threaten any action that the collector does not have authority to pursue, including false threats of lawsuits, arrest, prosecution or imprisonment for non-payment of a debt. 18

CFPB s First Auto Lending Enforcement Action U.S. Bank/Dealers Financial Services June 2013 Agreed to pay restitution of at least $6.5 million to service members in connection with automobile loans offered through their Military Installment Loans and Educational Services (MILES) program: U.S. Bank liability: $3.2 million or more DFS liability: $3.3 million Alleged inadequate disclosures, improper marketing associated with: Failure to disclose fees and payment schedules associated with loans, misleading marketing of costs and coverage of add-on products (vehicle service contracts, GAP insurance policies) Bureau said USB s and DFS s cooperation was taken into consideration in avoiding higher penalties. 19

CFPB Auto Lending Enforcement What s Next? DriveTime/ Buy Here, Pay Here action? Dealer discretionary pricing action (ECOA)? Add-on product marketing (U.S. Bank/DFS)? FDCPA/UDAAP collection violation? FCRA credit furnishing/reporting violation? 20

Preparing for Regulatory Scrutiny Regulatory scrutiny will happen! What do you need to do to be ready? You don t have to be perfect! Just be able to demonstrate you are working at it! 21

Preparing for Regulatory Scrutiny 22

Preparing for Regulatory Scrutiny Compliance-readiness approach: 1. Understand the applicable laws. 2. Create appropriate policies and procedures. 3. Train your employees to implement those policies. 4. Monitor your compliance. 5. Listen to the market! Create a market feedback loop Document each step! 23

Indirect Lending Example: Compliance Readiness Indirect auto lenders (those who loan through dealers) are likely creditors under ECOA Statutory definition of creditors is very broad ECOA defines creditors as those who regularly participate in a credit decision, including setting the terms of the credit Standard lending practices of indirect auto lenders likely constitute participation in a credit decision Source: Patrice Ficklin Fair Lending Director, CFPB Federal Reserve webinar (August 6, 2013) 24

Indirect Lending Example: Compliance Readiness Dealer Markup and Fair Lending Risk CFPB view: Giving dealers discretion to set loan terms (dealer markup) is a source of fair lending risk based on research and prior litigation. Could result in disparities based on race, national origin and other prohibited bases. Markup policies that permit dealer-level or portfolio-wide disparities on prohibited bases could violate ECOA. 25

Indirect Lending Example: Compliance Readiness Alternative Methods of Compliance 1. Impose controls on dealer markup and compensation policies. Requires lenders to monitor and address the effects of such policies through: Dealer communications Regular analysis Prompt corrective action Consumer remuneration 2. Or, eliminate dealer discretion. Requires flat fee or other non-discretionary compensation method. 26

Indirect Lending Example: Compliance Readiness How Do Regulators Examine for Violations? Guidance Provided by the 2009 Interagency Fair Lending Examination Procedures: 1. Look for the following risk factors: Complaints/lawsuits Policies/procedures allowing discretion in pricing and/or exceptions Compensation based on terms/conditions of the loan Loan data indicating pricing disparities on a prohibited basis. 27

Indirect Lending Example: Compliance Readiness How Do Regulators Examine for Violations? 2. Determine borrower s race, ethnicity and gender. Race/ethnicity use U.S. Census data to geocode loans to determine the predominant minority populations in borrower s living area. Ethnicity (Hispanic) use surnames of borrowers based on U.S. Census list of common Spanish surnames. Gender apply U.S. Census list of common female and male first names to first names of all single borrowers. 28

Indirect Lending Example: Compliance Readiness How Do Regulators Examine for Violations? 3. Compare pricing of loans between various populations: Race/ethnicity Compare pricing of loans in areas with predominantly minority populations against loans in predominantly non-minority areas. Ethnicity (Hispanic) Compare pricing of loans to Hispanics against loans to non-hispanics. Gender Compare pricing of loans to single female borrowers against loans to single male borrowers. 29

Indirect Lending Example: Compliance Readiness Federal Reserve s Advice to Mitigate Fair Lending Risk: 1. Review and address pricing discrimination complaints. 2. Review policies, procedures, rate sheets and dealer agreements to determine level of dealer discretion in loan pricing. 3. Review dealer agreements to determine if financial incentives are based on the price of the loans 4. Provide training to relevant parties. 30

Indirect Lending Example: Compliance Readiness Federal Reserve s Advice to Mitigate Fair Lending Risk: 5. If there is elevated risk and sufficient volume, perform a statistical analysis of the loans. 31 Compare by predominant minority, ethnicity and gender Compare loan pricing of various categories against one another: with markups, with negative markups (markdowns) and with no markups. Compare loan pricing both within dealers and across dealers. Perform these analyses on a quarterly basis, looking back at the previous one-year period.

Indirect Lending Example: Compliance Readiness Federal Reserve s Advice to Mitigate Fair Lending Risk: 6. Address any unexplained disparities: Make offers of restitution to consumers Change policies and procedures Change dealer agreements 32

Compliance-Readiness Approach to Fair Lending 1. Understand the ECOA requirements for auto finance companies. 2. Implement policies and procedures based guidance provided by the CFPB/other regulators: Evaluation of discriminatory pricing complaints Review of discretionary pricing programs Review of dealer incentives based on loan pricing Statistical evaluation of loans with elevated risk Responses to unexplained disparities 33

Compliance-Readiness Approach to Fair Lending 3. Implement internal and external training to ensure that the policies and procedures are rolled out to all relevant personnel. Document all training, including materials, testing and any follow up with particular employees, groups. 4. Monitor execution of compliance steps. Document evaluation of complaints, policies, agreements, incentives, statistical loan reviews and follow-up/remediation measures. 34

Compliance-Readiness Approach to Fair Lending 5. Monitor the voice of the market. Open channels of communication with actual borrowers as well as with those who are denied: Website, customer service, surveys Complaints, other customer interactions Track external sources of consumer communications CFPB s Company Portal Communications from other regulators BBB, other consumer complaint websites Document/Follow-up/Resolve/Report! 35

Takeaways 1. The CFPB is now fully functional and operating in all three of its spheres: Rulemaking, Supervision and Enforcement. 2. The Bureau is issuing a steady stream of guidance on auto lending issues that must be monitored and incorporated into operations and procedures. 3. Lenders need to scrutinize complaints, policies and procedures, agreements and disclosures for a wide range of issues, including dealer pricing, add-on products, collections. 4. The Compliance Readiness approach is an effective way to address the CFPB s compliance expectations. 5. The most important step in the Compliance Readiness approach is documenting the measures you are taking and maintaining that documentation in a form that can easily be produced. 36

Questions? 37

Thank You! Michael A. Thurman mthurman@loeb.com (310) 282-2122 Follow me on Twitter: @CPD_Attorney Please email me if you would like to be added to our list for periodic alerts on CFPB and FTC developments and other issues relevant to consumer financial companies. 38