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Nessa Feddis Senior Vice President & Deputy Chief Counsel for Consumer Protection and Payments Center for Regulatory Compliance Government Relations Regulatory & Trust Affairs 202 663 5433 nfeddis@aba.com Submitted electronically at www.regulations.gov February 19, 2013 Ms. Monica Jackson Office of the Executive Secretary Consumer Financial Protection Bureau 1700 G Street NW Washington D.C 20552 Re: Notice and request for information regarding the credit card market Section 502(a) of the Credit Card Accountability Responsibility and Disclosure Act of 2009 Docket No. CFPB 2012 0048 77 FR 75410 (December 20, 2012) The American Bankers Association (ABA) 1 appreciates the opportunity to provide information to the Bureau of Consumer Financial Protection (Bureau) on how the Credit Card Accountability Responsibility and Disclosure Act of 2009 (CARD Act) and the related actions of the Federal Reserve Board (Board) under Regulation AA (Unfair and Deceptive Acts or Practices) taken prior to the Act s passage have impacted consumers and the behavior of the credit card industry. Section 502(a) of the CARD Act requires a review of the consumer credit card market every two years, including a review of the terms of credit card agreements and practices and the impact of the CARD Act on the cost and availability of credit, particularly with respect to non prime borrowers. The CARD Act has provided consumers with significant benefits, among them the elimination (with few exceptions) of increases on interest rates on existing balances, whether the regular purchase interest rate or an introductory or promotional rate. These restrictions help consumers avoid surprises due to increases in their interest rates. In addition, since implementation of the CARD Act, customers are paying significantly less in late payment fees and over the limit fees. Customers also appear to be paying a higher portion of their outstanding balances, perhaps due to the minimum payment disclosure of the CARD Act, which explains how long it will take customers to repay a credit card balance if they only pay the minimum payment. While the CARD Act has provided clear and significant benefits to consumers, there have also been significant tradeoffs, specifically, higher costs and less availability for credit card credit. First, credit card interest rates are higher, despite the fact that interest rates are at historic lows in the economy in general and despite the average lower risk of accountholders. Both of these factors should have put 1 The American Bankers Association represents banks of all sizes and charters and is the voice for the nation s $14 trillion banking industry and its two million employees. The majority of ABA s members are banks with less than $165 million in assets.

downward pressure on interest rates. In contrast to credit card accounts, interest rates are down for other consumer credit such as car loans and mortgages. Since 3Q 2008, credit card interest rates have increased by more than 72 basis points, a 5 percentage increase. Other consumer credit rates during the same period have declined significantly, e.g. mortgages by 268 basis points, a 42% percentage decrease, and auto loans by 204 basis points, a 29% percentage decrease. Second, credit cards and credit card credit are less available during the same period, particularly for subprime borrowers. The amount of credit card debt outstanding has decreased at a higher rate than other consumer debt. Furthermore, credit card debt as a percent of disposable income has decreased while non revolving, non mortgage debt as a percent of disposable income has increased. While the severe economic conditions have had an impact on both credit card interest rates and credit card availability and lines of credit, the disparity between the costs, availability, and use of credit card credit and other consumer credit products during the relevant time period strongly suggests that the increased costs and reduced availability of credit cards cannot be explained by the economy alone. The CARD Act and related changes in the regulations applicable to credit cards are almost certainly a significant factor in the higher costs and decreased availability of credit cards. For example, particularly impacted by the reduction in credit cards and credit card credit are those with lower credit risk scores, including those new to credit and the workforce, immigrants, and those who have had difficulty managing credit in the past who would like a second chance. This means that many low and moderate income consumers, whom the CARD Act was intended to help, now have less access to credit cards to help them with unexpected expenses and emergencies as well as other conveniences credit cards offer. That credit card interest rates have increased and credit card lending declined since the time it was clear the law was going to change is not surprising, given the fundamental changes to pricing practices mandated first by the Board in Regulation AA and subsequently by Congress in the CARD Act. These laws severely restricted the ability of card issuers to re price loans based on deteriorating credit profiles of borrowers. Prior to the change in the law, lenders could take a greater risk in granting credit, especially with those with no or marred credit history, and offer credit at a lower initial rate because they were able to adjust the rate later if the borrowers behavior indicated they were more likely to have difficulty repaying the loan. The ability to increase the price on existing balances helped to cover the increased losses and risk and provided an incentive for borrowers to improve their financial management and become less risky. Because card issuers can no longer, as a practical matter, re price risk as borrowers creditworthiness changes, card issuers must: (1) take fewer risks by limiting credit to riskier, subprime borrowers, including those new to credit and the work force and those who have mismanaged credit in the past who would like a second chance, and/or (2) increasing the cost of credit generally, in effect shifting the cost to those who have a history of managing their credit well. It appears that both, in fact, have happened. In reviewing the impact of the change in credit card law, given the data that indicate less credit card availability for subprime borrowers, the Bureau should assess whether these consumers have turned to other sources of short term liquidity or credit to meet their needs due to unanticipated and day to day expenses. These alternatives may include more expensive, less convenient forms of credit. These unintended consequences of the CARD Act should be identified and evaluated before the Bureau proposes changes to Regulation Z or recommends legislative changes to Congress. More broadly, the Bureau should consider the effects of the CARD Act and related regulatory changes in the context of monetary and fiscal policy during the period of the adoption and implementation of the CARD Act. It 2

