| FDIC Affordable Small-Dollar Loan Guidelines
The purpose of these guidelines is to encourage
financial institutions to offer small-dollar credit
products that are affordable, yet safe and sound.
Because such products are in great demand, the FDIC
would like to raise awareness that some institutions
have found ways to offer them in a cost-effective,
safe and sound manner that is responsive to customer
needs. Furthermore, such products offered in a
responsible, safe and sound manner will warrant
favorable Community Reinvestment Act (CRA)
consideration.
These guidelines explore several aspects of product
development, including affordability and
underwriting. They also discuss tools, such as
financial education and savings, that may address
long-term financial issues that concern borrowers.
Demand for Affordable, Reasonably Priced
Small-Dollar Loans – An Opportunity for Financial
institutions
The widespread repeat use of fee-based overdraft
programs and the growth of payday lending1 confirm
that loans in small-dollar amounts are in strong
demand. Consumers who make use of these products are
bank customers because both products typically
require consumers to have a checking account.
Providing more reasonably priced small-dollar loans
to existing customers can help banks retain these
customers and avoid the reputation risk associated
with high-cost products.
In addition, affordable short-term loan programs,
particularly those offered to low- and
moderate-income individuals and in low- and
moderate-income areas, may be used as a marketing
vehicle to tap into the underbanked market. This
strategy has been pursued by some financial
institutions as one important part of a profitable,
long-term, multiple account relationship for these
individuals that may also include financial
education, workplace financial services, individual
development savings accounts, foreign remittances,
and other services.
Applicability of Subprime Lending Guidance to
Affordable Small-Dollar Loan Programs
The FDIC recognizes that an affordable small-dollar
loan program may target customers who have poor or
limited credit histories, or who would otherwise be
characterized as subprime borrowers. However, the
interagency Expanded Guidance for Subprime Lending
Programs2 limits the definition of subprime lending
as a program with an aggregate credit exposure
greater than or equal to 25 percent of Tier 1
capital. Accordingly, affordable small-dollar loan
programs that fall under the 25 percent of Tier 1
capital threshold would not be expected to provide
the additional capital or robust monitoring and
portfolio analysis called for in the Subprime
Guidance. Given the nature of affordable
small-dollar loan programs, the FDIC expects that
such programs typically would fall under this
threshold.
Features of Responsible, Affordable Small-Dollar
Credit Programs
Some small-dollar loan programs are designed for the
broad base of customers. Others are targeted to
certain markets, such as low- and moderate-income
customers, the under-banked, or customers with a
limited or non-existent credit history. Still other
programs are developed to address the regulatory
expectation articulated in prior guidance that
financial institutions monitor customer use of
products such as fee-based overdraft programs and,
when usage becomes excessive, offer or refer a
customer to a more suitable product.3 The goal of
all of these programs is to enable insured
institutions to tap into an underserved and
potentially profitable market while helping
consumers avoid, or transition away from, reliance
on high-cost debt.
The goal of safe and sound small-dollar credit
programs is to provide customers with credit that is
both reasonably priced and profitable for the
institution. Fundamentally, credit should be
provided in a manner that offers borrowers a
meaningful opportunity to repay debt based on their
circumstances and other outstanding obligations.
Where closed-end credit is offered, it should also
be structured to be repaid in affordable
installments within a specified period. Where
open-end credit is offered, products should be
structured to require minimum payments of interest
and principal that provide for the reduction of the
outstanding loan over a reasonable timeframe. New
products should be appropriate for the group of
customers targeted, as well as compliant with all
applicable laws.4
Over time, borrowers should be able to improve their
credit histories and graduate to other more
significant asset-building loans, such as home
mortgages and small business loans. Some standard
products, such as lines of credit and closed-end
installment loans, can be offered with features that
make them particularly responsive to borrower needs.
Affordability and Pricing
Lenders are encouraged to offer credit products with
interest rates and fees that reflect associated
risks, but remain affordable. To maintain a
reasonable annual percentage rate (APR) and cover
administrative and other expenses, an origination
fee that bears a direct relationship to origination
costs might be assessed. However, to help ensure
that borrowers reduce outstanding principal, lenders
are encouraged to minimize or eliminate charges such
as annual fees, membership fees, advance fees, and
prepayment penalties.
Pricing may vary depending on the risk profile of
the target group. For example, a number of
institutions have developed affordable small-dollar
credit programs with APRs that range between 12
percent and 32 percent with no or low fees. We
encourage lenders to offer small-dollar credit with
APRs of 36 percent or less.
Encouraging Principal Reduction
Institutions are encouraged to structure payment
programs in a manner that fosters the reduction of
principal owed. For closed-end products, loans
should be structured to provide for affordable and
amortizing payments. Open-end products should
require minimum payments that pay off principal.
However, excessive renewals of a closed-end product,
or the prolonged failure to reduce the outstanding
balance on an open-end loan, are signs that the
product is not meeting the borrower’s credit needs.
Streamlined, Risk-Based Underwriting
Many consumers turn to payday loans and overdraft
programs because these products are easily
accessible and generally are more widely promoted
than other more traditional, affordable loans. For
many borrowers with emergency or other short-term
needs, accessibility and expediency in the
application process are important.
Effective small-loan products balance the need for
quick availability of funds with the fundamentals of
responsible lending. Sound underwriting criteria
should focus on a borrower’s ability to repay a
loan. Given the small-dollar amounts of each
individual loan, documenting the borrower’s ability
to repay could be streamlined significantly for
existing customers and may only need to include very
basic information, such as proof of recurring
income.
