Large Non-Bank Lender Association (LNBLA) Debt Relief Initiatives Overview

 
LARGE NON BANK LENDER ASSOCIATION
                          (LNBLA)
 
            DEBT RELIEF
 
 
The LNBLA
 
 
The Large Non-Bank Lender Association (“LNBLA”) is a
voluntary association comprising the following larger member
entities, whose products include unsecured loans, credit
facilities and developmental credit:
Sanlam Personal Loans (Pty) Ltd
Old Mutual Finance (RF) (Pty) Ltd
RCS Investment Holdings (Pty) Ltd
Real People Home Finance (Pty) Ltd
Bayport Financial Services 2010 (Pty) Ltd
HomeChoice International Ltd
The JD Group
 
 
 
2
 
Invitation
 
To present on -
 
Viable Debt Relief measures not provided in NCA
Legal & other challenges
Criteria that should inform – eg target group,
period, type of debt, how it will be effected
Impact
 
Our Response
 
We appreciate the opportunity to engage and
would like to engage further
Short notice and limited time to engage with our
members on detail and obtain mandates
The Committee 
wants to engage around what debt
relief should look like
Industry  asks:  is debt relief the desirable and only
solution?
The issue is complex and requires detailed research
and consideration
 
 
Why do we say this?
 
There is an existing statutory solution in the form
of debt counselling. It is not perfect but problems
are receiving attention
Many mechanisms are being introduced by
government all of which were intended directly
or indirectly on overindebtedness (amnesty,
prescription, in duplum, caps, EAO reform)
The NCR research is no basis for debt relief, it
rather points in the opposite direction
We are concerned about unintended
consequences
 
Make debt counselling work
 
Debt Counselling has been specifically enacted to
provide a solution to overindebtedness
The legislation left many gaps and problems
which had to be resolved through industry task
teams
Currently the processes are further refined
through industry, debt counsellors and the NCR
working through the Credit Industry Forum to
make debt counselling effective
DCRS is an important element and LNBLA is
supporting initiatives in this regard
 
More regulation?
 
Various measures  had been introduced by
Government which impact or could impact on
overindebtedness (amnesty, prescription, in
duplum, caps, EAO reform)
Some had an impact, some not
Some are yet to have an impact
No impact assessments
 
NCR research does not provide a basis
 
Presentation by NCR - not conclusive, no
justification for additional measures, not a basis
to proceed on. Very few examples and generally
They do not amount to mere write offs but adherence
to repayment plans
The state (taxpayer) pays for it
They do not seek to assist those who borrowed
irresponsibly
There is no evidence of success
They relate to situations where there is no statutory
solution like  debt counselling in the NCA.
 
Impact on credit providers?
 
Debt Relief must not have the effect of causing additional
losses for credit providers
Credit providers have absorbed regulation of considerable
impact
Any further impact will affect credit provider sustainability,
implications for economic growth and could have systemic
risk consequences
Credit providers developed mechanisms outside of the NCA
to assist their customers to repay their loans (promises to
pay, rescheduling, settlement discounts etc), based on
borrower’s personal circumstances)
Significant amounts of bad debt are written off by the
credit industry annually as a result of non-payment
 
 
 
 
 
Other considerations
 
It has been suggested that reckless lending could
justify debt relief. Whilst some credit providers
have always been compliant, others have not.
Can a d
ebt relief programme across the industry
ever be an appropriate response to ring-fenced
alleged non-compliance by certain credit
providers?
Finally, we are at a time when pressure on South
Africa to show growth and financial discipline
cannot be ignored. Can a debt relief programme
be reconciled with those imperatives?
 
Conclusion
 
We do not see debt relief as a desirable option
Let’s make Debt Counselling work
It will be difficult for credit providers to absorb
further impact
It is of utter important for the future of South
Africa that consumers should be encouraged
to meet their obligations, rather than avoiding
it
 
Moral Hazard
 
 
 
“It is difficult to write off loans without writing
off a culture of prudent borrowing and
repayment”
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The Large Non-Bank Lender Association (LNBLA) comprises prominent member entities offering unsecured loans and credit facilities. The association discusses debt relief measures, challenges, and the effectiveness of existing debt counseling solutions in addressing overindebtedness. LNBLA emphasizes the importance of refining debt counseling processes for better outcomes and supporting initiatives like Debt Counselling Rules System (DCRS).

  • LNBLA
  • debt relief
  • debt counseling
  • overindebtedness
  • unsecured loans

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  1. LARGE NON BANK LENDER ASSOCIATION (LNBLA) DEBT RELIEF Image result for legislation collage

  2. The LNBLA The Large Non-Bank Lender Association ( LNBLA ) is a voluntary association comprising the following larger member entities, whose products include unsecured loans, credit facilities and developmental credit: Sanlam Personal Loans (Pty) Ltd Old Mutual Finance (RF) (Pty) Ltd RCS Investment Holdings (Pty) Ltd Real People Home Finance (Pty) Ltd Bayport Financial Services 2010 (Pty) Ltd HomeChoice International Ltd The JD Group 2

  3. Invitation To present on - Viable Debt Relief measures not provided in NCA Legal & other challenges Criteria that should inform eg target group, period, type of debt, how it will be effected Impact

  4. Our Response We appreciate the opportunity to engage and would like to engage further Short notice and limited time to engage with our members on detail and obtain mandates The Committee wants to engage around what debt relief should look like Industry asks: is debt relief the desirable and only solution? The issue is complex and requires detailed research and consideration

  5. Why do we say this? There is an existing statutory solution in the form of debt counselling. It is not perfect but problems are receiving attention Many mechanisms are being introduced by government all of which were intended directly or indirectly on overindebtedness (amnesty, prescription, in duplum, caps, EAO reform) The NCR research is no basis for debt relief, it rather points in the opposite direction We are concerned about unintended consequences

  6. Make debt counselling work Debt Counselling has been specifically enacted to provide a solution to overindebtedness The legislation left many gaps and problems which had to be resolved through industry task teams Currently the processes are further refined through industry, debt counsellors and the NCR working through the Credit Industry Forum to make debt counselling effective DCRS is an important element and LNBLA is supporting initiatives in this regard

  7. More regulation? Various measures had been introduced by Government which impact or could impact on overindebtedness (amnesty, prescription, in duplum, caps, EAO reform) Some had an impact, some not Some are yet to have an impact No impact assessments

  8. NCR research does not provide a basis Presentation by NCR - not conclusive, no justification for additional measures, not a basis to proceed on. Very few examples and generally They do not amount to mere write offs but adherence to repayment plans The state (taxpayer) pays for it They do not seek to assist those who borrowed irresponsibly There is no evidence of success They relate to situations where there is no statutory solution like debt counselling in the NCA.

  9. Impact on credit providers? Debt Relief must not have the effect of causing additional losses for credit providers Credit providers have absorbed regulation of considerable impact Any further impact will affect credit provider sustainability, implications for economic growth and could have systemic risk consequences Credit providers developed mechanisms outside of the NCA to assist their customers to repay their loans (promises to pay, rescheduling, settlement discounts etc), based on borrower s personal circumstances) Significant amounts of bad debt are written off by the credit industry annually as a result of non-payment

  10. Other considerations It has been suggested that reckless lending could justify debt relief. Whilst some credit providers have always been compliant, others have not. Can a debt relief programme across the industry ever be an appropriate response to ring-fenced alleged non-compliance by certain credit providers? Finally, we are at a time when pressure on South Africa to show growth and financial discipline cannot be ignored. Can a debt relief programme be reconciled with those imperatives?

  11. Conclusion We do not see debt relief as a desirable option Let s make Debt Counselling work It will be difficult for credit providers to absorb further impact It is of utter important for the future of South Africa that consumers should be encouraged to meet their obligations, rather than avoiding it

  12. Moral Hazard It is difficult to write off loans without writing off a culture of prudent borrowing and repayment

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