Secondary Marketing Strategies for Fair Lending and Compliance



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Secondary Marketing Strategies for Fair Lending and Compliance Identifying & Controlling the Risk Presented by David Skanderson, Ph.D. Principal, Charles River Associates 202.662.3955 dskanderson@crai.com

Agenda Recent fair lending enforcement focus Some things that increase fair lending risk in pricing What you can do to control fair lending risk 2

Recent U.S. Government Fair Lending Settlements Cases alleging disparate impact in the pricing of consumer loans resulting from the exercise of pricing discretion (see handout for details) Case U.S. v. Countrywide Financial Corporation (2012) U.S. v. Wells Fargo Bank, N.A. (2012) U.S. v. SunTrust Mortgage, Inc. (2012) U.S. v. GFI Mortgage Bankers Inc. (2012) U.S. v. PrimeLending (2011) FTC v. Gateway Funding (2009) FTC v. Golden Empire Mortgage (2010) U.S. v. Texas Champion Bank (2013) $700,000 U.S. v. C&F Mortgage Corp. (2011) $140,000 U.S. v. Nixon State Bank (2011) $100,000 Settlement Amount $335 million $175 million for wholesale, plus potential liability for retail $21 million $3.555 million $2 million $2 million (deferred) $1.5 million Most relate to conduct prior to the 2011 loan originator compensation rules, but similar issues persist under the new regime 3

Common threads in settlements Broad discretion allegedly resulted in disparate impact Subjective and unguided pricing adjustments not based on a borrower s objective credit characteristics Lack of clear policies and/or controls governing exercise of discretion Little or no documentation of business rationale for discretionary pricing adjustments Financial incentives for loan originators to charge higher rates or fees, or to steer borrowers to higher-cost products Lack of effective fair lending monitoring or corrective action Liability extending to multiple years in the past Liability for actions of third-party originators 4

CFPB: The new cop on the beat Key focus is risk to consumers -- the potential for consumers to suffer economic loss or other legally-cognizable injury as a result of a violation of Federal consumer financial law. The CFPB will focus on risk to consumers when it evaluates the policies and practices of a financial institution. We expect that institutions will offer consumer financial products and services in accordance with Federal consumer financial law and will maintain effective systems that focus on an institution s ability to detect, prevent, and correct practices that present a significant risk of violating the law and causing consumer harm. -- CFPB Supervision Manual In exam reports and enforcement orders, CFPB has ordered lenders to implement a Compliance Management System 5

Some things that increase fair lending risk in pricing Unclear policies/procedures and inconsistent execution Concessions that are granted less often to one protected class group than another (whatever the reason) Branches with different pricing levels that sell into the same market Higher pricing levels or fees in markets with high minority concentrations Overlays to investor pricing not supported by a demonstrable business justification/need Pricing criteria/llpas that are not customary Lack of monitoring Failure to take action based on monitoring 6

Controlling fair lending risk in pricing: preventive measures Consistency, discipline and documentation are key Clear fair lending policy statement Clear operational policies and procedures designed to avoid discrimination, regularly reviewed, and reinforced by regular training Manage pricing discretion as you would exceptions Defined limits on discretion Tiered authority for approving discretionary adjustments Document business reasons for discretionary adjustments (e.g., concessions, waivers, lock renegotiations anything subject to negotiation) preferably as data Involve Compliance in the process Document rate reductions provided in exchange for discount points 7

Controlling fair lending risk in pricing: preventive measures System controls to enforce policies and procedures, and limit errors Pre-funding review or system controls to prevent funding of loans that do not comply with policy Consider refunds if non-compliant loans fund inadvertently Maintain documentation and/or data supporting the pricing for each loan and options offered to the consumer Rate sheet in loan file, or Data in LOS or pricing engine Develop and document analytical support showing the business justifications for pricing strategy decisions 8

Controlling fair lending risk in pricing: preventive measures Involve compliance/legal specialists in significant decisions about pricing strategy Capture data needed to monitor and justify pricing Credit and program attributes that affect the rate/price Relevant measure(s) of discretionary pricing Historical pricing available on alternative products Accountability mechanisms Monitor and enforce adherence to the rules (which means you must have the data to support the monitoring) Scorecard linked to fair lending metrics, possibly tied to compensation Defined path for corrective/disciplinary action Document your controls, monitoring and overall compliance program Reporting to board/executive management 9

Controlling fair lending risk in pricing: detective measures Establish a statistical fair lending monitoring program Monitor pricing outcomes regularly in relation to race, ethnicity & gender Regression analysis and outlier review Examine rate/apr and overage/underage Frequency and size of concessions/exceptions Broker compensation (including cross-broker differences, and lender- vs. borrower-paid), aggregate and by broker Differences in profit margins across products Aggregate plus by market, channel, region/division, branch and originator Corrective action Restrict discretion for branches/los that are generating disparities Adjust policies and procedures as necessary Consider possible refunds in the event of unjustified disparities 10

Controlling fair lending risk in pricing: detective measures Audit to ensure that policies and procedures are being followed Pay attention to consumer complaints Evaluate whether pricing factors raise potential disparate impact concerns Evaluate whether pricing levels can be adjusted to reduce the need for concessions Evaluate whether fees are justifiable (UDAAP risk) Note: UDAAP enforcement is being used as an alternative route for fair lending enforcement 11

David Skanderson, Ph.D. 202.662.3955 dskanderson@crai.com www.crai.com 12