Regulation Z (Truth In Lending)

ICR 201201-3084-002

OMB: 3084-0088

Federal Form Document

Forms and Documents
Document
Name
Status
Supporting Statement A
2012-04-26
IC Document Collections
IC ID
Document
Title
Status
32270
Modified
200985
New
200984
New
200983
New
200982
New
200981
New
200980
New
200979
New
200978
New
200977
New
200976
New
200975
New
200973
New
200972
New
200971
New
200970
New
200968
New
200967
New
200966
New
200965
New
200964
New
200962
New
200961
New
188328
Modified
188327
Modified
188326
Modified
188325
Modified
188324
Modified
188323
Modified
188322
Modified
188321
Modified
188320
Modified
188318
Modified
188317
Modified
188316
Modified
188315
Modified
188313
Modified
188306
Modified
188305
Modified
188304
Modified
188303
Modified
188302
Modified
188301
Modified
188300
Modified
188299
Modified
188298
Modified
188297
Modified
188296
Modified
188295
Modified
188294
Modified
188293
Modified
ICR Details
3084-0088 201201-3084-002
Historical Active 200903-3084-005
FTC
Regulation Z (Truth In Lending)
Revision of a currently approved collection   No
Regular
Approved without change 06/25/2012
Retrieve Notice of Action (NOA) 04/27/2012
The Federal Trade Commission (FTC) has carefully considered comments received regarding the burden estimates for information collection requirements in consumer financial regulations B, M, and Z. Although no adjustments were made at this time, FTC should continue to assess the burden on respondents associated with enforcing these requirements.
  Inventory as of this Action Requested Previously Approved
06/30/2015 36 Months From Approved 06/30/2012
2,084,351,624 0 3,939,015,000
12,663,373 0 12,415,418
0 0 0

Regulation Z requires accurate disclosure of the costs and terms of credit to consumers, including both open-end and closed-end credit. It also imposes advertising disclosure requirements and establishes billing error resolution procedures. It requires creditors to keep records sufficient to show compliance. Because the Federal Trade Commission ("FTC") has shared enforcement jurisdiction for this regulation with the Consumer Financial Protection Board ("CFPB") under the Dodd-Frank Act, the CFPB has incorporated into its recently submitted burden estimates for this regulation, net of an estimate covering motor vehicle dealers (which the FTC is fully assuming within its own burden estimates), half of the residual portion of the FTC's pre-existing, cleared burden hour estimate for this regulation. OMB granted emergency clearance to the CFPB for its recent request. This clearance renewal request reflects these considerations in addition to updating the FTC estimates for declining market conditions.

US Code: 15 USC 1601 et seq. Name of Law: Truth in Lending Act
   PL: Pub.L. 111 - 203 1024, 1029, 1061, 1100A Name of Law: Dodd-Frank Wall Street Reform and Consumer Protection Act
  
PL: Pub.L. 111 - 203 1024, 1029, 1061, 1100A Name of Law: Dodd-Frank Wall Street Reform and Consumer Protection Act

Not associated with rulemaking

  77 FR 6114 02/07/2012
77 FR 25170 04/27/2012
Yes

51
IC Title Form No. Form Name
Rescission notices transactions
Advertising transaction-related
Credit & chg card accts transaction-related
Setup for high rate/high-fee mortgage disclosures
Setup for reverse mortgages disclosures
Setup for advertising
Setup for credit and charge card accounts disclosures
Home equity lines of credit transactions
Setup for periodic statements disclosures
Initial terms transactions
Variable rate mortgages transactions
High rate/high-fee mortgages transactions
Setup for error resolution disclosures
Rescission notices transactions
Subsequent disclosures transactions
Setup for variable rate mortgages disclosures
Setup for rescission notices disclosures
Setup for subsequent disclosures
Recordkeeping
Setup for home equity lines of credit disclosures
Setup for advertising disclosures
Periodic statements transaction-related
Setup for rescission notices
Error resolution transactions
Setup for credit disclosures
Setup for initial term disclosures
Setup for appraiser misconduct reporting
Private education loans: transaction-related
Setup for private education loans
Closed-end credit: Setup for sale, transfer, or assignment of mtgs
College student credit card mktg -- card issuer rpts: transaction-related
Setup for redisclosures
Posting & rptg of credit card agreements: transaction-related
Setup for appraiser misconduct reporting
Reverse mortgages transactions
Advertising transaction-related
Setup for college student credit card mktg -- ed. institutions
Closed-end credit: Sale, trsfr, or assignment of mtgs (transaction-related)
Appraiser misconduct reporting: transaction-related
Open-end credit: Sale, trsfr, or assignment of mtgs (transaction-related)
Settlement of estate debts transaction-related
College student credit card mktg -- ed. institutions
Setup for posting and reporting of credit card agreements
Open-end credit: Setup for sale, transfer, or assignment of mtgs
Setup for special credit card requirements
Setup for college student credit card mktg -- card issuer reports
Special credit card requirements transaction-related
Setup for settlement of estate debts
Appraiser misconduct rptg: transaction-related
Redisclosures: transaction-related
Credit disclosures transactions

  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 2,084,351,624 3,939,015,000 -1,822,466,961 0 -32,196,415 0
Annual Time Burden (Hours) 12,663,373 12,415,418 -191,401 0 439,356 0
Annual Cost Burden (Dollars) 0 0 0 0 0 0
No
No
The net change is an increase of 247,955 hours relative to the previously cleared burden hour estimate (from 12,415,418 to 12,663,373). This reflects the burden splitting noted above regarding shared enforcement authority with the CFPB, but that is offset by countervailing increases due to the breadth of amendments to Regulation Z and their impact on recordkeeping and disclosure through expanded coverage and more complex transactions.

$1,557,816
No
No
No
Yes
No
Uncollected
Carole Reynolds 202 326-3230 creynolds@ftc.gov

  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.
04/27/2012


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