Advertising and Marketing Law Fundamentals for Consumer Financial Products and Services. Webinar June 11, 2013

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Advertising and Marketing Law Fundamentals for Consumer Financial Products and Services Webinar June 11, 2013 Randal M. Shaheen, Co-Panelist Allyson B. Baker, Co-Panelist Jonathan L. Pompan, Moderator Venable LLP, Washington, DC 1

IMPORTANT INFORMATION ABOUT THIS PRESENTATION This presentation is for general informational purposes only and does not represent and is not intended to provide legal advice or opinion and should not be relied on as such. Legal advice can only be provided in response to specific fact situations. This presentation does not represent any undertaking to keep recipients advised as to all or any relevant legal developments. To view Venable s index of articles and PowerPoint presentations on related legal topics, see www.venable.com/cfpb/publications. 2

Today s Webinar The similarities and differences between the CFPB UDAAP (Consumer Financial Protection Act), FTC UDAP (FTC Act), and the federal banking agencies UDAP legal authorities (FTC Act and Regulation AA). Advertising and marketing law basics, including general rules for print, TV, radio, online, email, telemarketing, and social media Case studies from notable CFPB enforcement actions and announcements Compliance tips, including use of third-party service providers Exam preparation and ways to navigate a CFPB investigation into advertising and marketing practices 3

The CFPB and Advertising and Marketing Enforcement Supervision Banks ($10 billion in total assets or greater) Nonbanks Mortgage, Private Student Loans, Small Dollar Lenders Larger Participants (Credit Bureaus, and Debt Collectors, more to follow) Service providers Financial Education, Reports, etc. Regulatory 4

Overview of CFPB s Unfair, Deceptive, Abusive Acts or Practices (UDAAP) Authority The Consumer Financial Protection Act prohibits unfair, deceptive, or abusive acts and practices in connection with consumer financial products and services, and the enumerated consumer laws and the implementing regulations. Enumerated Consumer Laws include: Electronic Fund Transfer Act (15 U.S.C. 1693 et seq.), except with respect to Section 920 of that Act; Equal Credit Opportunity Act (15 U.S.C. 1691et seq.); Fair Credit Billing Act (15 U.S.C. 1666 et seq.); Fair Credit Reporting Act (15 U.S.C. 1681et seq.), except with respect to Sections 615(e) and 628 of that Act (15 U.S.C. 1681m(e), 1681w); Home Owners Protection Act of 1998 (12 U.S.C. 4901 et seq.); Fair Debt Collection Practices Act (15 U.S.C. 1692 et seq.); Subsections (b) through (f) of Section 43 of the Federal Deposit Insurance Act (12 U.S.C. 1831t(b) (f)); Sections 502 through 509 of the Gramm-Leach-Bliley Act of 2009 [Privacy of Consumer Financial Information](15 U.S.C. 6802 6809) except for Section 505 as it applies to Section 501(b); Truth in Lending Act (15 U.S.C. 1601 et seq.); Truth in Savings Act (12 U.S.C. 4301 et seq.); Section 626 of the Omnibus Appropriations Act of 2009, Public Law 111 8 5

Overview of CFPB s Unfair, Deceptive, Abusive Acts or Practices (UDAAP) Authority Unfair Acts and Practices: Defined in the CFPA Deceptive Acts and Practices: Not defined in the CFPA; CFPB has looked to the Federal Trade Commission Act Abusive Acts and Practices: Defined in the CFPA; new standard 6

CFPB s Authority vs. Authority of the FTC and Banking agencies Section 5 of the Federal Trade Commission Act (FTCA) is the basis for the unfairness and deception standards used by the FTC and banking agencies CFPB looks to the Dodd-Frank Act (Title X, Consumer Financial Protection Act) CFPB deception and unfairness standards are similar to FTC Act standards Only CFPB has the abusive standard in its core statute Abusive standard appears in Telemarketing Sales Rule 7

