Redlining. The
Bureau’s has shown a renewed interest in redlining claims in the past two
years. In 2017, the Bureau “will
continue to evaluate whether lenders have intentionally avoided lending in
minority neighborhoods.”
Mortgage and Student
Loan Servicing. The Bureau’s turn to the mortgage and student lending
markets is likely to take up where its focus on auto lenders and credit card
providers left off. The Bureau has
indicated it will determine “whether some borrowers who are behind on their
mortgage or student loan payments may have more difficulty working out a
solution with the servicer because of their race or ethnicity.” Entities in these markets should pay close attention to
the Bureau’s recent use of mystery shoppers in other fair lending investigations.
Small Business
Lending. Finally, the Bureau’s focus
on small business lending should come as no surprise. Its last two rule making agendas have
included small business lending. Currently, the CFPB’s efforts have been in the
pre-rule making stages, but it would not be surprising to see their “research”
include examinations results as they move towards developing proposed
regulations.
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