appears that at the same time that the CARD Act led to increased rates and reduced availability of credit, other governmental policies were designed to reduce rates and to promote borrowing generally to stimulate the economy. Background. In early 2008, Congress and regulators raised concerns about certain credit card practices, especially about the practice of raising interest rates on existing balances of cardholders whose behavior indicated that they had become more likely to not repay the loan, e.g., as evidenced through a late payment and/or a decrease in their credit score. In response to Congressional hearings, the Board on May 2, 2008 proposed amendments to Regulation AA to address these issues. 2 In addition to other provisions, the proposed amendments restricted the ability of issuers to increase interest rates on existing balances. Separately, under Regulation Z, (Truth in Lending Act), the Board had already proposed comprehensive changes related to disclosures for applications, account opening agreement summaries, periodic statements, and changes in terms notices. In December 2008, the Board adopted final amendments to Regulation AA, including the limitations on interest rate increases on existing balances. The Board also adopted on that day separate comprehensive revisions and expansions of disclosure requirements under Regulation Z. Those disclosures, tested with consumer focus groups, were designed to ensure consumers receive important information in a manner and format they are likely to notice, using terms they are likely to understand. The effective dates of the two regulations were scheduled for July 1, 2010, though issuers began to review and revise their business models once it was clear with the proposed May 2008 Regulation AA that significant, substantive new rules would be adopted, whether through Congressional or regulatory action. Regulation AA was ultimately subsumed into Regulation Z pursuant to the CARD Act and the effective dates adjusted according to the Act. Shortly after the Board s adoption of new rules in December 2008, in January 2009, Representative Carolyn Maloney (D. NY) introduced in the House a bill that became the CARD Act. The bill incorporated a stricter version of the substantive restrictions of the Board s final Regulation AA and added other substantive provisions and disclosures. The President signed the bill on May 22, 2009.The bill was phased in over 15 through three effective dates, with the initial restriction against increases to interest rates on existing balances going into effect after 90 days and the bulk of the credit card related provisions going into effect nine after the date of enactment. (See attachment A for timeline.) The separate Regulation Z disclosure provisions were incorporated into the final rule implementing the CARD Act. Changes in credit card practices should be measured from the time it was clear there would be new laws that would fundamentally impact the credit card practices, that is, when the Board proposed Regulation AA amendments that were later incorporated into the CARD Act. In evaluating the impact of key provisions of the CARD Act on card issuer behavior and credit card terms and credit card use more broadly, especially the restrictions on rate increases, the Bureau must measure changes in credit card experiences, practices, and terms from the date the Board proposed 2 The proposed amendments to Regulation AA were released on May 2, 208 and published on May 19, 2008. See: http://federalreserve.gov/newsevents/press/bcreg/20080502a.htm 3

