Title X of HEOA – What is It? How will it impact the private loan application process, my office and students? Erin Gjerde-Bailey Account Executive The.

Slides:



Advertisements
Similar presentations
Truth in Lending Act (TILA) Requirements for Schools Thursday, February 18 th,2010 Presented by: David Stocker, General Counsel.
Advertisements

© 2013 PASFAA The Value of Private Lender Lists and Keeping It Simple. Nancy Harvey – First Marblehead Julie Moreno Rehder – ELM Resources Robert Sevret.
Navigating Student Loan Disclosures Melet Leafgreen Assistant Director, Loan Programs TCU David Garza Senior Policy Advisor TG Policy and Regulatory Affairs.
Negotiated Rulemaking – What You Need to Know and How You Can Participate David Bergeron U.S. Department of Education 1.
National Association of Student Financial Aid Administrators The following is a presentation prepared for: MASFAA Indianapolis, IN October 6 – 9, 2013.
Courtesy of: The Journey to Your Own Home Made simple… By: Multicultural Marketing Division.
Cash Management and Business Officers Hal Deuser Assistant Bursar Webster University.
Northwest Missouri State University Statement of Consent for Electronic Communication At Northwest Missouri State University we feel very strongly that.
Subcontracts 101 By Mitali Ravindrakumar USC Collaboration between Parties Perform Subcontractor Analysis Sponsor - Fund Project/Subcontr act Negotiate.
U.S. Treasury Efforts to Deliver Federal Benefit Payments Electronically Walt Henderson Director, Electronic Funds Transfer (EFT) Strategy Division Financial.
©2011 Cengage Learning Chapter 11 Processing: DOCS, FUNDING, AND CLOSING By Dr. D. Grogan M.C. “Buzz” Chambers.
MORTGAGE DISCLOSURE IMPROVEMENT ACT MDIA. Today’s Objective LEARN THE IMPORTANCE OF THIS REGULATION TO OUR INDUSTRY AND CONSUMERS LEARN THE IMPORTANCE.
PASFAA 2010 What Schools Need to Know About Private Education Loans 1.
Recent Changes to the Truth In Lending Act: Effects on Private Educational Lenders Presented by: Jason McCarter April 27, 2010.
Session 32 Student Loan Consumerism Gail McLarnon U.S. Department of Education.
CONSUMER CREDIT LEGISLATION Carl Johnson Financial Literacy Jenks High School.
PRIVATE LOANS: To PLAy or Not to PLAy. Disclaimer The information contained in this presentation is not comprehensive, is subject to change based on additional.
What You Need to Know……Higher Education Opportunity Act (HEOA) Presented by: Chuck Parker Vice President- Sales and Training Sallie Mae This session will.
Private Education Loans Options for Educating Borrowers & Families.
Changes to Regulation Z Loan Officer Compensation The content of this communication is not intended for consumer use or for distribution to any third party.
TILA-RESPA INTEGRATED DISCLOSURE (TRID) RULE Effective August 1, 2015
© 2015 Ticor Title Know before you close. 1 © 2015 Ticor Title Your CFPB readiness partner – every step of the way Know before you close. An Introduction.
© 2012 Cengage Learning. Residential Mortgage Lending: Principles and Practices, 6e Chapter 15 Closing and Delivery; Quality Control and Fraud.
Retail New TILA and RESPA Requirements Effective 7/30/2009 This information is not intended or should be construed as legal advice. Please consult your.
FAMILY EDUCATIONAL RIGHTS AND PRIVACY ACT Electronic Signatures This work is the intellectual property of the author. Permission is granted for this material.
Session #32 Student Loan Consumerism Gail McLarnon U.S. Department of Education Brent Lattin Federal Reserve Board.
Instructions for VCU’s Internal Approval Form Form is required to obtain Authorized Official’s signature on proposals and awards OSP – 8/2006.
1 © 2015 Fidelity National Title Group. 2 What is the CFPB?  CFPB Stands for the CONSUMER FINANCIAL PROTECTION BUREAU  It is an Independent Bureau within.
1 HOEPA Does Math High Cost Mortgage Rules Regulation Z - Section 32 Calculations.
TILA-RESPA Integrated Disclosures Setting the Stage – Understanding Changes, Managing Expectations and Creating Opportunities.
Financial Aid 101. Step 1: Apply Apply for Financial Aid by completing a Free Application for Federal Student Aid (FAFSA) Make sure to include the Title.
 Funded by the US government  Apply by completing the Free Application For Federal Student Aid {FAFSA} online at  Complete the application.
