On Jan. 13, the Consumer Financial Protection Bureau (CFPB) issued a “Statement Regarding the Provision of Financial Products and Services to Consumers with Limited English Proficiency (LEP)." The statement encourages financial institutions to expand services to LEP consumers who often face barriers such as language access issues when obtaining credit.
In comments responding to the RFI, financial institutions expressed a need for further guidance on how to expand their products and services to LEP consumers while staying compliant. The CFPB received comments regarding concerns of potential fair lending risks under ECOA and potential UDAAP risks when stakeholders decide how and in what languages to offer products and services. For example, with hundreds of languages spoken in the United States, comments expressed concerns of prioritizing services in one language over another, and what factors may be considered in those decisions.
Additional comments asked the CFPB to clarify that institutions unable to provide support in other languages besides English are not in violation of ECOA, and that offering support in only some but not all non-English languages would not be considered an unfair, deceptive, abusive, or discriminatory practice. Some stakeholder groups suggested that the CFPB provide more translated documents and notices. Other comments asserted that verbal interpretation via telephone is a more effective short-term solution to improving services for LEP consumers.
In response to the feedback, the statement emphasizes the CFPB’s duty under the Dodd-Frank Act to ensure “fair, equitable and nondiscriminatory access to credit.” The CFPB encourages financial institutions to better serve LEP consumers, while remaining compliant with applicable legal requirements. To achieve this goal, the CFPB suggests that financial institutions may consider:
The CFPB recommends specific considerations to help financial institutions mitigate ECOA, UDAAP, and other legal risks when developing compliance solutions related to serving LEP consumers. When considering whether to provide non-English language services, the CFPB recommends that a financial institution consider documented and verifiable information such as U.S. Census Bureau demographics. Local demographics may help regional institutions decide to provide language services that differ from what would be provided by a more national focus. Product and service selection and language preference collection and tracking is also recommended to improve needed services and “facilitate communication with LEP consumers in non-English languages.”
The statement also emphasizes that financial institutions must follow federal and state law requirements for providing consumers with translated documents and must ensure the accuracy of the translations. Further, the CFPB recommends that financial institutions implement a compliance management system (CMS) that can document policies and procedures, and monitor services and consumer complaints.
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