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1 Understanding the Elegant Math Behind Modern Machine Learning 1:14:43
An Even Deeper Dive into the CFPB’s Final Dodd-Frank Section 1071 Rule on Small Business Data Collection
Manage episode 374512250 series 2440870
The CFPB’s final rule implementing Section 1071 requires financial institutions to collect and report certain data in connection with credit applications made by small businesses, including women-, minority- or LGBTQI+-owned small businesses. In this episode, we respond to questions received from attendees of our April 2023 attendance-breaking webinar about the final rule. The issues our responses address include: what is a “covered transaction” and distinguishing business/consumer purpose transactions; determining the applicable compliance date, applying the “grace period,” and pre-compliance date data collection; which originations must be reported, which are excluded, who has reporting obligations in multiple party transactions such as indirect auto loans, and identifying who is a small business; reliance on broker-collected data and data collection when small business status is uncertain; complying with data segregation and “firewall” requirements; reporting issues for securities-backed loans; CFPB identification/treatment of underperforming originators; and data to be publicly disclosed and CFPB approach to data analysis. We also discuss the preliminary injunction issued by a Texas federal court staying the rule’s compliance dates for the plaintiffs only and how other entities subject to the rule have reacted.
Alan Kaplinsky, Senior Counsel in Ballard Spahr’s Consumer Financial Services Group, leads the discussion joined by John Culhane and Richard Andreano, partners in the Group, and Loran Kilson and Kaley Schafer, associates in the Group.
128 에피소드
Manage episode 374512250 series 2440870
The CFPB’s final rule implementing Section 1071 requires financial institutions to collect and report certain data in connection with credit applications made by small businesses, including women-, minority- or LGBTQI+-owned small businesses. In this episode, we respond to questions received from attendees of our April 2023 attendance-breaking webinar about the final rule. The issues our responses address include: what is a “covered transaction” and distinguishing business/consumer purpose transactions; determining the applicable compliance date, applying the “grace period,” and pre-compliance date data collection; which originations must be reported, which are excluded, who has reporting obligations in multiple party transactions such as indirect auto loans, and identifying who is a small business; reliance on broker-collected data and data collection when small business status is uncertain; complying with data segregation and “firewall” requirements; reporting issues for securities-backed loans; CFPB identification/treatment of underperforming originators; and data to be publicly disclosed and CFPB approach to data analysis. We also discuss the preliminary injunction issued by a Texas federal court staying the rule’s compliance dates for the plaintiffs only and how other entities subject to the rule have reacted.
Alan Kaplinsky, Senior Counsel in Ballard Spahr’s Consumer Financial Services Group, leads the discussion joined by John Culhane and Richard Andreano, partners in the Group, and Loran Kilson and Kaley Schafer, associates in the Group.
128 에피소드
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1 Will the State Attorneys General and Other State Agencies Fill the Void Left by the CFPB? 1:05:01

1 Alan Kaplinsky’s “Fireside Chat” with Matthew J. Platkin, New Jersey Attorney General 29:39

1 The Impact of the Election on the CFPB: What to Expect with Supervision and Enforcement During Trump 2.0 41:35

1 Alan Kaplinsky’s “Fireside Chat” with Kathy Kraninger, Former Director of the CFPB During Trump 1.0 1:00:05

1 The Impact of the Election on the CFPB: What to Expect on Key Regulatory Issues During Trump 2.0 56:15

1 Alan Kaplinsky’s “Fireside Chat” with Former CFPB Leader David Silberman: His Experience During the Prior Transition from the Obama Administration to Trump 1.0 38:07

1 Consumer Federation of America (“CFA”) Speaks Out About CFPB’s and FTC’s Direction During the Trump Administration 1:04:50

1 A Look at the FTC’s Click-to-Cancel Rule, with James Kohm, Associate Director of Enforcement Division of the FTC’s Bureau of Consumer Protection 51:36

1 Post-Election Insights: Impacts on the Banking and Consumer Financial Services Industry 1:03:03

1 An Empirical Study of Boilerplate in Consumer Contracts 1:00:24

1 Should Congress Create a New Federal Charter for Non-Bank Payments Companies? 54:23

1 CFPB’s Proposed Mortgage Servicing Rule Amendments: Understanding the Impact on Loss Mitigation, Foreclosure, and Language Access 54:49

1 State Fair Access and Debanking Laws Bring Country’s Political and Cultural Divisions to the Fore 1:20:18

1 How the CFPB Is Using Interpretive Rules to Expand Regulatory Requirements for Innovative Consumer Financial Products; Part Two—Earned Wage Access 42:19

1 How the CFPB Is Using Interpretive Rules to Expand Regulatory Requirements for Innovative Consumer Financial Products; Part One - Buy-Now, Pay-Later 42:05

1 The Regulation of Negative Option Consumer Contracts – Silence as Consent 59:33

1 Have State-Chartered, FDIC-Insured Banks Finally Achieved Interstate Usury Parity with National Banks? 1:05:44

1 Regulators Escalate Focus on the Risks of Bank Relationships with Fintechs and Other Third Parties 55:16



1 The Cantero Opinion: The Supreme Court Leaves National Bank Preemption in Limbo 1:03:38

1 The CFPB’s Registry of Nonbanks and Circular that Certain Contract Terms Violate Law 58:26

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