Session #29 Foreign Schools R2T4 Greg Martin Byron Scott U.S. Department of Education.
Update on Affiliate Sharing Rules April 26, 2007.
The Consumer’s Guide to TRID
National Association of Student Financial Aid Administrators Presents… John Kolotos Carney McCullough US Department of Education CASH MANAGEMENT Current.
Presented by: Heather Ward and Jason Cook Date: October 28, 2011 Presented by: > Proprietary and Confidential. For FAA Use Only. The Value of Private Loan.
For FAA Use Only Higher Education Opportunity Act Overview of Title X Private Student Loan Transparency & Improvement Act Presented by: Cherrie Champie.
© 2012 ELM Resources – Confidential Not for Distribution The Value of Private Lender Lists and Keeping It Simple Julie Moreno Rehder – ELM Resources Michael.
IN CONCERT ILLINOIS ASSOCIATION OF STUDENT FINANCIAL AID ADMINISTRATORS ANNUAL CONFERENCE April 8 – 10, 2015 Embassy Suites, East Peoria, IL.
H IGHER E DUCATION O PPORTUNITY A CT (HEOA) Confidential and proprietary information © 2010 Sallie Mae, Inc. All rights reserved. Missouri Association.
Cost Principles – 2 CFR Part 200 Subpart E U.S. Department of Education.
John Gritts Recertification. Regulations: Sec 498(g) and (h) of the HEA 34 CFR (b) and (f) FSA Handbook Volume 2 – School Eligibility and Operations.
National Association of Student Financial Aid Administrators Presents… Pamela Moran, Program Specialist, U.S. Department of Education Mary Miller, Regional.
PREFERRED LENDER LISTS: To PLAy or Not to PLAy. Disclaimer The information contained in this presentation is not comprehensive, is subject to change based.
Electronic Signatures in the SFA Loan Programs Electronic P-Notes Presented by Jeff Baker & Kay Jacks.
2 Session 19 FFELP Update PLUS MPN 3 Dear Colleague Letter GEN Posted to IFAP on February 7, 2003 Transition Period PLUS MPN may be used for Federal.
© 2015 Universal Service Administrative Company. All rights reserved. Direct BEAR Payment Process E-rate Program Applicant Training Washington DC Tampa.
MASFAA Government Relations Committee Christine McGuire, Boston University Bernard Pekala, Boston College.
1 * C O N F I D E N T I A L * Duplication and/or distribution of this document without prior written approval from BofI is strictly prohibited.
1 Presented by: Lori Seuch, MEFA & Betsy Mayotte, American Student Assistance Title X November 5, 2009.
2 Federal Perkins Loan Program Regulatory & Management Update.
2 Federal Policy Update 3 Budget - Fiscal Year 2003  Discretionary Budget –Across-the-Board 0.65% Reduction –Pell Grant Maximum - $4,050 –FSEOG – 5%
Melissa Haberman Associate Dean, Student Financial Support Services Madison College MASFAA 2015 Conference #myMASFAA.
Final Rule 2002 Presented by: Betsy Mayotte American Student Assistance MASFAA, November 2002.
Cash Management Notifications And Authorizations.
Session #39 Gainful Employment Disclosures and Template Demonstration Jessica Finkel Cynthia Hammond Elise Miller U.S. Department of Education.
1 TILA-RESPA Integrated Disclosures TRID Presented By: These materials are presented for informational purposes only and are not intended to constitute.
Expectations and Accountability in Regional Accreditation Ellie A. Fogarty, EdD – Vice President Debra G. Klinman, PhD – Vice President Middle States Commission.
Return of Title IV (R2T4) The basics of R2T4 plus a look at the rules for programs offered in modules.
NCHER Legislative Conference Washington, DC Federal Update February 2, 2016 Annmarie Weisman, Office of Postsecondary Education.
STUDENT FINANCIAL SERVICES Graduate Financial Aid Information Session Debbie Davis, Assistant Director of Graduate Financial Aid.
Orientation Fall Overview Fall To Do List Student Center Financial Aid Student Refunds Student Financial Account Payment Options Student Refunds.
An Introduction to the CFPB
Financial Responsibility Agreements with Students
RESPA-TILA Regulation
I-9 Instructions and FAQs
Student Loan Consumerism Gail McLarnon U.S. Department of Education
Some of the Big tress in the forest
Loan Submission Guide.
Presentation transcript:

Title X of HEOA – What is It? How will it impact the private loan application process, my office and students? Erin Gjerde-Bailey Account Executive The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

