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Payday Bar Association New Orleans

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Payday Bar Association New Orleans 11/5/09 Presented by: Richard P. Eckman, Partner Anatomy of a Lead Generator A lead generator or loan aggregator is a conduit ... – PowerPoint PPT presentation

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Title: Payday Bar Association New Orleans


1
Payday Bar AssociationNew Orleans 11/5/09
Presented by
  • Richard P. Eckman, Partner

2
Anatomy of a Lead Generator
  • A lead generator or loan aggregator is a conduit
    between publishers of information and
    advertisers.
  • Publishers include websites that advertise
    products and services through the use of banner
    ads, pop-ups, emails or text messages.
  • Advertisers sponsor banner ads and provide the
    products and services advertised.
  • A payday lender is an example of an advertiser.

3
Anatomy of a Lead Generator (contd)
  • Lead generators are paid based on a per lead, per
    impression or per action basis.
  • For example, a lead generator could charge a fee
    every time a consumer clicks on a banner ad that
    provides a link to an advertisers website. This
    is an example of a per impression type of fee.
  • Lead generators can track payments owed through
    the use of tracking pixels placed on web
    properties.

4
Anatomy of a Lead Generator (contd)
  • Variations include collecting names of consumers
    that are interested in a particular product such
    as a payday loan using pop-up ads, email
    invitations, or search engine hits.
  • A lead generator may actually obtain a consumers
    name, email address and checking account
    information through this process.

5
Anatomy of a Lead Generator (contd)
  • Once the consumer is exposed to the invitation,
    they are directed to a website owned by the lead
    generator called a landing page.
  • The landing page requires a consumer to
  • agree to the privacy policy of the lead generator
  • confirm their interest in having their data sent
    to a lender
  • fill out a generic loan form that asks for
    certain information about the consumer
  • The first touch of the consumer is by the
    publisher, not the lead generator.

6
Anatomy of a Lead Generator (contd)
  • The lead generator qualifies the lead by
  • making sure all information provided by the
    consumer is complete
  • checks whether the consumer has made multiple
    inquiries
  • checks for fraud, i.e. fraud rings, fraudulent IP
    addresses, etc.
  • Logic checks, i.e. address, city, state and USPS
    deliverability standards
  • Lead generators can have hundreds of landing
    pages.
  • At this point, the lead generator accepts or
    rejects the lead.

7
Anatomy of a Lead Generator (contd)
  • Once accepted, the consumer is automatically
    directed to the lenders website.
  • Lender is identified by a site brand and lender
    asks for additional information.
  • For marketing reasons, the transition to a
    lenders website is often a seemless experience.
  • Consumer completes the application, is provided
    with the appropriate disclosures, and closes the
    transaction.

8
State Regulation of Lead Generators
  • Eleven states require brokers of payday loans
    that broker, arrange or facilitate the
    origination of a payday loan to be licensed or
    registered with a state
  • Alaska, Arizona, California,
    Colorado,
  • Idaho, Illinois, Maine,
    Montana, Oregon,
  • Rhode Island, North Carolina
  • Alaska, Arizona and California laws apply only to
    deferred deposits of checks and therefore by
    their terms do not apply to internet payday loans.

9
State Regulation of Lead Generators (contd)
  • Colorado law applies to deferred deposit or an
    authorization to transfer funds signed by the
    consumer.
  • Montana law applies to loans that include written
    authorizations for a consumer to electronically
    deduct money from a consumers account on a
    specific date for the loan and fees.
  • In North Carolina, a loan broker is required to
    register with the Secretary of State and provide
    state specific disclosures.

10
Brokering Prohibited
  • 15 states and the District of Columbia prohibit
    payday loans
  • Arkansas, Connecticut, Georgia,
    Maryland, Massachusetts, Michigan, New
    Jersey, New York, North Carolina,
    Ohio, Pennsylvania,
  • Texas, Vermont, Virginia, West
    Virginia and
  • District of Columbia
  • 6 states impose criminal penalties for assisting
    in the making of a non-compliant loan
  • District of Columbia,
    Georgia, Texas, Ohio, Pennsylvania
    and Virginia

11
Brokering Prohibited (contd)
  • Unclear whether a lead generator is a broker,
    arranger or facilitator.
  • Most lead generators do not comply with state
    laws in this area. View themselves as finders.
  • Lack of regulatory action
  • Lack of litigation
  • Questionable application of laws
  • Industry as a whole does not register
  • Since lead generators do not know the legal
    residence of the borrower, the holding in Pioneer
    Military Lending v. Manning, 2 F.3rd 280 (8th
    Cir. 1993) may be applicable.

12
Federal Statutory Requirements
  • Fair Credit Reporting Act
  • Is the information collected enough to be a
    consumer report?
  • Limited actions by lead generator may not make
    information collected a consumer report.
  • Possible joint user exception.

13
Federal Statutory Requirements (contd)
  • GLBA
  • Title V of Gramm Leach Bliley Act (GLBA)
  • Is a lead generator a financial institution?
  • If a lead generator is an entity that is
    significantly engaged in any activity that the
    FRB has determined meets the closely related or
    financial in nature test, it is an entity
    subject to the Title V requirements.
  • Providing data processing services, data storage
    or data transmission and acting as a finder may
    apply.
  • Customer relationship or consumer relationship.
  • If customer relationship, greater
    responsibilities.
  • Appears that most lead generators do not have
    customer relationships.

14
Federal Statutory Requirements (contd)
  • Responsibilities limited to providing short form
    privacy policy, right to opt out of providing
    non-public financial information to third
    parties.
  • Under the isolated transaction rule, lead
    generators do not need to wait the 30 days for
    the opt out.
  • Under the data security safeguard rule, lead
    generators must meet certain technical safeguard
    requirements for information security.

15
Federal Statutory Requirements (contd)
  • Federal Can Spam requirements
  • State privacy rules
  • State data security statutes (California and New
    York)

16
Federal Statutory Requirements (contd)
  • Can Spam
  • Applies to email messages whose primary purpose
    is the advertisement or promotion of a commercial
    product or service.
  • Header information cannot be material, false or
    misleading.
  • Must identify the person sending the message.
  • Re lines must accurately reflect the content of
    the message.

17
Can Spam (contd)
  • Recipients must be allowed to opt out of future
    mailings implemented within 10 business days
    after receipt of consumer request to opt out.
  • Reply or opt out must be clearly and
    conspicuously displayed and capable of returning
    emails for at least 30 days after the original
    email is sent.
  • Emails must be clearly and conspicuously labeled
    as advertisements or solicitations.
  • Must include a valid physical postal address of
    the sender in the opt out notice.

18
State Privacy Laws
  • California SB-27 requires certain businesses to
    disclose their information sharing practices with
    their customers who request such information.
  • Data Security and Notification of Security Breach
    Statutes
  • California
  • New York

19
For more information, visit www.pepperlaw.com
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