CONSUMER FINANCIAL PROTECTION BUREAU THE BASICS



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CONSUMER FINANCIAL PROTECTION BUREAU THE BASICS George K. Fogg March 5, 2012

CONSUMER FINANCIAL PROTECTION BUREAU ( CFPB ) Created by Consumer Financial Protection Act of 2010 (Article X of Dodd-Frank) Purpose insure that markets for consumer financial products and services are fair, transparent and competitive Very broad authority to regulate providers of consumer financial products and services Rulemaking Supervision

CONSUMER FINANCIAL PRODUCT OR SERVICE DEFINITION Statute identifies 11 types of products and services (e.g., extending credit, check cashing, debt collection, consumer reporting, advisory services) 3 are particularly relevant to our nonbank clients Stored value products Transmission or exchange of funds Payment processing

STORED VALUE PRODUCTS Selling, providing or issuing stored value or payment instruments (e.g., prepaid debit card), but only if seller exercises substantial control over terms of the stored value stored value means funds or monetary value represented in any electronic format stored on electronic media capable of being retrieved and transferred electronically

STORED VALUE EXERCISE OF SUBSTANTIAL CONTROL Not exercising substantial control if seller not party to contract with consumer, and another person is principally responsible for establishing terms Advertising nonfinancial goods/services of seller on card does not, by itself, constitute exercising substantial control

STORED VALUE PRODUCTS EXCLUSION Definition excludes closed-loop stored value that is: Issued by merchant, retailer or other seller of nonfinancial goods/services Redeemable only for transactions with seller Issued in a specific amount and cannot be reloaded (except for telephone services) Purchased on a prepaid basis in exchange for payment Honored only by the seller

TRANSMISSION OR EXCHANGE OF FUNDS Transmitting or exchanging funds Deposit taking Acting as custodian of funds or any financial instrument for use by or on behalf of a consumer

PAYMENT PROCESSING Providing payments or other financial data processing products to a consumer by any technological means, specifically includes payments made through: mobile telecommunications network online banking system But not covered by this definition solely because: Provide access to a host server enabling establishment/maintenance of a website; or Merchant, retailer or seller of nonfinancial goods/services transmitting data to initiate payment to complete a sale by such merchant, retailer or seller

CFPB RULEMAKING GENERAL Broad authority to issue rules, orders, guidance regarding Federal consumer financial laws Federal consumer financial laws means approximately 20 laws (or portions thereof), including: Consumer Financial Protection Act of 2010 Truth in Lending Act Gramm-Leach-Bliley Act Electronic Fund Transfer Act Specifically excludes Federal Trade Commission Act

CFPB RULEMAKING EXCLUSIVITY/DEFERENCE To extent CFPB and another Federal agency have rulemaking authority with respect to a Federal consumer finance law, CFPB now has exclusive authority Court must afford CFPB deference regarding meaning of Federal consumer finance law as if CFPB were only agency authorized to enforce, interpret or administer such laws

CFPB SUPERVISION GENERAL Purposes of supervision Assessing compliance with Federal consumer financial laws Obtaining information about activities and compliance Detecting and assessing risks to consumers and markets Power to require reporting (periodic or otherwise) Power to conduct examinations Model for supervisory authority is supervision of banks by bank examiners

CFPB SUPERVISION NONBANKS SUBJECT TO SUPERVISION Person must be engaged selling/providing consumer financial product or service Specified nonbanks subject to supervision Mortgage companies Payday lenders Private education lenders Other nonbanks subject to supervision if Larger participant in a market for other consumer financial products or services Bad actor

CFPB SUPERVISION NONBANK LARGER PARTICIPANT Definition of larger participant and market left to CFPB rulemaking CFPB identified following 6 markets for initial larger participant rulemaking Debt collection Consumer reporting Consumer credit and related activities (auto loans and consumer installment loans) Money transmitting, check cashing and related activities Prepaid cards Debt relief services

CFPB SUPERVISION NONBANK LARGER PARTICIPANT cont. February, 2012 initial proposed rulemaking Covered two markets: debt collection and consumer reporting Larger defined by annual receipts from activities in market $10 million for debt collection market $7 million for consumer reporting market Gross receipts measured on consolidated basis and over a period of three years lessens gamesmanship opportunities Used SBA definition of gross receipts, therefore readily determinable from existing business records Stated that different metrics may be used for subsequent markets

CFPB SUPERVISION NONBANK LARGER PARTICIPANT cont. Proposed procedures for challenging designation as larger participant CFPB will give written notice of designation May dispute designation only by providing CFPB with affidavit within 30 days setting forth basis for dispute Failure to provide affidavit constitutes waiver of right to challenge larger participant designate If submit affidavit, deemed to have waive any basis for challenge not presented in affidavit

CFPB SUPERVISION BAD ACTORS Authority to supervise person engaged in conduct posing risks to consumers regarding consumer financial products/services CFPB anticipates publishing procedural guidelines implementing this authority in the next few months Presumably will be complaint-driven

WHERE IS CFPB HEADED? Will gradually evolve as a superagency with an enormous range of powers and involvement Short-term will focus on politically charged topics (mortgage companies, payday lenders, bank overdraft fees) End of January, 2012 identified 12 rules, orders and initiatives it will focus on over next six months, one of which was defining scope of supervision of nonbanks Covered 2 of the 6 initial markets in February proposed rulemaking 2 of remaining 4 markets initially identified relate to activities in which our nonbank clients are involved Money transmitting and related activities Prepaid cards