Compliance Blog

Dec 20, 2012
Categories: Consumer Lending

Updates to Adverse Action Notices and Risk Based Pricing Notices Required by January 1, 2013

Written by Michael Coleman, Regulatory Compliance Counsel

Regulation B - Adverse Action Notices

When the CFPB republished Regulation B into 12 CFR 1002, they updated Appendix A to Part 1002 to reflect the address for NCUA’s new Office of Consumer Protection (OCP), which is required to be listed on adverse action notices for credit unions under $10 billion in assets starting January 1, 2013.

The underlying requirement for including the agency address on adverse action notices comes from 12 CFR 1002.9(a)(2) and (b)(1).   

Appendix A to Part 1002  now includes this information for FCUs under $10 billion on assets:

"d. Federal Credit Unions: National Credit Union Administration, Office of Consumer Protection (OCP), Division of Consumer Compliance and Outreach (DCCO), 1775 Duke Street, Alexandria, VA 22314." 

Credit unions over $10 billion in assets need to include the CFPB's name and address:

“1. Banks, savings associations, and credit unions with total assets of over $10 billion and their affiliates: Bureau of Consumer Financial Protection, 1700 G Street NW., Washington DC 20006. Such affiliates that are not banks, savings associations, or credit unions also should list, in addition to the Bureau: FTC Regional Office for region in which the creditor operates or Federal Trade Commission, Equal Credit Opportunity, Washington, DC 20580.”

State-chartered credit unions should check the address on their notices and determine if it matches the FTC address in #9 from Appendix A. 

For additional details, check out this January 13, 2012 blog post

Regulation V - Risk-Based Pricing Notices

Regulation V was also updated when the CFPB republished Regulation V in 12 CFR 1022 and will require the CFPB's website address on risk-based pricing notices after January 1, 2013.  

The requirement comes from 12 CFR 1022.73(a)(1)(viii) which mandates that credit unions provide this on their risk-based pricing notices:

"(viii) A statement directing consumers to the Web site of the Bureau to obtain more information about consumer reports;"

After January 1, 2013 - credit unions need to make sure they have the updated language referencing the CFPB.  Appendix H to Part 1022 has the model forms where you can see the risk-based pricing notice requirements.  

For additional details, check out this June 7, 2012 blog post.

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