83_FR_35621 83 FR 35477 - Agency Information Collection Activities; Submission for OMB Review; Comment Request; Extension

83 FR 35477 - Agency Information Collection Activities; Submission for OMB Review; Comment Request; Extension

FEDERAL TRADE COMMISSION

Federal Register Volume 83, Issue 144 (July 26, 2018)

Page Range35477-35485
FR Document2018-15979

In compliance with the Paperwork Reduction Act (PRA) of 1995, the FTC is seeking public comments on its request to the Office of Management and Budget (``OMB'') to extend for three years the current PRA clearances for the information collection requirements in four consumer financial regulations that the Commission enforces. Those clearances expire on July 31, 2018.

Federal Register, Volume 83 Issue 144 (Thursday, July 26, 2018)
[Federal Register Volume 83, Number 144 (Thursday, July 26, 2018)]
[Notices]
[Pages 35477-35485]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-15979]


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FEDERAL TRADE COMMISSION


Agency Information Collection Activities; Submission for OMB 
Review; Comment Request; Extension

AGENCY: Federal Trade Commission (``FTC'' or ``Commission'').

ACTION: Notice.

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SUMMARY: In compliance with the Paperwork Reduction Act (PRA) of 1995, 
the FTC is seeking public comments on its request to the Office of 
Management and Budget (``OMB'') to extend for three years the current 
PRA clearances for the information collection requirements in four 
consumer financial regulations that the Commission enforces. Those 
clearances expire on July 31, 2018.

DATES: Comments must be filed by August 27, 2018.

ADDRESSES: Interested parties may file a comment online or on paper, by 
following the instructions in the Request for Comment part of the 
SUPPLEMENTARY INFORMATION section below. Write ``Regs BEMZ, PRA 
Comments, P084812'' on your comment and file your comment online at 
https://ftcpublic.commentworks.com/ftc/RegsBEMZpra2 by following the 
instructions on the web-based form. If you prefer to file your comment 
on paper, mail your comment to the following address: Federal Trade 
Commission, Office of the Secretary, 600 Pennsylvania Avenue NW, Suite 
CC-5610 (Annex J), Washington, DC 20580, or deliver your comment to the 
following address: Federal Trade Commission, Office of the Secretary, 
Constitution Center, 400 7th Street SW, 5th Floor, Suite 5610 (Annex 
J), Washington, DC 20024.

FOR FURTHER INFORMATION CONTACT: Requests for additional information or 
copies of the proposed information requirements should be addressed to 
Carole Reynolds or Stephanie Rosenthal, Attorneys, Division of 
Financial Practices, Bureau of Consumer Protection, Federal Trade 
Commission, 600 Pennsylvania Ave. NW, Washington, DC 20580, (202) 326-
3224.

SUPPLEMENTARY INFORMATION: On April 3, 2018, the FTC sought public 
comment on the information collection requirements associated with the 
four consumer financial regulations at issue. 83 FR 14273. No relevant 
comments were received. The four regulations covered by that and this 
Notice were and are, respectively:
    (1) Regulations promulgated under the Equal Credit Opportunity Act, 
15 U.S.C. 1691 et seq. (``ECOA'') (``Regulation B'') (OMB Control 
Number: 3084-0087);
    (2) Regulations promulgated under the Electronic Fund Transfer Act, 
15 U.S.C. 1693 et seq. (``EFTA'') (``Regulation E'') (OMB Control 
Number: 3084-0085);
    (3) Regulations promulgated under the Consumer Leasing Act, 15 
U.S.C. 1667 et seq. (``CLA'') (``Regulation M'') (OMB Control Number: 
3084-0086); and
    (4) Regulations promulgated under the Truth-In-Lending Act, 15 
U.S.C. 1601 et seq. (``TILA'') (``Regulation Z'') (OMB Control Number: 
3084-0088).
    The FTC enforces these statutes as to all businesses engaged in 
conduct that these laws cover unless the businesses (such as federally 
chartered or insured depository institutions) are subject to the 
regulatory authority of another federal agency.
    Under the Dodd-Frank Wall Street Reform and Consumer Protection Act 
(``Dodd-Frank Act''), Public Law 111-203, 124 Stat. 1376 (2010), almost 
all rulemaking authority for the ECOA, EFTA, CLA, and TILA transferred 
from the Board of Governors of the Federal Reserve System (Board) to 
the Bureau of Consumer Financial Protection (BCFP) on July 21, 2011 
(``transfer date''). To implement this transferred authority, the BCFP 
published interim final rules for new regulations in 12 CFR part 1002 
(Regulation B), 12 CFR part 1005 (Regulation E), 12 CFR part 1013 
(Regulation M), and 12 CFR 1026 (Regulation Z) for those entities under 
its rulemaking jurisdiction, which were issued as final rules 
thereafter.\1\ Although the Dodd-Frank Act transferred most rulemaking 
authority under ECOA, EFTA, CLA, and TILA to the BCFP, the Board 
retained rulemaking authority for certain motor vehicle dealers \2\ 
under these statutes and also for certain interchange-related 
requirements under EFTA.\3\
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    \1\ 12 CFR 1002 (Reg. B) (76 FR 79442, Dec. 21, 2011) (81 FR 
25323, Apr. 28, 2016); 12 CFR 1005 (Reg. E) (76 FR 81020, Dec. 27, 
2011); (81 FR 25323, Apr. 28, 2016) 12 CFR 1013 (Reg. M) (76 FR 
78500, Dec. 19, 2011) (81 FR 25323, Apr. 28, 2016); 12 CFR 1026 
(Reg. Z) (76 FR 79768, Dec. 22, 2011) (81 FR 25323, Apr. 28, 2016).
    \2\ Generally, these are dealers ``predominantly engaged in the 
sale and servicing of motor vehicles, the leasing and servicing of 
motor vehicles, or both.'' See Dodd-Frank Act, Sec.  1029(a)-(c).
    \3\ See Dodd-Frank Act, Sec.  1075 (these requirements are 
implemented through Board Regulation II, 12 CFR 235, rather than 
EFTA's implementing Regulation E).
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    As a result of the Dodd-Frank Act, the FTC and the BCFP generally 
share the authority to enforce Regulations B, E, M, and Z for entities 
for which the FTC had enforcement authority before the Act.\4\ For 
certain motor vehicle dealers and for certain state-chartered credit 
unions, the FTC generally has exclusive enforcement jurisdiction.\5\ 
The division

[[Page 35478]]

of PRA burden hours not attributable to motor vehicle dealers and, when 
appropriate, to state-chartered credit unions, is reflected in the 
BCFP's PRA clearance requests to OMB, as well as in the FTC's burden 
estimates below. The burden estimates associated with all motor vehicle 
dealers and now, when appropriate, the estimated burden estimates 
associated with state-chartered credit unions, are reflected in the 
burden summaries below as a ``carve-out.'' \6\
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    \4\ This covers a myriad of entities that provide credit to 
consumers, as well as BCFP retaining concurrent jurisdiction over 
certain types of motor vehicle dealers. See Dodd-Frank Act Sec.  
1029(a), as limited by subsection (b) as to motor vehicle dealers. 
Subsection (b) does not preclude BCFP regulatory oversight 
regarding, among others, businesses that extend retail credit or 
retail leases for motor vehicles in which the credit or lease 
offered is provided directly from those businesses to consumers, 
where the contract is not routinely assigned to unaffiliated third 
parties.
    \5\ See Dodd-Frank Act Sec.  1029(a)-(c) regarding motor vehicle 
dealers, as limited by subsection (b) concerning motor vehicle 
dealers engaged in direct financing for vehicles they sell, lease, 
or service. Subsection (c) recognizes the FTC's ongoing enforcement 
authority over motor vehicle dealers predominantly engaged in the 
sale and servicing of motor vehicles, the leasing and servicing of 
motor vehicles, or both, including those that, among other things, 
assign their contracts to unaffiliated third parties.
    The FTC's enforcement authority also includes state-chartered 
credit unions. In varying ways, other federal agencies also have 
enforcement authority over state-chartered credit unions. For 
example, for large credit unions (exceeding $10 billion in assets), 
the BCFP has certain authority. The National Credit Union 
Administration also has certain authority for state-chartered 
federally insured credit unions, and it additionally provides 
insurance for certain state-chartered credit unions through the 
National Credit Union Share Insurance Fund and examines state-
chartered credit unions for various purposes. See generally Dodd-
Frank Act, Sec. Sec.  1061, 1025, 1026.
    \6\ As of the third quarter of 2017, there was approximately the 
following number of State-chartered credit unions: 2,347 state-
chartered credit unions--2,106 federally insured, 125 privately 
insured, and 116 in Puerto Rico insured by a quasi-governmental 
entity. Because of the difficulty in parsing out PRA burden for such 
entities in view of the overlapping agency authority (see supra note 
5), the FTC's estimates include PRA burden for all state-chartered 
credit unions (rounded to 2,300). Similarly, because it is not 
practicable for PRA purposes to estimate the portion of motor 
vehicle dealers that engage in one form of financing versus another 
(and that would or would not be subject to BCFP oversight), the FTC 
staff's ``carve-out'' for this PRA burden analysis reflects a 
general estimated volume of motor vehicle dealers. These 
attributions of burden estimation for motor vehicle dealers and 
state-chartered credit unions do not bear on actual enforcement 
authority.
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    The regulations impose certain recordkeeping and disclosure 
requirements associated with providing credit or with other financial 
transactions. Under the PRA, 44 U.S.C. 3501-3521, Federal agencies must 
get OMB approval for each collection of information they conduct or 
sponsor. ``Collection of information'' includes agency requests or 
requirements to submit reports, keep records, or provide information to 
a third party. See 44 U.S.C. 3502(3); 5 CFR 1320.3(c).
    The required recordkeeping and disclosures do not impose PRA burden 
on some covered entities because they make those disclosures and 
maintain records in their normal course of activities.\7\ For other 
covered entities that do not, their compliance burden will vary widely 
depending on the extent to which they have developed effective 
computer-based or electronic systems and procedures to communicate and 
document required recordkeeping and disclosures.\8\
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    \7\ PRA ``burden'' does not include ``time, effort, and 
financial resources'' expended in the normal course of business, 
regardless of any regulatory requirement. See 5 CFR 1320.3(b)(2).
    \8\ For example, large companies may use computer-based and/or 
electronic means to provide required disclosures, including issuing 
some disclosures en masse, e.g., notice of changes in terms. Smaller 
companies may have less automated compliance systems but may 
nonetheless rely on electronic mechanisms for disclosures and 
recordkeeping. Regardless of size, some entities may utilize 
compliance systems that are fully integrated into their general 
business operational system; if so, they may have minimal additional 
burden. Other entities may have incorporated fewer of these 
approaches into their systems and thus may have a higher burden.
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    Covered entities, may incur some burden associated with ensuring 
that they do not prematurely dispose of relevant records (i.e., during 
the time span they must retain records under the applicable 
regulation).
    The regulations also require covered entities to make disclosures 
to third parties. Related compliance involves set-up/monitoring and 
transaction-specific costs. ``Set-up'' burden, incurred only by covered 
new entrants, includes their identifying the applicable required 
disclosures, determining how best to comply, and designing and 
developing compliance systems and procedures. ``Monitoring'' burden, 
incurred by all covered entities, includes their time and costs to 
review changes to regulatory requirements, make necessary revisions to 
compliance systems and procedures, and to monitor the ongoing operation 
of systems and procedures to ensure continued compliance. 
``Transaction-related'' burden refers to the time and cost associated 
with providing the various required disclosures in individual 
transactions, thus, generally, of much less magnitude than 
``monitoring'' (or ``setup'') burden. The FTC's estimates of 
transaction time and volume are intended as averages.
    Calculating the burden associated with the regulations' 
requirements is very difficult because of the highly diverse group of 
affected entities. The ``respondents'' included in the following burden 
calculations consist of, among others, credit and lease advertisers, 
creditors, owners (such as purchasers and assignees) of credit 
obligations, financial institutions, service providers, certain 
government agencies and others involved in delivering electronic fund 
transfers (``EFTs'') of government benefits, and lessors.\9\ The burden 
estimates represent FTC staff's best assessment, based on its knowledge 
and expertise relating to the financial services industry, of the 
average time to complete the aforementioned tasks associated with 
recordkeeping and disclosure. Staff considered the wide variations in 
covered entities' (1) size and location; (2) credit or lease products 
offered, extended, or advertised, and their particular terms; (3) EFT 
types used; (4) types and frequency of adverse actions taken; (5) types 
of appraisal reports utilized; and (6) computer systems and electronic 
features of compliance operations.
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    \9\ The Commission generally does not have jurisdiction over 
banks, thrifts, and federal credit unions under the applicable 
regulations.
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    The cost estimates that follow relate solely to labor costs, and 
they include the time necessary to train employees how to comply with 
the regulations. Staff calculated labor costs by multiplying 
appropriate hourly wages by the burden hours described above. The 
hourly wages used were $56 for managerial oversight, $42 for skilled 
technical services, and $17 for clerical work. These figures are 
averages drawn from Bureau of Labor Statistics data.\10\ Further, the 
FTC cost estimates assume the following labor category apportionments, 
except where otherwise indicated below: Recordkeeping--10% skilled 
technical, 90% clerical; disclosure--10% managerial, 90% skilled 
technical.
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    \10\ These inputs are based broadly on mean hourly data found 
within the ``Bureau of Labor Statistics, Economic News Release,'' 
March 31, 2017, Table 1, ``National employment and wage data from 
the Occupational Employment Statistics survey by occupation, May 
2016.'' http://www.bls.gov/news.release/ocwage.t01.htm.
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    The applicable PRA requirements impose minimal capital or other 
non-labor costs. Affected entities generally already have the necessary 
equipment for other business purposes. Similarly, FTC staff estimates 
that compliance with these rules entails minimal printing and copying 
costs beyond that associated with documenting financial transactions in 
the normal course of business.
    The following discussion and tables present FTC estimates under the 
PRA of recordkeeping and disclosure average time and labor costs, 
excluding that which the FTC believes entities incur customarily in the 
normal course of business \11\ and information compiled and produced in 
response to FTC law enforcement investigations or prosecutions.\12\
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    \11\ See supra note 7 and accompanying text.
    \12\ See 5 CFR 1320.4(a) (excluding information collected in 
response to, among other things, a federal civil action or ``during 
the conduct of an administrative action, investigation, or audit 
involving an agency against specific individuals or entities'').

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[[Page 35479]]

1. Regulation B

    The ECOA prohibits discrimination in the extension of credit. 
Regulation B implements the ECOA, establishing disclosure requirements 
to assist customers in understanding their rights under the ECOA and 
recordkeeping requirements to assist agencies in enforcement. 
Regulation B applies to retailers, mortgage lenders, mortgage brokers, 
finance companies, and others.

