Articles

July 28, 2022

Enforcement Alert from Hudson Cook, LLP: Feds Order Large Mortgage Lender to Pay $22M For Deliberate Discrimination

Mark E. Rooney

HIGHLIGHTS:

  • CFPB and DOJ filed a complaint and proposed consent order in connection with their allegations that a mortgage company redlined majority-minority neighborhoods through marketing, sales, and hiring actions.
  • According to the government, the mortgage company's actions discouraged prospective applicants from applying for mortgages and refinance loans in majority-minority neighborhoods in the Philadelphia metropolitan area.
  • If the proposed order is approved, the mortgage company will be required to pay $18.4 million into a loan subsidy program, a $4 million penalty, and an additional $2 million on remedial programs.

CASE SUMMARY:

On July 27, 2022, CFPB and DOJ together filed a complaint and proposed consent order in the U.S. District Court for the Eastern District of Pennsylvania to resolve their allegations that a mortgage company intentionally discriminated against families living in majority-minority neighborhoods in the Philadelphia metropolitan area. Prior to the filing of the joint complaint, the mortgage company had ceased originating mortgages.

CFPB and DOJ's complaint alleges that from at least 2015 to 2019, the mortgage company engaged in unlawful discrimination against mortgage applicants, including by denying or discouraging applications for mortgage loans and other credit services in majority-minority neighborhoods (or "redlining"), in violation of the Equal Credit Opportunity Act, its implementing regulation, the Consumer Financial Protection Act, and the Fair Housing Act. Specifically, the government's complaint alleges that the mortgage company's loan officers and other employees exchanged emails containing racial slurs and content and used disparaging terms to describe minority neighborhoods. The complaint also alleges that the mortgage company failed to provide mortgage lending services to communities of color in the Philadelphia metropolitan area, that its offices were concentrated in majority-white neighborhoods, and that its loan officers did not serve the credit needs of majority-minority neighborhoods.

Under the proposed consent order, which is subject to court approval, the mortgage company has agreed to invest $18.4 million in a loan subsidy fund under which the mortgage company will contract with a lender to increase the credit made available to residents of majority-minority neighborhoods in the Philadelphia metropolitan area, pay a civil money penalty of $4 million, and pay an additional $2 million to fund consumer financial education, advertising and outreach, and other initiatives to increase credit services to majority-minority neighborhoods in the Philadelphia metropolitan area. In addition to the CFPB and DOJ's joint action, the attorneys general of Pennsylvania, New Jersey, and Delaware entered into concurrent agreements with the mortgage company and one of its affiliates to resolve related allegations.

RESOURCES:

You can review all the relevant court filings and press releases at the CFPB's Enforcement page:

Enforcement Alerts by Hudson Cook, LLP, written by the attorneys in the firm's Government Investigations, Examinations and Enforcement and Litigation practice groups, are provided to keep you informed of federal and state government enforcement actions and related actions that may affect your business. Please contact our attorneys if you have any questions regarding this Alert. You may also view articles, register for an upcoming CFPB Bites monthly webinar or request a past webinar recording on our website.


Hudson Cook, LLP provides articles, webinars and other content on its website from time to time provided both by attorneys with Hudson Cook, LLP, and by other outside authors, for information purposes only. Hudson Cook, LLP does not warrant the accuracy or completeness of the content, and has no duty to correct or update information contained on its website. The views and opinions contained in the content provided on the Hudson Cook, LLP website do not constitute the views and opinion of the firm. Such content does not constitute legal advice from such authors or from Hudson Cook, LLP. For legal advice on a matter, one should seek the advice of counsel.
© 2024 Hudson Cook, LLP. All rights reserved.