1 Discussion Agenda  Overview of Title X  NEW Disclosures w/Key Points  NEW Private Education Loan Applicant Self- Certification Form w/Key Points  School Involvement  Questions to Ask Private Loan Lenders  Appendices & Resources The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

2 Title X Overview  Title X of the HEOA is entitled the “Private Student Loan Transparency and Improvement Act of 2008”  Amended Regulation Z of TILA (Truth in Lending Act)  Result of a collaborative effort between Federal Reserve Board (FRB) and ED  Focus on the CONSUMER – assure that the best interests of the consumer/student is being served  Effective date for compliance is February 14, 2010  Requires a private education lender to:  Present three new disclosures at specific times during the private loan application process  Follow rules around acceptance, rescinding and re-disclosure  Collect a private loan self-certification form prior to disbursing funds The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

3 Title X Overview  A private education loan–(§140 of the TILA)  Is a non-title IV loan provided by a private educational lender expressly for postsecondary educational expenses  Does not include an extension of credit under an open-end consumer credit plan or secured by real property  Does not include an extension of credit in which the educational institution is the lender if:  The extension of credit is 90 days or less  Interest will not be applied to credit balance and term is one year or less, even if payable in more than 4 payments  Co-branding language (Similar to CCRAA language)  Private Education Lenders cannot use the name, emblem, mascot, or logo of the institution or affiliate or pictures, words or symbols identified with the institution or affiliate in the marketing of private education loans in a way that implies the loan is offered or made by the institution or affiliate The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

4 Disclosures The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

5 Background  The regulations require lenders to provide three new disclosures for all private loan products  Application and Solicitation Disclosure  Approval Disclosure  Final Disclosure  Disclosures were designed as a result of extensive testing with consumer focus groups  Purpose of disclosures are to…  Present the terms/costs of the loan in a clear and consistent manner  Allow for comparison shopping and reevaluation of borrowing a private loan during the application process  Present lower cost federal options  Reduce overall borrower indebtedness During the following series of slides I plan to present the timing and unique aspects of each disclosure The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

6 Application Disclosure  Presented with or on an application or at time a solicitation is made  Lender is required to mail an application disclosure within 3 days after a phone application is taken and credit is pulled  Provides general information about the range of rates, fees and other terms that apply The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

7 Application Disclosure  Also includes information on federal loan options with directions to contact the financial office or Department of Education (all disclosures will include this section) The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

8 Approval Disclosure  Presented when a lender is prepared to make a firm offer (conditionally approved/approved) and contains terms extended The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

9 Approval Disclosure  Borrower has 30 calendar days to accept offer made by lender  Disclosure can be mailed or presented electronically  Mailed disclosures are required to provide an additional 3 business days to account for mail time  Disclosure must state the acceptance date deadline and the manner in which the lender requires the borrower to accept the terms of the loan  A lender can allow the borrower to accept the terms of the loan by mail, phone or electronically (cannot be sole form of acceptance) However, electronic communication can be sole means of acceptance when the consumer has already indicated a willingness to communicate electronically by consenting to and receiving a disclosure electronically, pursuant to the E-Sign Act. The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

10 Approval Disclosure  Lenders are prohibited from changing the terms of the loan, except for changes based on adjustments to the index, during the acceptance period  Exceptions: Fraud or if an extension of credit would be prohibited by law  Re-disclosure would not be required if there would be any “unequivocally beneficial” changes to the loan such as reduced interest rate or loan amount The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

11 Final Disclosure  Presented to borrower after the loan has been accepted and 3 business days before the loan is disbursed (3 additional business days if mailed) – loan funds may not be disbursed during this period  The type of information disclosed in Final Disclosure is identical to Approval Disclosure except for Right to Cancel Notice  Disclosure must clearly note the borrower’s right to cancel and state the cancellation deadline and method lender accepts for cancellation The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

12 Key Points  The lender is responsible for presenting the new disclosures to applicants at the appropriate time within their application process – burden/responsibility does not fall on school  Loan funds may not be disbursed until the day after the right to cancel period ends  Lenders will need to re-disclose disclosure(s) if there is a change that is considered materially adverse to the applicant  Schools will want to be conscious of the right to cancel period that is triggered by the Final Disclosure when certifying loans and scheduling disbursements  FAOs may want to review school scheduled disbursement dates setup with their CDA The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