Recordkeeping

    FTC staff estimates that Regulation B's general recordkeeping 
requirements affect 530,762 credit firms subject to the Commission's 
jurisdiction, at an average annual burden of 1.25 hours per firm for a 
total of 663,453 hours.\13\ Staff also estimates that the requirement 
that mortgage creditors monitor information about race/national origin, 
sex, age, and marital status imposes a maximum burden of one minute 
each (of skilled technical time) for approximately 2.6 million credit 
applications (based on industry data regarding the approximate number 
of mortgage purchase and refinance originations), for a total of 43,333 
hours.\14\ Staff also estimates that recordkeeping of self-testing 
subject to the regulation would affect 1,500 firms, with an average 
annual burden of one hour (of skilled technical time) per firm, for a 
total of 1,500 hours, and that recordkeeping of any corrective action 
as a result of self-testing would affect 10% of them, i.e., 150 firms, 
with an average annual burden of four hours (of skilled technical time) 
per firm, for a total of 600 hours.\15\ Keeping associated records of 
race/national origin, sex, age, and marital status requires an 
estimated one minute of skilled technical time.
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    \13\ Section 1071 of the Dodd-Frank Act amended the ECOA to 
require financial institutions to collect and report information 
concerning credit applications by women- or minority-owned 
businesses and small businesses, effective on the July 21, 2011 
transfer date. Both the BCFP and the Board have exempted affected 
entities from complying with this requirement until a date set by 
the prospective final rules these agencies issue to implement it. 
The Commission will address PRA burden for its enforcement of the 
requirement after the BCFP and the Board have issued the associated 
final rules.
    \14\ Regulation B contains model forms that creditors may use to 
gather and retain the required information.
    \15\ In contrast to banks, for example, entities under FTC 
jurisdiction are not subject to audits by the FTC for compliance 
with Regulation B; rather they may be subject to FTC investigations 
and enforcement actions. This may impact the level of self-testing 
(as specifically defined by Regulation B) in a given year, and staff 
has sought to address such factors in its burden estimates.
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Disclosure

    Regulation B requires that creditors (i.e., entities that regularly 
participate in the decision whether to extend credit under Regulation 
B) provide notices whenever they take adverse action, such as denial of 
a credit application. It requires entities that extend mortgage credit 
with first liens to provide a copy of the appraisal report or other 
written valuation to applicants.\16\ Regulation B also requires that 
for accounts that spouses may use or for which they are contractually 
liable, creditors who report credit history must do so in a manner 
reflecting both spouses' participation. Further, it requires creditors 
that collect applicant characteristics for purposes of conducting a 
self-test to disclose to those applicants that: (1) Providing the 
information is optional; (2) the creditor will not take the information 
into account in any aspect of the credit transactions; and (3) if 
applicable, the information will be noted by visual observation or 
surname if the applicant chooses not to provide it.\17\
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    \16\ While the rule also requires the creditor to provide a 
short written disclosure regarding the appraisal process, the 
disclosure is provided by the BCFP, and is thus not a ``collection 
of information'' for PRA purposes. See 5 CFR 1320.3(c)(2). 
Accordingly, it is not included in burden estimates below.
    \17\ The disclosure may be provided orally or in writing. The 
model form provided by Regulation B assists creditors in providing 
the written disclosure, which helps to reduce burden.
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Burden Totals
Recordkeeping: 708,886 hours (631,281 + 77,605 carve-out); $14,845,512 
($13,316,477 + $1,529,035 carve-out), associated labor costs
Disclosures: 1,088,912 hours (961,224 + 127,688 carve-out); $47,258,792 
($41,717,144 + $5,541,648 carve-out), associated labor costs

                                                         Regulation B--Disclosures--Burden Hours
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                                                                      Setup/monitoring \1\                   Transaction-related \2\
                                                            --------------------------------------------------------------------------------
                                                                             Average    Total setup/                 Average       Total        Total
                        Disclosures                                         burden per   monitoring    Number of    burden per  transaction     Burden
                                                              Respondents   respondent     burden    transactions  transaction     burden      (hours)
                                                                             (hours)      (hours)                   (minutes)     (hours)
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Credit history reporting...................................       133,553          .25       33,388    60,098,850          .25      250,412      283,800
Adverse action notices.....................................       530,762          .75      398,072    92,883,350          .25      387,014      785,086
Appraisal reports/written valuations.......................         4,650            1        4,650     1,725,150          .50       14,376       19,026
Self-test disclosures......................................         1,500           .5          750        60,000          .25          250        1,000
                                                            --------------------------------------------------------------------------------------------
    Total..................................................  ............  ...........  ...........  ............  ...........  ...........    1,088,912
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\1\ The estimates assume that all applicable entities would be affected, with respect to appraisal reports and other written valuations. Given market
  changes, the estimated number of these entities is decreased slightly while the estimated number of entities affected by credit history, adverse
  action and self-test burden is increased slightly from the most recently cleared FTC burden estimates.
\2\ Applicable transactions have increased for appraisal reports; however, credit history, adverse action and self-test transactions have decreased,
  based on market changes.


                                                    Regulation B--Recordkeeping and Disclosures--Cost
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                                                                      Managerial             Skilled technical             Clerical
                                                              ------------------------------------------------------------------------------  Total cost
                        Required task                              Time      Cost ($56/      Time      Cost ($42/      Time      Cost ($17/      ($)
                                                                 (hours)        hr.)       (hours)        hr.)       (hours)        hr.)
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General recordkeeping........................................            0           $0       66,345   $2,786,490      597,108  $10,150,836  $12,937,326
Other recordkeeping..........................................            0            0       43,333    1,819,986            0            0    1,819,986
Recordkeeping of self-test...................................            0            0        1,500       63,000            0            0       63,000
Recordkeeping of corrective action...........................            0            0          600       25,200            0            0       25,200
                                                              ------------------------------------------------------------------------------------------
    Total Recordkeeping......................................  ...........  ...........  ...........  ...........  ...........  ...........   14,845,512
Disclosures:

[[Page 35480]]

 
    Credit history reporting.................................       28,380    1,589,280      255,420   10,727,640            0            0   12,316,920
    Adverse action notices...................................       78,509    4,396,504      706,577   29,676,234            0            0   34,072,738
    Appraisal reports........................................        1,903      106,568       17,123      719,166            0            0      825,734
    Self-test disclosure.....................................          100        5,600          900       37,800            0            0       43,400
                                                              ------------------------------------------------------------------------------------------
        Total Disclosures....................................  ...........  ...........  ...........  ...........  ...........  ...........  $47,258,792
                                                              ------------------------------------------------------------------------------------------
            Total Recordkeeping and Disclosures..............  ...........  ...........  ...........  ...........  ...........  ...........  $62,104,304
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2. Regulation E

    The EFTA requires that covered entities provide consumers with 
accurate disclosure of the costs, terms, and rights relating to EFT and 
certain other services. Regulation E implements the EFTA, establishing 
disclosure and other requirements to aid consumers and recordkeeping 
requirements to assist agencies with enforcement. It applies to 
financial institutions, retailers, gift card issuers and others that 
provide gift cards, service providers, various federal and state 
agencies offering EFTs, prepaid account entities, etc. Staff estimates 
that Regulation E's recordkeeping requirements affect 251,053 firms 
offering EFT and certain other services to consumers and that are 
subject to the Commission's jurisdiction, at an average annual burden 
of one hour per firm, for a total of 251,053 hours. This represents a 
decrease from prior figures, reflecting a decrease in entities under 
FTC jurisdiction engaged in applicable activities.

Burden Totals

Recordkeeping: 251,053 hours (233,947 + 17,106 carve-out); $4,895,526 
($4,561,949 + $333,577 carve-out), associated labor costs
Disclosures: 7,184,905 hours (7,165,931 + 18,974 carve-out); 
$311,824,884 ($310,999,818 + $825,066 carve-out), associated labor 
costs

                                                         Regulation E--Disclosures--Burden Hours
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                                                                   Setup/monitoring \1\                    Transaction-related \2\
                                                         -----------------------------------------------------------------------------------
                                                                          Average    Total setup/                    Average       Total        Total
                       Disclosures                                       burden per   monitoring     Number of      burden per  transaction     Burden
                                                           Respondents   respondent     burden      transactions   transaction     burden      (hours)
                                                                          (hours)      (hours)                      (minutes)     (hours)
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Initial terms...........................................        27,300           .5       13,650          273,000          .02           91       13,741
Change in terms.........................................         8,550           .5        4,275       11,286,000          .02        3,762        8,037
Periodic statements.....................................        27,300           .5       13,650      327,600,000          .02      109,200      122,850
Error resolution........................................        27,300           .5       13,650          273,000            5       22,750       36,400
Transaction receipts....................................        27,300           .5       13,650    1,375,000,000          .02      458,333      471,983
Preauthorized transfers \2\.............................       258,553           .5      129,277        6,463,825          .25       26,933      156,210
Service provider notices................................        20,000          .25        5,000          200,000          .25          833        5,833
ATM notices.............................................           125          .25           31       25,000,000          .25      104,167      104,198
Electronic check conversion \3\.........................        48,553           .5       24,277          728,295          .02          243       24,520
Overdraft services......................................        15,000           .5        7,500        1,500,000          .02          500        8,000
Gift cards..............................................        15,000           .5        7,500      750,000,000          .02      250,000      257,500
Remittance transfers:
    Disclosures.........................................         4,800         1.25        6,000       96,000,000           .9    1,440,000    1,446,000
    Error resolution....................................         4,800         1.25        6,000      120,960,000           .9    1,814,400    1,820,400
    Agent compliance....................................         4,800         1.25        6,000       96,000,000           .9    1,440,000    1,446,000
Prepaid accounts and gov't benefits: \4\
    Disclosures.........................................           550  \5\ 40 x 10      220,000    2,750,000,000          .02      916,667    1,136,667
    Disclosures--updates................................           138       1 x 10    \6\ 1,380              N/A  ...........  ...........        1,380
    Access to account information.......................           550  \7\ 20 x 10      110,000        1,100,000          .01          183      110,183
    Error resolution....................................           300        4 x 4        4,800          275,000            2        9,167       13,967
    Error resolution--followup \8\......................  ............          N/A  ...........            1,380           30          690          690
    Submission of agreements............................           138        2 x 1          276              690            1           12          288
    Updates to agreements \9\...........................  ............          N/A  ...........              690            5           58           58
                                                         -----------------------------------------------------------------------------------------------
        Total...........................................  ............  ...........  ...........  ...............  ...........  ...........    7,184,905
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\1\ Except as noted below, most respondent tallies in this table have decreased due to business shifts and other market changes that result in fewer
  entities under FTC jurisdiction. Accordingly, related transactions under FTC jurisdiction have also decreased.
\2\ Preauthorized transfers rules apply to ``persons'' and entities. The number of respondents and transactions by such persons have increased, as these
  preauthorized transfers are used more commonly than previously.
\3\ The total number of electronic check conversion respondents and transactions has decreased, particularly due to declining check usage.
\4\ Prepaid accounts are now covered by Regulation E (and payroll cards are included in this area). Government benefit notices are included also in this
  area, although some separate requirements for government benefits remain; these factors are accounted for in the estimates. The number of government
  benefit entities also have declined given business shifts that have reduced the number of entities under FTC jurisdiction (and prepaid entities under
  FTC jurisdiction are also few in number).
\5\ Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
\6\ This reflects prepaid accounts' updates of additional fee type disclosures. Individual burden hours are listed first, followed by the number of
  programs.
\7\ Burden hours are on a per program basis; individual burden hours are listed first, followed by the number of programs.
\8\ This pertains to prepaid accounts.
\9\ This pertains to prepaid accounts' agreements.


[[Page 35481]]


                                                    Regulation B--Recordkeeping and Disclosures--Cost
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                               Managerial             Skilled technical             Clerical
                                                       ------------------------------------------------------------------------------
                     Required task                          Time      Cost ($56/      Time      Cost ($42/      Time      Cost ($17/    Total cost ($)
                                                          (hours)        hr.)       (hours)        hr.)       (hours)        hr.)
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Recordkeeping.........................................            0           $0       25,105   $1,054,410      225,948   $3,841,116          $4,895,526
Disclosures:
    Initial terms.....................................        1,374       76,944       12,367      519,414            0            0             596,358
    Change in terms...................................          804       45,024        7,233      303,786            0            0             348,810
    Periodic statements...............................       12,285      687,960      110,565    4,643,730            0            0           5,331,690
    Error resolution..................................        3,640      203,840       32,760    1,375,920            0            0           1,579,760
    Transaction receipts..............................       47,198    2,643,088      424,785   17.840.970            0            0          20,484,058
    Preauthorized transfers...........................       15,621      874,776      140,589    5,904,738            0            0           6,779,514
    Service provider notices..........................          583       32,648        5,250      220,500            0            0             253,148
    ATM notices.......................................       10,420      583,520       93,778    3,938,676            0            0           4,522,196
    Electronic check conversion.......................        2,452      137,312       22,068      926,856            0            0           1,064,168
    Overdraft services................................          800       44,800        7,200      302,400            0            0             347,200
    Gift cards........................................       25,750    1,442,000      231,750    9,733,500            0            0          11,175,500
Remittance transfers:
    Disclosures.......................................      144,600    8,097,600    1,301,400   54,658,800            0            0          62,756,400
    Error resolution..................................      182,040   10,194,240    1,638,360   68,811,120            0            0          79,005,360
    Agent compliance..................................      144,600    8,097,600    1,301,400   54,658,800            0            0          62,756,400
Prepaid accounts and gov't. benefits:
    Disclosures.......................................      113,667    6,365,352    1,023,000   42,966,000            0            0          49,331,352
    Disclosures--updates..............................          138        7,728        1,242       52,164            0            0              59,892
    Access to account information.....................       11,018      617,008       99,165    4,164,930            0            0           4,781,938
    Error resolution..................................        1,397       78,232       12,570      527,940            0            0             606,172
    Error resolution--followup........................           69        3,864          621       26,082            0            0              29,946
    Submission of agreements..........................           29        1,624          259       10,878            0            0              12,502
    Updates to agreements.............................            6          336           52        2,184            0            0               2,520
                                                       -------------------------------------------------------------------------------------------------
        Total Disclosures.............................  ...........  ...........  ...........  ...........  ...........  ...........         311,824,884
                                                       -------------------------------------------------------------------------------------------------
            Total Recordkeeping and Disclosures.......  ...........  ...........  ...........  ...........  ...........  ...........         316,720,410
--------------------------------------------------------------------------------------------------------------------------------------------------------

3. Regulation M

    The CLA requires that covered entities provide consumers with 
accurate disclosure of the costs and terms of leases. Regulation M 
implements the CLA, establishing disclosure requirements to help 
consumers comparison shop and understand the terms of leases and 
recordkeeping requirements. It applies to vehicle lessors (such as auto 
dealers, independent leasing companies, and manufacturers' captive 
finance companies), computer lessors (such as computer dealers and 
other retailers), furniture lessors, various electronic commerce 
lessors, diverse types of lease advertisers, and others.
    Staff estimates that Regulation M's recordkeeping requirements 
affect approximately 30,203 firms within the FTC's jurisdiction leasing 
products to consumers at an average annual burden of one hour per firm, 
for a total of 30,203 hours.

