1557-0246 Supporting Statement 4-10-19

1557-0246 Supporting Statement 4-10-19.doc

Reverse Mortgage Products - Guidance for Managing Reputation Risks

OMB: 1557-0246

Document [doc]
Download: doc | pdf


Supporting Statement for

OMB Control No. 1557-0246

Reverse Mortgage Products – Guidance for

Managing Reputation Risks



A. Justification.


1. Circumstances that make the collection necessary:


On December 16, 2009, the OCC, FDIC, FRB, and NCUA sought comment on proposed guidance,1 which they subsequently issued in final form on August 17, 2010.2 The guidance focuses on the need to provide adequate information to consumers about reverse mortgage products, to provide qualified independent counseling to consumers considering these products, and to avoid potential conflicts of interest. It also addresses related policies, procedures, internal controls, and third party risk management.


2. Use of the information:


The information collection requirements contained in the guidance address the implementation of policies and procedures, training, and program maintenance as follows:


  • Institutions offering reverse mortgages should have written policies and procedures that prohibit the practice of directing a consumer to a particular counseling agency or contacting a counselor on the consumer’s behalf.

  • Policies should be clear so that originators do not have an inappropriate incentive to sell other products that appear linked to the granting of a mortgage.

  • Legal and compliance reviews should include oversight of compensation programs so that lending personnel are not improperly encouraged to direct consumers to particular products.

  • Training should be designed so that relevant lending personnel are able to convey information to consumers about product terms and risks in a timely, accurate, and balanced manner.


3. Consideration of the use of improved information technology:


Institutions may use any means of improved information technology that meets the requirements of the guidance.




4. Efforts to identify duplication:


To the extent that institutions have existing policies that comply with the requirements of the guidance, no new policies would be necessary.  Generally, recommended policies and internal controls for reverse mortgage products should supplement an institution’s existing loan policies.     


5. If the collection of information impacts small businesses or other small entities, describe any methods used to minimize burden.


There are no alternatives that would result in lowering the burden on small institutions, while still accomplishing the purpose of the guidance.


6. Consequences to the federal Program if the collection were conducted less frequently:


The compliance and reputation risks raised by reverse mortgage lending could not be adequately monitored by the OCC.


7. Special circumstances necessitating collection inconsistent with 5 CFR Part 1320:


Not applicable. This information is collected in a manner consistent with the guidelines in 5 CFR 1320.6.


8. Efforts to consult with persons outside the agency:


On February 5, 2019, the OCC issued a 60-day notice soliciting comment on the collection, 84 FR 1822. No comments were received.


9. Payment to respondents:


Not applicable. There is no payment to respondents.


10. Any assurance of confidentiality:


No assurance of confidentiality is provided.


11. Justification for questions of a sensitive nature:


Not applicable.




12. Burden estimate:

Number of respondents: 15 (14 existing, 1 new).


Burden per respondent:


40 hours to implement policies and procedures and to provide training.


8 hours annually to maintain program.


Burden calculation:


14 existing respondents x 8 hours annually to maintain program = 112 hours

1 new respondent x 8 hours annually to maintain program = 8 hours


1 new respondent x 40 hours to implement policies and procedures and to provide training = 40 hours.


Total estimated annual burden: 160 hours.


A number of OCC institutions have stopped originating reverse mortgages, and no OCC institutions have started originating them. Therefore, the OCC is carrying placeholder burden of one institution for number of new originators, in the event that any begin to originate reverse mortgages.


13. Estimates of annualized costs to respondents:

Not applicable.


14. Estimate of annualized cost to the federal Government:


Not applicable.


15. Change in burden:


There is no change in burden.

16. Information regarding collections whose results are planned to be published for statistical use:


Not applicable. This information will not be published for statistical use.




17. Display of expiration date:


Not applicable.


18. Exceptions to certification statement:


None.


B. Collections of Information Employing Statistical Methods.


Not applicable.




1 74 FR 66652.

2 75 FR 50801.


4



File Typeapplication/msword
File Modified0000-00-00
File Created0000-00-00

© 2024 OMB.report | Privacy Policy