amendments to Regulation AA. The Bureau must assume that card issuers did not ignore consideration and adoption of the Regulation AA amendments, which contained essential elements of the core, most important provision of the CARD Act (restrictions on interest rate increases for existing balances) or waited until passage of the CARD Act or its effective dates to begin considering and making changes to their business model. Whether by agency regulation or Congressional statute, it was very clear by May 2008 that a key element ultimately included in the CARD Act and which had the greatest impact on consumers and the industry, was going to become law. Accordingly, the Bureau must include in its review of the CARD Act, changes in the credit card market, including terms and practices from the date of the proposed Regulation AA amendments. Credit card data. Data included in the discussion below includes data from Argus Information & Advisory Services (Argus) as well as data from Federal Reserve publications and other public sources. Argus s syndicated studies dataset, which is a longitudinal dataset of general purpose cards in the U.S. industry, constitutes data from all banks that participate in Argus syndicated consumer credit card payments study and represents 95% of general consumer credit card accounts. The dataset, collected on a confidential basis, is derived from actual account level and transaction level credit card data that Argus receives directly from participating issuers. While interest rates for other consumer credit have fallen, credit card interest rates have risen for credit card accounts overall since 3Q 2008 despite the higher average credit risk score of cardholders, which should put downward pressure on credit card rates. Below is a summary of the Argus data showing the increase in credit card interest rates between 3Q 2008 and 3Q 2012 as shown in Table 1. Mature accounts are those open more than 24, new accounts are those open less than 24. Percentage change 3Q 2008 Interest rate 3Q 2012 Interest rate Basis point change Mature accounts 5.22% 13.78 14.50.72 bp New accounts 5.23 14.92 15.70.78 bp The increase in credit card interest rates contrasts with the opposite trend in other consumer credit where interest rates have decreased. Type of loan Percentage change in rate Basis point change Credit card 5.2% 72 and 78 bp (mature, new) Personal loans 10% 11 bp Auto loans 29% 204 bp Mortgages 42% 268 bp 4

Thus, for credit cards, the average interest rate increased between 72 and 78 basis points, resulting in a percentage increase in the rate of more than 5% even though credit card borrowers are less risky, which puts downward pressure on interest rates. In contrast, interest rates have decreased substantially for other consumer loans. (Table 2) Credit card credit contracted between 3Q 2008 and 3Q 2012, especially for subprime borrowers, at a rate much higher than for other types of consumer loans. Since the end of the recession, credit card credit has stagnated while some other forms of lending (mortgage, auto, and business loans) have returned to a growth phase. (Table 3) By number of accounts, individual credit card lines, and total credit lines, there has been a contraction in credit card credit since 3Q 2008, especially among subprime consumers. According to the Argus data, between 3Q 2008 and 3Q 2012: 1. The number of accounts fell between 7% and 53% (Table 4) 3 : Mature accounts Change between 3Q 2008 and 3Q 2012 Total 13.5% Subprime 24%. Prime 21% Super prime 7% New accounts Total 34.5% Subprime 53% Prime 33% Super prime 11% 3 The Argus data represent 95%+ of the U.S. general purpose credit card market. 5

2. The average credit line of individual accounts fell between 9% and 30% (Table 5): Mature accounts Percentage change between 3Q 2008 and 3Q 2012 Subprime 17% Prime 21% Super prime 9% New accounts Subprime 30% Prime 27% Super prime 24% 3. The total of credit lines fell between 35% and 64% (Table 6): Mature accounts Percentage change between 3Q 2008 and 3Q 2012 Subprime 35%. Prime 37% Super prime 36% New accounts Subprime 64% Prime 51% Super prime 36% Thus, since 3Q 2008, credit card credit has contracted severely, as demonstrated by the reduction in the number of accounts, individual credit card lines, and total credit lines. Especially impacted are those with low credit scores. 4 Although a contraction in credit might be expected due to economic conditions over the measurement period, the contraction of credit card credit is much higher than any reduction in other types of credit as demonstrated by the changes in credit card debt as a percentage of disposable income compared with other types of consumer debt and with overall debt levels. Further, other types of consumer lending have grown since the end of the recession, while credit card credit has not. Changes in debt as a percent of disposable income. Households have increased their nonrevolving consumer credit as a percent of disposable income since 3Q 2008 by 14% (Table 7) but 4 G.19. Although these data are from Argus, they are generally consistent with Federal Reserve Board data reported in the 6

decreased their credit card debt by 22% as a percent of disposable income. (Table 8) Mortgage debt as a percent of disposable income only fell 17% since 3Q 2008.(Table 9) Change in debt as a percent of disposable income: Type of credit Revolving consumer credit (credit card) 22% Non revolving consumer credit 5 14% Mortgage 17% debt levels. In addition, between 3Q 2008 and 3Q 2012, overall credit card debt levels have decreased at a much higher rate than other consumer loans. (Table 10). Type of Credit Credit card 21% Mortgage 14% Home equity lines of credit 17% Auto loan 5% Credit growth. Since the end of the recession, credit card credit has stagnated while some other forms of lending (mortgage, auto, and business loans) have returned to a growth phase. (Table 3) Credit card lines. Among new accounts, the average credit line has decreased by $898 from $6,358 to $5,460, a decrease of 14.12%. (Table 1) In sum, households have less credit card credit available and are using credit cards much less than they did prior to 2008.The decrease is disproportionate to other consumer loans, suggesting that something other than the economy, e.g., the CARD Act, is a factor in the contraction of credit card credit. Credit card portfolios have shifted to less risky accounts. The number and percentage of subprime account holders have decreased. Between 3Q 2008 and 3Q 2012, the composition of subprime borrowers in the Argus dataset, based on the number of accounts held, has decreased from 35% of the total to 27%, while super prime increased from 30% to 5 Includes auto loans and all other non revolving loans, e.g., those for mobile homes, education, boats, trailers, and vacations. 7