Burden Totals 18
---------------------------------------------------------------------------

    \18\ Recordkeeping and disclosure burden estimates for 
Regulation M are more substantial for motor vehicle leases than for 
other leases, including burden estimates based on market changes and 
regulatory definitions of coverage. Based on industry information, 
the estimates for recordkeeping and disclosure costs assume the 
following: 90% managerial, and 10% skilled technical. As noted 
above, for purposes of PRA burden calculations for Regulations B, E, 
M, and Z, and given the different types of motor vehicle dealers, 
the FTC is including in its estimates burden for all of them.
---------------------------------------------------------------------------

Recordkeeping: 30,203 hours (3,513 + 26,690 carve-out); $1,649,088 
($191,814 + $1,457,274 carve-out), associated labor costs
Disclosures: 71,750 hours (2,094 + 69,656 carve-out); $3,917,550 
($114,394 + $3,803,156 carve-out), associated labor costs

                                                         Regulation M--Disclosures--Burden Hours
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                        Setup/monitoring                       Transaction-related
                                                            --------------------------------------------------------------------------------
                                                                                        Total setup/                                            Total
                        Disclosures                                          Average                                 Average       Total        burden
                                                              Respondents   burden per   monitoring    Number of    burden per  transaction    (hours)
                                                                            respondent     burden    transactions  transaction     burden
                                                                             (hours)      (hours)                    (minutes)    (hours)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Motor Vehicle Leases \1\...................................        26,690            1       26,690     4,000,000          .50       33,333       60,023
Other Leases \2\...........................................         3,513          .50        1,757        60,000          .25          250        2,007
Advertising \3\............................................        14,615          .50        7,308       578,960          .25        2,412        9,720
                                                            --------------------------------------------------------------------------------------------
    Total..................................................  ............  ...........  ...........  ............  ...........  ...........       71,750
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ This category focuses on consumer vehicle leases. Vehicle leases are subject to more lease disclosure requirements (pertaining to computation of
  payment obligations) than other lease transactions. (Only consumer leases for more than four months are covered.) See 15 U.S.C. 1667(1); 12 CFR
  1013.2(e)(1). While the number of respondents for vehicle leases has decreased with market changes, the number of vehicle lease transactions has
  remained about the same, compared to past FTC estimates. Leases up to $55,800 plus an annual adjustment are now covered. The resulting total burden
  has decreased.
\2\ This category focuses on all types of consumer leases other than vehicle leases. It includes leases for computers, other electronics, small
  appliances, furniture, and other transactions. (Only consumer leases for more than four months are covered.) See 15 U.S.C. 1667(1); 12 CFR
  1013.2(e)(1). The number of respondents has decreased, based on market changes in companies and types of transactions they offer; the number of such
  transactions has also declined, based on types of transactions offered that are covered by the CLA. Leases up to $55,800 plus an annual adjustment are
  now covered. The resulting total burden has decreased.
\3\ Respondents for advertising have decreased as have lease advertisements, based on market changes, from past FTC estimates. The resulting total
  burden has decreased.


[[Page 35482]]


                                                    Regulation M--Recordkeeping and Disclosures--Cost
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                     Managerial             Skilled technical             Clerical
                                                             ------------------------------------------------------------------------------  Total  cost
                        Required task                             Time     Cost  ($56/      Time     Cost  ($42/      Time     Cost  ($17/       ($)
                                                                (hours)        hr.)       (hours)        hr.)       (hours)        hr.)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Recordkeeping...............................................       27,183   $1,522,248        3,020     $126,840            0            0    $1,649,088
Disclosures:
    Motor Vehicle Leases....................................       54,021    3,025,176        6,002      252,084            0            0     3,277,260
    Other Leases............................................        1,806      101,136          201        8,442            0            0       109,578
    Advertising.............................................        8,748      489,888          972       40,824            0            0       530,712
                                                             -------------------------------------------------------------------------------------------
        Total Disclosures...................................  ...........  ...........  ...........  ...........  ...........  ...........     3,917,550
                                                             -------------------------------------------------------------------------------------------
            Total Recordkeeping and Disclosures.............  ...........  ...........  ...........  ...........  ...........  ...........     5,566,638
--------------------------------------------------------------------------------------------------------------------------------------------------------

4. Regulation Z

    The TILA was enacted to foster comparison credit shopping and 
informed credit decision making by requiring creditors and others to 
provide accurate disclosures regarding the costs and terms of credit to 
consumers.\19\ Regulation Z implements the TILA, establishing 
disclosure requirements to assist consumers and recordkeeping 
requirements to assist agencies with enforcement. These requirements 
pertain to open-end and closed-end credit and apply to various types of 
entities, including mortgage companies; finance companies; auto 
dealerships; private education loan companies; merchants who extend 
credit for goods or services; credit advertisers; acquirers of 
mortgages; and others. Additional requirements also exist in the 
mortgage area, including for high cost mortgages, higher-priced 
mortgage loans,\20\ ability to pay of mortgage consumers, mortgage 
servicing, loan originators, and certain integrated mortgage 
disclosures.
---------------------------------------------------------------------------

    \19\ On May 24, 2018, President Trump signed the Economic 
Growth, Regulatory Relief, and Consumer Protection Act (Act), Public 
Law 115-174. Among other things, the Act amends the TILA in several 
respects, and will be implemented by the BCFP through amendments to 
Regulation Z. The Commission will address PRA burden for its 
enforcement of the requirements after the BCFP has issued the 
associated final rules.
    \20\ While Regulation Z also requires the creditor to provide a 
short written disclosure regarding the appraisal process for higher-
priced mortgage loans, the disclosure is provided by the BCFP. As a 
result, it is not a ``collection of information'' for PRA purposes 
(see 5 CFR 1320.3(c)(2)). It is thus excluded from the burden 
estimates below.
---------------------------------------------------------------------------

    FTC staff estimates that Regulation Z's recordkeeping requirements 
affect approximately 430,762 entities subject to the Commission's 
jurisdiction, at an average annual burden of 1.25 hours per entity with 
.25 additional hours per entity for 3,650 entities (ability to pay), 
and 5 additional hours per entity for 4,500 entities (loan 
originators).

Burden Totals

Recordkeeping: 561,866 hours (484,961 + 76,905 carve-out); $10,956,397 
($9,456,749 + $1,499,648 carve-out), associated labor costs
Disclosures: 7,854,575 hours (6,838,256 + 1,016,319 carve-out; 
$318,601,732 ($274,493,500 + $44,108,232 carve-out), associated labor 
costs

                                                         Regulation Z--Disclosures--Burden Hours
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                        Setup/monitoring                       Transaction-related
                                                            --------------------------------------------------------------------------------
                                                                                        Total setup/                                            Total
                      Disclosures \1\                                        Average                                 Average       Total        burden
                                                              Respondents   burden per   monitoring    Number of    burden per  transaction    (hours)
                                                                            respondent     burden    transactions  transaction     burden
                                                                             (hours)      (hours)                    (minutes)    (hours)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Open-end credit:
    Initial terms..........................................        23,650          .75       17,738    10,500,600         .375       65,629       83,367
    Initial terms--prepaid accounts........................             3    \2\ 4 x 1           12       \3\ 3 x         .125          492          504
                                                                                                           78,667
    Rescission notices.....................................           750           .5          375         3,750          .25           16          391
    Subsequent disclosures.................................         4,650          .75        3,488    23,250,000         .188       72,850       76,338
    Subsequent disclosures--prepaid accounts...............             3    \4\ 4 x 1           12       \5\ 3 x        .0625          246          258
                                                                                                           78,667
    Periodic statements....................................        23,650          .75       17,738   788,325,450        .0938    1,232,415    1,250,153
    Periodic statements--prepaid accounts..................             3   \6\ 40 x 1          120       \7\ 3 x       .03125        1,475        1,595
                                                                                                          944,000
    Error resolution.......................................        23,650          .75       17,738     2,104,850            6      210,485      228,223
    Error resolution--prepaid accounts followup............             3    \8\ 4 x 1           12       \9\ 3 x           15      885 897
                                                                                                            1,180
    Credit and charge card accounts........................        10,250          .75        7,688     5,125,000         .375       32,031       39,719
    Credit and charge card accounts--prepaid accounts......             3   \10\ 4 x 1           12   \11\ 3 x 12          240          144          156
    Settlement of estate debts.............................        23,650          .75       17,738       496,650         .375        3,104       20,842
    Special credit card requirements.......................        10,250          .75        7,688     5,125,000         .375       32,031       39,719
    Home equity lines of credit............................           750           .5          375         5,250          .25           22          397
    Home equity lines of credit high-cost mortgages........           250            2          500         1,500            2           50          550
    College student credit card marketing--ed. institutions         1,350           .5          675        81,000          .25          338        1,013
    College student credit card marketing--card issuer                150          .75          113         4,500          .75           56          169
     reports...............................................
    Posting and reporting of credit card agreements........        10,250          .75        7,688     5,125,000         .375       32,031       39,719
    Posting and reporting of prepaid account agreements....             3   \12\ .75 x            2    \13\ 3 x 5          2.5            1            3
                                                                                     1
    Advertising............................................        38,650          .75       28,988       115,950          .75        1,449       30,437
    Advertising--prepaid accounts..........................             3  \14\ 20 x 1           60           N/A  ...........  ...........           60
    Advertising--prepaid accounts Updates..................             3   \15\ 0.2 x            3           N/A  ...........  ...........            3
                                                                                     5
    Sale, transfer, or assignment of mortgages.............           500           .5          250       500,000          .25        2,083        2,333
    Appraiser misconduct reporting.........................       301,150          .75      225,863     6,023,000         .375       37,644      263,507
    Mortgage servicing \16\................................         1,500          .75        1,125       150,000           .5        1,250        2,375

[[Page 35483]]

 
    Loan originators.......................................         2,250            2        4,500        22,500            5        1,875        6,375
Closed-end credit:
    Credit disclosures.....................................       280,762          .75      210,572   112,304,800         2.25    4,211,430    4,422,002
    Rescission notices.....................................         3,650           .5        1,825     5,475,000            1       91,250       93,075
    Redisclosures..........................................       101,150           .5       50,575       505,750         2.25       18,966       69,541
    Integrated mortgage disclosures........................         3,650           10       36,500    10,950,000          3.5      638,750      675,250
    Variable rate mortgages................................         3,650            1        3,650       365,000         1.75       10,646       14,296
    High cost mortgages....................................         1,750            1        1,750        43,750            2        1,458        3,208
    Higher priced mortgages................................         1,750            1        1,750        14,000            2          467        2,217
    Reverse mortgages......................................         3,025           .5        1,513        15,125            1          252        1,765
    Advertising............................................       205,762           .5      102,881     2,057,620            1       34,294      137,175
    Private education loans................................            75           .5           38        30,000          1.5          750          788
    Sale, transfer, or assignment of mortgages.............        48,850           .5       24,425     2,442,500          .25       10,177       34,602
    Ability to pay/qualified mortgage......................         3,650          .75        2,738             0            0            0        2,738
    Appraiser misconduct reporting.........................       301,150          .75      225,863     6,023,000         .375       37,644      263,507
    Mortgage servicing \17\................................         3,650          1.5        5,475       730,000         2.75       33,458       38,933
    Loan originators.......................................         2,250            2        4,500        22,500            5        1,875        6,375
        Total open-end credit..............................  ............  ...........  ...........  ............  ...........  ...........    2,089,103
                                                            --------------------------------------------------------------------------------------------
        Total closed-end credit............................  ............  ...........  ...........  ............  ...........  ...........    5,765,472
                                                            --------------------------------------------------------------------------------------------
            Total credit...................................  ............  ...........  ...........  ............  ...........  ...........    7,854,575
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Regulation Z requires disclosures for closed-end and open-end credit. TILA and Regulation Z now cover credit up to $55,800 plus an annual adjustment
  (except that real estate credit and private education loans are covered regardless of amount). For most disclosure types listed in this table, FTC
  staff has reduced prior PRA burden estimates due to business shifts and other market changes. In the case of mortgage servicing (open- and closed-
  credit), however, staff has increased burden estimates per respondent due to amendments to Regulation Z. In addition, due to Regulation Z's new
  requirements for prepaid accounts with certain credit aspects, staff has added burden estimates for these items. However, the overall effect of these
  competing factors yields a net decrease from the FTC's prior reported estimate for open-end credit and for closed-end credit.
\2\ Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
\3\ This figure lists the number of entities followed by the number of responses or programs each.
\4\ Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
\5\ This figure lists the number of entities followed by the number of responses or programs each.
\6\ Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
\7\ This figure lists the number of entities followed by the number of responses or programs each.
\8\ Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
\9\ This figure lists the number of entities followed by the number of responses or programs each.
\10\ Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
\11\ This figure lists the number of entities followed by the number of responses or programs each.
\12\ Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
\13\ This figure lists the number of entities followed by the number of responses or programs each.
\14\ Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
\15\ Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
\16\ Regulation Z has expanded various mortgage servicing requirements for successors-in-interest, which in some instances can affect open-end credit,
  increasing burden per respondent. However, the estimated number of entities and transactions under FTC jurisdiction is reduced, thereby reducing
  aggregate estimated burden compared to prior FTC estimates.
\17\ Regulation Z has expanded various mortgage servicing requirements for successors-in-interest, and periodic statement requirements including for
  consumers in bankruptcy, among other things, affecting closed-end credit, increasing burden per respondent. However, the estimated number of entities
  and transactions under FTC jurisdiction is reduced, thereby reducing aggregate estimated burden compared to prior FTC estimates.


                                                    Regulation Z--Recordkeeping and Disclosures--Cost
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                      Managerial             Skilled technical             Clerical
                                                              ------------------------------------------------------------------------------ Total  Cost
                        Required task                              Time     Cost  ($56/      Time     Cost  ($42/      Time     Cost  ($17/       ($)
                                                                 (hours)        hr.)       (hours)        hr.)       (hours)        hr.)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Recordkeeping................................................            0           $0       56,187   $2,359,854      505,679   $8,596,543  $10,956,397
Open-end credit Disclosures:
    Initial terms............................................        8,337      466,872       75,030    3,151,260            0            0    3,618,132
    Initial terms--prepaid accounts..........................           50        2,800          454       19,068            0            0       21,868
    Rescission notices.......................................           39        2,184          352       14,784            0            0       16,968
    Subsequent disclosures...................................        7,634      427,504       68,704    2,885,568            0            0    3,313,072
    Subsequent disclosures--prepaid accounts.................           26        1.456          232        9,744            0            0       11,200
    Periodic statements......................................      125,015    7,000,840    1,125,138   47,255,796            0            0   54,256,636
    Periodic statements--prepaid accounts....................          159        8,904         1436       60,312            0            0       69.216
    Error resolution.........................................       22,822    1,278,032      205,401    8,626,842            0            0    9,904,874
    Error resolution--prepaid accounts followup..............           90        5,040          807       33.894            0            0       38,934
    Credit and charge card accounts..........................        3,972      222,432       35,747    1,501,374            0            0    1,723,806
    Credit and charge card accounts--prepaid accounts........           16          896          140        5,880            0            0        6,776
    Settlement of estate debts...............................        2,084      116,704       18,758      787,836            0            0      904,540
    Special credit card requirements.........................        3,972      222,432       35,747    1,501,374            0            0    1,723,806
    Home equity lines of credit..............................           40        2,240          357       14,994            0            0       17,234
    Home equity lines of credit--high cost mortgages.........           55        3,080          495       20,790            0            0       23,870
    College student credit card marketing--ed institutions...          101        5,656          912       38,304            0            0       43,960
    College student credit card marketing--card issuer                  17          952          152        6,384            0            0        7,336
     reports.................................................
    Posting and reporting of credit card agreements..........        3,972      222,432       35,747    1,501,374            0            0    1,723,806
    Posting and reporting of prepaid accounts................            1           56            2           84            0            0          140
    Advertising..............................................        3,044      170,464       27,393    1,150,506            0            0    1,320,970

[[Page 35484]]

 
    Advertising--prepaid accounts............................            6          336           54        2,268            0            0        2,604
    Advertising--prepaid accounts Updates....................            1           56            2           84            0            0          140
    Sale, transfer, or assignment of mortgages...............          233       13,048        2,100       88,200            0            0      101,248
    Appraiser misconduct reporting...........................       26,351    1,475,656      237,156    9,960,552            0            0   11,436,208
    Mortgage servicing.......................................          238       13,328        2,137       89,754            0            0      103,082
    Loan originators.........................................          638       35,728        5,737      240,954            0            0      276,682
                                                              ------------------------------------------------------------------------------------------
        Total open-end credit................................  ...........  ...........  ...........  ...........  ...........  ...........   90,667,108
Closed-end credit Disclosures:
    Credit disclosures.......................................      442,200    2,476,300    3,979,802  167,151,684            0            0  169,627,984
    Rescission notices.......................................        9,308      521,248       83,767    3,518,214            0            0    4,039,462
    Redisclosures............................................        6,954      389,424       62,587    2,628,654            0            0    3,018,078
    Integrated mortgage disclosures..........................       67,525    3,781,400      607,725   25,524,450            0            0   29,305,850
    Variable rate mortgages..................................        1,430       80,080       12,866      540,372            0            0      620,452
    High cost mortgages......................................          321       17,976        2,887      121,254            0            0      139,230
    Higher priced mortgages..................................          222       12,432        1,995       83,790            0            0       96,222
    Reverse mortgages........................................          177        9,912        1,588       66,696            0            0       76,608
    Advertising..............................................       13,718      768,208      123,457    5,185,194            0            0    5,953,402
    Private education loans..................................           79        4,424          709       29,778            0            0       34,202
    Sale, transfer, or assignment of mortgages...............        3,460      193,760       31,142    1,307,964            0            0    1,501,724
    Ability to pay/qualified mortgage........................          274       15,344        2,464      103,488            0            0      118,832
    Appraiser misconduct reporting...........................       26,351    1,475,656      237,156    9,960,552            0            0   11,436,208
    Mortgage servicing.......................................        3,893      218,008       35,040    1,471,680            0            0    1,689,688
    Loan originators.........................................          638       35,728        5,737      240,954            0            0      276,682
                                                              ------------------------------------------------------------------------------------------
        Total closed-end credit..............................  ...........  ...........  ...........  ...........  ...........  ...........  227,934,624
                                                              ------------------------------------------------------------------------------------------
        Total Disclosures....................................  ...........  ...........  ...........  ...........  ...........  ...........  318,601,732
                                                              ------------------------------------------------------------------------------------------
        Total Recordkeeping and Disclosures..................  329,558,129
--------------------------------------------------------------------------------------------------------------------------------------------------------

    Request for Comment: You can file a comment online or on paper. For 
the FTC to consider your comment, we must receive it on or before 
August 27, 2018. Write ``Regs BEMZ, PRA Comments, P084812'' on your 
comment. Your comment--including your name and your state--will be 
placed on the public record of this proceeding, including, to the 
extent practicable, on the public FTC website, at http://www.ftc.gov/os/publiccomments.shtm.
    Postal mail addressed to the Commission is subject to delay due to 
heightened security screening. As a result, we encourage you to submit 
your comments online, or to send them to the Commission by courier or 
overnight service. To make sure that the Commission considers your 
online comment, you must file it at https://ftcpublic.commentworks.com/ftc/RegsBEMZpra2 by following the instructions on the web-based form. 
When this Notice appears at http://www.regulations.gov/#!home, you also 
may file a comment through that website.
    If you file your comment on paper, write ``Regs BEMZ, PRA Comments, 
P084812'' on your comment and on the envelope, and mail it to the 
following address: Federal Trade Commission, Office of the Secretary, 
600 Pennsylvania Avenue NW, Suite CC-5610 (Annex J), Washington, DC 
20580, or deliver your comment to the following address: Federal Trade 
Commission, Office of the Secretary, Constitution Center, 400 7th 
Street SW, 5th Floor, Suite 5610 (Annex J), Washington, DC 20024. If 
possible, submit your paper comment to the Commission by courier or 
overnight service.
    Because your comment will be placed on the publicly accessible FTC 
website at https://www.ftc.gov/, you are solely responsible for making 
sure that your comment does not include any sensitive or confidential 
information. In particular, your comment should not include any 
sensitive personal information, such as your or anyone else's Social 
Security number; date of birth; driver's license number or other state 
identification number, or foreign country equivalent; passport number; 
financial account number; or credit or debit card number. You are also 
solely responsible for making sure that your comment does not include 
any sensitive health information, such as medical records or other 
individually identifiable health information. In addition, your comment 
should not include any ``trade secret or any commercial or financial 
information which . . . is privileged or confidential''--as provided by 
Section 6(f) of the FTC Act, 15 U.S.C. 46(f), and FTC Rule 4.10(a)(2), 
16 CFR 4.10(a)(2)--including in particular competitively sensitive 
information such as costs, sales statistics, inventories, formulas, 
patterns, devices, manufacturing processes, or customer names.
    Comments containing material for which confidential treatment is 
requested must be filed in paper form, must be clearly labeled 
``Confidential,'' and must comply with FTC Rule 4.9(c). In particular, 
the written request for confidential treatment that accompanies the 
comment must include the factual and legal basis for the request, and 
must identify the specific portions of the comment to be withheld from 
the public record. See FTC Rule 4.9(c). Your comment will be kept 
confidential only if the General Counsel grants your request in 
accordance with the law and the public interest. Once your comment has 
been posted on the public FTC website--as legally required by FTC Rule 
4.9(b)--we cannot redact or remove your comment from the FTC website, 
unless you submit a confidentiality request that meets the requirements 
for such treatment under FTC Rule 4.9(c), and the General Counsel 
grants that request.
    The FTC Act and other laws that the Commission administers permit 
the collection of public comments to consider and use in this 
proceeding as appropriate. The Commission will consider all timely and 
responsive public comments that it receives on or before August 27, 
2018. For information on the Commission's privacy policy,

[[Page 35485]]

including routine uses permitted by the Privacy Act, see https://www.ftc.gov/site-information/privacy-policy. For supporting 
documentation and other information underlying the PRA discussion in 
this Notice, see http://www.reginfo.gov/public/jsp/PRA/praDashboard.jsp.
    Comments on the information collection requirements subject to 
review under the PRA should additionally be submitted to OMB. If sent 
by U.S. mail, they should be addressed to Office of Information and 
Regulatory Affairs, Office of Management and Budget, Attention: Desk 
Officer for the Federal Trade Commission, New Executive Office 
Building, Docket Library, Room 10102, 725 17th Street NW, Washington, 
DC 20503. Comments sent to OMB by U.S. postal mail, however, are 
subject to delays due to heightened security precautions. Thus, 
comments instead can also be sent by email to [email protected].

Heather Hippsley,
Acting Principal Deputy General Counsel.
[FR Doc. 2018-15979 Filed 7-25-18; 8:45 am]
BILLING CODE 6750-01-P



                                                                               Federal Register / Vol. 83, No. 144 / Thursday, July 26, 2018 / Notices                                                    35477

                                                Trust, Kaysville, Utah; Lorilynn Bennion                 extend for three years the current PRA                   The FTC enforces these statutes as to
                                                Browning, as Trustee of The Anthony S.                   clearances for the information collection             all businesses engaged in conduct that
                                                Browning Trust, Kaysville, Utah;                         requirements in four consumer financial               these laws cover unless the businesses
                                                Patricia Ann Browning, as Trustee of                     regulations that the Commission                       (such as federally chartered or insured
                                                The Browning Family Irrevocable Trust                    enforces. Those clearances expire on                  depository institutions) are subject to
                                                FBO Patricia Ann Browning and The                        July 31, 2018.                                        the regulatory authority of another
                                                Patricia A. Browning Trust, Ogden,                       DATES: Comments must be filed by                      federal agency.
                                                Utah; Carolyn Browning Schumacher,                       August 27, 2018.                                         Under the Dodd-Frank Wall Street
                                                as Trustee of The Browning Family                                                                              Reform and Consumer Protection Act
                                                                                                         ADDRESSES: Interested parties may file a              (‘‘Dodd-Frank Act’’), Public Law 111–
                                                Irrevocable Trust FBO Carolyn Browning
                                                Schumacher and The Carolyn B.                            comment online or on paper, by                        203, 124 Stat. 1376 (2010), almost all
                                                Schumacher Trust, Saint George, Utah;                    following the instructions in the                     rulemaking authority for the ECOA,
                                                Cary Bryan Schumacher, as Trustee of                     Request for Comment part of the                       EFTA, CLA, and TILA transferred from
                                                The Carolyn B. Schumacher Trust, Saint                   SUPPLEMENTARY INFORMATION section                     the Board of Governors of the Federal
                                                George, Utah; Benjamin Frank                             below. Write ‘‘Regs BEMZ, PRA                         Reserve System (Board) to the Bureau of
                                                Browning, individually and as Trustee                    Comments, P084812’’ on your comment                   Consumer Financial Protection (BCFP)
                                                of The Frank W. Browning Trust,                          and file your comment online at https://              on July 21, 2011 (‘‘transfer date’’). To
                                                Pleasant View, Utah; Bryan Mann                          ftcpublic.commentworks.com/ftc/Regs                   implement this transferred authority,
                                                Browning, individually and as Trustee                    BEMZpra2 by following the instructions                the BCFP published interim final rules
                                                of The Jonathan W. Browning Trust,                       on the web-based form. If you prefer to               for new regulations in 12 CFR part 1002
                                                South Ogden, Utah; Jonathan Bennion                      file your comment on paper, mail your                 (Regulation B), 12 CFR part 1005
                                                Browning, individually and as Trustee                    comment to the following address:                     (Regulation E), 12 CFR part 1013
                                                of The Anthony S. Browning Trust,                        Federal Trade Commission, Office of the               (Regulation M), and 12 CFR 1026
                                                Kaysville, Utah; Roderick Clayton                        Secretary, 600 Pennsylvania Avenue                    (Regulation Z) for those entities under
                                                Browning, individually and as Trustee                    NW, Suite CC–5610 (Annex J),                          its rulemaking jurisdiction, which were
                                                of The Jonathan W. Browning Trust,                       Washington, DC 20580, or deliver your                 issued as final rules thereafter.1
                                                Riverdale, Utah; Reese Browning                          comment to the following address:                     Although the Dodd-Frank Act
                                                Schumacher, individually and as                          Federal Trade Commission, Office of the               transferred most rulemaking authority
                                                Trustee of The Carolyn B. Schumacher                     Secretary, Constitution Center, 400 7th               under ECOA, EFTA, CLA, and TILA to
                                                Trust, Saint George, Utah; Samuel                        Street SW, 5th Floor, Suite 5610 (Annex               the BCFP, the Board retained
                                                Frank Browning, Kaysville, Utah;                         J), Washington, DC 20024.                             rulemaking authority for certain motor
                                                Kristen Robinson Browning, as Trustee                    FOR FURTHER INFORMATION CONTACT:                      vehicle dealers 2 under these statutes
                                                of The Joshua and Kristen Browning                       Requests for additional information or                and also for certain interchange-related
                                                Trust dated 01/03/2014, Ogden, Utah;                     copies of the proposed information                    requirements under EFTA.3
                                                Spencer Thomas Browning, Ogden,                          requirements should be addressed to                      As a result of the Dodd-Frank Act, the
                                                Utah; Joseph Stuart Browning, Kaysville,                 Carole Reynolds or Stephanie                          FTC and the BCFP generally share the
                                                Utah; Katie Lynn Browning, Ogden,                        Rosenthal, Attorneys, Division of                     authority to enforce Regulations B, E, M,
                                                Utah; Isaac Cox Browning, Kaysville,                     Financial Practices, Bureau of Consumer               and Z for entities for which the FTC had
                                                Utah; Natalie Marie Browning,                            Protection, Federal Trade Commission,                 enforcement authority before the Act.4
                                                Kaysville, Utah; Richard Clayton                         600 Pennsylvania Ave. NW,                             For certain motor vehicle dealers and
                                                Browning, Ogden, Utah; Mary Elizabeth                    Washington, DC 20580, (202) 326–3224.                 for certain state-chartered credit unions,
                                                Schumacher, Saint George, Utah, and                      SUPPLEMENTARY INFORMATION: On April                   the FTC generally has exclusive
                                                Andrew David Browning Centerville,                       3, 2018, the FTC sought public comment                enforcement jurisdiction.5 The division
                                                Utah; to retain shares of BOU Bancorp,                   on the information collection
                                                Inc., and thereby retain shares of Bank                  requirements associated with the four
                                                                                                                                                                 1 12 CFR 1002 (Reg. B) (76 FR 79442, Dec. 21,

                                                of Utah, both of Ogden, Utah.                                                                                  2011) (81 FR 25323, Apr. 28, 2016); 12 CFR 1005
                                                                                                         consumer financial regulations at issue.              (Reg. E) (76 FR 81020, Dec. 27, 2011); (81 FR 25323,
                                                  Board of Governors of the Federal Reserve              83 FR 14273. No relevant comments                     Apr. 28, 2016) 12 CFR 1013 (Reg. M) (76 FR 78500,
                                                System, July 23, 2018.                                   were received. The four regulations                   Dec. 19, 2011) (81 FR 25323, Apr. 28, 2016); 12 CFR
                                                Yao-Chin Chao,                                                                                                 1026 (Reg. Z) (76 FR 79768, Dec. 22, 2011) (81 FR
                                                                                                         covered by that and this Notice were                  25323, Apr. 28, 2016).
                                                Assistant Secretary of the Board.                        and are, respectively:                                  2 Generally, these are dealers ‘‘predominantly
                                                [FR Doc. 2018–15988 Filed 7–25–18; 8:45 am]                 (1) Regulations promulgated under                  engaged in the sale and servicing of motor vehicles,
                                                BILLING CODE P                                           the Equal Credit Opportunity Act, 15                  the leasing and servicing of motor vehicles, or
                                                                                                                                                               both.’’ See Dodd-Frank Act, § 1029(a)–(c).
                                                                                                         U.S.C. 1691 et seq. (‘‘ECOA’’)                          3 See Dodd-Frank Act, § 1075 (these requirements
                                                                                                         (‘‘Regulation B’’) (OMB Control Number:               are implemented through Board Regulation II, 12
                                                FEDERAL TRADE COMMISSION                                 3084–0087);                                           CFR 235, rather than EFTA’s implementing
                                                                                                            (2) Regulations promulgated under                  Regulation E).
                                                Agency Information Collection                            the Electronic Fund Transfer Act, 15                    4 This covers a myriad of entities that provide

