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Slide1of 24 1 Federal Reserve Bank of Kansas City 2013 Community Banking Conference Responding to Economic and Regulatory Uncertainty Session 2: Bank vs.

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Presentation on theme: "Slide1of 24 1 Federal Reserve Bank of Kansas City 2013 Community Banking Conference Responding to Economic and Regulatory Uncertainty Session 2: Bank vs."— Presentation transcript:

1 Slide1of 24 1 Federal Reserve Bank of Kansas City 2013 Community Banking Conference Responding to Economic and Regulatory Uncertainty Session 2: Bank vs. Non-bank Issues October 9, 2013 Denver, Colorado

2 Slide2of 24 2 CFPB’s impact on state supervision of State-chartered Banks Non-Banks Only for banks > $10 bil. Most FRB District Ten state regulators examine for safety and soundness and BSA/AML only. Except for BSA/AML, federal compliance supervision for banks < $10 billion done by a bank’s PFR. First federal regulator of consumer financial activities formerly subject to state supervision only. Another dimension of mortgage supervision. State regulators are examining for compliance with federal consumer lending regulations.

3 Slide3of 24 3 CFPB Coordination With PFRs Through the FFIEC. All federal and state regulators are represented on the FFIEC’s Consumer Compliance Task Force. In examining banks > $10 billion. With state regulators Through the State Coordinating Committee (SCC). Coordination of non- bank examinations. Information-sharing agreements, including sharing of examination reports and enforcement info.

4 Slide4of 24 4 The Path to Coordination 2011 MOU: Every state – nearly every regulator Agree to information sharing 2013 Framework: CFPB and CSBS for the States Agree to coordinate supervision on depository and non-depository Coordinated exams to begin 2014 2013 Nationwide Cooperative Agreement for State Governance of Non-Depository Supervision: AARMR, CSBS, MTRA, NACCA, NACARA, NASCUS Creates SCC and implements the Framework

5 Slide5of 24 5 Mortgage Loan Originators For Banks SAFE Act required registration. Lower bar than licensing. Banks approve their own MLO registrants For Non-Banks SAFE Act required licensing. Testing. Education. Credit reports. Criminal history checks. State regulator approves. “Transitioning” from registration to licensing? Could banks be a safe harbor for bad MLO actors?

6 Slide6of 24 6 Other Non-Bank areas of State Supervision Debt collection Foreclosure relief services Money transmission Mortgage-servicing operations Payday lending Securities firms Small loan companies Stored-value cards Student lending Title lending Internet delivery of these financial services?

7 Slide7of 24 7 Other Non-Bank areas of State Supervision

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9 Slide9of 24 9 Other Non-Bank areas of CFPB Supervision Debt collection Foreclosure relief services Mortgage-servicing operations Payday lending Private Student lending Pending larger participant rule for supervision over additional financial services.

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11 Slide11of 24 11 John Munn Director Email: john.munn@nebraska.gov Phone: (402)471-2845john.munn@nebraska.gov www.ndbf.ne.gov 1526 Building, Suite 300 1526 K Street Lincoln, NE 68508-2732


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