Federal Register - October 4, 2021

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Source: Federal Register

54788

Federal Register / Vol. 86, No. 189 / Monday, October 4, 2021 / Notices
Institutions Act of 1994 to include the Small Dollar Loan Program 12 U.S.C.
4719. Through the SDL Program, the CDFI Fund provides grants for loan loss reserves and technical assistance to enable award recipients to establish and maintain small dollar loan programs to address the issues of expanding consumer access to mainstream financial institutions and providing alternatives to high-cost small dollar loans. The SDL Program is also intended to enable award recipients to help unbanked and underbanked populations build credit, access affordable capital, and allow greater access into the mainstream financial system.
Through the SDL Program, the CDFI
Fund will provide:
Grants for Loan Loss Reserves LLR:
The awards will enable a Certified Community Development Financial Institution CDFI to establish a loan loss reserve fund in order to defray the costs of establishing or maintaining a small dollar loan program.
Grants for Technical Assistance TA:
The awards will support technology, staff support, and other eligible activities to enable a Certified CDFI to establish and maintain a small dollar loan program.
SDL Program Award Recipients are selected through a competitive process involving a careful review of their Application for program funding. The Application requires the submission of numeric data and narrative responses for two parts: Part 1: Business Strategy and Community Impact and Part 2:
Organization Capacity, including Financial Analysis and Compliance Risk Evaluation. The Award selection process is described in the Notice of Funds Availability NOFA for each funding round.
This request for public comment relates to the SDL Program Application Form under OMB control number 1559
0051. Capitalized terms not defined in this Notice other than titles have the meaning set forth in the fiscal year FY
2021 SDL Program NOFA.
Estimated Number of Respondents:
100 Application.
Estimated Annual Time per Respondent: 68 hours Application.
Estimated Annual Burden Hours:
5,493 hours Application.
Request for Comments: Comments submitted in response to this Notice will be summarized and/or included in the request for Office of Management and Budget approval. All comments will become a matter of public record and may be published on the CDFI Fund website at https www.cdfifund.gov.
The CDFI Fund is seeking input on the content of the Application with
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regard to the following: a Whether the collection of information as proposed is necessary for the proper performance of the functions of the agency, including whether the information shall have practical utility in evaluating Applications; b the accuracy of the agencys estimate of the burden of the collection of information; c ways to enhance the quality, utility and clarity of the information to be collected; d ways to minimize the burden of the collection of information on respondents, including through the use of technology; and e estimates of capital or start-up costs and costs of operation, maintenance and purchase of services required to provide information.
Additionally, the CDFI Fund specifically requests comments concerning the following questions:
1. What, if any, Application questions and tables are redundant or unnecessary?
2. What, if any, questions or tables should be added to ensure collection of relevant information?
3. Does the data and information requested in the Application allow an Applicant to adequately explain its business strategy, community impact and ability to meet the program objectives?
4. In the FY 2021 SDL Program Application, the CDFI Fund stated that LLR Awards may be made in amounts up to 20% of the Applicants three-year projected total of Small Dollar Loans closed, not to exceed $350,000. Is the 20% cap too high or too low? If so, please describe and justify.
5. The FY 2021 SDL Program Application states that the Awards will not be made to organizations that engage in the Prohibited Practices listed in the NOFA. Are the Prohibited Practices reasonable? Should any of the listed Prohibited Practices be modified or removed? Are there Prohibited Practices that should be added to the list? Please describe and justify your responses to these sub-questions.
6. The CDFI Fund will prioritize funding for Applications that propose to offer small dollar loan programs that include any of the following prioritized lending practices and characteristics: i Offer small dollar loan terms that are at least ninety 90 days; ii use ability to repay underwriting that considers the borrowers ability to repay a loan based on both the borrowers income and expenses; iii make loan decisions within one business day or twenty-four 24 hours after receipt of required documents; iv offer a reduction in the borrowers loan rate if the borrower elects to use automatic debit payments;

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v offer automatic savings features that are built into the regularly-scheduled payments on a loanprovided that the resulting payment is still affordableor, at a minimum, loans that can be structured so that, subject to the borrowers consent, payments continue for a period of time after the loan is repaid with all of the payments going into a savings vehicle; and vi offer access to financial education, including credit counseling. Are the prioritized lending practices and characteristics reasonable? Should any of the listed prioritized lending practices and characteristics be modified or removed?
Are there prioritized lending practices and characteristics that should be added to the list? Please describe and justify your responses to these sub-questions.
7. Are any of the questions particularly burdensome or difficult to answer? If so, please be specific as to the type of CDFI e.g., regulated, non-profit that finds it difficult.
8. Are the character limitations for narrative responses appropriate? Should certain questions allow additional or fewer characters? If so, please specify.
9. Are there questions that lack clarity as to intent or purpose? If so, which questions, and what needs to be clarified in order for Applicants to provide a comprehensive response?
10. The Application includes questions about the intended impact of an Applicants small dollar lending strategy. a How should the CDFI Fund assess the impact of SDL Program Awards on Low-Income Families and communities? b The CDFI Fund has identified a set of impacts for Applicants to choose in the Application see FY 2021 SDL Program Application Question 7. c. Are the current impact choices sufficiently comprehensive? Are there impacts that should be added or modified?
11. The statute governing the SDL
Program states that there are three eligible Applicant types. Per the Statute, Applicants can be either a a Certified CDFI that applies individually for an LLR Award or for a TA Award or for a combination of an LLR Award and TA
Award; or b a Certified CDFI that applies as a partnership with a federally insured depository institution that has a primary mission to serve targeted Investment Areas FIDI for an LLR
Award or c a Certified CDFI that applies as a partnership with two or more Certified CDFIs for a TA Award.
The CDFI Fund has two questions related to these different Applicant types: i Are additional questions or revisions to existing questions needed in the Application to further clarify and differentiate the three eligible Applicant
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Federal Register - October 4, 2021

TitoloFederal Register

PaeseStati Uniti

Data04/10/2021

Conteggio pagine223

Numero di edizioni7798

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