Wanda Hall, Edfinancial Services - PowerPoint PPT Presentation

1 / 59
About This Presentation
Title:

Wanda Hall, Edfinancial Services

Description:

1. Wanda Hall, Edfinancial Services. Laura Kowalski, TG. Nancy Masten, Great Lakes ... of if the loan was in repayment, grace or in-school status at the time ... – PowerPoint PPT presentation

Number of Views:175
Avg rating:3.0/5.0
Slides: 60
Provided by: timfitz
Category:

less

Transcript and Presenter's Notes

Title: Wanda Hall, Edfinancial Services


1
NCHELP Webinar New Regulations
  • Wanda Hall, Edfinancial Services
  • Laura Kowalski, TG
  • Nancy Masten, Great Lakes
  • Lynn Murphy, EAC
  • Vicki Shipley, NCHELP

2
Agenda
  • 2007 Negotiated Rulemaking (Neg Reg)
  • November 1, 2007 Final Regs effective July 1,
    2008 (Master Calendar)
  • Dont forget to read the preamble
  • 2008 Neg Reg
  • Questions and Answers

3
2007 Neg Reg Topics
  • Simplification of the Deferment Process
  • Accurate and Complete Copy of a Death Certificate
  • Total and Permanent Disability (TPD) Discharge
  • NSLDS Reporting Requirements
  • Certification of Electronic Signatures on MPNs

4
More 2007 Neg Reg Topics
  • Record Retention Requirements on MPNs assigned
    to the Department
  • Loan Counseling for Grad PLUS Borrowers
  • Maximum Loan Period
  • Prohibited Inducements
  • Eligible Lender Trustees
  • Frequency of Capitalization on Consolidation Loans

5
Still More
  • Loan Discharge for False Certification as a
    Result of Identity Theft
  • Preferred Lender Lists
  • CCRAA Self-implementing Items
  • Temporary Interest Rate Reduction for Undergrad
    Subsidized Stafford
  • Economic Hardship Deferment
  • Military Deferment

6
School FFEL Loan Certification
  • A school may NOT
  • Refuse or delay certification based on a
    borrowers choice of lender or guarantor
  • Assign lender to first-time borrower
  • Refuse to certify or certify a reduced amount
    except on a case-by-case basis, documented, and
    reason must be provided in writing to the
    borrower
  • Includes school as lender

7
School Preferred Lender List
  • Allows school to have such a list, which
  • Cannot deny borrowers choice of lender
  • Must contain at least three unaffiliated
    lenders
  • Cannot cause any unnecessary certification delays
    for borrowers not using lender on PLL
  • Must be updated annually
  • School with a list must provide certain
    disclosures to borrowers

8
School Preferred Lender List
  • A lender is affiliated with another lender if
  • The lenders are wholly or partly owned
    subsidiaries of the same parent company
  • The lenders are owned or controlled by the same
    entity or individuals or
  • The directors, trustees, or general partners of
    one of the lenders constitute a majority of the
    persons holding similar positions with the other
    lender

9
School Preferred Lender List
  • Developing PLL
  • Disclose method/criteria for lender selection
  • Provide comparative borrower benefits offered by
    listed lenders
  • PLL must prominently state that use of any of the
    schools preferred lenders not required


10
Inducements
  • Retains quid pro quo requirement
  • Provides non-exhaustive list of prohibited
    activities
  • Provides exhaustive list of permissible activities

11
Inducements
  • Regulations introduce 3 new tools for
    anti-inducement enforcement
  • Rebuttable presumption
  • Expansion of FTC Holder Rule
  • Claim/guarantor review of inducement practices


12
Prohibited Inducements
  • The activities on the prohibited list are only
    prohibited if they are tied to loans, loan
    volume, or placement on a school's preferred
    lender list since you can't have an improper
    inducement without intent.

13
Prohibited Inducements
  • Similarly, it is still okay for a bank
    participating in the FFELP to extend benefits to
    a school in connection with a product
    line/service unrelated to student-aid, as long as
    it is not tied to loans, loan volume, or
    placement on a school's preferred lender list.