What Types of Practices Are Abusive? Abusive means an act or practice that: materially interferes with the ability of a consumer to understand a term or condition of a consumer financial product or service; OR takes unreasonable advantage of a lack of understanding on the part of the consumer of the material risks, costs, or conditions of the product/ service; OR the inability of the consumer to protect the interests of the consumer in selecting or using a consumer financial product/service; OR the reasonable reliance by the consumer on a covered person (bank or nonbank within the CFPB s jurisdiction) to act in the interests of the consumer Recently settled case: Consumer Financial Protection Bureau v. American Debt Settlement Solutions, Inc. et al. 8

CFPB may enforce several rules issued by the Federal Trade Commission Telemarketing Sales Rule (16 CFR Part 310); Use of Prenotification Negative Option Plans (16 CFR Part 425); Rule Concerning Cooling-Off Period for Sales Made at Homes or at Certain Other Locations (16 CFR Part 429); Preservation of Consumers Claims and Defenses (16 CFR Part 433); Credit Practices (16 CFR Part 444); Mail or Telephone Order Merchandise (16 CFR Part 435); Disclosure Requirements and Prohibitions Concerning Franchising (16 CFR Part 436); Disclosure Requirements and Prohibitions Concerning Business Opportunities (16 CFR Part 437). 9

Application of UDAAP Authority in Recent CFPB Actions Types of UDAAP issues flagged by the CFPB todate Deciphering Claims Distressed consumers Telemarketing/Backroom issues Traditional advertising/marketing Remedies Scope of redress 10

Compliance Process Implications of CFPB settlement potentially far greater than FTC Far-reaching compliance provisions Regular periodic reports Third party consultant Oversight and responsibility of Board Order scope potentially very broad (all advertising and marketing) In one case, ceasing activity until approved plan 11

Preventative Steps Periodic training Audit customer interactions Remedy problems when discovered Backstop oral representations with written followup Prepare for supervision/upgrade compliance 12

Third Party Service Providers What a service provider is under the CFPA CFPB s statedexpectations: April 2012 Bulletin Managing service providers: UDAAP context 13

How The Bureau Can Apply Its UDAAP Authority Understanding the CFPB s Enforcement Process Understanding the CFPB s Supervision Process 14

CFPB Enforcement Authority CFPB is authorized to conduct investigations to determine whether any person is, or has, engaged in conduct that violates Federal consumer financial law. Investigations may be conducted jointly with other regulators, and may include: subpoenas or civil investigative demands for testimony, responses to written questions, documents, or other materials 15

CFPB Enforcement Power CFPB may investigate, issue subpoenas and civil investigative demands, and compel testimony CFPB may conduct hearings and adjudications to enforce compliance, including issuing cease-and-desist orders CFPB may initiate actions for civil penalties or an injunction Penalties up to $1M per day for knowing violations No exemplary or punitive damages Criminal referrals to DOJ Whistleblower protection State attorneys general may also enforce the CFPA with notice to the CFPB May enforce rules issued by the FTC to the extent such rules apply to a covered a person or service provider No express private right of action under the CFPA 16

Questions to Consider When Reviewing Advertising 17 Do they contain any material misrepresentations, expressly or by implication, including the following: The existence, nature, or amount of fees or other costs, The nature and benefits of the product or service advertised, The means by which to close or cancel an product or service, or Terms and Conditions. How do the representations compare to actual practices? Do advertisements and promotional materials directed to consumers clearly disclose all material limitations or conditions on the terms or availability of products or services marketed to consumers, such as: expiration date material prerequisites for obtaining particular products, services, or benefits (e.g., discounts, refunds, or rebates). Is there fine print or other disclosures? Are there required disclosures required by applicable law or regulation? If additional products or services are sold or offered in connection with products or services sold to consumers, determine : Do marketing materials reflect the actual terms and conditions of the product and are not deceptive or misleading to consumers? Have you reviewed scripts and manuals used by the entity s telemarketing and customer service centers? What is the cancelation/return policy? Are there any guarantees? Are testimonials or endorsements used? Is the advertisement comprehensible by the target audience?

Questions and Answers Randal M. Shaheen, Partner rmshaheen@venable.com t 202.344.4488 Allyson B. Baker, Partner abbaker@venable.com t 202.344.4708 Jonathan L. Pompan, Partner jlpompan@venable.com t 202.344.4383 To view Venable s index of articles and PowerPoint presentations on related legal topics, see www.venable.com/cfpb/publications. www.venable.com 18