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Thursday, July 11, 2019

Compliance Management System - Exam Readiness

QUESTION
I hope you can help us. We are a bank in the southwest. I am the compliance manager. Recently, we were notified that the FDIC took issue with our compliance management system. I am not making excuses, but we do not have much staff here – really, it’s mostly me! – and providing everything the regulator is asking of us is kind of overwhelming. The CFPB also advised that we show “significant weaknesses” in our compliance management. All of this has to do with our readiness and overall compliance program. I have two questions. 

First, I heard that you offer an inexpensive review of the compliance management system. Can you please tell me about it and send me information? 

And, secondly, I need to know what to read and how to get our compliance program in shape. Where do I start? Our next review is in 90 days, and I want to be ready. Any feedback you offer will be appreciated!

ANSWER
I understand your situation. We received your inquiry a few days ago and, considering the urgency, I have prioritized it for this week's FAQ. The CFPB has spent considerable resources in the enforcement and examination of a financial institution’s Compliance Management System (“CMS”). The Bureau has certainly gotten people’s attention with a myriad of highly publicized consent orders. Since it began issuing such orders in 2011, the CFPB has often used the “significant weaknesses” terminology to describe the integrity of a compliance program, notwithstanding that these findings are usually accompanied by alleged violations of certain federal consumer financial laws. You do not mention a specific area, department, or function, but deficiencies regularly are cited against entities engaged in credit card lending, mortgage lending, auto lending, payday lending, check cashing services, payment processing, collections, and other financial activities.

It can seem at times overwhelming, and even exasperating, to be sure that your firm meets all the CMS compliance requirements – especially if staffing, resources, and research depth may limit the fulfillment of the regulator’s expectations. Whatever the case, you need to be ready to evaluate three interdependent elements: Board and management oversight; the compliance program itself; and the auditing of the compliance program.

So, to your first question about getting prepared for the CMS examination, that is why we developed the CMS Tune-up!™ We pioneered this approach because (1) it is cost-effective, (2) it provides actionable findings, and (3) it is conducted quickly and concisely. You receive a report, with findings and a risk rating. In fact, the CMS Tune-up!™ is designed to act like an actual examination. This means you prepare for the forthcoming examination effectively.

Download the presentation for the CMS Tune-up!™ HERE or download it from the sidebar on the right.

Indeed, considering the urgency, please schedule an appointment with me HERE

Or, send me an email HERE. Please do not delay.

Your financial institution should establish a formal, written, ratified compliance program, if you have not already done so. In addition to being a planned and organized effort to guide compliance activities, the written program represents an essential source document that serves as a training and reference tool for all employees. A well-planned, implemented, and maintained compliance program may prevent or at least reduce regulatory violations and provide cost efficiencies. In any event, it is mandatory for safety and soundness.

To be ready for the examination, you must be sure that you meet the examination guidelines for policies and procedures, training, monitoring, and consumer complaint response. The following questions should be at the forefront of your self-assessment.