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Payday Lending and Bank Overdrafts

Payday Lending and Bank Overdrafts. Dean Karlan (Yale University) and Jonathan Zinman (Dartmouth College). Why Consider Payday Loans and Bank Overdrafts Together?. Product similarities: Key sources of short-term, small dollar liquidity for (vulnerable) households

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Payday Lending and Bank Overdrafts

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  1. Payday Lending and Bank Overdrafts Dean Karlan (Yale University) and Jonathan Zinman (Dartmouth College)

  2. Why Consider Payday Loans and Bank Overdrafts Together? Product similarities: • Key sources of short-term, small dollar liquidity for (vulnerable) households • Very expensive in annualized terms • Interest rate in triple digits • Not necessarily expensive in dollar terms • Typical total outlays: $15-$45 per loan • Some evidence that consumers don’t use these products wisely, and that lenders exploit this There is significant interest in regulating/restricting both markets

  3. Overdrafts: laissez faire → decision architecture Proposed Fed rules would begin changing “decision architecture” to “nudge” consumers toward better decisions Payday loans: wrecking ball “Protect” consumers by shutting down market But behavioral economics can work here too If anything product structure more amenable to nudge approach than overdrafts Why Consider Payday Loans andBank Overdrafts Together? Differences in federal policy approach instructive:

  4. Payday Loans:Market Background • Short-term, expensive credit • “$15 per $100” for 2 week loan » 390% APR • Common • More payday loan outlets than McDonalds + Starbucks combined • 5-10% of U.S. households use annually • Higher prevalence in key segments (military, working poor)

  5. