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pdfCONSUMER FINANCIAL PROTECTION BUREAU
INFORMATION COLLECTION REQUEST – SUPPORTING STATEMENT
PROGRAM EVALUATION OF
FINANCIAL EMPOWERMENT TRAINING PROGRAMS
(OMB CONTROL NUMBER: 3170-XXXX)
TERMS OF CLEARANCE: Not applicable. This is a new information collection request.
ABSTRACT: The Bureau’s Office of Financial Empowerment (Empowerment) is responsible
for developing strategies to improve the financial capability of low income and economically
vulnerable consumers. The proposed collections will focus on evaluating (1) training practices
and programs that are designed to enhance the ability of caseworkers to inform and educate low
income consumers about managing their finances and strategies for making choices among
available financial products and services available to them; (2) the evaluation tool that the
trainers will use to determine the effectiveness of the training; and (3) the scope of workshop
participants’ use of the training. The Bureau expects to collect qualitative data through paperbased surveys and focus groups.
A.
JUSTIFICATION
1.
Circumstances Necessitating the Data Collection
The Consumer Financial Protection Bureau’s (CFPB or Bureau) Office of Financial
Empowerment (Empowerment) is responsible for developing strategies to improve the financial
capability of low income and economically vulnerable consumers, such as consumers who are
unbanked or underbanked, those with thin or no credit file, and households with limited savings.
Under the Dodd-Frank Wall Street Reform and Consumer Protection Act, Public Law No. 111203 (Dodd-Frank Act), including Section 1013(b)(2), Empowerment has a mandate to “provide
information, guidance, and technical assistance regarding the offering and provision of consumer
financial products or services to traditionally underserved consumers and communities.” To
fulfill this mandate, Empowerment has a need to evaluate training programs and practices
involved in training front-line case managers in order to provide relevant and effective
information, guidance, and technical assistance designed to improve the financial outcomes and
capability of these vulnerable consumers.
Through this collection, data will be collected from two sets of respondents. The first is a pilot
cohort of trainers, some of whom will participate in an initial web-based training and others of
whom will participate in face-to-face training provided by the CFPB’s contractor working with
Empowerment on this effort. The second respondent group is comprised of front-line case
managers who will subsequently be trained by members of the cohort. The primary resource
used during these trainings will be a financial empowerment training (FET) toolkit that has been
developed by CFPB. (Note that, while the toolkit is referred to throughout this document as the
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FET Toolkit, it has the working title “Your Money, Your Goals: A Financial Empowerment
Toolkit for Social Services Programs.”)
Collecting data from these two groups through a pilot implementation of the FET toolkit is a
necessary step in ensuring that the toolkit is as useful and relevant as possible to the larger
financial social services.
2.
Use of the Information
Staff from CFPB will use data from surveys and focus groups of participants to collect formative
input concerning the training practices and resources used in this pilot implementation. The
resources are designed to enhance the ability of caseworkers to inform and educate low income
consumers about managing their finances and strategies for making choices among available
financial products and services available to them. The results of this analysis will inform the
CFPB’s subsequent revisions to the FET toolkit. Data that are collected through case manager
logs will also provide information about the scope of workshop participants’ use of the training.
Information collected is not meant to be, and will not be treated as, a sample that is statistically
generalizable to the overall American population, or to the general population of front-line case
managers working in the United States.
In addition to surveys, case managers will also be provided with logs which they can use to track
their usage of the FET toolkit. While these logs are included in the burden estimate provided in
Section 12, these instruments will not be collected by CFPB or its contractor. They are simply
intended to facilitate case managers’ completion of subsequent surveys which ask about their
usage of the toolkit.
3.
Use of Information Technology
Almost all of the data for this collection will be collected will be through paper instruments.
CFPB determined that asking cohort members and case managers to submit data through paper
instruments would be less burdensome than asking them to do so electronically, primarily
because of the respondent burden associated with tracking electronic responses.
4.
Efforts to Identify Duplication
Because this data collection is connected to a pilot implementation of the FET toolkit which
CFPB have developed over the past seven months, it will not be duplicative of any previous
research that has been conducted within or outside of the government. CFPB staff are cognizant
of current research being done in the field of effective case manager training and financial
empowerment, and this research has informed the development of the toolkit. The CFPB will
continue to monitor research on these topics to ensure that the techniques used in this data
collection are informed by those efforts and reflect current knowledge and best practices and are
not duplicative.
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5.
Efforts to Minimize Burdens on Small Entities
The data collection is not anticipated to burden small entities because all information collection
will occur from individuals. Further, all instruments have been reviewed to ensure that only
necessary data are collected.
6.
Consequences of Less Frequent Collection and Obstacles to Burden Reduction
This data collection effort is part of a pilot implementation of a new model for case manager
financial empowerment training. Because it is part of a pilot study, the data collection will only
be conducted once; CFPB staff do not plan to collect these data on a regular basis in the future.
