ECOA & Advertising: What’s the Connection? (2024)

By Lindsey Neal

With Fair Lending top of mind for regulators and lenders alike, it is essential to understand the regulatory underpinnings of this legal concept. Two regulations are used to enforce Fair Lending – the Fair Housing Act and the Equal Credit Opportunity Act (ECOA). While the Fair Housing Act applies specifically to residential mortgage lending, ECOA applies to all creditors and all types of lending. Given ECOA’s broad reach and impact on financial services – including advertising – it’s worth digging deeper into this particular regulation.

The Basics

In short, ECOA prohibits creditors from engaging in practices intended to discriminate or exclude otherwise creditworthy consumers based on:

  • Race;
  • Color;
  • Religion;
  • National origin;
  • Sex;
  • Marital status;
  • Age (provided the applicant has the capacity to contract);
  • The fact that all or part of the applicant’s income derives from a public assistance program; or
  • The fact that the applicant has in good faith exercised any right under the Consumer Credit Protection Act.

These restrictions apply to multiple aspects of the lending process, including consumer requests for information, evaluation of credit applications, extensions of credit, notifications and furnishing of credit information, among others.

Where ECOA Meets Advertising

The word “advertising” only appears three (3) times in the current version of this rule and official interpretation. Yet, the Department of Justice (DOJ) and the Consumer Financial Protection Bureau (CFPB) rely heavily on ECOA when pursuing violations related to advertising, particularly § 1002.4(b), which states:

A creditor shall not make any oral or written statement, in advertising or otherwise, to applicants or prospective applicants that would discourage on a prohibited basis a reasonable person from making or pursuing an application.

The CFPB’s official interpretation of this paragraph notes that this includes “the use of words, symbols, models or other forms of communication in advertising that express, imply, or suggest a discriminatory preference or a policy of exclusion in violation of the Act.” The interpretation goes on to explain that advertising intended to encourage members of “traditionally disadvantaged groups” to apply for credit, especially those “that might not normally seek credit from that creditor,” is permissible under ECOA. As special-purpose credit programs increasingly enter the affordable lending conversation, creditors should take special notice of § 1002.8, which outlines the parameters of offering such programs compliantly.

The Big Redline

Outside of blatantly discriminatory ads or those that actively discourage a protected class from applying for credit, the biggest concern related to advertising under ECOA is the idea of digital redlining. In late 2021, the CFPB, DOJ and the Office of the Comptroller of the Currency (OCC) announced a joint effort to combat redlining, with specific attention to “digital redlining, disguised through so-called neutral algorithms, that may reinforce the biases that have long existed.”

CFPB Director Rohit Chopra noted in his remarks during the joint announcement, “Technology companies and financial institutions are amassing massive amounts of data and using it to make more and more decisions about our lives, including loan underwriting and advertising…Given what we have seen in other contexts, the speed with which banks and lenders are turning lending and advertising decisions over to algorithms is concerning.”

What Chopra is referring to in part here is the use of targeted marketing. This strategy uses consumers’ data to deliver personalized digital offers to a smaller group of consumers that (in theory) are more likely to be receptive to the offer being presented. The concern with using targeted marketing to promote credit products is that the algorithms used to determine the advertiser’s target market could be altered to exclude borrowers from the “traditionally disadvantaged groups” ECOA is designed to protect.

For example, a metropolitan statistical area (MSA) is one data point that could be used to target a specific group of consumers. As evidenced by the CFPB and DOJ’s October 2021 consent order against Trustmark National Bank, this could be considered digital redlining if MSAs comprised of lower-income or minority consumers are expressly excluded.

Another way discrimination could manifest itself is by presenting different content to selected groups. The example the CFPB offers in its comment on § 1002.4(a) is “provid(ing) information only on ‘subprime’ and similar products to minority applicants who request information about the creditor’s mortgage products, but provid(ing) information on a wider variety of mortgage products to similarly situated nonminority applicants.” While this specific example deals with requests for information, the same holds true in the context of advertising, in that only presenting “lesser” loan products to minorities constitutes discrimination under ECOA.

To ensure compliance with ECOA, lenders should have a legal or compliance expert review advertisem*nts prior to distribution and weigh in on any target marketing efforts. For social media, financial institutions should address targeted marketing within their social media policy and utilize automated monitoring solutions when necessary. In addition, the FFIEC’s Interagency Fair Lending Examination Procedures and the FDIC’s Consumer Compliance Examination Manual, which includes sections on both Fair Lending and ECOA, provide a wealth of information and insight into how regulators interpret ECOA and assess compliance.

Tags:

social media compliance fair housing fair lending mortgage advertising redlining Social Media Monitoring Marketing ECOA Digital Advertising

ECOA & Advertising: What’s the Connection? (2024)

FAQs

ECOA & Advertising: What’s the Connection? ›

Through Regulation B, the ECOA prohibits creditors from making oral or written representations in advertising or other formats that would discourage, on a prohibited basis, a reasonable person from making or pursing a credit application.