                                                Activities; Submission for OMB                                                                                 credit to consumers, as well as BCFP retaining
                                                                                                         U.S.C. 1693 et seq. (‘‘EFTA’’)                        concurrent jurisdiction over certain types of motor
                                                Review; Comment Request; Extension                       (‘‘Regulation E’’) (OMB Control Number:               vehicle dealers. See Dodd-Frank Act § 1029(a), as
                                                AGENCY:   Federal Trade Commission                       3084–0085);                                           limited by subsection (b) as to motor vehicle
                                                                                                            (3) Regulations promulgated under                  dealers. Subsection (b) does not preclude BCFP
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                                                (‘‘FTC’’ or ‘‘Commission’’).                                                                                   regulatory oversight regarding, among others,
                                                ACTION: Notice.
                                                                                                         the Consumer Leasing Act, 15 U.S.C.                   businesses that extend retail credit or retail leases
                                                                                                         1667 et seq. (‘‘CLA’’) (‘‘Regulation M’’)             for motor vehicles in which the credit or lease
                                                SUMMARY:  In compliance with the                         (OMB Control Number: 3084–0086); and                  offered is provided directly from those businesses
                                                Paperwork Reduction Act (PRA) of                            (4) Regulations promulgated under                  to consumers, where the contract is not routinely
                                                                                                                                                               assigned to unaffiliated third parties.
                                                1995, the FTC is seeking public                          the Truth-In-Lending Act, 15 U.S.C.                     5 See Dodd-Frank Act § 1029(a)–(c) regarding
                                                comments on its request to the Office of                 1601 et seq. (‘‘TILA’’) (‘‘Regulation Z’’)            motor vehicle dealers, as limited by subsection (b)
                                                Management and Budget (‘‘OMB’’) to                       (OMB Control Number: 3084–0088).                                                                  Continued




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                                                35478                           Federal Register / Vol. 83, No. 144 / Thursday, July 26, 2018 / Notices

                                                of PRA burden hours not attributable to                   that do not, their compliance burden                  lessors.9 The burden estimates represent
                                                motor vehicle dealers and, when                           will vary widely depending on the                     FTC staff’s best assessment, based on its
                                                appropriate, to state-chartered credit                    extent to which they have developed                   knowledge and expertise relating to the
                                                unions, is reflected in the BCFP’s PRA                    effective computer-based or electronic                financial services industry, of the
                                                clearance requests to OMB, as well as in                  systems and procedures to communicate                 average time to complete the
                                                the FTC’s burden estimates below. The                     and document required recordkeeping                   aforementioned tasks associated with
                                                burden estimates associated with all                      and disclosures.8                                     recordkeeping and disclosure. Staff
                                                motor vehicle dealers and now, when                          Covered entities, may incur some                   considered the wide variations in
                                                appropriate, the estimated burden                         burden associated with ensuring that                  covered entities’ (1) size and location;
                                                estimates associated with state-                          they do not prematurely dispose of                    (2) credit or lease products offered,
                                                chartered credit unions, are reflected in                 relevant records (i.e., during the time               extended, or advertised, and their
                                                the burden summaries below as a                           span they must retain records under the               particular terms; (3) EFT types used; (4)
                                                ‘‘carve-out.’’ 6                                          applicable regulation).                               types and frequency of adverse actions
                                                   The regulations impose certain                            The regulations also require covered               taken; (5) types of appraisal reports
                                                recordkeeping and disclosure                              entities to make disclosures to third                 utilized; and (6) computer systems and
                                                requirements associated with providing                    parties. Related compliance involves                  electronic features of compliance
                                                credit or with other financial                            set-up/monitoring and transaction-                    operations.
                                                transactions. Under the PRA, 44 U.S.C.                    specific costs. ‘‘Set-up’’ burden,                       The cost estimates that follow relate
                                                3501–3521, Federal agencies must get                      incurred only by covered new entrants,                solely to labor costs, and they include
                                                OMB approval for each collection of                       includes their identifying the applicable             the time necessary to train employees
                                                information they conduct or sponsor.                      required disclosures, determining how                 how to comply with the regulations.
                                                ‘‘Collection of information’’ includes                    best to comply, and designing and                     Staff calculated labor costs by
                                                agency requests or requirements to                        developing compliance systems and                     multiplying appropriate hourly wages
                                                submit reports, keep records, or provide                  procedures. ‘‘Monitoring’’ burden,                    by the burden hours described above.
                                                information to a third party. See 44                      incurred by all covered entities,                     The hourly wages used were $56 for
                                                U.S.C. 3502(3); 5 CFR 1320.3(c).                          includes their time and costs to review               managerial oversight, $42 for skilled
                                                   The required recordkeeping and                         changes to regulatory requirements,                   technical services, and $17 for clerical
                                                disclosures do not impose PRA burden                      make necessary revisions to compliance                work. These figures are averages drawn
                                                on some covered entities because they                     systems and procedures, and to monitor                from Bureau of Labor Statistics data.10
                                                make those disclosures and maintain                       the ongoing operation of systems and                  Further, the FTC cost estimates assume
                                                records in their normal course of                         procedures to ensure continued                        the following labor category
                                                activities.7 For other covered entities                   compliance. ‘‘Transaction-related’’                   apportionments, except where
                                                                                                          burden refers to the time and cost                    otherwise indicated below:
                                                concerning motor vehicle dealers engaged in direct
                                                                                                          associated with providing the various                 Recordkeeping—10% skilled technical,
                                                financing for vehicles they sell, lease, or service.                                                            90% clerical; disclosure—10%
                                                Subsection (c) recognizes the FTC’s ongoing               required disclosures in individual
                                                enforcement authority over motor vehicle dealers          transactions, thus, generally, of much                managerial, 90% skilled technical.
                                                predominantly engaged in the sale and servicing of                                                                 The applicable PRA requirements
                                                                                                          less magnitude than ‘‘monitoring’’ (or
                                                motor vehicles, the leasing and servicing of motor                                                              impose minimal capital or other non-
                                                vehicles, or both, including those that, among other      ‘‘setup’’) burden. The FTC’s estimates of
                                                                                                                                                                labor costs. Affected entities generally
                                                things, assign their contracts to unaffiliated third      transaction time and volume are
                                                                                                                                                                already have the necessary equipment
                                                parties.                                                  intended as averages.
                                                   The FTC’s enforcement authority also includes                                                                for other business purposes. Similarly,
                                                                                                             Calculating the burden associated
                                                state-chartered credit unions. In varying ways, other                                                           FTC staff estimates that compliance
                                                                                                          with the regulations’ requirements is
                                                federal agencies also have enforcement authority                                                                with these rules entails minimal
                                                over state-chartered credit unions. For example, for      very difficult because of the highly
                                                                                                                                                                printing and copying costs beyond that
                                                large credit unions (exceeding $10 billion in assets),    diverse group of affected entities. The
                                                the BCFP has certain authority. The National Credit                                                             associated with documenting financial
                                                                                                          ‘‘respondents’’ included in the
                                                Union Administration also has certain authority for                                                             transactions in the normal course of
                                                                                                          following burden calculations consist
                                                state-chartered federally insured credit unions, and                                                            business.
                                                it additionally provides insurance for certain state-     of, among others, credit and lease                       The following discussion and tables
                                                chartered credit unions through the National Credit       advertisers, creditors, owners (such as               present FTC estimates under the PRA of
                                                Union Share Insurance Fund and examines state-            purchasers and assignees) of credit
                                                chartered credit unions for various purposes. See                                                               recordkeeping and disclosure average
                                                generally Dodd-Frank Act, §§ 1061, 1025, 1026.
                                                                                                          obligations, financial institutions,                  time and labor costs, excluding that
                                                   6 As of the third quarter of 2017, there was           service providers, certain government                 which the FTC believes entities incur
                                                approximately the following number of State-              agencies and others involved in                       customarily in the normal course of
                                                chartered credit unions: 2,347 state-chartered credit     delivering electronic fund transfers                  business 11 and information compiled
                                                unions—2,106 federally insured, 125 privately             (‘‘EFTs’’) of government benefits, and
                                                insured, and 116 in Puerto Rico insured by a quasi-                                                             and produced in response to FTC law
                                                governmental entity. Because of the difficulty in                                                               enforcement investigations or
                                                parsing out PRA burden for such entities in view          course of business, regardless of any regulatory      prosecutions.12
                                                of the overlapping agency authority (see supra note       requirement. See 5 CFR 1320.3(b)(2).
                                                5), the FTC’s estimates include PRA burden for all          8 For example, large companies may use
                                                                                                                                                                   9 The Commission generally does not have
                                                state-chartered credit unions (rounded to 2,300).         computer-based and/or electronic means to provide
                                                Similarly, because it is not practicable for PRA          required disclosures, including issuing some          jurisdiction over banks, thrifts, and federal credit
                                                purposes to estimate the portion of motor vehicle         disclosures en masse, e.g., notice of changes in      unions under the applicable regulations.
                                                                                                                                                                   10 These inputs are based broadly on mean hourly
                                                dealers that engage in one form of financing versus       terms. Smaller companies may have less automated
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                                                another (and that would or would not be subject to        compliance systems but may nonetheless rely on        data found within the ‘‘Bureau of Labor Statistics,
                                                BCFP oversight), the FTC staff’s ‘‘carve-out’’ for this   electronic mechanisms for disclosures and             Economic News Release,’’ March 31, 2017, Table 1,
                                                PRA burden analysis reflects a general estimated          recordkeeping. Regardless of size, some entities      ‘‘National employment and wage data from the
                                                volume of motor vehicle dealers. These attributions       may utilize compliance systems that are fully         Occupational Employment Statistics survey by
                                                of burden estimation for motor vehicle dealers and        integrated into their general business operational    occupation, May 2016.’’ http://www.bls.gov/
                                                state-chartered credit unions do not bear on actual       system; if so, they may have minimal additional       news.release/ocwage.t01.htm.
                                                enforcement authority.                                                                                             11 See supra note 7 and accompanying text.
                                                                                                          burden. Other entities may have incorporated fewer
                                                   7 PRA ‘‘burden’’ does not include ‘‘time, effort,      of these approaches into their systems and thus may      12 See 5 CFR 1320.4(a) (excluding information

                                                and financial resources’’ expended in the normal          have a higher burden.                                 collected in response to, among other things, a



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                                                                                               Federal Register / Vol. 83, No. 144 / Thursday, July 26, 2018 / Notices                                                                                                                        35479

                                                1. Regulation B                                                                       refinance originations), for a total of                                               also requires that for accounts that
                                                   The ECOA prohibits discrimination in                                               43,333 hours.14 Staff also estimates that                                             spouses may use or for which they are
                                                the extension of credit. Regulation B                                                 recordkeeping of self-testing subject to                                              contractually liable, creditors who
                                                implements the ECOA, establishing                                                     the regulation would affect 1,500 firms,                                              report credit history must do so in a
                                                disclosure requirements to assist                                                     with an average annual burden of one                                                  manner reflecting both spouses’
                                                customers in understanding their rights                                               hour (of skilled technical time) per firm,                                            participation. Further, it requires
                                                under the ECOA and recordkeeping                                                      for a total of 1,500 hours, and that                                                  creditors that collect applicant
                                                requirements to assist agencies in                                                    recordkeeping of any corrective action                                                characteristics for purposes of
                                                enforcement. Regulation B applies to                                                  as a result of self-testing would affect                                              conducting a self-test to disclose to
                                                retailers, mortgage lenders, mortgage                                                 10% of them, i.e., 150 firms, with an                                                 those applicants that: (1) Providing the
                                                brokers, finance companies, and others.                                               average annual burden of four hours (of                                               information is optional; (2) the creditor
                                                                                                                                      skilled technical time) per firm, for a                                               will not take the information into
                                                Recordkeeping                                                                         total of 600 hours.15 Keeping associated                                              account in any aspect of the credit
                                                   FTC staff estimates that Regulation B’s                                            records of race/national origin, sex, age,                                            transactions; and (3) if applicable, the
                                                general recordkeeping requirements                                                    and marital status requires an estimated                                              information will be noted by visual
                                                affect 530,762 credit firms subject to the                                            one minute of skilled technical time.                                                 observation or surname if the applicant
                                                Commission’s jurisdiction, at an average                                                                                                                                    chooses not to provide it.17
                                                                                                                                      Disclosure
                                                annual burden of 1.25 hours per firm for
                                                a total of 663,453 hours.13 Staff also                                                   Regulation B requires that creditors                                               Burden Totals
                                                estimates that the requirement that                                                   (i.e., entities that regularly participate in
                                                mortgage creditors monitor information                                                the decision whether to extend credit                                                 Recordkeeping: 708,886 hours (631,281
                                                about race/national origin, sex, age, and                                             under Regulation B) provide notices                                                     + 77,605 carve-out); $14,845,512
                                                marital status imposes a maximum                                                      whenever they take adverse action, such                                                 ($13,316,477 + $1,529,035 carve-out),
                                                burden of one minute each (of skilled                                                 as denial of a credit application. It                                                   associated labor costs
                                                technical time) for approximately 2.6                                                 requires entities that extend mortgage                                                Disclosures: 1,088,912 hours (961,224 +
                                                million credit applications (based on                                                 credit with first liens to provide a copy                                               127,688 carve-out); $47,258,792
                                                industry data regarding the approximate                                               of the appraisal report or other written                                                ($41,717,144 + $5,541,648 carve-out),
                                                number of mortgage purchase and                                                       valuation to applicants.16 Regulation B                                                 associated labor costs
                                                                                                                           REGULATION B—DISCLOSURES—BURDEN HOURS
                                                                                                                                                                    Setup/monitoring 1                                                  Transaction-related 2
                                                                                                                                                                                                                                                                                               Total
                                                                                                                                                                           Average              Total setup/                                     Average                  Total
                                                                                     Disclosures                                                                                                                                                                                              Burden
                                                                                                                                                                         burden per              monitoring             Number of              burden per             transaction
                                                                                                                                                Respondents                                                                                                                                   (hours)
                                                                                                                                                                         respondent               burden               transactions            transaction               burden
                                                                                                                                                                           (hours)                (hours)                                       (minutes)               (hours)

                                                Credit history reporting ............................................................                    133,553                       .25              33,388          60,098,850                          .25            250,412              283,800
                                                Adverse action notices ............................................................                      530,762                       .75             398,072          92,883,350                          .25            387,014              785,086
                                                Appraisal reports/written valuations ........................................                              4,650                          1              4,650           1,725,150                          .50             14,376               19,026
                                                Self-test disclosures ................................................................                     1,500                         .5                750              60,000                          .25                250                1,000

                                                      Total .................................................................................   ......................   ....................   ....................   ....................   ....................   ....................     1,088,912
                                                   1 The  estimates assume that all applicable entities would be affected, with respect to appraisal reports and other written valuations. Given market changes, the esti-
                                                mated number of these entities is decreased slightly while the estimated number of entities affected by credit history, adverse action and self-test burden is increased
                                                slightly from the most recently cleared FTC burden estimates.
                                                   2 Applicable transactions have increased for appraisal reports; however, credit history, adverse action and self-test transactions have decreased, based on market
                                                changes.

                                                                                                               REGULATION B—RECORDKEEPING AND DISCLOSURES—COST
                                                                                                                                                              Managerial                                Skilled technical                                    Clerical
                                                                                                                                                                                                                                                                                             Total cost
                                                                                    Required task                                                      Time                   Cost                   Time                   Cost                   Time                   Cost                  ($)
                                                                                                                                                      (hours)               ($56/hr.)               (hours)               ($42/hr.)               (hours)               ($17/hr.)

                                                General recordkeeping ..............................................................                               0                     $0              66,345         $2,786,490                  597,108          $10,150,836            $12,937,326
                                                Other recordkeeping .................................................................                              0                      0              43,333          1,819,986                        0                    0              1,819,986
                                                Recordkeeping of self-test ........................................................                                0                      0               1,500             63,000                        0                    0                 63,000
                                                Recordkeeping of corrective action ..........................................                                      0                      0                 600             25,200                        0                    0                 25,200

                                                    Total Recordkeeping ..........................................................                ....................   ....................   ....................   ....................   ....................   ....................    14,845,512
                                                Disclosures:

                                                federal civil action or ‘‘during the conduct of an                                    implement it. The Commission will address PRA                                         in a given year, and staff has sought to address such
                                                administrative action, investigation, or audit                                        burden for its enforcement of the requirement after                                   factors in its burden estimates.
                                                involving an agency against specific individuals or                                   the BCFP and the Board have issued the associated                                       16 While the rule also requires the creditor to

                                                entities’’).                                                                          final rules.                                                                          provide a short written disclosure regarding the
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                                                  13 Section 1071 of the Dodd-Frank Act amended                                          14 Regulation B contains model forms that                                          appraisal process, the disclosure is provided by the
                                                the ECOA to require financial institutions to collect                                 creditors may use to gather and retain the required                                   BCFP, and is thus not a ‘‘collection of information’’
                                                and report information concerning credit                                              information.                                                                          for PRA purposes. See 5 CFR 1320.3(c)(2).
                                                applications by women- or minority-owned                                                 15 In contrast to banks, for example, entities under                               Accordingly, it is not included in burden estimates
                                                businesses and small businesses, effective on the                                     FTC jurisdiction are not subject to audits by the                                     below.
                                                July 21, 2011 transfer date. Both the BCFP and the                                    FTC for compliance with Regulation B; rather they                                       17 The disclosure may be provided orally or in

                                                Board have exempted affected entities from                                            may be subject to FTC investigations and                                              writing. The model form provided by Regulation B
                                                complying with this requirement until a date set by                                   enforcement actions. This may impact the level of                                     assists creditors in providing the written disclosure,
                                                the prospective final rules these agencies issue to                                   self-testing (as specifically defined by Regulation B)                                which helps to reduce burden.



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                                                35480                                          Federal Register / Vol. 83, No. 144 / Thursday, July 26, 2018 / Notices

                                                                                                 REGULATION B—RECORDKEEPING AND DISCLOSURES—COST—Continued
                                                                                                                                                              Managerial                                Skilled technical                                    Clerical
                                                                                                                                                                                                                                                                                             Total cost
                                                                                    Required task                                                      Time                   Cost                   Time                   Cost                   Time                   Cost                  ($)
                                                                                                                                                      (hours)               ($56/hr.)               (hours)               ($42/hr.)               (hours)               ($17/hr.)

                                                      Credit history reporting ......................................................                     28,380            1,589,280                 255,420           10,727,640                             0                      0      12,316,920
                                                      Adverse action notices .......................................................                      78,509            4,396,504                 706,577           29,676,234                             0                      0      34,072,738
                                                      Appraisal reports ................................................................                   1,903              106,568                  17,123              719,166                             0                      0         825,734
                                                      Self-test disclosure .............................................................                     100                5,600                     900               37,800                             0                      0          43,400

                                                             Total Disclosures ........................................................          ....................   ....................   ....................    ....................   ....................   ....................   $47,258,792

                                                                    Total Recordkeeping and Disclosures ................                         ....................   ....................   ....................    ....................   ....................   ....................   $62,104,304



                                                2. Regulation E                                                                      provide gift cards, service providers,                                                 jurisdiction engaged in applicable
                                                                                                                                     various federal and state agencies                                                     activities.
                                                  The EFTA requires that covered                                                     offering EFTs, prepaid account entities,
                                                entities provide consumers with                                                      etc. Staff estimates that Regulation E’s                                               Burden Totals
                                                accurate disclosure of the costs, terms,                                             recordkeeping requirements affect
                                                and rights relating to EFT and certain                                                                                                                                      Recordkeeping: 251,053 hours (233,947
                                                                                                                                     251,053 firms offering EFT and certain                                                   + 17,106 carve-out); $4,895,526
                                                other services. Regulation E implements                                              other services to consumers and that are
                                                the EFTA, establishing disclosure and                                                                                                                                         ($4,561,949 + $333,577 carve-out),
                                                                                                                                     subject to the Commission’s
                                                other requirements to aid consumers                                                                                                                                           associated labor costs
                                                                                                                                     jurisdiction, at an average annual
                                                and recordkeeping requirements to                                                    burden of one hour per firm, for a total                                               Disclosures: 7,184,905 hours (7,165,931
                                                assist agencies with enforcement. It                                                 of 251,053 hours. This represents a                                                      + 18,974 carve-out); $311,824,884
                                                applies to financial institutions,                                                   decrease from prior figures, reflecting a                                                ($310,999,818 + $825,066 carve-out),
                                                retailers, gift card issuers and others that                                         decrease in entities under FTC                                                           associated labor costs
                                                                                                                           REGULATION E—DISCLOSURES—BURDEN HOURS
                                                                                                                                                              Setup/monitoring 1                                                     Transaction-related 2
                                                                                                                                                                                                                                                                                               Total
                                                                                                                                                                     Average              Total setup/                                           Average                 Total
                                                                                  Disclosures                                                                                                                                                                                                 Burden
                                                                                                                                                                   burden per              monitoring                  Number of               burden per             transaction
                                                                                                                                          Respondents                                                                                                                                         (hours)
                                                                                                                                                                   respondent               burden                    transactions             transaction              burden
                                                                                                                                                                     (hours)                (hours)                                             (minutes)               (hours)

                                                Initial terms ........................................................................              27,300                         .5             13,650                    273,000                         .02                 91               13,741
                                                Change in terms ................................................................                     8,550                         .5              4,275                 11,286,000                         .02              3,762                8,037
                                                Periodic statements ...........................................................                     27,300                         .5             13,650                327,600,000                         .02            109,200              122,850
                                                Error resolution ..................................................................                 27,300                         .5             13,650                    273,000                           5             22,750               36,400
                                                Transaction receipts ..........................................................                     27,300                         .5             13,650              1,375,000,000                         .02            458,333              471,983
                                                Preauthorized transfers 2 ...................................................                      258,553                         .5            129,277                  6,463,825                         .25             26,933              156,210
                                                Service provider notices ....................................................                       20,000                       .25               5,000                    200,000                         .25                833                5,833
                                                ATM notices ......................................................................                     125                       .25                  31                 25,000,000                         .25            104,167              104,198
                                                Electronic check conversion 3 ...........................................                           48,553                         .5             24,277                    728,295                         .02                243               24,520
                                                Overdraft services .............................................................                    15,000                         .5              7,500                  1,500,000                         .02                500                8,000
                                                Gift cards ...........................................................................              15,000                         .5              7,500                750,000,000                         .02            250,000              257,500
                                                Remittance transfers:
                                                      Disclosures .................................................................                    4,800                   1.25                 6,000               96,000,000                            .9         1,440,000            1,446,000
                                                      Error resolution ..........................................................                      4,800                   1.25                 6,000              120,960,000                            .9         1,814,400            1,820,400
                                                      Agent compliance ......................................................                          4,800                   1.25                 6,000               96,000,000                            .9         1,440,000            1,446,000
                                                Prepaid accounts and gov’t benefits: 4
                                                      Disclosures .................................................................                       550           5 40 × 10                220,000              2,750,000,000                          .02            916,667           1,136,667
                                                      Disclosures—updates ................................................                                138              1 × 10                  6 1,380                      N/A           ....................   ....................         1,380
                                                      Access to account information ...................................                                   550           7 20 × 10                110,000                  1,100,000                          .01                   183          110,183
                                                      Error resolution ..........................................................                         300               4×4                      4,800                  275,000                             2               9,167            13,967
                                                      Error resolution—followup 8 .......................................                 ......................              N/A         ....................                1,380                           30                   690              690
                                                      Submission of agreements ........................................                                   138               2×1                         276                     690                             1                    12             288
                                                      Updates to agreements 9 ...........................................                 ......................              N/A         ....................                  690                             5                    58              58

                                                             Total ....................................................................   ......................   ....................   ....................   ..........................   ....................   ....................     7,184,905
                                                   1 Except as noted below, most respondent tallies in this table have decreased due to business shifts and other market changes that result in fewer entities under
                                                FTC jurisdiction. Accordingly, related transactions under FTC jurisdiction have also decreased.
                                                  2 Preauthorized transfers rules apply to ‘‘persons’’ and entities. The number of respondents and transactions by such persons have increased, as these
                                                preauthorized transfers are used more commonly than previously.
                                                  3 The total number of electronic check conversion respondents and transactions has decreased, particularly due to declining check usage.
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                                                  4 Prepaid accounts are now covered by Regulation E (and payroll cards are included in this area). Government benefit notices are included also in this area, al-
                                                though some separate requirements for government benefits remain; these factors are accounted for in the estimates. The number of government benefit entities also
                                                have declined given business shifts that have reduced the number of entities under FTC jurisdiction (and prepaid entities under FTC jurisdiction are also few in num-
                                                ber).
                                                  5 Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
                                                  6 This reflects prepaid accounts’ updates of additional fee type disclosures. Individual burden hours are listed first, followed by the number of programs.
                                                  7 Burden hours are on a per program basis; individual burden hours are listed first, followed by the number of programs.
                                                  8 This pertains to prepaid accounts.
                                                  9 This pertains to prepaid accounts’ agreements.




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                                                                                               Federal Register / Vol. 83, No. 144 / Thursday, July 26, 2018 / Notices                                                                                                                           35481

                                                                                                               REGULATION B—RECORDKEEPING AND DISCLOSURES—COST
                                                                                                                                                   Managerial                                    Skilled technical                                   Clerical
                                                                                                                                                                                                                                                                                           Total cost
                                                                              Required task                                                 Time                    Cost                   Time                     Cost                   Time                   Cost                        ($)
                                                                                                                                           (hours)                ($56/hr.)               (hours)                 ($42/hr.)               (hours)               ($17/hr.)

                                                Recordkeeping ..............................................................                             0                     $0                25,105          $1,054,410                  225,948           $3,841,116                       $4,895,526
                                                Disclosures:
                                                    Initial terms .............................................................                   1,374               76,944                  12,367                519,414                            0                      0                    596,358
                                                    Change in terms ....................................................                            804               45,024                   7,233                303,786                            0                      0                    348,810
                                                    Periodic statements ...............................................                          12,285              687,960                 110,565              4,643,730                            0                      0                  5,331,690
                                                    Error resolution ......................................................                       3,640              203,840                  32,760              1,375,920                            0                      0                  1,579,760
                                                    Transaction receipts ...............................................                         47,198            2,643,088                 424,785             17.840.970                            0                      0                 20,484,058
                                                    Preauthorized transfers ..........................................                           15,621              874,776                 140,589              5,904,738                            0                      0                  6,779,514
                                                    Service provider notices ........................................                               583               32,648                   5,250                220,500                            0                      0                    253,148
                                                    ATM notices ...........................................................                      10,420              583,520                  93,778              3,938,676                            0                      0                  4,522,196
                                                    Electronic check conversion ..................................                                2,452              137,312                  22,068                926,856                            0                      0                  1,064,168
                                                    Overdraft services ..................................................                           800               44,800                   7,200                302,400                            0                      0                    347,200
                                                    Gift cards ................................................................                  25,750            1,442,000                 231,750              9,733,500                            0                      0                 11,175,500
                                                Remittance transfers:
                                                    Disclosures .............................................................                   144,600           8,097,600               1,301,400              54,658,800                            0                      0                 62,756,400
                                                    Error resolution ......................................................                     182,040          10,194,240               1,638,360              68,811,120                            0                      0                 79,005,360
                                                    Agent compliance ..................................................                         144,600           8,097,600               1,301,400              54,658,800                            0                      0                 62,756,400
                                                Prepaid accounts and gov’t. benefits:
                                                    Disclosures .............................................................                   113,667            6,365,352              1,023,000              42,966,000                            0                      0                 49,331,352
                                                    Disclosures—updates ............................................                                138                7,728                  1,242                  52,164                            0                      0                     59,892
                                                    Access to account information ...............................                                11,018              617,008                 99,165               4,164,930                            0                      0                  4,781,938
                                                    Error resolution ......................................................                       1,397               78,232                 12,570                 527,940                            0                      0                    606,172
                                                    Error resolution—followup ......................................                                 69                3,864                    621                  26,082                            0                      0                     29,946
                                                    Submission of agreements ....................................                                    29                1,624                    259                  10,878                            0                      0                     12,502
                                                    Updates to agreements .........................................                                   6                  336                     52                   2,184                            0                      0                      2,520

                                                             Total Disclosures ............................................            ....................    ....................   ....................     ....................   ....................   ....................              311,824,884

                                                                   Total Recordkeeping and Disclosures ....                            ....................    ....................   ....................     ....................   ....................   ....................              316,720,410



                                                3. Regulation M                                                                       independent leasing companies, and                                                        of one hour per firm, for a total of
                                                                                                                                      manufacturers’ captive finance                                                            30,203 hours.
                                                  The CLA requires that covered                                                       companies), computer lessors (such as
                                                entities provide consumers with                                                                                                                                                 Burden Totals 18
                                                                                                                                      computer dealers and other retailers),
                                                accurate disclosure of the costs and                                                  furniture lessors, various electronic                                                     Recordkeeping: 30,203 hours (3,513 +
                                                terms of leases. Regulation M                                                         commerce lessors, diverse types of lease                                                    26,690 carve-out); $1,649,088
                                                implements the CLA, establishing                                                      advertisers, and others.                                                                    ($191,814 + $1,457,274 carve-out),
                                                disclosure requirements to help                                                         Staff estimates that Regulation M’s                                                       associated labor costs
                                                consumers comparison shop and                                                         recordkeeping requirements affect                                                         Disclosures: 71,750 hours (2,094 +
                                                understand the terms of leases and                                                    approximately 30,203 firms within the                                                       69,656 carve-out); $3,917,550
                                                recordkeeping requirements. It applies                                                FTC’s jurisdiction leasing products to                                                      ($114,394 + $3,803,156 carve-out),
                                                to vehicle lessors (such as auto dealers,                                             consumers at an average annual burden                                                       associated labor costs
                                                                                                                           REGULATION M—DISCLOSURES—BURDEN HOURS
                                                                                                                                                                      Setup/monitoring                                                      Transaction-related
                                                                                                                                                                                                                                                                                                  Total
                                                                                                                                                                             Average               Total setup/                                      Average                  Total
                                                                                     Disclosures                                                                                                                                                                                                 burden
                                                                                                                                                                           burden per               monitoring              Number of              burden per             transaction
                                                                                                                                                 Respondents                                                                                                                                     (hours)
                                                                                                                                                                           respondent                burden                transactions            transaction               burden
                                                                                                                                                                             (hours)                 (hours)                                        (minutes)               (hours)

                                                Motor Vehicle Leases 1 ...........................................................                            26,690                      1                  26,690           4,000,000                        .50                  33,333         60,023
                                                Other Leases 2 ........................................................................                        3,513                    .50                   1,757              60,000                        .25                     250          2,007
                                                Advertising 3 ............................................................................                    14,615                    .50                   7,308             578,960                        .25                   2,412          9,720

                                                      Total .................................................................................    ......................   ....................     ....................   ....................   ....................   ....................       71,750
                                                   1 This category focuses on consumer vehicle leases. Vehicle leases are subject to more lease disclosure requirements (pertaining to computation of payment obli-
                                                gations) than other lease transactions. (Only consumer leases for more than four months are covered.) See 15 U.S.C. 1667(1); 12 CFR 1013.2(e)(1). While the num-
                                                ber of respondents for vehicle leases has decreased with market changes, the number of vehicle lease transactions has remained about the same, compared to past
                                                FTC estimates. Leases up to $55,800 plus an annual adjustment are now covered. The resulting total burden has decreased.
                                                   2 This category focuses on all types of consumer leases other than vehicle leases. It includes leases for computers, other electronics, small appliances, furniture,
                                                and other transactions. (Only consumer leases for more than four months are covered.) See 15 U.S.C. 1667(1); 12 CFR 1013.2(e)(1). The number of respondents
                                                has decreased, based on market changes in companies and types of transactions they offer; the number of such transactions has also declined, based on types of
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                                                transactions offered that are covered by the CLA. Leases up to $55,800 plus an annual adjustment are now covered. The resulting total burden has decreased.
                                                   3 Respondents for advertising have decreased as have lease advertisements, based on market changes, from past FTC estimates. The resulting total burden has
                                                decreased.


                                                  18 Recordkeeping and disclosure burden estimates                                    industry information, the estimates for                                                   and given the different types of motor vehicle
                                                for Regulation M are more substantial for motor                                       recordkeeping and disclosure costs assume the                                             dealers, the FTC is including in its estimates burden
                                                vehicle leases than for other leases, including                                       following: 90% managerial, and 10% skilled                                                for all of them.
                                                burden estimates based on market changes and                                          technical. As noted above, for purposes of PRA
                                                regulatory definitions of coverage. Based on                                          burden calculations for Regulations B, E, M, and Z,



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                                                35482                                       Federal Register / Vol. 83, No. 144 / Thursday, July 26, 2018 / Notices

                                                                                                          REGULATION M—RECORDKEEPING AND DISCLOSURES—COST
                                                                                                                                                      Managerial                                Skilled technical                                    Clerical                          Total
                                                                                 Required task                                                                                                                                                                                         cost
                                                                                                                                               Time                   Cost                   Time                   Cost                   Time                    Cost                 ($)
                                                                                                                                              (hours)               ($56/hr.)               (hours)               ($42/hr.)               (hours)                ($17/hr.)

                                                Recordkeeping ........................................................................            27,183           $1,522,248                     3,020             $126,840                           0                        0     $1,649,088
                                                Disclosures:
                                                    Motor Vehicle Leases ......................................................                    54,021           3,025,176                     6,002               252,084                          0                       0       3,277,260
                                                    Other Leases ...................................................................                1,806             101,136                       201                 8,442                          0                       0         109,578
                                                    Advertising .......................................................................             8,748             489,888                       972                40,824                          0                       0         530,712

                                                            Total Disclosures ......................................................      ....................   ....................   ....................   ....................   ....................    ....................     3,917,550

                                                                   Total Recordkeeping and Disclosures ..............                     ....................   ....................   ....................   ....................   ....................    ....................     5,566,638



                                                4. Regulation Z                                                                 finance companies; auto dealerships;                                                  average annual burden of 1.25 hours per
                                                   The TILA was enacted to foster                                               private education loan companies;                                                     entity with .25 additional hours per
                                                comparison credit shopping and                                                  merchants who extend credit for goods                                                 entity for 3,650 entities (ability to pay),
                                                informed credit decision making by                                              or services; credit advertisers; acquirers                                            and 5 additional hours per entity for
                                                requiring creditors and others to provide                                       of mortgages; and others. Additional                                                  4,500 entities (loan originators).
                                                accurate disclosures regarding the costs                                        requirements also exist in the mortgage
                                                                                                                                                                                                                      Burden Totals
                                                and terms of credit to consumers.19                                             area, including for high cost mortgages,
                                                Regulation Z implements the TILA,                                               higher-priced mortgage loans,20 ability                                               Recordkeeping: 561,866 hours (484,961
                                                establishing disclosure requirements to                                         to pay of mortgage consumers, mortgage                                                  + 76,905 carve-out); $10,956,397
                                                assist consumers and recordkeeping                                              servicing, loan originators, and certain                                                ($9,456,749 + $1,499,648 carve-out),
                                                requirements to assist agencies with                                            integrated mortgage disclosures.                                                        associated labor costs
                                                enforcement. These requirements                                                    FTC staff estimates that Regulation Z’s                                            Disclosures: 7,854,575 hours (6,838,256
                                                pertain to open-end and closed-end                                              recordkeeping requirements affect                                                       + 1,016,319 carve-out; $318,601,732
                                                credit and apply to various types of                                            approximately 430,762 entities subject                                                  ($274,493,500 + $44,108,232 carve-
                                                entities, including mortgage companies;                                         to the Commission’s jurisdiction, at an                                                 out), associated labor costs
                                                                                                                      REGULATION Z—DISCLOSURES—BURDEN HOURS
                                                                                                                                                             Setup/monitoring                                                     Transaction-related
                                                                                                                                                                                                                                                                                        Total
                                                                                                                                                                   Average              Total setup/                                       Average                  Total
                                                                                 Disclosures 1                                                                                                                                                                                         burden
                                                                                                                                                                 burden per              monitoring              Number of               burden per              transaction
                                                                                                                                          Respondents                                                                                                                                  (hours)
                                                                                                                                                                 respondent               burden                transactions             transaction               burden
                                                                                                                                                                   (hours)                (hours)                                         (minutes)                (hours)

                                                Open-end credit:
                                                       Initial terms .............................................................                23,650                     .75                 17,738           10,500,600                        .375               65,629             83,367
                                                       Initial terms—prepaid accounts ..............................                                   3                  24 ×1                      12          33   × 78,667                      .125                  492                504
                                                       Rescission notices ..................................................                         750                       .5                   375                  3,750                        .25                  16                391
                                                       Subsequent disclosures ..........................................                           4,650                     .75                  3,488           23,250,000                       .188                72,850             76,338
                                                       Subsequent disclosures—prepaid accounts ..........                                              3                  44 × 1                     12          5 3 × 78,667                     .0625                   246                258
                                                       Periodic statements ................................................                       23,650                     .75                 17,738         788,325,450                       .0938             1,232,415          1,250,153
                                                       Periodic statements—prepaid accounts .................                                          3                6 40 × 1                    120        7 3 × 944,000                    .03125                  1,475              1,595
                                                       Error resolution .......................................................                   23,650                     .75                 17,738             2,104,850                           6             210,485            228,223
                                                       Error resolution—prepaid accounts followup ..........                                           3                  84 × 1                     12            9 3 × 1,180                         15             885 897
                                                       Credit and charge card accounts ...........................                                10,250                     .75                  7,688             5,125,000                       .375               32,031            39,719
                                                       Credit and charge card accounts—prepaid ac-
                                                          counts ..................................................................                     3               10 4   ×1                    12                  × 12
                                                                                                                                                                                                                      11 3                           240                   144              156
                                                       Settlement of estate debts ......................................                           23,650                      .75               17,738               496,650                       .375                 3,104           20,842
                                                       Special credit card requirements ............................                               10,250                      .75                7,688             5,125,000                       .375                32,031           39,719
                                                       Home equity lines of credit .....................................                              750                        .5                 375                 5,250                         .25                   22              397
                                                       Home equity lines of credit high-cost mortgages ...                                            250                         2                 500                 1,500                           2                   50              550
                                                       College student credit card marketing—ed. institu-
                                                          tions .....................................................................               1,350                         .5                 675                 81,000                       .25                    338           1,013
                                                       College student credit card marketing—card
                                                          issuer reports ......................................................                       150                      .75                   113                4,500                         .75                   56              169
                                                       Posting and reporting of credit card agreements ...                                         10,250                      .75                 7,688            5,125,000                       .375                32,031           39,719
                                                       Posting and reporting of prepaid account agree-
                                                          ments ...................................................................                   3              12 .75 ×1                       2                13 3 × 5                        2.5                        1            3
                                                       Advertising ..............................................................                38,650                     .75                 28,988                115,950                         .75                 1,449          30,437
                                                       Advertising—prepaid accounts ...............................                                   3               14 20 × 1                     60                    N/A          ....................    ....................          60
                                                       Advertising—prepaid accounts Updates ................                                          3              15 0.2 × 5                      3                    N/A          ....................    ....................           3
                                                       Sale, transfer, or assignment of mortgages ...........                                       500                      .5                    250                500,000                         .25                 2,083           2,333
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                                                       Appraiser misconduct reporting ..............................                            301,150                     .75                225,863              6,023,000                       .375                37,644          263,507
                                                       Mortgage servicing 16 ..............................................                       1,500                     .75                  1,125                150,000                           .5                1,250           2,375

                                                  19 On May 24, 2018, President Trump signed the                                Commission will address PRA burden for its                                            appraisal process for higher-priced mortgage loans,
                                                Economic Growth, Regulatory Relief, and Consumer                                enforcement of the requirements after the BCFP has                                    the disclosure is provided by the BCFP. As a result,
                                                Protection Act (Act), Public Law 115–174. Among                                 issued the associated final rules.                                                    it is not a ‘‘collection of information’’ for PRA
                                                other things, the Act amends the TILA in several                                   20 While Regulation Z also requires the creditor to                                purposes (see 5 CFR 1320.3(c)(2)). It is thus
                                                respects, and will be implemented by the BCFP
                                                                                                                                provide a short written disclosure regarding the                                      excluded from the burden estimates below.
                                                through amendments to Regulation Z. The



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                                                                                              Federal Register / Vol. 83, No. 144 / Thursday, July 26, 2018 / Notices                                                                                                                        35483

                                                                                                            REGULATION Z—DISCLOSURES—BURDEN HOURS—Continued
                                                                                                                                                                    Setup/monitoring                                                    Transaction-related
                                                                                                                                                                                                                                                                                              Total
                                                                                                                                                                          Average              Total setup/                                     Average                 Total
                                                                                   Disclosures 1                                                                                                                                                                                             burden
                                                                                                                                                                        burden per              monitoring             Number of              burden per             transaction
                                                                                                                                               Respondents                                                                                                                                   (hours)
                                                                                                                                                                        respondent               burden               transactions            transaction              burden
                                                                                                                                                                          (hours)                (hours)                                       (minutes)               (hours)

                                                        Loan originators ........................................................                           2,250                         2               4,500                22,500                         5               1,875              6,375
                                                Closed-end credit:
                                                        Credit disclosures .....................................................                        280,762                        .75            210,572         112,304,800                         2.25          4,211,430            4,422,002
                                                        Rescission notices ....................................................                             3,650                        .5               1,825           5,475,000                            1             91,250             93,075
                                                        Redisclosures ...........................................................                       101,150                          .5             50,575               505,750                      2.25               18,966             69,541
                                                        Integrated mortgage disclosures ..............................                                      3,650                       10              36,500          10,950,000                          3.5            638,750             675,250
                                                        Variable rate mortgages ...........................................                                 3,650                         1               3,650              365,000                      1.75               10,646             14,296
                                                        High cost mortgages .................................................                               1,750                         1               1,750                43,750                          2               1,458             3,208
                                                        Higher priced mortgages ..........................................                                  1,750                         1               1,750                14,000                          2                  467            2,217
                                                        Reverse mortgages ..................................................                                3,025                        .5               1,513                15,125                          1                  252            1,765
                                                        Advertising ................................................................                    205,762                          .5           102,881             2,057,620                            1             34,294            137,175
                                                        Private education loans ............................................                                     75                      .5                    38              30,000                       1.5                   750              788
                                                        Sale, transfer, or assignment of mortgages .............                                          48,850                         .5             24,425            2,442,500                         .25              10,177             34,602
                                                        Ability to pay/qualified mortgage ..............................                                    3,650                      .75                2,738                         0                      0                      0          2,738
                                                        Appraiser misconduct reporting ................................                                 301,150                        .75            225,863             6,023,000                       .375               37,644            263,507
                                                        Mortgage servicing 17 ................................................                              3,650                      1.5                5,475              730,000                      2.75               33,458             38,933
                                                        Loan originators ........................................................                           2,250                         2               4,500                22,500                          5               1,875             6,375
                                                                   Total open-end credit .................................                     ......................   ....................   ....................   ....................   ....................   ....................     2,089,103

                                                                          Total closed-end credit ...............................              ......................   ....................   ....................   ....................   ....................   ....................     5,765,472

                                                                                       Total credit ...................................        ......................   ....................   ....................   ....................   ....................   ....................     7,854,575
                                                   1 Regulation Z requires disclosures for closed-end and open-end credit. TILA and Regulation Z now cover credit up to $55,800 plus an annual adjustment (except
                                                that real estate credit and private education loans are covered regardless of amount). For most disclosure types listed in this table, FTC staff has reduced prior PRA
                                                burden estimates due to business shifts and other market changes. In the case of mortgage servicing (open- and closed-credit), however, staff has increased burden
                                                estimates per respondent due to amendments to Regulation Z. In addition, due to Regulation Z’s new requirements for prepaid accounts with certain credit aspects,
                                                staff has added burden estimates for these items. However, the overall effect of these competing factors yields a net decrease from the FTC’s prior reported estimate
                                                for open-end credit and for closed-end credit.
                                                  2 Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
                                                  3 This figure lists the number of entities followed by the number of responses or programs each.
                                                  4 Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
                                                  5 This figure lists the number of entities followed by the number of responses or programs each.
                                                  6 Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
                                                  7 This figure lists the number of entities followed by the number of responses or programs each.
                                                  8 Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
                                                  9 This figure lists the number of entities followed by the number of responses or programs each.
                                                  10 Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
                                                  11 This figure lists the number of entities followed by the number of responses or programs each.
                                                  12 Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
                                                  13 This figure lists the number of entities followed by the number of responses or programs each.
                                                  14 Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
                                                  15 Burden hours are on a per program basis. Individual burden hours are listed first, followed by the number of programs.
                                                  16 Regulation Z has expanded various mortgage servicing requirements for successors-in-interest, which in some instances can affect open-end credit, increasing
                                                burden per respondent. However, the estimated number of entities and transactions under FTC jurisdiction is reduced, thereby reducing aggregate estimated burden
                                                compared to prior FTC estimates.
                                                  17 Regulation Z has expanded various mortgage servicing requirements for successors-in-interest, and periodic statement requirements including for consumers in
                                                bankruptcy, among other things, affecting closed-end credit, increasing burden per respondent. However, the estimated number of entities and transactions under
                                                FTC jurisdiction is reduced, thereby reducing aggregate estimated burden compared to prior FTC estimates.