13 Private Education Loan Applicant Self-Certification Form The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

14 Background  Regulations require lenders collect a Private Loan Self-Certification Form prior to disbursing any private loan funds  Self-certification form can be received anywhere within the application process  Lenders or schools can provide the self-certification form to applicants  Electronically and/or paper  The same exact federal form will be used by all lenders and schools  Consistent with the Disclosures, the purpose of the self-certification form is to…  Present lower cost federal options that should be exhausted prior to considering a private loan  Direct students to the financial aid office for counseling  Reduce overall borrower indebtedness by having student calculate gap During the following series of slides I plan to review various sections of the self-certification form and the responsibilities of the school, lender and borrower The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

15 Private Education Loan Applicant Self-Certification Form  Final version published on February 14, 2010  Section 1 contains notice to applicant  Lower-cost aid options  Directs students to financial aid office for counseling and financial data to complete form  At the request of the applicant, the school is required to provide counseling  Top right section of the form can be used by lender The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

16 Private Education Loan Applicant Self-Certification Form  Section 2 of the form asks for financial data so the applicant can calculate the gap  School is required to make this information available to private loan applicants (if available)  This data needs to be student specific and accurately depict the student’s cost and financial aid picture at the time the form is completed  Lender is not required to validate data or use the calculated gap as the amount the student is requesting to borrow The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

17 Private Education Loan Applicant Self-Certification Form  Section 3 asks for applicant’s demographic information  Student name and DOB fields must be completed if applicant is not the student  No unique identifier to assist lender in matching up form with application  Section 4 asks the applicant to certify the accuracy of the information provided by signing the form  Form can be signed and returned to lender electronically (e-sign) or with wet signature (fax or mail) The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

18 Key Points  Applicant is required to complete one new requirement before loan funds can be disbursed – Self-Certification Form  Schools can provide lenders with the requested information so that a pre-populated form can be provided to the applicant  As a general rule, the self-certification form should not be returned to a lender until the application is initiated  Financial aid office is likely to see an increase in phone calls and walk-ins due to self-certification form  Impact of proposed amendment to H.R (Wall Street Reform and Consumer Protection Act)??? The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

19 School Involvement How your office wants to educate students regarding the private loan self-certification requirement will depend on your office’s philosophy and/or need for private loans  Reactive approach – sensitive to increasing awareness of private loans  Provide directions when office is contacted by student  One off s  Require counseling  Proactive approach – minimize number of phone calls and/or walk-ins to the financial aid office  Award package/letter, FAMS and IVR  Lender materials/application instructions Lender materials/application instructions  Private loan lender listing or school private loan request form  Vanderbilt (example) Vanderbilt  Ole Miss (example) Ole Miss  University of North Dakota (example) University of North Dakota  Online tutorials (website)  Ferris State University (example) Ferris State University The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

20 Questions to Ask Private Loan Lenders  When and how will you make the private loan self- certification form available to borrowers?  How do you plan on collecting the private loan self- certification form? What options are available to the school to send the form/data on behalf of the borrower?  What impact do these new regulatory requirements have on your credit-pull policy?  When do you plan on requesting school certification (before or after you receive the self-certification form)? What options may exist? The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

21 Questions to Ask Private Loan Lenders  Will there be any outstanding borrower stipulations (i.e. additional disclosure requirements) that need to be met after we receive a certification request that could further delay disbursement?  When and how do you plan on presenting the Final Disclosure to the borrower (i.e. offered online, via direct mail, etc)?  How many days after the Final Disclosure is presented will funds be available for disbursement? The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

22 Questions The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

23 Appendices The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

24 Application Disclosure (front) The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

25 Application Disclosure (back) The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

26 Approval Disclosure (front) The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

27 Approval Disclosure (back) The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

28 Final Disclosure (front) The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

29 Final Disclosure (back) The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

30 Private Education Loan Applicant Self-Certification Form (front) The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

31 Private Education Loan Applicant Self-Certification Form (back) The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.

32 Resources  Federal Register and model disclosure forms and samples:  Implementing New TILA Disclosures with Institutional and Non-Title IV Federal Loans  What to expect during the private student loan application process  NACUBO – Truth in Lending Act Compliance Checklist LA_Compliance_Checklist_Available.html  The final Applicant Self-Certification Form  Ferris State University online tutorial  Proposed amendment to H.R. 4173:  NCHELP e-Library  HEOA  P.L , integrated HEA, side-by-side analysis documents:  Regulations  NPRM, Final Rule, integrated regulations, side-by-side analysis documents: The information contained herein is for informational purposes only and is not legal advice or a substitute for legal counsel.