14
Prohibited Activity Examples
  • Payment of points, premiums, payments or other
    inducements
  • Payments or other benefits provided to student at
    a school who acts as the lenders representative
  • Payments or other benefits to a loan solicitor or
    sales rep of a lender who visits a school to
    solicit individual borrowers

15
Prohibited Activity Examples
  • Payment to another party or any other party of
    referral or processing fees, except to comply
    with Federal or State law
  • Payment of conference or training registration,
    transportation, and lodging costs, for an
    employee of a school or school-affiliated
    organization

16
Prohibited Activity Examples
  • Payment of entertainment expenses, including
    expenses for private hospitality suites, tickets
    to shows or sporting events, meals, alcoholic
    beverages, and any lodging, rental,
    transportation, and other gratuities related to
    lender-sponsored activities for employees of a
    school or a school-affiliated organization

17
Prohibited Activity Examples
  • Staffing services to a school, except for
    services provided to participating foreign
    schools at the direction of the Secretary, as a
    third-party servicer or otherwise on more than a
    short-term, emergency basis, and which is
    non-recurring, to assist a school with financial
    aid-related functions

18
Lender Permissible Activities
  • The activities on the permitted list are
    permitted even if they are tied to loans or loan
    volume, or undertaken to obtain a PLL listing.


19
Permissible Activity Examples
  • Support of and participation in a schools or a
    guaranty agencys student aid and financial
    literacy-related outreach activities, excluding
    in-person school required entrance or exit
    counseling, as long as the name of the entity
    that developed and paid for any materials is
    provided to the participants and the lender does
    not promote its student loan or other products

20
Permissible Activity Examples
  • Meal, refreshments, and receptions that are
    reasonable in cost and scheduled in conjunction
    with training, meeting, or conference events if
    they are open to all training, meeting, or
    conference attendees
  • Items of nominal values to schools,
    school-affiliated organizations, and borrowers
    that are offered as a form of generalized
    marketing or advertising, or to create good will

21
Permissible Activity Examples
  • Other benefits to a borrower
  • Repayment incentive program that requires, at a
    minimum, one or more scheduled payments to
    receive or retain the benefit or
  • Loan forgiveness program for public service or
    other targeted purposes approved by the Secretary
    (may not market to secure loan applications or
    loan guarantees)

22
Guarantor Permissible Activities
  • Default aversion activities approved by ED
  • Meals and refreshments in connection with
    guarantor-provided training of program
    participants and elementary, secondary, and
    postsecondary school personnel

23
Guarantor Permissible Activities
  • Travel and lodging costs to facilitate the
    attendance of school staff
  • For training or service facility tours
  • To participate in the activities of an agencys
    governing board, a standing official advisory
    committee, or in support of other official
    activities of the agency

24
E-signed Promissory Notes
  • Upon assignment to ED, guarantor must provide the
    name and location of the entity in possession of
    original e-signed MPN
  • Lender must retain e-note for 3 years after all
    loans are satisfied
  • If loan is assigned to ED, lender must cooperate
    with requests for affidavits, testimony, etc.

25
E-signed Promissory Notes
  • Contents of Affidavit
  • Steps followed by borrower in signing note (flow
    chart)
  • Screen Shots as appeared to borrower
  • Field edits other security measures to ensure
    data integrity
  • Preservation of note to ensure no alterations
  • Authentication and Electronic Signature Process
  • Timeframe for response 10 business days

26
E-signed Promissory Notes
  • Applies to all e-loans in existence - not just
    those signed after July 1, 2008
  • Screen Shots - Retain documentation and templates
    that applied for specific periods of time
    document any changes

27
E-signed Promissory Notes
  • Requirements are for lender that created the
    original e-Note, not necessarily the current
    holder of the Note
  • Related issue - Going forward lenders must
    provide disbursement records. Make sure process
    is in place prior to July 1, 2008.

28
E-signed Promissory Notes
  • NCHELP Operations Committee Considerations
  • DACS developed a supplemental process (to be
    exchanged prior to point of assignment)
  • Proposal sent for community comment on 4/23/2008
  • Only a small number of claim paid accounts are
    assigned to ED

29
E-signed Promissory Notes
  • Supports current Industry Standards
  • E-sign Indicator a Y indicates this note was
    signed electronically. If the note was not
    signed electronically, this field is left blank
  • E-sign custodial ID A 9-character field that
    includes the type of organization that captured
    the electronic signature and the organizations
    OPE ID or NCHELP assigned ID
  • Allowable codes are L for Lender, O for Guarantor
    or Lender Servicer, and G for Guarantor

30
Identity Theft Discharge
  • For discharge, must be a judicial determination
    that conclusively determines that the individual
    is the victim of the crime of identity theft
    committed by a specific individual named in the
    determination
  • Court must conclude that the specific elements of
    the crime have been proven

