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Session #56. Emerging Oversight Issues Merecedes Zajicek Jerry Wallace. Oversight Objectives . Promote program compliance Reduce improper payments Ensure program integrity. Emerging Oversight Issues . Lender Inducements Loan Verification Certificate Loan Consolidations
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Session #56 Emerging Oversight Issues Merecedes Zajicek Jerry Wallace
Oversight Objectives • Promote program compliance • Reduce improper payments • Ensure program integrity
Emerging Oversight Issues • Lender Inducements • Loan Verification Certificate • Loan Consolidations • GA and Collection Agencies • 9.5% Audit Requirements • Personally Identifiable Information (PII) • Guaranty Agency Stability
Lender Inducements • Department guidance • Dear Colleague, FP-07-04, 3/30/2007 • Borrower’s right to choose lender • Electronic Announcement, 9/14/07 • Letter from the Secretary August 9, 2007 regarding proposed regulations • DCL: 95-L-178 March 1995, school lenders to observe prohibitions and limitations • DCL: 89-L-129 February 1989, guidance on prohibited and permissible activities
Loan Verification Certificate • Department Guidance • DCL: FP-07-07/Gen-07-03, 5/22/07 • Completing LVC’s Timely • Facilitates consolidating all loans • Reduces capitalized interest • Lessens likelihood of interest rate changes
Loan Verification Certificate con’t The LVC reviewed by Lenders could disclose • Errors in setting up loans • Loans made to ineligible borrowers • Loans made by or loans sold to ineligible lenders
Loan Consolidations • Marketing of Consolidation loans • Oversight by ELT to ensure that activities of the beneficiary are in compliance with FFEL program rules and regulations
. § 682 203 Responsible parties… • § 682.203 Responsible parties… (b) Trustee responsibility. A lender that holds a loan in its capacity as a trustee assumes responsibility for complying with all statutory and regulatory requirements imposed on any other holders of a loan.
GA and Collection Agencies • Conflict of interest • Examine Pre-claim & post default collection agency relationships • Collection Agency Contracts • Must comply with ED rules and regulations • GA must maintain sufficient oversight to protect integrity of student loan program
§ 682 203 Responsible parties… Delegation of functions. • A school, lender, or guaranty agency may contract or otherwise delegate… • This contracting or other delegation of functions does not relieve the school, lender, or guaranty agency of its duty to comply with the requirements of the Act and this part.
§ 682.416 Requirements • 682.416 Requirements for third-party servicers • Standards for administrative capability • Examine the servicer's compliance with the Act and applicable regulations
§ 682.416 Requirements (Con’t) • Standards of financial responsibility • Examine the servicer's financial management of its FFEL program activities
9.5% Audit Requirements • Department Guidance • DCL: FP 07-01, 1/23/07 • Applicable requirements of the HEA and regulations that control loans acquired with tax exempt funding • DCL: FP-07-06, 4/27/07 • Audit Requirements for 9.5 Percent Minimum Special Allowance Payment Rate
Personally Identifiable Information (PII) • Department Guidance • DCL: GEN-07-05, 9/7/07 • Title IV participants are not subject to Federal FOIA • Consult with legal counsel to ensure compliance with FERPA • NSLDS Access
Guaranty Agency Stability • Agency Reserve levels • Factors: • Recall • Higher risk sharing % • Lower GA fees • GA activities and system changes
Questions and Comments We appreciate your feedback Thank You
Email/Websites • Inducement@ED.gov or Telephone: 646-428-3813 • Loan Verification Certificates LVC.Referral@ed.gov FERPA:http://www.ed.gov/policy/gen/guid/fpco/index.html
Contact Information Contact information: Merecedes Zajicek Phone:312-730-1512 Email: Merecedes.Zajicek@ed.gov Jerry Wallace Phone: 214-661-9515 Email: Jerry.Wallace@ed.gov