40% and prime borrowers remained the same at 31%. 6 In addition, subprime accounts showed a greater percentage decrease in the number of mature and new accounts (Table 4) as well as average credit line (Table 5)and total credit line for new accounts (Table 6). The consequence is that subprime borrowers are having more difficulty obtaining credit cards. This includes those who have little credit history or are new to the work force, including young people and immigrants, as well as those who have had financial difficulties but would like a second chance. Credit card experience is one of the most important ways for people to help build their credit history so that they will be eligible for other types of loans, including car loans and mortgages. It may also play a role in decisions related to insurance, home rental, and utilities. Certain goals have been achieved. Consumers are paying less in over the limit and late payment fees and are paying a higher percentage of their outstanding balances. Since passage and implementation of the CARD Act, the percentage of accounts paying late fees has dramatically declined. For new accounts, the percentage of accounts paying a late payment fee has declined from 8.45 to 2.00% since 2009, a decrease of 76.33%. For mature accounts the percentage has dropped from 7.30 to 1.80%, a decrease of 75.34% during the same period. (Table 1) We believe that the dramatic drop is in large part due to the CARD Act s requirements to provide statements at least 21 days prior to the due date (effective August 2010 and not part of Regulation AA), to highlight the due date on periodic statements along with other important information, and to designate the same day of the month as the due date (both effective February 2010). These provisions have made it easier for customers to make timely payments. Accounts paying over the limit fees have seen an even more dramatic decrease. For new accounts, the percentage of new accounts paying over the limit fees has fallen from 4.73% to.04%, a decrease of 99.15%, and for mature accounts from 2.04% to.03%, a decrease of 98.53%. (Table 1) We believe that this is in part due to the CARD Act provision that requires account holders to agree affirmatively to pay over the limit fees. In addition to a decline in over the limit and late payment fees, customers have increased the amount of their payments and the percentage of balance paid since implementation of the provision requiring disclosure of the amount of time it will take customers to repay a credit card balance if they only pay the minimum payment, which went into effect in February 2010. Since 2009, the average monthly payment on new accounts has increased from $242 to $349 and on mature accounts from $353 to $420. At the same time, statement balances decreased from $1,429 to $1,154 for new accounts and $2,143 to $1,950 for mature accounts. (Table 1) Thus, for new accounts the percentage of the statement balance paid increased from nearly 17% to 30% and for mature accounts, from 16% to almost 22%. Conclusion. The CARD Act has provided clear and significant benefits to consumers especially with regard to the limitations on the ability to raise interest rates on existing balances, which eliminated unexpected increases in interest rates. In addition, fewer account holders are paying over the limit and late payment fees. However, it appears that there have been significant trade offs. Since the proposal and adoption of 6 100%. Data regarding credit risk scores are missing from some accounts. As a result, the percentages add up to less than 8

key provisions included in both Regulation AA and the CARD Act, average credit card interest rates have increased and credit card credit is less available, especially to subprime borrowers. In addition, credit card debt has decreased at a higher rate than other consumer debt and has decreased as a percent of disposable income as non revolving debt as a percent of disposable income has increased. The disparity in the trends for credit cards and other types of consumer credit strongly suggests something other than the economy e.g., the CARD Act, is responsible for the changes in the credit card market. The ABA appreciates the opportunity to provide information on this important matter and will continue to provide data to the Bureau as it comes available. Sincerely, Nessa Eileen Feddis 9

