Key Considerations for Crossing the $10 Billion Threshold | CU Management (2024)

Jim Laffoon

President/CEO

Security Service Federal Credit Union

It would be a mistake to underestimate the number of new personnel that are required to build and maintain the compliance systems to meet CFPB expectations.

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How Can a Credit Union Plan for This Asset Size?

No credit union leader wants to start preparing for their first CFPB exam right when the CU reaches $10 billion. Instead, Laffoon says, Security Service FCU began preparing three or four years before the organization would reach the magic number of assets.

Patrick recommends starting the planning process when a credit union reaches $5 billion in asset size. Credit unions approaching the $10 billion milestone will need to carefully craft their plans for staffing, systems and training.

Laffoon offers a key piece of advice when it comes to staffing. “It would be a mistake to underestimate the number of new personnel that are required to build and maintain the compliance systems to meet CFPB expectations,” he warns.

To give an idea of staffing needs of large credit unions, Wolfburg says that VyStar CU has more than 2,000 employees to serve 840,000 members.

And although many credit unions have a culture that prioritizes promotions from within when possible, it is likely that credit unions preparing for increased oversight will need to make external hires. New staff needs to “have experience in a CFPB-regulated environment,” Laffoon says, so “promoting from within the organization is less likely to provide the expertise required to guide the credit union through the transition.”

Be prepared to offer industry-leading compensation, benefits and perks, as the hiring market is competitive for experts in risk and compliance, Patrick advises. Survey the market and other organizations’ compliance job postings to ensure that what you offer job candidates is attractive enough to appeal to the most knowledgeable staff.

Systems are the next area of consideration. Ensuring that your credit union’s risk and compliance systems are prepared for the level of scrutiny from CFPB is crucial. Increased staffing in IT and analytics areas may also be necessary to ensure compliance.

Over a period of years, says Wolfburg, VyStar CU “invested in technology and infrastructure, strategically hired in areas needed to support our expansion, and created or built up several departments, including risk, compliance, legal, lending, data and governance.”

Some of the specific changes VyStar CU made include charging the enterprise risk management team “with developing ERM (enterprise risk management) systems and procedures, board policies and an assessment framework,” Wolfburg explains. “We have processes in place that are used by our branch teams and back office to ensure identified risks are managed consistently and appropriately.” To help determine where your credit union’s systems may be lacking, Wolfburg advises, “conduct a gap analysis of where they currently stand compared to what will be expected under the increased regulatory requirements.”

Acquisitions may offer special considerations. Carley points out that when financial institutions merge, “you have two operating systems, you have two cultures, you have two different geographies in some cases. And what can fall behind in that circ*mstance is the compliance management system.” If the compliance risk management team is not fully involved and the CMS is not adequately upgraded before CU systems, cultures, product lines and branch networks are consolidated, the credit union is at risk with examiners, he says. “At a minimum, you’ll have deficiencies and weaknesses in your CMS. And potentially violations of regulations will occur because the CMS isn’t capable of preventing or detecting and correcting them.”

Once your staffing needs are met and your systems are up to par, Patrick advises that training is necessary to ensure that all credit union staff know how to navigate the technology tools and provide the information required by CFPB and NCUA ONES examiners. Your systems vendors can typically offer education that ensures staff knows how the CMS works and what components of the tools they will need to interact with regularly.

In-house or outsourced training for staff can also help with softer components that need additional attention during significant growth, such as complaint management, member service and enhanced income sources.

Don’t forget to educate the board and supervisory committee too. Because of their critical role in overseeing the operations of the credit union and the actions of the senior leaders, says Patrick, they must also be trained in what CFPB requires of institutions at this size.

It Takes a Village

In addition to the above considerations, keep in mind the people and organizations around you that can help. Connections can be especially important when your institution isn’t clear on what training and support it will need to manage growth and regulation.

Both Carley and Wolfburg suggest talking with peer credit unions to get specific ideas of the types of compliance and risk changes they made when approaching or surpassing the $10 billion mark. And although Carley points out that CFPB exams are specific to each institution (and exam reports and findings are confidential supervisory information), hearing how another institution prepared for a first exam from a credit union leader you trust can help increase your comfort level with the steps you need to take to demonstrate compliance.

Hiring outside help may also be necessary. Consultants who have experience helping financial institutions prepare for CFPB examination can be well worth the expense, as they will have wider levels of experience than your peers in credit union leadership may be able to offer, Carley advises.

Also be in contact with your regulators before you grow to the $10 (or $15) billion level. Your local NCUA examiners can help you prepare and understand the differences in expectations. You may also get in touch with the NCUA ONES and CFPB examiners you’re likely to be working with. Laffoon had the opportunity to have a hybrid local and ONES team perform an exam, giving the credit union early contact with ONES regulators and ensuring that his team understood exactly what was coming.

Your credit union will also need to ensure it is connected with CFPB’s consumer complaint portal, says Carley, as consumer protections are an important part of the agency’s oversight. Complaints from consumers who may have first complained directly to the institution but were not satisfied with how their issues were resolved may reflect problems that warrant review and correction.

No matter where your credit union falls within the asset range, Laffoon offers this sage advice: When planning for growth, “avoid the mindset that ‘our credit union is good for consumers and does not need to change current practices.’” What worked for a small credit union may not work for a larger institution, and it’s important to stay relevant to members’ needs. cues icon

Former credit union stafferJennifer Roland Cadienteis a writer based in Oregon who focuses on technology and financial institutions.