Does ECOA apply to advertising? ›

A creditor shall not make any oral or written statement, in advertising or otherwise, to applicants or prospective applicants that would discourage on a prohibited basis a reasonable person from making or pursuing an application.

Does ECOA apply to commercial transactions? ›

The Equal Credit Opportunity Act (ECOA) prohibits discrimination in any aspect of a credit transaction. It applies to any extension of credit, including extensions of credit to small businesses, corporations, partnerships, and trusts.

What is the primary purpose of the ECOA? ›

The purpose of ECOA is to promote the availability of credit to all creditworthy applicants without regard to race, color, religion, national origin, sex, marital status, or age (provided the applicant has the capacity to contract); because all or part of the applicant's income derives from any public assistance ...

What is the role of ECOA? ›

eCOA offers more controlled, reliable and efficient data management compared to traditional paper-based methods. For example, when compared to paper-based assessments, eCOA eliminates inconsistent data, increases patient compliance, is preferred by patients and recommended by regulatory agencies.

Which two laws apply to fair lending in advertising? ›

FAIR LENDING BASICS

The Federal Reserve, along with other federal agencies, enforces two primary federal laws that ensure fairness in lending and apply to certain marketing activities: the Equal Credit Opportunity Act (ECOA) and the Fair Housing Act (FHA).

What is an example of an ECOA violation? ›

Imposing unfair terms or conditions on a loan (such as lower loan amount or higher interest rates) based on personal characteristics protected under the ECOA. Asking detailed personal information regarding marital status, such as whether you are widowed or divorced.

Which activities are prohibited under ECOA? ›

prohibits creditors from discriminating against credit applicants on the basis of race, color, religion, national origin, sex, marital status, age, because an applicant receives income from a public assistance program, or because an applicant has in good faith exercised any right under the Consumer Credit Protection ...

What is considered an application under ECOA? ›

Under Regulation B, an. “application” means an oral or written request for an extension of credit made in accordance with. procedures used by a creditor for the type of credit requested. “ Extension of credit” means “the. granting of credit in any form (including, but not limited to, credit granted in addition to any.

Does respa apply to commercial transactions? ›

RESPA also governs the form of closing documents that can be used. The purpose of the law is to protect homebuyers from being deceived and buying a house that is dangerous or uninhabitable. RESPA does not apply to commercial real estate transactions.

Who does ECOA protect? ›

This Act (Title VII of the Consumer Credit Protection Act) prohibits discrimination on the basis of race, color, religion, national origin, sex, marital status, age, receipt of public assistance, or good faith exercise of any rights under the Consumer Credit Protection Act.

What are the benefits of ECOA? ›

eCOA offers several benefits in clinical trials such as improved accuracy and reliability of patient-reported data, enhanced patient engagement, and the ability to capture real-time information. This method also reduces the risk of errors associated with traditional paper-based assessments.

What disclosures are required by ECOA? ›

To satisfy the disclosure requirements of paragraph (a)(2) of this section regarding section 701(a) of the Act, the creditor shall provide a notice that is substantially similar to the following: The Federal Equal Credit Opportunity Act prohibits creditors from discriminating against credit applicants on the basis of ...

Who uses ECOA? ›

Pharmaceutical companies and Contract Research Organizations (CROs) that adopt the eCOA solution can benefit from: Accelerated drug development timelines: eCOA systems expedite data collection and analysis processes, reducing study timelines.

What is the intent of ECOA? ›

ECOA is an important federal law promoting fair lending practices. It bars lender discrimination, and guards against bias related to race, religion, national origin, gender, marital status, age, public assistance eligibility, or consumer protection rights.

What are the regulations for ECOA? ›

'' Moreover, the statute makes it unlawful for ''any creditor to discriminate against any applicant with respect to any aspect of a credit transaction (1) on the basis of race, color, religion, national origin, sex or marital status, or age (provided the applicant has the capacity to con tract); (2) because all or part ...

Does reg.b apply to commercial? ›

The Equal Credit Opportunity Act and Regulation B apply to all credit - commercial as well as personal - without regard to the nature or type of the credit or the creditor, except for an entity excluded from coverage of this part (but not the Act) by section 1029 of the Consumer Financial Protection Act of 2010 (12 ...

What categories are protected by ECOA? ›

This Act (Title VII of the Consumer Credit Protection Act) prohibits discrimination on the basis of race, color, religion, national origin, sex, marital status, age, receipt of public assistance, or good faith exercise of any rights under the Consumer Credit Protection Act.

Do commercial loans require an adverse action notice? ›

For businesses with gross annual revenues greater than $1 million, Regulation B requires only that a creditor provide notice within a reasonable time. A creditor must notify the applicant of adverse action within: 30 days after receiving a complete credit application.

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