{"id":9503,"date":"2013-08-25T14:40:14","date_gmt":"2013-08-25T14:40:14","guid":{"rendered":"https:\/\/considerchapter13.org\/?p=9503"},"modified":"2013-08-25T14:40:14","modified_gmt":"2013-08-25T14:40:14","slug":"speaking-of-the-consumer-financial-protection-bureau","status":"publish","type":"post","link":"https:\/\/considerchapter13.org\/2013\/08\/25\/speaking-of-the-consumer-financial-protection-bureau\/","title":{"rendered":"Speaking of the Consumer Financial Protection Bureau . . ."},"content":{"rendered":"

\"cfpb\"<\/a><\/p>\n

FOR IMMEDIATE RELEASE:\u00a0 <\/b>August 21, 2013<\/p>\n

CONSUMER FINANCIAL PROTECTION BUREAU EXAMINERS FIND MORTGAGE SERVICING PROBLEMS AT BANKS AND NONBANKS<\/b><\/p>\n

CFPB Report Also Finds Many Nonbanks Lack Robust Compliance Systems <\/i><\/p>\n

WASHINGTON, D.C.<\/b> \u2014 Today the Consumer Financial Protection Bureau (CFPB) issued a report detailing mortgage servicing problems at banks and nonbanks. The report also found that many nonbanks lack robust systems for ensuring they are following federal laws.<\/p>\n

\u201cOur examinations of banks and nonbanks allow us to correct problems before more consumers are affected,\u201d said CFPB Director Richard Cordray. \u201cToday\u2019s report highlights both the mortgage servicing problems throughout the industry and the challenges of making sure that nonbanks are following federal law. Fixing both is a priority for us.\u201d<\/p>\n

The Supervisory Highlights report is available at: http:\/\/files.consumerfinance.gov\/f\/201308_cfpb_supervisory-highlights_august.pdf<\/b><\/a><\/p>\n

Under the Dodd-Frank Wall Street Reform and Consumer Protection Act (Dodd-Frank), the CFPB supervises depository institutions and credit unions with total assets of more than $10 billion, and their affiliates. The Bureau also has authority to supervise nonbanks regardless of size in certain specific markets: payday lenders; private education lenders; and mortgage companies including originators, brokers, and servicers. For other nonbank markets for consumer financial products or services, the CFPB has the authority to supervise \u201clarger participants.\u201d As directed by Dodd-Frank, the Bureau must define such larger participants by rule. To date, the Bureau has issued rules for the debt collection and credit reporting markets.<\/p>\n

Today\u2019s report is part of a series of supervision reports that the CFPB issues regularly. It highlights examination work completed between November 2012 and June 2013.<\/p>\n

Mortgage Servicing Problems<\/b><\/p>\n

Since the CFPB launched its supervision program, it has focused much of its work on mortgage servicing. Mortgage servicers are responsible for collecting payments from mortgage borrowers on behalf of loan owners. They also typically handle customer service, escrow accounts, collections, loan modifications, and foreclosures. In supervising both bank and nonbank servicers, CFPB examiners have uncovered problems that can be harmful to consumers. These include:<\/p>\n