All in Regulatory Update

On 11/25/2020, the CFPB announced a few enhancements to its website, including a new interactive enforcement database to help the public track the CFPB’s enforcement actions. In their release, the CFPB states that the updated website will feature additional user functionality, an improved layout, more content, and easier access to information. Through these updates, the CFPB intends to increase transparency and make it easier for consumers and stakeholders to locate and access essential resources.

In August, September, October, and November of 2020, the CFPB updated their Filing instructions guide for HMDA data collected in 2021. Updates to this guide are made annually, and there have been several different updates and versions to the FIG so far. HMDA filers will need to be sure to monitor the 2021 FIG to ensure they are using the current version of the guide.

On 11/20/2020, the FDIC, Federal Reserve, and OCC jointly issued an interim final rule to provide temporary relief to certain community banks whose asset size has increased in 2020 due, in large part, to their participation in government programs established in response to the COVID-19 pandemic, such as the Paycheck Protection Program. The interim final rule provides temporary relieve to financial institutions with $10 billion or less in total consolidated assets as of December 31, 2019. According to the OCC’s release, community banks that have crossed a relevant threshold generally will have until 2022 to either reduce their size, or to prepare for new regulatory and reporting standards. The interim final rule is effective immediately, but comments will be accepted for 60 days after publication in the Federal Register.

On 11/19/2020, the Financial Crimes Enforcement Network (FinCEN), in coordination with the Federal Banking Agencies, issued a joint fact sheet for banks to better understand how to apply a risk-based approach to charities and other non-profit organizations, often referred to as NPOs. In their release, the CFPB explains that the joint fact sheet highlights the importance of ensuring that legitimate charities have access to financial services and can transmit funds through legitimate and transparent channels, especially during the current COVID-19 pandemic. The joint fact sheet also reminds banks to apply a risk-based approach to customer due diligence (CDD) requirements when developing the risk profiles of charities and other non-profit customers.

On 11/18/2020, the CFPB issued a number of thresholds for 2021 under Regulation Z, as well as a threshold under Regulation M. First, the CFPB announced that the threshold for exempting loans from special appraisal requirements for higher-priced mortgage loans during 2021 will remain the same as it was in 2020, at $27,200. In addition, the threshold exempting certain loans from the Truth in Lending Act as well as the Consumer Leasing Act in 2021 will continue to apply to consumer credit transaction and consumer lease of $58,300 or less.

On 11/13/2020, the Federal Housing Finance Agency (FHFA) announced that Fannie Mae and Freddie Mac extended several loan origination flexibilities until December 31, 2020. Most recently set to expire on 11/30/2020, the extended flexibilities include:

  • Alternative appraisals on purchase and rate term refinance loans;

  • Alternative methods for documenting income and verifying employment before loan closing; and

  • Expanding the use of power of attorney to assist with loan closings.

On 11/12/2020, the NCUA issued a final rule to amend the NCUA’s corporate credit union regulation. As explained in the Federal Register, the final rule updates, clarifies, and simplifies several provisions of the NCUA's corporate credit union regulation, including: Permitting a corporate credit union to make a minimal investment in a credit union service organization (CUSO) without the CUSO being classified as a corporate CUSO under the NCUA's rules; expanding the categories of senior staff positions at member credit unions eligible to serve on a corporate credit union's board; and amending the minimum experience and independence requirement for a corporate credit union's enterprise risk management expert.

On 11/9/2020, the OCC published their fall 2020 edition of the publication, Semiannual Risk Perspective. In their release, the OCC explains that Banks remain in strong financial condition but profitability is stressed due to low interest rates and increasing levels of provisions for problem loans. As would be expected, the OCC identified credit, strategic, operational, and compliance risks as key themes for financial institutions.

On 11/12/2020, the CFPB issued a notice in the Federal Register seeking comment on a Generic Information Collection titled, “Payday Loan Disclosure Testing” under the Generic Information Collection Plan entitled, “Generic Information Collection Plan for the Development and Testing of Disclosures and Related Materials” prior to requesting the Office of Management and Budget's (OMB's) approval of this collection.

On 11/6/2020, the Financial Crimes Enforcement Network (FinCEN) issued an advisory on the Financial Action Task Force (FATF)-identified jurisdictions with anti-money laundering, combating the financing of terrorism, and the proliferation deficiencies. In short, FATF recently (10/23/2020) updated its list of jurisdictions with strategic deficiencies in their regimes to counter money laundering, terrorist financing, and proliferation financing. These changes may affect US financial institutions’ obligations and risk-based approaches with respect to relevant jurisdictions. FinCEN requests that financial institutions filing a SAR for related activity reference their advisory in SAR field 2 (Filing Instruction Note to FinCEN) and the narrative by including the key term “October 2020 FATF FIN-2020-A009.”