Distribution of Key Performance Metrics Distribution of Key Performance Metrics Metrics 2007 < 24 2008 < 24 New Accounts 2009 <24 2010 < 24 2011 <24 2012 < 24 2007 > 24 2008 > 24 Mature Accounts 2009 > 24 2010 > 24 2011 > 24 Accounts (%) 100.00 100.00 100.00 100.00 100.00 100.00 100.00 100.00 100.00 100.00 100.00 100.00 Average Risk Score 695 700 715 732 726 726 737 735 726 729 740 748 2012 > 24 Average Credit Line ($) 6100.82 6357.96 6190.35 5889.83 5481.00 5460.00 10440.16 10716.94 10255.65 9987.03 10081.00 9995.00 Average Retail APR (%) 14.00 13.78 13.71 13.57 13.90 14.50 16.93 14.92 15.67 16.52 15.80 15.70 Average Balance Ending ($) 1466.52 1545.27 1428.68 1156.45 1128.00 1154.00 1657.60 1866.25 2142.57 2030.88 1985.00 1950.00 % of Accounts with Late Payment Fee (%) 10.19 10.77 8.45 5.80 2.00 2.20 6.31 6.83 7.30 6.09 2.00 1.80 % of Accounts with Over Limit Fee (%) 5.32 4.73 4.04 0.15 0.00 0.04 2.03 2.04 2.71 0.11 0.00 0.03 Monthly Payment ($) 251.18 246.52 242.94 288.50 320.19 349.65 335.10 334.43 353.18 381.12 405.92 420.75 Argus Information and Advisory Services, LLC, 2013 All Rights Reserved aba.com 1-800-BANKERS Table Page 1 TAble

Average credit card rates increased while the cost of other types of debt declined. Effective Interest Rates (%) 16% Credit Cards* 14% +78 basis points (or 5%) since 12% 10% Personal Loans -111 bps (or -10%) since 8% 6% 4% 2% Auto Loans Mortgages -204 bps (or -29%) since -268 bps (or -42%) since 0% 2008.Q3 2012.Q3 *Average APR for accounts more than 24 old. Source: Argus Information & Advisory Services LLC, Freddie Mac, Federal Reserve aba.com 1-800-BANKERS Table Page 2

Since the recession ended, credit card credit has stagnated while some other forms of lending have returned to a growth phase. 105 Household Debt Levels Quarterly Debt Levels Indexed to 2008 Q3 = 100 100 95 Mortgages 90 Auto Loans 85 80 Credit Card Credit Business Loans 75 70 2008.Q3 2009.Q1 2009.Q3 2010.Q1 2010.Q3 2011.Q1 2011.Q3 2012.Q1 2012.Q3 Source: Federal Reserve, Bureau of Economic Analysis aba.com 1-800-BANKERS Table Page 3

Account volume fell across risk spectrum; most acute drops in low vintage, high risk 90 80 Open Accounts (<24 MOB) Distribution by Risk In Millions 250 Open Accounts (>24 MOB) Distribution by Risk In Millions 70 60 200 50 40 11% since 150 7% since 30 20 10 0 33% since 53% since 100 50 0 21% since 24% since < 680 680 759 > 759 < 680 680 759 > 759 % with Risk Score < 680 36.4% 31.1% 23.7% 26.9% 27.2% % with Risk Score < 680 21.7% 26.1% 25.4% 21.8% 19.2% % with Risk Score 680+ 63.6% 68.9% 76.3% 73.1% 72.8% % with Risk Score 680+ 78.3% 73.9% 74.6% 78.2% 80.8% Argus Information and Advisory Services, LLC, 2013 All Rights Reserved aba.com 1-800-BANKERS Table Page 4

Initial lines are lower across all risk segments and vintages $12,500 Average Credit Line Among Accounts (<24 MOB) By Risk $15,000 Average Credit Line Among Accounts (>24 MOB) By Risk $10,000 24% since $12,500 9% since 3Q 08 $7,500 $10,000 21% since 27% since $7,500 $5,000 $2,500 30% since $5,000 $2,500 17% since $0 < 680 680 759 > 759 $0 < 680 680 759 > 759 Avg. Line Per < 24 MOB Account $6,358 $6,190 $5,890 $5,481 $5,460 Avg. Line Per > 24 MOB Account $10,717 $10,256 $9,987 $10,081 $9,995 Argus Information and Advisory Services, LLC, 2013 All Rights Reserved aba.com 1-800-BANKERS Table Page 5

