Information Collection Request

Reporting, Recordkeeping, and Disclosure Requirements associated with Regulation Z (Truth in Lending)

ICR 201412-7100-012 · OMB 7100-0199 · Historical Active

Forms and Documents
DocumentTypeStatusAvailability
2 - RegZ_R1443_HPML_II_201502_omb.pdf Supporting Statement A Uploaded 2015-02-07 Available
IC Document Collections
IC IDCollectionTypeStatusForm
36212 Subpart B - Account opening disclosures Section 226.6 Unchanged
206185 HPML Appraisals Section 226.43 (d),(e)(1),(f)(1) (R-1443) Review & provide a copy additional appraisal Modified
206184 HPML Appraisals Section 226.43 (d),(e)(1),(f)(1) (R-1443) Investigate & verify additional appraisal Unchanged
206183 HPML Appraisals Section 226.43 (c)(1),(e)(1),(f)(1) (R-1443) initial appraisal Unchanged
206182 HPML Appraisals Section 226.43 (c) (R-1443) one-time update Unchanged
200253 Valuation Independence Mandatory Reporting (Section 226.42(g)(1)) (One-time (R1394)) Unchanged
199372 Subpart C: Closed-end Credit Disclosures (Section 226.18 (s)&(t)(1) Ongoing (R-1366)) Unchanged
199371 Subpart C: Closed-end Credit Disclosures (Section 226.18(s)&(t)(1) One-time (R-1366)) Unchanged
197094 Periodic statements Section 226.7 (R-1399 - Annual Threshold adjustment for exempt transactions (226.3(b)(1)(i)))) Unchanged
193825 Subpart E Mortgage transfer disclosure (Section 226.39) Unchanged
191438 Subpart G Internet posting of credit card agreements (college) Section 226.58 Unchanged
189274 Private student loan disclosures (Section 226.46) (R-1353) Unchanged
187388 Reg AA Cosigner disclosure (Section 227.14(b) Unchanged
179781 Advertising Rules (Subparts B & C Sections 226.16 & 226.24) Unchanged
179780 Subpart E - Pre-closing disclosure (Sections 226.31-226.45) Unchanged
179778 Subpart C - Closed-End Credit Disclosures (Section 226.17) Unchanged
179777 Home-Equity Plans (Restrictions Disclosure) (Section 226.5(b) Unchanged
179776 Home-Equity Plans (Applications Disclosure) (Section 226.5(b) Unchanged
179775 Credit and Charge cards Application and Solicitations Section 226.5(a) Unchanged
179774 Error Resolution (Other Open-end Credit) (Section 226.13) Unchanged
179773 Error Resolution (Credit Cards) (Section 226.13) Unchanged
179772 Periodic Statements (Section 226.7) Unchanged
179769 Subpart B - Change-in-terms disclosures Section 226.9(c) Unchanged
ICR Details
7100-0199 201412-7100-012
Historical Active 201303-7100-001
FRS Reg Z (R-1443) HPML (Exemptions)
Reporting, Recordkeeping, and Disclosure Requirements associated with Regulation Z (Truth in Lending)
Revision of a currently approved collection   No
Delegated
Approved without change 02/19/2015
Retrieve Notice of Action (NOA) 02/19/2015
  Inventory as of this Action Requested Previously Approved
04/30/2015 04/30/2015 04/30/2015
8,617,207 0 8,617,550
1,525,822 0 1,525,908
0 0 0

Truth in Lending Act (TILA) and Regulation Z ensure adequate disclosure of the costs and terms of credit to consumers. For open-end credit, creditors are required to disclose information about the initial costs and terms and to provide periodic statements of account activity, notices of changes-in-terms, and statements of rights concerning billing error procedures. The regulation also requires specific types of disclosures for credit and charge card accounts, and home-equity plans. For closed-end loans, such as mortgage and installment loans, cost disclosures are required to be provided prior to consummation. Special disclosures are required of certain products, such as reverse mortgages, certain variable-rate loans, and certain mortgages with rates and fees above specified thresholds. TILA and Regulation Z also contain rules concerning credit advertising.

