blueprint for constructing y a compliance program

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BLUEPRINT FOR CONSTRUCTING YOUR UDAAP COMPLIANCE PROGRAM Carl Pry, Treliant Risk Advisors Terri Oster, Bank of the West October 9, 2014 A A Much Attention on UDAAP CFPB enforcement actions Prudential regulator enforcement (UDAP) Inclusion other issues Focus and program and management (CMS) Where should you focus your attention?

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Page 1: BLUEPRINT FOR CONSTRUCTING Y A COMPLIANCE PROGRAM

BLUEPRINT FOR CONSTRUCTING YOUR UDAAP COMPLIANCE PROGRAM

Carl Pry, Treliant Risk AdvisorsTerri Oster, Bank of the WestOctober 9, 2014

AA

Much Attention on UDAAP

• CFPB enforcement actions

• Prudential regulator enforcement (UDAP)

• Inclusion other issues

• Focus and program and management (CMS)

• Where should you focus your attention?

Page 2: BLUEPRINT FOR CONSTRUCTING Y A COMPLIANCE PROGRAM

No matter what your bank’s size, refer to CFPB’s Supervision and Examination Manual’s UDAAP section– http://files.consumerfinance.gov/f/201210_

cfpb_supervision-and-examination-manual-v2.pdf

Current UDAAP Hot Topics• Overdraft protection• Ancillary debt products• Identity theft protection• Vendor products• Collection practices• Prepaid cards• Lender placed insurance• PMI

Page 3: BLUEPRINT FOR CONSTRUCTING Y A COMPLIANCE PROGRAM

Current UDAAP Hot Topics

• Products aimed at vulnerable consumers

• Claims of improving a consumer’s credit score

• Zombie debt schemes

• Innovative sources of fee income

• B2B Relationships (e.g., credit bureau)

Fairness Principles• Value

– Consumer receives value that is reasonably related to the cost of theproduct or service

• Predictability– Consumer can predict how the product or service will perform

• Understanding– Consumer understands the terms and conditions of the product or service

(particularly any limitations or exclusions)

• Appropriateness– Provide products that are appropriate for customers and customers can

rely on the bank to show them the most appropriate product

Page 4: BLUEPRINT FOR CONSTRUCTING Y A COMPLIANCE PROGRAM

Value• Is pricing similar to others or is it an outlier?

• Is profit margin in line with other similar products sold by competitors?

• Can the value proposition be clearly articulated to aconsumer or another third party?

• Considering the cost of the product, is it offering a net benefit to the consumer?

• Is consumer feedback incorporated into product changes?

Predictability• From the information provided, can the consumer predict the

performance of the product or service?

• Are fees or penalties timed throughout the lifecycle so that aconsumer can avoid them?

• Is important information (such as exclusions) omitted from product brochures or other written material?

• Do most members receive the essential benefit of the product or service that was promoted or sold?

Page 5: BLUEPRINT FOR CONSTRUCTING Y A COMPLIANCE PROGRAM

Understanding• Are all advertising and marketing written in simple language so that

the average consumer can understand it?

• Is enough information provided in product information anddisclosures to allow the average consumer to clearly understand the terms and conditions?

• Is critical information isolated and/or highlighted to draw members’ attention to factors that should shape their choices?

• If marketing information is provided in a language other than English, are product terms and conditions also provided in that language?

Appropriateness• If the product is specifically aimed at a “vulnerable” consumer segment, is

extra care given to assure understanding and appropriate choices?

• Does the institution strive to offer the consumer products that are appropriate for him or her?

• If the consumer chooses an inappropriate product does the bank explain thatfact to him or her?

• Are product marketing campaigns aimed at appropriate consumers?

• Are sales tools written so that employees will offer appropriate products?

• Are sales incentives designed to avoid encouraging inappropriate sales?

Page 6: BLUEPRINT FOR CONSTRUCTING Y A COMPLIANCE PROGRAM

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Program Development Lifecycle

Identify

Outreach: Talk to business lines for needs assessment and assessment of current/long term goals

Size Up Your Institution: How far will your program extend?Test your institution's UDAAP awareness level – give an idea of resource needs. How complex are products and services?

Address Risk: Determine you risk appetite. Assess the current regulatory environment. Look at complaint data - what are customers saying? Review regulatory agency guidance, commentary,enforcement activity

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Page 7: BLUEPRINT FOR CONSTRUCTING Y A COMPLIANCE PROGRAM

Design

Outreach: Build a design team (Business Lines, Marketing, Legal). Great opportunity to educate while create. Leverage skill sets and become allies in UDAAP compliance

Resources: Plan for progression over time and spend wisely. There will never be enough!

Program Document: Blueprint program; mission statement; objectives; governance/oversight; complaint review/responserisk assessment (new/modified products, recurring high risk review, program risk); training; corrective action; vendor management; control activities

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Outreach: Leverage talent across business lines. Does the build meet design expectations? Use for testing effectiveness during build phase (risk assessment; training)

Resources: Assess resources during build, communicate build to groups

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Define Roles: Who does what? Start with top down Governance; UDAAP Officer, Business lines, Compliance, Legal, Audit. Work in conjunction with UDAAP policy

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Page 8: BLUEPRINT FOR CONSTRUCTING Y A COMPLIANCE PROGRAM

CompleteOutreach: Testing and feedback; stress testing; provide support

Assess: Evaluate controls; is risk adequately addressed; resource allocation

“It’s kind of fun to do the impossible.”Walt Disney

Enhance

Outreach: Assess effectiveness of Program; business lines review of controls; training needs

Size: Re-examine product complexity and long term goals; project resources; business lines needs

Risk: Re-assess regulatory environment; products and services complexity; complaint data

Page 9: BLUEPRINT FOR CONSTRUCTING Y A COMPLIANCE PROGRAM

Policy / Program document Risk assessment

Enforcement action tracking (use as guidance) Consumer fairness forum (UDAAP) Complaint review / escalation

UDAAP dedicated staff (SMEs) Training / detailed examples System for review of products Consider UDAAP guide for bank reference

Corrective action procedures Monitoring/testing, Audit

Toolbox Essentials

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Questions?