The CFPB has issued its 2016 Fair Lending Report which
provides a summary of the Bureau’s efforts in fair lending for 2016. The Report also includes an indication of the
Bureau’s fair lending priorities for 2017.
Here are the highlights:
·
A Risk
Prioritization Approach. The Report confirms that the Bureau takes a
risk-based prioritization approach to supervisory and enforcement. Risk based prioritization considers several
factors including cooperation with the Bureau’s special population offices,
consumer complaints, tips and leads from advocacy groups, whistleblowers and
other governmental agencies, supervisory and enforcement history and, of
course, analysis of HMDA and other data.
·
2016 Fair
Lending Activities. The Report
indicates that its 2016 focus was on mortgage and indirect auto lending, as
well as credit card account management.
While the Bureau is expected to continue investigations in these three
areas, it will also increase its focus on other segments of consumer credit.
·
2017 Fair
Lending Priorities. Based upon this approach, the Bureau intends to increase
its focus in the areas of redlining, mortgage and student loan servicing and
small business lending.
·
Mortgage and
Student Loan Servicing. The Report expresses concerns as to whether student
loan and mortgage servicers are handling workouts and loss mitigation differently
with customers based upon their race, ethnicity, sex or age.
·
Small
Business Lending. Dodd Frank charges
the CFPB with ensuring that women owned and minority businesses have fair
access to credit. The CFPB intends to begin
exercising small business lending supervisory authority to ensure fair access
to credit.
·
Fair
Lending Supervisory Observations.
The Report recaps examination observations which were previously
provided by the CFPB in its 2016 Summer and Fall Supervisory Highlights and
reported previously.
·
Redlining. While we are not going to rehash all of the 2016
Supervisory Highlights, the Bureau’s observations as to redlining bear
repeating. The Report indicates the factors considered by the CFPB is assessing
redlining risk and provides the following laundry list:
o
Strength of the institution’s compliance
management system including its underwriting policies and guidelines;
o
Unique attributes of the relevant geographic
area, including population demographics, credit profiles and the housing
market;
o
Lending patterns including applications and
originations with and without purchased loans;
o
Peer and market comparisons;
o
The institution’s physical presence in the area
(full service branches, ATM only branches, brokers and loan production offices,
etc.) as well as the services offered;
o
Marketing;
o
Mapping;
o
CRA assessment area and market area more
generally;
o
The institution’s lending policies and
procedures record;
o
Additional, miscellaneous evidence (including
whistleblower tips, loan officer diversity, testing, and comparative file
reviews); and
o
An institution’s explanation for apparent
disparate treatments.
·
Ongoing
Investigations. The Bureau’s ongoing
investigations and referrals to DOJ include discrimination in mortgage and auto
lending, as well as discrimination in credit card account management.
Based upon the Report and prior announcements regarding fair
lending prioritization from the Bureau in the past several months, mortgage and
student loan servicers should be re-examining their policies and procedures as
to loss mitigation and workouts to ensure their practices are consistent with
the Equal Credit Opportunity Act and other fair lending mandates.
No comments:
Post a Comment