Total Open Credit Line across risk and vintage is down significantly $600 $500 $400 $300 $200 Total Credit Line ($B) <=24 MOB open accounts by Risk $540.6 $391.2 Total credit line down 45% since 1Q 08 $255.1 $261.2 $294.5 36% since $3,000 $2,500 $2,000 $1,500 $1,000 Total Credit Line ($B) > 24 MOB open accounts by Risk Total credit line down 22% since 1Q 08 $2,722 $2,263 $2,319 $2,291 $2,098 12% since $100 $0 < 680 680 759 > 759 51% since 64% since $500 $0 < 680 680 759 > 759 37% since 35% since % with Risk Score < 680 15.9% 14.2% 9.6% 9.6% 10.3% % with Risk Score < 680 11.3% 13.1% 12.2% 10.5% 9.4% % with Risk Score 680 759 33.7% 31.1% 28.4% 28.3% 29.0% % with Risk Score 680 759 29.6% 28.4% 26.7% 24.8% 24.8% % with Risk Score >759 50.4% 54.7% 62.1% 62.1% 60.7% % with Risk Score >759 59.0% 58.5% 61.1% 64.8% 65.8% Argus Information and Advisory Services, LLC, 2013 All Rights Reserved aba.com 1-800-BANKERS Table Page 6

Non-Revolving Consumer Credit is Up Non-Revolving Consumer Credit* as a Percent of Disposable Income 16% +14% since 3Q 08 14% 12% 10% 1980-2000 Average: 13% 8% 6% 4% 2% 0% 2000.Q1 2001.Q1 2002.Q1 2003.Q1 2004.Q1 2005.Q1 2006.Q1 2007.Q1 2008.Q1 2009.Q1 2010.Q1 2011.Q1 2012.Q1 *Includes automobile loans and all other loans non-revolving credit, e.g., loans for mobile homes, education, boats, trailers, or vacations. Source: Federal Reserve, Bureau of Economic Analysis aba.com 1-800-BANKERS Table Page 7

Revolving Consumer Credit is Down Revolving Consumer Credit as a Percent of Disposable Income 10% 8% -22% since 3Q 08 6% 4% 2% *Note: Prior to 2000, there was a long-term migration from retail credit to credit cards. Because standardized historical data for retail credit is unavailable, it is misleading and inaccurate to compare current credit card debt levels to historical figures. 0% 2000.Q1 2001.Q1 2002.Q1 2003.Q1 2004.Q1 2005.Q1 2006.Q1 2007.Q1 2008.Q1 2009.Q1 2010.Q1 2011.Q1 2012.Q1 Source: Federal Reserve, Bureau of Economic Analysis aba.com 1-800-BANKERS Table Page 8

Mortgage Credit Bubble Mortgage Credit as a Percent of Disposable Income 120% 110% 100% 90% -17% since 3Q 08 80% 70% 60% 50% 1980-2000 Average: 62% 40% 30% 20% 10% 0% 2000.Q1 2001.Q2 2002.Q2 2003.Q2 2004.Q2 2005.Q2 2006.Q2 2007.Q2 2008.Q2 2009.Q2 2010.Q2 2011.Q2 2012.Q2 Source: Federal Reserve, Bureau of Economic Analysis aba.com 1-800-BANKERS Table Page 9

Credit card debt fell rapidly compared with other forms of consumer debt. Change in Outstanding Household Debt Levels Percent Change from 3Q 2008 to 3Q 2012 60% 55% 50% 45% 40% 35% 30% 25% 20% 15% 10% 5% 0% -5% -10% -15% -20% -25% -30% 56% -5% -14% -17% -21% Mortgage Debt Home Equity Line of Credit Auto Loans Credit Card Loans Student Loans Source: Federal Reserve Bank of New York Report on Household Debt & Credit aba.com 1-800-BANKERS Table Page 10

Timeline of Change in Credit Card Laws May 2, 2008 Board proposes regulation prohibiting certain practices, including restrictions on rate increases on existing balances. Advance notice of increases on new balances required. http://federalreserve.gov/newsevents/press/bcreg/20080502a.htm December 18, 2008 Board adopts final regulation addressing credit card practices to be effective July 2010. http://federalreserve.gov/newsevents/press/bcreg/20081218a.htm January 22, 2009 CARD Act (HR 627) introduced in House. May 22, 2009 President signs CARD Act. August 10, 2009 Critical CARD Act provisions go into effect: Requirement to provide 45 day advance notice of rate increases or other significant change. Requirement to provide cardholders with opportunity to opt out of certain changes, including rate changes, and pay existing balance off at original rate. Prohibition against considering payments to be late unless periodic statements mailed at least 21 days prior to payment due date. February 10, 2010 Bulk of remaining provisions go into effect, including further restrictions on rate increases; opt in requirements for over the limit fees; and payment applications to balances requirements. August 10, 2010 Remaining provisions go into effect: 6 month look back for increased interest rates Reasonable penalty fees Attachment A