CFPB Reports That College-Sponsored Financial Products Have Higher Fees and Less Favorable Terms

Troutman Pepper

The Consumer Financial Protection Bureau (CFPB or Bureau) released its 14th annual report to Congress in fulfillment of its requirements under the Credit Card Accountability Responsibility and Disclosure (CARD) Act. For the report, the CFPB reviewed information available on college websites on the financial products offered directly to students or jointly marketed to students with third-party providers. According to the CFPB, its research showed that college-sponsored financial products have higher fees and less favorable terms and conditions compared to typical market products.

Many colleges offer co-branded financial products to students and alumni, such as deposit accounts and credit cards. According to the CFPB, these arrangements can be lucrative for schools as financial institutions pay flat-fee marketing deals and per-signup returns and students may be likely to accept their school’s recommendation of a bank account or credit card. However, the CFPB’s research showed that colleges’ financial products may charge students higher or atypical fees. The report also revealed that accountholders at Historically Black Colleges and Universities (HBCUs), for-profit colleges, and Hispanic-servicing institutions (HSIs) pay higher-than-average fees. Lastly, some financial institutions impose additional fees when a student graduates or reaches a certain age, relying on “sunset” clauses so that a product marketed as free may end up being charged monthly maintenance fees or overdraft and nonsufficient funds (NSF) fees that students did not anticipate.

Key findings of the report include:

  • During the 2021-2022 school year, financial institutions generated over $17.3 million in revenue from over 650,000 student bank accounts.
  • Financial institutions generated over $15.7 million in fees per year from these accounts, with accountholders paying an annual average of $26.50 in fees. Notably, the average amount of fees charged to accountholders at HBCUs, for-profit colleges, and HSIs were $30.62, $29.77, and $28.22, respectively.
  • Some financial institutions charge students fees, such as overdraft fees, even though some large financial institutions have eliminated these fees entirely and others offer one or more checking account products that do not carry overdraft fees.
  • In 2022, credit card issuers paid over $19.6 million to colleges for partnerships.
  • Student IDs are often used as general-purpose debit or prepaid cards, allowing students to make payments and receive federal financial aid funds. However, the CFPB highlighted potential risks associated with these dual-purpose IDs.
    • Some colleges do not allow cash withdrawals or refunds from active accounts and may revoke access if a student is expelled or subject to disciplinary action.
    • Colleges may charge processing fees for refunds or require that university debts are satisfied before a student can receive a refund.
    • Misleading marketing could lead students to believe that it is mandatory to use student ID cards to access their financial aid disbursements.
    • Colleges may partner with nearby merchants to provide discounts, rewards, or credit if students pay with their dual-purpose student ID cards, which could influence student spending habits and expose students to potential costs without full information.

Over the past year and a half, the CFPB has been intensely focused on colleges’ financial arrangements with their students. As discussed here, on September 29, 2022, the CFPB released a special edition of its Supervisory Highlights focusing on student loan servicing, particularly loans made by schools themselves. The CFPB simultaneously announced that it was updating its examination manual and would be conducting examinations of schools that make their own loans to students. On September 14, 2023, the CFPB released a report, discussed here, on Tuition Payment Plans in Higher Education showing that enrollment fees, late fees, and returned payment fees can create a high cost of credit. Because of the CFPB’s continued focus on schools, they and their service providers would be well advised to prepare for the scrutiny by assessing their products, services, and operations for compliance with applicable federal and state laws and regulations.

Our Take:

This is the latest attack in the CFPB’s two-year war on so-called “junk fees.” The Bureau’s targeting of low-cost deposit products (yielding roughly $2 per month per account in revenue for banks) is further evidence that it is focused on controlling prices rather than its congressionally-mandated mission of ensuring that financial products comply with the law.

DISCLAIMER: Because of the generality of this update, the information provided herein may not be applicable in all situations and should not be acted upon without specific legal advice based on particular situations.

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