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Australian Consumer Law and the National Credit Law Greg Kirk ASIC, ACCC and Consumer Protection Information Session. 18 November 2010. Agenda. ACL in Financial Services UCT – legal and policy issues ASIC’s regulatory approach New National Credit Laws key elements Responsible Lending
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Australian Consumer Law and the National Credit Law Greg Kirk ASIC, ACCC and Consumer Protection Information Session 18 November 2010
Agenda • ACL in Financial Services • UCT – legal and policy issues • ASIC’s regulatory approach • New National Credit Laws key elements • Responsible Lending • Applying the two new laws, a case study on mortgage exit fees
What does ACL mean for ASIC? • Introduced in 3 tranches • Trade Practices Amendment (Australian Consumer Law) Act (No. 1) 2010 • Trade Practices Amendment (Australian Consumer Law) Act (No. 2) 2010 • Competition and Consumer Legislation Amendment Bill 2010 • A single Australian Consumer Law with multiple regulators • ASIC retains primary responsibility for financial products and services
Unfair contract terms • New provisions in ASIC Act ss12BF-12BM • Main provision - s12BF. A term of a consumer contract is void if: • the term is unfair; • the contract is in standard form; and • it relates to a financial product or supply of financial services.
Which financial products and financial services? • Any financial products and financial services (ASIC Act definition): • Credit • Banking transaction accounts • Investment products? • Except… • General and life insurance • Constitutions of companies, MIS, other bodies.
Meaning of unfair? • A term is unfair if it: • causes significant imbalance in the parties’ rights and obligations; • is not reasonably necessary to protect the legitimate interests of the advantaged party; and • would cause financial or other detriment. • A court must consider transparency and the contract as a whole.
Exclusions • A term is not subject to the UCT provisions if it: • defines the main subject matter of the contract; or • sets the upfront price; or • is required or expressly permitted by law.
Examples of unfair terms • Some potential examples in the legislation: • penalising one party but not the other for breach or termination; • allowing one party unilaterally to determine if there has been a breach or to interpret its meaning; • allowing one party, but not the other, to renew or not renew the contract.
Terms of concern • A term stating:“No officer, servant or agent of the company has any authority to vary, add to or omit any of the terms and conditions of the contract or lease”. • Possible conflict with National Credit Code entitlement to seek hardship variations.
Powers of attorney • Terms relating to powers of attorney • “In the event of default, the Grantor [Buyer] irrevocably appoints the Lender and each officer of the Lender severally its attorney with the power to exercise its powers even if the attorney has a conflict of duty in exercising its powers or has a direct interest in the means or result of the exercise of its powers”. • Extent of lenders ability to negatively influence the financial position of the consumer, above and beyond the level of debt under the loan/lease agreement.
ASIC’s regulatory approach to UCTs • A new tool for use where appropriate in all of our work • A measure for addressing particular identified problems • Possibly different approaches where the questionable term is one off or industry wide • Current work with industry – projects to cut out boilerplate
National Consumer Credit Protection Act • Commenced 1 July 2010 • Key elements • UCCC becomes the NCC • Licensing for all players • Regulation of mortgage brokers • Introduction of Responsible Lending • Mandatory EDR
Responsible Lending • Conduct reasonable inquiries about requirements and objectives • Verify the customer’s financial situation • Assess the customer’s capacity to repay without substantial hardship • Do not offer or suggest credit products that are unsuitable
Responsible Lending: Credit Cards ASIC review of existing practice in relation to credit card issuance and limit increases Survey of 15 card issuers Industry practice – high volume, streamlined, little manual intervention Responsible lending requirements focus on individual assessments Guidance in RG 209
Resources to Assist • www.asic.gov.au/credit • Regulatory Guides and Information Sheets on all key elements • Downloadable Podcasts • Subscribe to credit newsletter • ASIC Infoline – 1300 300 630
Some priorities going forward • Verification audits in relation to license applications • Policing the boundary • Complaints • Emphases in our BAU activities • Debt collection, hardship • Gatekeepers • Entities new to regulation
Issue based work • Mortgage Early Exit Fees • Responsible Lending • credit cards, • short term lending, • home loans especially fringe • Consumer Credit Insurance • Book Up • Debt consolidation
Applying the NCC and the ACL Mortgage Early Exit Fees • Twin Jurisdiction • Section 78 of the NCC: unconscionable establishment fees (s78(3)) and unconscionable “fees payable on early termination” (s78(4)) • Unfair Contract Terms: section 12BF of the ASIC Act 2001
Mortgage Early Exit Fees • 2008 review of mortgage entry and exit fees • ASIC published a report which found that: • early termination fees on mortgages in Australia were high in comparison with the UK and US; • some early termination fees could probably not be justified by the underlying cost to the lender; • but, home loan entry fees in Australia were lower in comparison to those overseas.
Mortgage Early Exit Fees • Regulatory guidance on early exit fees • 27 June 2010: ASIC released Consultation Paper CP 135 seeking stakeholder feedback on how ASIC proposes to administer the NCC and UCT provisions as they apply to mortgage early exit fees. • Consultation period closed on 9 August 2010 • 10 November 2010: Regulatory Guide 220 published setting out ASIC guidance on NCC and UCT provisions.
Mortgage Exit Fees – legal issues • Deferred Establishment Fees - for the NCC are they establishment fees or fees payable on early termination - for the ACL, are they a part of the upfront price • Two routes to the same outcome – fees that reflect losses caused by the early termination
Mortgage Exit Fees Provides guidance about: • what is a fee “payable on early termination”? • Types of costs and losses that may be included in an exit fee • Types of costs and losses which may not be included in an exit fee • The circumstances in which a lender may vary an exit fee • How lenders can explain their early exit fees transparently • Break fees on fixed rate mortgages.
Questions and more information • Complain to ASIC’s infoline 1300 300 630 emailinfoline@asic.gov.au • Joint regulatory guidance on UCT and other guidance forthcoming • Coordinated relationships with fellow regulators