Statement of Scope
Department of Financial Institutions
Relating to
:
|
State-Chartered
Credit Union Member Business Loans
|
1. Finding/nature of emergency (Emergency Rule only):
N/A
2. Detailed description of the objective of the proposed rule:
T
he objective of the proposed rule is to revise
the
existing member business
loan (MBL) rule
for state-chartered credit unions to incorporate
recent changes
made to
the federal MBL rule
.
The proposed rule would provide consistency as between federal- and state-chartered credit union MBL rules.
3. Description of the existing policies relevant to the rule, new policies proposed to be included in the rule, and an analysis of policy alternatives:
Existing policies are set forth in the rule.
The proposed rule would update
definitions,
strengthen credit union board of director and management responsibilities,
replace current loan-to-value and portfolio limits with a risk-based approac
h,
and modify
waiver
requirements and
process
.
The proposed rule would provide regulatory relief for state-chartered credit unions.
If the rule is not revised,
the state MBL rule
does
not provide state-chartered credit union
s
the same flexibility as federally-chartered credit unions
will
have under
the federal MBL rule
. If the rule is not revised some state-chart
ered credit unions
may
seek to change charter to be
come federally-chartered
so as
to be governed by
the federal
MBL rule rather than
by DFI-CU 72
.
4. Detailed explanation of statutory authority for the rule (including the statutory citation and language):
Section
227.11
(2)
(a)
,
Stats.
,
provides: “Each agency may promulgate rules interpreting the provisions of any statute enforced or administered by the agency, if the agency considers it necessary to effectuate the purpose of the statute…”
Section
186.115(2)
,
Stats.
,
provides: “The activities, powers, products and services that may be undertaken, exercised or offered by credit unions … are limited to those specified by rule of the office of credit unions.”
Section
186.235
(8)
,
Stats.
,
provides: “
T
he office of credit unions shall
, with the approval of the credit union review board, promulgate rules relating to the business of credit unions.
”
5. Estimate of amount of time that state employees will spend developing the rule and of other resources necessary to develop the rule:
DFI estimates that it will take approximately 500 hours to develop this rule. This includes the amount of time required for investigation and analysis, compliance with rulemaking procedures, substantial rule drafting, preparing related documents, coordinating stakeholder meetings, communicating with affected entities, holding public hearings, responding to public input, legislative review and adoption. DFI will use existing staff to develop this rule.
6. List with description of all entities that may be affected by the proposed rule:
The proposed rule would affect a
ll Wisconsin state-chartered credit unions.
7. Summary and preliminary comparison with any existing or proposed federal regulation that is intended to address the activities to be regulated by the proposed rule:
Federally-chartered credit unions may extend member busine
ss loans in accordance with
federal regulator National Credit Union Administration’s (NCUA’s) MBL rule,
12 CFR Part 723
. In March 2016, NCUA
issued a final rule which
revised its MBL rule to provide credit unions “with greater flexibility and individual autonomy in safely and soundly providing commercial and business loans to serve their members.” The fi
nal rule substantially changed P
art 723. State-chartered credit unions may extend member business loans in accordance with
the Office of Credit U
nion’s DFI-CU 72
rule
. Prior to NCUA’s 2016 rule change, DFI-CU 72 and NCUA’s Part 723 were substantially similar to each other
.
NCUA’
s
revised MBL rule
becomes effective January, 1, 2017.
8. Anticipated economic impact of implementing the rule (note if the rule is likely to have a significant economic impact on small businesses):
The proposed rule would have no significant economic impact on small businesses, as defined in s.
227.114
(1)
Stats.
Contact Person:
Alex
Ignatowski
Assistant Deputy Secretary
Department of Financial Institutions
608-267-1718