Insured institutions have the advantage of a
pre-established relationship with most of the
customers who now rely on non-bank lenders for
short-term, high-cost credit. Community banks often
know their customers’ credit needs because of
frequent personal contact and awareness of the local
economic situation. Relying on this internally
obtained information can be particularly helpful not
only in increasing application turnaround, but in
assisting consumers with little or no credit history
obtain credit that they both need and can repay.
Maximization of Technology and Automated Processes
Institutions may also rely on various automated
programs that provide information on client usage of
the bank’s products and services, generating
performance profiles that are useful in underwriting
decisions. The use of existing platforms and
technologies can lower the cost of providing
small-denomination credit and make such programs
economically feasible for insured institutions. For
example, a bank could establish a line of credit
facility at the time a deposit account is opened, to
be subsequently activated upon proper maintenance of
the deposit account relationship for a specified
period, for example, six months. Some financial
institutions with successful small-dollar loan
programs use existing automated telephone banking
systems, in-branch automated underwriting, and
online applications for quicker, less expensive
service. Finally, voluntary preauthorized transfers
may help borrowers make regular payments.5
Savings Component
Institutions may consider structuring small-dollar
loan programs to include a savings component. For
instance, borrowers could be required to set aside a
percentage of the amount that they borrow in a
designated savings account. The funds in this
account can serve as a pledge against the loan, as
permitted by law, and withdrawals from the savings
account can be restricted to require authorization
by a lending official. This approach encourages
borrowers to create savings that lessen their
reliance on short-term financing to meet unexpected
needs. From the institution’s perspective, it helps
cultivate a banking relationship in which other
financial services can be offered to the customer in
the future. Some banks may choose to combine the
borrowers’ funds with matching funds from a
nonprofit or public agency through an Individual
Development Account.
Collaboration with Other Financial Institutions and
Organizations
Collaboration with other financial institutions or
organizations, both for-profit and not-for-profit,
may assist a financial institution to develop and
implement a small-dollar loan program for its
community. Some lenders have received grants from
larger institutions to create loan loss reserves in
an effort to provide more lending power to their
small-dollar loan programs. Others rely on referrals
from community organizations to identify borrowers.
Some have developed alliances with alternative
financial service providers in an effort to reach
out to the unbanked and underbanked, with the aim of
transitioning these individuals to asset-building
products and more mainstream banking services.
Financial Education
Improving financial skills can help consumers reduce
reliance on short-term credit. Moreover,
institutions that monitor borrower use of credit and
offer financial counseling or education when signs
of financial stress are detected will help them
become better bank customers and improve long-term
customer relationships.
Financial institutions may wish to work with
non-profit agencies and organizations that provide
financial education training, such as reputable
consumer credit counseling agencies. Budget
management is an important strategy for borrowers.
With it, they can eliminate unnecessary spending and
focus their attention on meeting their financial
obligations and saving for future expenditures.
Community Reinvestment Act Consideration for
Small-Dollar Loan Programs
Establishing a loan program in a bank’s assessment
area that provides small, unsecured consumer loans
that are consistent with these guidelines would
warrant favorable consideration under the CRA as an
activity responsive to the credit needs of the
community.6
Conclusion
Affordable small-dollar loans are in demand. Many
consumers turn to payday or other lenders because
they are accessible and can quickly provide loans.
Yet, the inability to repay these short-term,
high-cost credit products often exacerbates a
customer’s ability to meet cash flow needs.
Financial institutions can provide the same service
with more appropriate loan terms and at a lower
cost, and some institutions have found creative ways
to do so. The FDIC encourages institutions to
consider opportunities for offering innovative,
reasonably priced products that meet this need.
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1 Payday loans are short-term loans, generally less
than $500, for which a borrower has given a check
postdated to the borrower’s next payday, when the
full balance of the loan is due.
2 See Subprime Lending: Expanded Guidance for
Subprime Lending Programs, FIL-9-2001 (January 31,
2001), http://www.fdic.gov/news/news/press/2001/pr0901a.html.
3 The federal financial institution regulatory
agencies have recommended that when overdraft
protection is used excessively, customers should be
informed of other credit products that may be better
suited to their needs. See Joint Guidance on
Overdraft Protection Programs, FIL-11-2005 (Feb. 18,
2005), http://www.fdic.gov/news/news/financial/2005/fil1105.html#body.
4 Products offered to covered military service
members and their dependents must comply with the
limitations found in the Talent-Nelson Amendment,
enacted as section 670 of the John Warner National
Defense Authorization Act for Fiscal Year 2007. The
Talent Amendment establishes a number of limitations
on extensions of credit to covered service members
and their dependents, including restrictions on
interest, types of security, prepayment penalties
and other terms and conditions. The Talent Amendment
becomes effective on October 1, 2007.
5 Pursuant to Federal Reserve Board Regulation E,
which addresses Electronic Fund Transfers, borrowers
cannot be required to make payments in this manner
unless credit has been extended under an overdraft
credit plan. See 12 C.F.R. 205.10(e).
6 See Interagency Questions and Answers on the
Community Reinvestment Act, 66 Fed. Reg. 36619,
36631, Sec.345.22(a)-1 (July 12, 2001), http://www.fdic.gov/news/news/financial/2001/fil0164.html.
The federal banking agencies confirmed that
establishing loan programs that provide small,
unsecured consumer loans in a safe and sound manner
(i.e., based on the borrower’s ability to repay) and
with reasonable terms may warrant favorable
consideration as activities that are responsive to
the needs of the institution’s assessment area(s).
While this clarification refers to the CRA lending
test for large institutions (institutions with
assets over $1 billion), the FDIC takes a similar
view for all other institutions.
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