Key Considerations for Crossing the $10 Billion Threshold | CU Management (2024)

FAQs

Key Considerations for Crossing the $10 Billion Threshold | CU Management? ›

No matter the decision, the stakeholders must carefully consider the costs of crossing the threshold, especially in the following areas: higher FDIC assessment costs, interchange fee income reductions due to the Durbin Amendment, data management, and the cost of complying with enhanced supervisory standards.

What is crossing the $10 billion asset threshold? ›

That mark is $10 billion, and once a financial institution hits that mark, a lot of things change: It is subject to annual examination from the Consumer Financial Protection Bureau, receives less interchange income, and may have increased staffing needs that smaller institutions don't face.

What happens when a credit union hits 10 billion in assets? ›

Once a financial institution surpasses the $10 billion threshold, the primary impact is a new realm of risk management and capital planning requirements, as well as more rigorous regulatory oversight, all of which entail significant impacts to the cost structure of a covered credit union.

Who regulates banks over $10 billion? ›

The CFPB supervises a range of companies to assess their compliance with federal consumer financial laws. We have supervisory authority over banks, thrifts, and credit unions with assets over $10 billion, as well as their affiliates.

How many credit unions are there over $10 billion? ›

Today, the credit union system is more dynamic, complex, and larger with 426 credit unions holding $1 billion or more in assets, which includes 22 credit unions with more than $10 billion in assets.

What is the threshold for the Dodd-Frank Act? ›

The Dodd-Frank Act, when initially passed into law, required all bank holding companies with more than $50 billion in total consolidated assets to submit resolution plans providing for their rapid and orderly resolution under the U.S. Bankruptcy Code.

What is the Durbin Amendment 10 billion? ›

The Amendment — a part of the Dodd-Frank Wall Street Reform and Consumer Protection Act — caps the interchange fees charged to merchants accepting debit card payments from consumers in the United States using debit cards issued by banks with over $10 billion in assets.

What is the 3000 bank rule? ›

The regulation requires that multiple purchases during one business day be aggregated and treated as one purchase. Purchases of different types of instruments at the same time are treated as one purchase and the amounts should be aggregated to determine if the total is $3,000 or more.

Can a credit union crash like a bank? ›

Experts told us that credit unions do fail, like banks (which are also generally safe), but rarely. And deposits up to $250,000 at federally insured credit unions are guaranteed, just as they are at banks.

What is the 10 credit rule? ›

It says your total debt shouldn't equal more than 20% of your annual income, and that your monthly debt payments shouldn't be more than 10% of your monthly income. While the 20/10 rule can be a useful way to make conscious decisions about borrowing, it's not necessarily a useful approach to debt for everyone.

What is the difference between the FDIC and the OCC? ›

The FDIC is the primary federal regulator for state-chartered banks that are not members of the Federal Reserve System. The Office of the Comptroller of the Currency (OCC) is the primary federal regulator for all national banks.

What is the difference between the OCC and the CFPB? ›

The OCC is the prudential regulator for national banks and federal savings associations. However, since passage of the Dodd-Frank Act, certain rules and regulations were placed under the authority of the CFPB. If the OCC refers you to the CFPB it is because your concern(s) falls under the CFPB's regulatory authority.

What is the difference between NCUA and CFPB? ›

The National Credit Union Administration (NCUA) is empowered to examine all federally insured credit unions, and the Consumer Financial Protection Bureau (CFPB) is empowered to examine federally insured credit unions with assets greaterthan $10 billion and their affiliates (Covered Institutions) 1 to assess compliance ...

What is the richest credit union? ›

Navy Federal Credit Union

What are the three top credit unions? ›

Best credit unions
  • Best overall: Alliant Credit Union.
  • Runner-up: PenFed Credit Union.
  • Best for high APY: Consumers Credit Union (CCU)
  • Best for low-interest credit cards: First Tech Federal Credit Union.
  • Best for military members: Navy Federal Credit Union.

Who is the largest credit union in the world? ›

Rankings by Total Assets
RankProfileRegion
1.Navy Federal Credit UnionNorth America
2.State Employees Credit UnionNorth America
3.BECUNorth America
4.Pentagon Federal Credit UnionNorth America
12 more rows

What is the 10 billion bank threshold? ›

Crossing the $10 Billion Line

CFPB oversight is triggered when one depository institution in an enterprise reports assets over $10 billion for four consecutive quarters.

What does dollar amount threshold mean? ›

A threshold amount is the maximum dollar amount for a point-of-sale transaction. If a transaction exceeds your defined amount, the transaction is declined.

What is the 50 billion bank threshold? ›

First adopted in 2011, the Federal Deposit Insurance Corporation's (FDIC) Insured Depository Institution (IDI) Resolution Plan rule requires banks with over $50 billion in total assets (covered IDIs) to periodically submit resolution plans to provide the FDIC with information about the bank that is essential to ...

What did the Dodd Frank Act do? ›

The most far reaching Wall Street reform in history, Dodd-Frank will prevent the excessive risk-taking that led to the financial crisis. The law also provides common-sense protections for American families, creating new consumer watchdog to prevent mortgage companies and pay-day lenders from exploiting consumers.

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