Case managers who are using the toolkit will be asked to complete a log both three and six
months after they receive training. CFPB believes it is necessary to collect this information at
two points in time to measure both persistence and sustainability of use of the toolkit over time
and changes in participants’ level of comfort and familiarity with the content and resources.
7.
Circumstances Requiring Special Information Collection
There are no special circumstances. The collection of information is conducted in a manner
consistent with the guidelines in 5 CFR 1320(d)(2).
8.
Consultation Outside the Agency
In accordance with 5 CFR 1320.8(d)(1), on January 29, 2013, the Bureau published a notice in
the Federal Register allowing the public 60 days to comment on this proposed new collection of
information (Vol. 78, No. 19, pages 6074-6077). The CFPB received no comments in response
to this notice.
Further and in accordance with 5 CFR 1320.5(a)(1)(iv), the Bureau has published a notice in the
Federal Register allowing the public 30 days to comment on the submission of this information
collection request to the Office of Management and Budget.
9.
Payment or Gifts to Respondents
No payments or gifts will be provided to respondents in exchange for submitting data. Members
of the pilot trainer cohort will each receive $1,000 as a stipend for their participation in the pilot
study. However, this compensation is in exchange for the significant amount of time that they
will spend participating in an initial training provided by CFPB and its contractor, as well as
planning and conducting their own trainings with case managers. The stipend is to be provided at
the end of the study and will not be provided as a payment in exchange for submitting data.
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10.
Assurance of Confidentiality
In the directions for each instrument, respondents will be informed that the data they provide will
not be associated with their organization in any analysis or reports that derive from the data
collection. Each instrument will contain the following statement: “Please note that the Bureau
intends to keep your responses private to the extent permitted by law, and when survey results
are reported none of your answers will be connected to you or your organization.
”
11.
Justification for Sensitive Questions
This information collection does not include questions of a sensitive nature, such as sexual
behavior and attitudes, religious beliefs, race/ethnicity, disability, social security numbers, or any
other matters generally considered private.
12.
Estimated Burden of Information Collection
Training
Evaluation
Forms from
Pilot Trainers
Training
Evaluation
Forms from
Case
Managers
Telephone
Focus Groups
with Pilot
Trainers
Case Manager
Logs
Final Survey
of Case
Managers
TOTALS
No. of
Respondents
Annual
Frequency
per
Response
Total
Annual
Responses
Burden per
Response
Total Burden
55
1
55
20 min
18 hrs, 20 min
880
1
880
15 min
220 hrs,
25
1
25
1 hr
25 hrs
880
2
1760
10 min
293 hours, 20 min
880
1
880
10 min
146 hrs, 40 min
703 hrs, 20 min
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Estimates of the length of time it will take respondents to complete each instrument are based on
testing conducted by the CFPB’s contractor, ICF.
13.
Estimated Total Annual Cost Burden to Respondents or Recordkeepers
There are no capital/start-up or ongoing operation/maintenance costs associated with this
information collection.
14.
Estimated Cost to the Federal Government
There will be no annualized capital/start-up costs for the government to collect these data. It is
anticipated that costs of $25,000 will be incurred to carry out the data collection, including the
cost of data management, analysis, and reporting.
The Blanket Purchase Agreement under which this data collection is being conducted was
awarded through a competitive bidding process.
15.
Program Changes or Adjustments
The Bureau is requesting a program change of approximately 703hours resulting from this new
collection of information.
16.
Plans for Tabulation, Statistical Analysis, and Publication
The CFPB anticipates that data collection will begin within four weeks of OMB approval, at an
initial training provided to cohort members. Cohort members will complete their first survey
immediately after that training. Each cohort member will then be responsible for training 25 case
managers during the subsequent month. Both cohort members and case managers will complete
surveys immediately following those trainings. Participating case managers will be asked to
submit logs of their usage of the toolkit both three and six months after they receive their
training, and will also complete a final survey at the six month mark. After accounting for
potential minor delays in data submission and processing, all data collection will be complete no
more than 9 months after OMB approval is received.
CFPB’s contractor will conduct the initial analysis and summary of the study findings.
For qualitative, open-ended questions, ICF will conduct a thematic analysis. For closed-ended
questions in which respondents are asked to select one of several different response options, the
contractor will use frequencies and cross-tabulations in its analysis. For questions that ask
respondents to provide a numerical answer, the contractor will calculate frequencies, means,
medians, ranges, and standard deviations. CFPB staff intend to use the results of this analysis to
inform internal processes and decisions regarding the FET toolkit; there are no plans to publish
the results of the research.
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17.
Display of Expiration Date
The CFPB plans to display the expiration date for OMB approval of the information collection
on all instruments.
18.
Exceptions to the Certification Requirement
There are no exceptions to the Certification Requirement.
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File Type | application/pdf |
Author | Chen, Kelvin (CFPB) |
File Modified | 2013-08-02 |
File Created | 2013-08-02 |