                                                                                                             REGULATION Z—RECORDKEEPING AND DISCLOSURES—COST
                                                                                                                                                             Managerial                                Skilled technical                                    Clerical                          Total
                                                                                   Required task                                                                                                                                                                                              Cost
                                                                                                                                                      Time                   Cost                   Time                   Cost                   Time                   Cost                  ($)
                                                                                                                                                     (hours)               ($56/hr.)               (hours)               ($42/hr.)               (hours)               ($17/hr.)

                                                Recordkeeping ..........................................................................                           0                    $0              56,187          $2,359,854                 505,679            $8,596,543           $10,956,397
                                                Open-end credit Disclosures:
                                                   Initial terms .........................................................................                8,337              466,872                  75,030            3,151,260                             0                      0       3,618,132
                                                   Initial terms—prepaid accounts .........................................                                  50                2,800                     454               19,068                             0                      0          21,868
                                                   Rescission notices .............................................................                          39                2,184                     352               14,784                             0                      0          16,968
                                                   Subsequent disclosures .....................................................                           7,634              427,504                  68,704            2,885,568                             0                      0       3,313,072
                                                   Subsequent disclosures—prepaid accounts ......................                                            26                1.456                     232                9,744                             0                      0          11,200
                                                   Periodic statements ...........................................................                      125,015            7,000,840               1,125,138           47,255,796                             0                      0      54,256,636
                                                   Periodic statements—prepaid accounts ............................                                        159                8,904                    1436               60,312                             0                      0          69.216
                                                   Error resolution ..................................................................                   22,822            1,278,032                 205,401            8,626,842                             0                      0       9,904,874
                                                   Error resolution—prepaid accounts followup .....................                                          90                5,040                     807               33.894                             0                      0          38,934
                                                   Credit and charge card accounts ......................................                                 3,972              222,432                  35,747            1,501,374                             0                      0       1,723,806
                                                   Credit and charge card accounts—prepaid accounts .......                                                  16                  896                     140                5,880                             0                      0           6,776
                                                   Settlement of estate debts .................................................                           2,084              116,704                  18,758              787,836                             0                      0         904,540
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                                                   Special credit card requirements .......................................                               3,972              222,432                  35,747            1,501,374                             0                      0       1,723,806
                                                   Home equity lines of credit ................................................                              40                2,240                     357               14,994                             0                      0          17,234
                                                   Home equity lines of credit—high cost mortgages ............                                              55                3,080                     495               20,790                             0                      0          23,870
                                                   College student credit card marketing—ed institutions .....                                              101                5,656                     912               38,304                             0                      0          43,960
                                                   College student credit card marketing—card issuer re-
                                                      ports ................................................................................                   17                  952                    152                6,384                            0                      0           7,336
                                                   Posting and reporting of credit card agreements ..............                                           3,972              222,432                 35,747            1,501,374                            0                      0       1,723,806
                                                   Posting and reporting of prepaid accounts ........................                                           1                   56                      2                   84                            0                      0             140
                                                   Advertising .........................................................................                    3,044              170,464                 27,393            1,150,506                            0                      0       1,320,970



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                                                35484                                       Federal Register / Vol. 83, No. 144 / Thursday, July 26, 2018 / Notices

                                                                                              REGULATION Z—RECORDKEEPING AND DISCLOSURES—COST—Continued
                                                                                                                                                        Managerial                                Skilled technical                                    Clerical                          Total
                                                                                  Required task                                                                                                                                                                                          Cost
                                                                                                                                                 Time                   Cost                   Time                   Cost                   Time                   Cost                  ($)
                                                                                                                                                (hours)               ($56/hr.)               (hours)               ($42/hr.)               (hours)               ($17/hr.)

                                                      Advertising—prepaid accounts ..........................................                             6                 336                      54                 2,268                            0                      0           2,604
                                                      Advertising—prepaid accounts Updates ............................                                   1                  56                       2                    84                            0                      0             140
                                                      Sale, transfer, or assignment of mortgages ......................                                 233              13,048                   2,100                88,200                            0                      0         101,248
                                                      Appraiser misconduct reporting .........................................                       26,351           1,475,656                 237,156             9,960,552                            0                      0      11,436,208
                                                      Mortgage servicing .............................................................                  238              13,328                   2,137                89,754                            0                      0         103,082
                                                      Loan originators .................................................................                638              35,728                   5,737               240,954                            0                      0         276,682

                                                         Total open-end credit ..................................................           ....................   ....................   ....................   ....................   ....................   ....................    90,667,108
                                                Closed-end credit Disclosures:
                                                    Credit disclosures ..............................................................             442,200             2,476,300              3,979,802           167,151,684                             0                      0     169,627,984
                                                    Rescission notices .............................................................                9,308               521,248                 83,767             3,518,214                             0                      0       4,039,462
                                                    Redisclosures .....................................................................             6,954               389,424                 62,587             2,628,654                             0                      0       3,018,078
                                                    Integrated mortgage disclosures .......................................                        67,525             3,781,400                607,725            25,524,450                             0                      0      29,305,850
                                                    Variable rate mortgages ....................................................                    1,430                80,080                 12,866               540,372                             0                      0         620,452
                                                    High cost mortgages ..........................................................                    321                17,976                  2,887               121,254                             0                      0         139,230
                                                    Higher priced mortgages ...................................................                       222                12,432                  1,995                83,790                             0                      0          96,222
                                                    Reverse mortgages ............................................................                    177                 9,912                  1,588                66,696                             0                      0          76,608
                                                    Advertising .........................................................................          13,718               768,208                123,457             5,185,194                             0                      0       5,953,402
                                                    Private education loans .....................................................                      79                 4,424                    709                29,778                             0                      0          34,202
                                                    Sale, transfer, or assignment of mortgages ......................                               3,460               193,760                 31,142             1,307,964                             0                      0       1,501,724
                                                    Ability to pay/qualified mortgage ........................................                        274                15,344                  2,464               103,488                             0                      0         118,832
                                                    Appraiser misconduct reporting .........................................                       26,351             1,475,656                237,156             9,960,552                             0                      0      11,436,208
                                                    Mortgage servicing .............................................................                3,893               218,008                 35,040             1,471,680                             0                      0       1,689,688
                                                    Loan originators .................................................................                638                35,728                  5,737               240,954                             0                      0         276,682

                                                            Total closed-end credit ...............................................         ....................   ....................   ....................   ....................   ....................   ....................   227,934,624

                                                            Total Disclosures ........................................................      ....................   ....................   ....................   ....................   ....................   ....................   318,601,732

                                                            Total Recordkeeping and Disclosures ........................                    329,558,129



                                                   Request for Comment: You can file a                                          following address: Federal Trade                                                      sales statistics, inventories, formulas,
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                                                                               Federal Register / Vol. 83, No. 144 / Thursday, July 26, 2018 / Notices                                                 35485

                                                including routine uses permitted by the                  • Supplementary Information                           Extraction was published in 2011 for the
                                                Privacy Act, see https://www.ftc.gov/                    • Background                                          second decade of NORA (2006–2016).
                                                site-information/privacy-policy. For                     DATES:  Electronic or written comments                The revised agenda was developed
                                                supporting documentation and other                       must be received by September 24,                     considering new information about
                                                information underlying the PRA                           2018.                                                 injuries and illnesses, the state of the
                                                discussion in this Notice, see http://                                                                         science, and the probability that new
                                                                                                         ADDRESSES: You may submit comments,
                                                www.reginfo.gov/public/jsp/PRA/pra                                                                             information and approaches will make a
                                                Dashboard.jsp.                                           identified by CDC–2018–0065 and                       difference. As the steward of the NORA
                                                   Comments on the information                           docket number NIOSH–317, by any of                    process, NIOSH invites comments on
                                                collection requirements subject to                       the following methods:                                the draft National Occupational
                                                                                                            • Federal eRulemaking Portal:
                                                review under the PRA should                                                                                    Research Agenda for Oil and Gas
                                                                                                         https://www.regulations.gov Follow the
                                                additionally be submitted to OMB. If                                                                           Extraction. Comments expressing
                                                                                                         instructions for submitting comments.
                                                sent by U.S. mail, they should be                           • Mail: National Institute for                     support or with specific
                                                addressed to Office of Information and                   Occupational Safety and Health, NIOSH                 recommendations to improve the
                                                Regulatory Affairs, Office of                            Docket Office, 1090 Tusculum Avenue,                  Agenda are requested. A copy of the
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                                                Desk Officer for the Federal Trade                          Instructions: All submissions received             www.regulations.gov (see Docket
                                                Commission, New Executive Office                         in response to this notice must include               Number CDC–2018–0065).
                                                Building, Docket Library, Room 10102,                    the agency name and docket number                       Dated: July 23, 2018.
                                                725 17th Street NW, Washington, DC                       [CDC–2018–0065; NIOSH–317]. All                       Frank J. Hearl,
                                                20503. Comments sent to OMB by U.S.                      relevant comments received will be                    Chief of Staff, National Institute for
                                                postal mail, however, are subject to                     posted without change to https://                     Occupational Safety and Health, Centers for
                                                delays due to heightened security                        www.regulations.gov, including any                    Disease Control and Prevention.
                                                precautions. Thus, comments instead                      personal information provided. For                    [FR Doc. 2018–15968 Filed 7–25–18; 8:45 am]
                                                can also be sent by email to wliberante@                 access to the docket to read background               BILLING CODE 4163–19–P
                                                omb.eop.gov.                                             documents or comments received, go to
                                                Heather Hippsley,                                        https://www.regulations.gov. All
                                                Acting Principal Deputy General Counsel.
                                                                                                         information received in response to this              DEPARTMENT OF HEALTH AND
                                                                                                         notice will also be available for public              HUMAN SERVICES
                                                [FR Doc. 2018–15979 Filed 7–25–18; 8:45 am]
                                                                                                         examination and copying at the NIOSH
                                                BILLING CODE 6750–01–P
                                                                                                         Docket Office, 1150 Tusculum Avenue,                  Centers for Disease Control and
                                                                                                         Room 155, Cincinnati, OH 45226–1998.                  Prevention
                                                                                                         FOR FURTHER INFORMATION CONTACT:                      [CDC–2018–0060; Docket Number NIOSH–
                                                DEPARTMENT OF HEALTH AND                                 Emily Novicki NORACoordinator@                        316]
                                                HUMAN SERVICES                                           cdc.gov), National Institute for
                                                                                                         Occupational Safety and Health, Centers               Draft Current Intelligence Bulletin:
                                                Centers for Disease Control and
                                                                                                         for Disease Control and Prevention,                   NIOSH Practices in Occupational Risk
                                                Prevention
                                                                                                         Mailstop E–20, 1600 Clifton Road NE,                  Assessment
                                                [Docket Number CDC–2018–0065, NIOSH–                     Atlanta, GA 30329, phone (404) 498–
                                                317]                                                     2581 (not a toll free number).                        AGENCY:  National Institute for
                                                                                                                                                               Occupational Safety and Health
                                                                                                         SUPPLEMENTARY INFORMATION: The
                                                Draft—National Occupational Research                                                                           (NIOSH) of the Centers for Disease
                                                                                                         National Occupational Research Agenda                 Control and Prevention (CDC),
                                                Agenda for Oil and Gas Extraction                        (NORA) is a partnership program                       Department of Health and Human
                                                AGENCY:  National Institute for                          created to stimulate innovative research              Services (HHS).
                                                Occupational Safety and Health                           and improved workplace practices. The
                                                                                                                                                               ACTION: Notice of draft document
                                                (NIOSH) of the Centers for Disease                       national agenda is developed and
                                                                                                         implemented through the NORA sector                   available for public comment and online
                                                Control and Prevention (CDC),                                                                                  public meeting.
                                                Department of Health and Human                           and cross-sector councils. Each council
                                                Services (HHS).                                          develops and maintains an agenda for                  SUMMARY:    The National Institute for
                                                ACTION: Request for comment.
                                                                                                         its sector or cross-sector.                           Occupational Safety and Health
                                                                                                            Background: The National                           (NIOSH) of the Centers for Disease
                                                SUMMARY:    The National Institute for                   Occupational Research Agenda for Oil                  Control and Prevention (CDC)
                                                Occupational Safety and Health of the                    and Gas Extraction is intended to                     announces the availability of the
                                                Centers for Disease Control and                          identify the research, information, and               following draft document for public
                                                Prevention announces the availability of                 actions most urgently needed to prevent               comment entitled Current Intelligence
                                                a draft NORA Agenda entitled National                    occupational injuries. The National                   Bulletin: NIOSH Practices in
                                                Occupational Research Agenda for Oil                     Occupational Research Agenda for Oil                  Occupational Risk Assessment. To view
                                                and Gas Extraction for public comment.                   and Gas Extraction provides a vehicle                 the notice, document and related
                                                To view the notice and related                           for stakeholders to describe the most                 materials, visit https://
                                                materials, visit https://                                relevant issues, gaps, and safety and                 www.regulations.gov and enter CDC–
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                                                www.regulations.gov and enter CDC–                       health needs for the sector. Each NORA                2018–0060 in the search field and click
                                                2018–0065 in the search field and click                  research agenda is meant to guide or                  ‘‘Search’’.
                                                ‘‘Search.’’                                              promote high priority research efforts on
                                                                                                         a national level, conducted by various                Table of Contents
                                                Table of Contents                                        entities, including: Government, higher               •   Dates
                                                • Dates                                                  education, and the private sector.                    •   Addresses
                                                • Addresses                                                 The first National Occupational                    •   For Further Information Contact
                                                • For Further Information Contact                        Research Agenda for Oil and Gas                       •   Supplementary Information



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Document Created: 2018-11-06 10:26:44
Document Modified: 2018-11-06 10:26:44
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
ActionNotice.
DatesComments must be filed by August 27, 2018.
ContactRequests for additional information or
FR Citation83 FR 35477 

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