31
Identity Theft Discharge and FACT Act
  • Regulations do not preempt the FACT Act
    provisions regarding ID theft
  • Lender must suspend credit bureau reporting and
    grant forbearance (up to 120 days) during
    investigation
  • Not retroactive, but ED will take into
    consideration any prior due diligence lapses due
    to conflicts in HEA vs. FACT Act

32
Identity Theft Discharge and FACT Act
  • If loan does not qualify for discharge, but is
    unenforceable, lender must notify credit bureau,
    stop collecting interest benefits, SAP, and
    return any monies received
  • If, within 3 years lender receives court verdict
    of criminal ID theft, lender may submit a claim
    and receive the interest subsidy and SAP that
    would have accrued

33
Identity Theft Discharge
  • NCHELP Operations Committee Considerations
  • A new claim type of ID will be implemented
  • A Claim Form Addendum-Ineligible
    Borrower/Identity Theft is currently in
    development and will be required with the ID
    claim type
  • A new NSLDS Claim Reason Code of ID will also
    be implemented

34
Death Discharge
  • Allows guarantor to use accurate and complete
    copy of death certificate
  • Recommended trigger "Effective for death
    discharge requests filed by the lender based on
    determinations or re-determinations of eligible
    photocopies on or after July 1, 2008, unless
    implemented earlier by the lender on or after
    November 1, 2007"

35
Total and Permanent Disability Discharge
  • Requires a three-year prospective conditional
    discharge period that begins on date physician
    certifies discharge application
  • Allows borrower to remain TPD eligible
  • If a loan was certified prior to the date the
    physician certified the application and a loan
    disbursement is made after that date, and
  • The disbursement is returned within 120 days from
    the date of the disbursement

36
Total and Permanent Disability Discharge
  • States that borrower has 90 days from date
    physician certifies application to submit it to
    loan holder
  • Provides for refund of payments made after date
    physician certifies borrowers application

37
Simplification of Deferment Process
  • Final rules allow, but do not require, a holder
    to grant a deferment based on the determination
    of another loan holder
  • Borrower still must request the deferment
  • Deferment dates within or a subset
  • Per ED, lender not allowed to use simplified
    process

38
CCRAA Stafford Interest Rate Changes
  • Reduces fixed interest rate for undergraduate
    subsidized Stafford loans (FFELP and Direct) from
    6.8 to 3.4 over 4 years
  • 6.0 on or after 7/1/2008, and before 7/1/2009
  • 5.6 on or after 7/1/2009, and before 7/1/2010
  • 4.5 on or after 7/1/2010, and before 7/1/2011
  • 3.4 on or after 7/1/2011, and before 7/1/2012
  • 6.8 on or after 7/1/2012

39
CCRAA Deferment Changes
  • Economic hardship deferment (HRD)
  • Changes definition of economic hardship for
    purposes of deferment from 100 of the poverty
    line for a family of two to 150 of the poverty
    line applicable to the borrowers family size
  • Effective October 1, 2007

40
CCRAA Deferment Changes
  • Military service deferment (MIL)
  • Removes 3-year limit on military deferment and
    extends deferment for 180 days following
    demobilization
  • Available to FFELP, Direct, and Perkins
    borrowers, regardless of date loan was disbursed
  • Effective October 1, 2007

41
CCRAA Deferment Changes
  • Military post active duty student deferment
  • New 13-month deferment for borrower returning
    from active duty, and who was enrolled in an
    eligible institution prior to being called or
    ordered to active duty or was enrolled within six
    months of being activated
  • Effective October 1, 2007

42
2008 Neg Reg Topics
  • Income-based Repayment Plan (IBR)
  • Conforming Economic Hardship Deferment with IBR
  • Public Service Loan Forgiveness
  • Definition of Not-for-Profit Holder

43
More 2008 Neg Reg Topics
  • Harmonizing HEROES Waivers with Other Benefits
    Provided to Returning Active Duty Military
  • Federal Preemption of States Laws Related to
    improper inducements

44
Income-Based Repayment
  • New repayment option available 7/1/2009 for
    borrowers experiencing partial financial
    hardship
  • Eligibility and minimum monthly payment is
    re-evaluated annually
  • Government pays the interest on qualifying
    subsidized Stafford loans for not more than 3
    years (not counting periods of Economic Hardship
    deferment)