US Code: 15 USC 1601 and 1604(a) Name of Law: Consumer Credit Protection Act
  
PL: Pub.L. 111 - 203 1400 Name of Law: Dodd-Frank Wall Street Reform and Consumer Protection Act

7100-AD90 Final or interim final rulemaking 78 FR 10368 02/13/2013

  77 FR 54722 09/05/2012
78 FR 10368 02/13/2013
Yes

23
IC Title Form No. Form Name
HPML Appraisals Section 226.43 (c) (R-1443) one-time update
HPML Appraisals Section 226.43 (c)(1),(e)(1),(f)(1) (R-1443) initial appraisal
HPML Appraisals Section 226.43 (d),(e)(1),(f)(1) (R-1443) Investigate & verify additional appraisal
HPML Appraisals Section 226.43 (d),(e)(1),(f)(1) (R-1443) Review & provide a copy additional appraisal
Subpart C: Closed-end Credit Disclosures (Section 226.18 (s)&(t)(1) Ongoing (R-1366))
Subpart C: Closed-end Credit Disclosures (Section 226.18(s)&(t)(1) One-time (R-1366))
Subpart E Mortgage transfer disclosure (Section 226.39)
Subpart E - Pre-closing disclosure (Sections 226.31-226.45)
Home-Equity Plans (Restrictions Disclosure) (Section 226.5(b)
Error Resolution (Other Open-end Credit) (Section 226.13)
Credit and Charge cards Application and Solicitations Section 226.5(a)
Periodic Statements (Section 226.7)
Error Resolution (Credit Cards) (Section 226.13)
Private student loan disclosures (Section 226.46) (R-1353)
Reg AA Cosigner disclosure (Section 227.14(b)
Advertising Rules (Subparts B & C Sections 226.16 & 226.24)
Subpart G Internet posting of credit card agreements (college) Section 226.58
Subpart B - Account opening disclosures Section 226.6
Home-Equity Plans (Applications Disclosure) (Section 226.5(b)
Subpart C - Closed-End Credit Disclosures (Section 226.17)
Subpart B - Change-in-terms disclosures Section 226.9(c)
Periodic statements Section 226.7 (R-1399 - Annual Threshold adjustment for exempt transactions (226.3(b)(1)(i))))
Valuation Independence Mandatory Reporting (Section 226.42(g)(1)) (One-time (R1394))

  Total Approved Previously Approved Change Due to New Statute Change Due to Agency Discretion Change Due to Adjustment in Estimate Change Due to Potential Violation of the PRA
Annual Number of Responses 8,617,207 8,617,550 -343 0 0 0
Annual Time Burden (Hours) 1,525,822 1,525,908 -86 0 0 0
Annual Cost Burden (Dollars) 0 0 0 0 0 0
No
No
On August 8, 2013, a joint notice of proposed rulemaking (NPRM) was published in the Federal Register (78 FR 48548) for public comment to amend Regulation Z, which implements TILA. This NPRM relates to an interagency appraisals final rule issued by the Agencies effective as of January 18, 2014. The interagency appraisal final rule implements a provision added to TILA by the Dodd-Frank Wall Street Reform and Consumer Protection Act (Dodd-Frank Act) requiring appraisals for higher-risk mortgages. For certain mortgages with an annual percentage rate that exceeds the average prime offer rate by a specified percentage, the Final Rule requires creditors to obtain an appraisal or appraisals meeting certain specified standards, provide applicants with a notification regarding the use of the appraisals, and give applicants a copy of the written appraisals used. The Agencies are proposing amendments to the final rule implementing these requirements; specifically, the Agencies are proposing exemptions from the rules for: (1) transactions secured by existing manufactured homes and not land; (2) certain "streamlined" refinancing; and (3) transactions of $25,000 or less. The NPRM comment period expired October 7, 2013. The Agencies received 12 comment letters regarding the NPRM from State credit union trade associations, national credit union trade association, state banking trade associations, small mortgage lenders, and community banking trade associations. On December 26, 2013, a joint notice of final rulemaking was published in the Federal Register (78 FR 78520). The requirements provided in the final rule are substantially similar to those provided in the proposed rule. Compliance with this final rule is effective January 18, 2014.

$0
No
No
No
Yes
No
Uncollected
John Schmidt 202-728-5859 [email protected]

  No

On behalf of this Federal agency, I certify that the collection of information encompassed by this request complies with 5 CFR 1320.9 and the related provisions of 5 CFR 1320.8(b)(3).
The following is a summary of the topics, regarding the proposed collection of information, that the certification covers:
 
 
 
 
 
 
 
    (i) Why the information is being collected;
    (ii) Use of information;
    (iii) Burden estimate;
    (iv) Nature of response (voluntary, required for a benefit, or mandatory);
    (v) Nature and extent of confidentiality; and
    (vi) Need to display currently valid OMB control number;
 
 
 
If you are unable to certify compliance with any of these provisions, identify the item by leaving the box unchecked and explain the reason in the Supporting Statement.
02/19/2015