45
Income-Based Repayment
  • The repayment period can extend beyond 10 years
    regardless of the amount of the eligible debt but
    not beyond 25 years
  • Payment application order different
  • interestgtcollection costsgtlate chargesgtprincipal
  • Includes a loan forgiveness provision after
    experiencing a partial financial hardship and 25
    years of eligible payments

46
Income-Based Repayment
  • Any loan amount that is cancelled may be taxable
    in the calendar year it is cancelled
  • Additional disclosure requirements
  • IBR may not always be the best/lowest repayment
    option for a borrower should consider impact of
    eligibility for an Economic Hardship deferment

47
Income-Based Repayment
  • POSSIBLE new data elements will likely need to
    track or maintain for future use
  • Minimum and maximum payment amounts
  • Unpaid accrued interest for purposes of billing
    special allowance
  • 36 month counter for unpaid accrued interest on
    subsidized Stafford
  • If borrower consolidates unused portion would
    carry over with underlying loan to consolidation
    loan

48
Income-Based Repayment
  • POSSIBLE new data elements will likely need to
    track or maintain for future use (cont.)
  • Start point of 25 year period and projected
    ending
  • Potential for any payment made on/after July 1,
    2009 to count toward 300 required payments
  • Calculated partial financial hardship payment of
    zero counts as eligible payment
  • Borrower permitted to pay ahead but forgiveness
    may not occur until reach 25th year

49
Income-Based Repayment
  • POSSIBLE new data elements will likely need to
    track or maintain for future use (cont.)
  • 25 years of payments (300 payments)
  • Payment history or counter of eligible payments
    would need to carry over to the guarantor in
    cases where loan assigned to guarantor. If
    subsequently repurchased or rehabilitated,
    information would need to flow back to lender.

50
Economic Hardship Deferment
  • Debt-to-income criteria
  • Currently a borrower is eligible for HRD if
  • Employed full time,
  • Total loan debt is equal to or greater than 20
    of monthly income, and
  • Monthly income minus loan payments leaves
    borrower with no more than 220 of the larger of
  • Federal Minimum Wage rate, or
  • The poverty level income for a family of two for
    borrowers State
  • Effective July 1, 2009, debt-to-income ratio
    calculation is eliminated

51
Public Service Loan Forgiveness
  • New loan cancellation provision for Direct Loan
    borrowers not in default who
  • Have made 120 monthly payments on an eligible
    loan starting after 10/1/2007
  • Must have been employed full time by public
    service organization or Americorps position
    during the entire repayment period
  • Can be employed by private organization if it
    does public service work
  • Effective 7/1/08, FFEL borrowers may consolidate
    (including a consol) into the DL consolidation
    program to get this benefit but ALL payments must
    have been in DL

52
Military Deferments
  • Harmonizing of HEROES waivers into regulations
  • Lenders able to grant military service deferment
    for up to one year without supporting
    documentation
  • Request for deferment can come from borrower or
    borrowers representative

53
Military Deferments
  • Post Active Duty Student Deferment
  • If borrower eligible for both 180 day deferment
    extension (military service deferment) and
    13-month post-active duty student deferment,
    period apply concurrently
  • If borrower returns to school after deployment,
    eligibility for this deferment ends regardless of
    if the loan was in repayment, grace or in-school
    status at the time of activation

54
Military Deferments
  • Adds new mandatory forbearance
  • Up to one year
  • Members of National Guard who qualify for
    post-active duty student deferment but who are
    not eligible for military service deferment
    because duty is active State duty

55
Electronic Resources
  • The Project on Student Debt
  • A new Web page for borrowers on IBR and Public
    Service Loan Forgiveness can be accessed at
    www.ibrinfo.org

56
Electronic Resources
  • NCHELP e-Library
  • Loan issues and general provisions Final Rules,
    and side-by-side analysis documents can be
    accessed at
  • www.nchelp.org/elibrary/index.cfm?parent1904
  • A selected summary of the Senate and House
    reauthorization bills can be accessed at
    www.nchelp.org/elibrary/index.cfm?parent1944

57
Electronic Resources
  • Department of Education (ED)
  • 2007-08 Negotiated Rulemaking for Higher
    Education can be accessed at www.ed.gov/policy/hi
    ghered/reg/hearulemaking/ 2008/index2008.html

58
HR 5715
  • NCHELP will host a webinar to review and discuss
    the provisions of HR 5715, the Ensuring Continued
    Access to Student Loans Act. The webinar is
    currently scheduled for the week of June 9th.
  • Watch for details in the Daily Briefing.

59
Thank You!
Write a Comment
User Comments (0)
About PowerShow.com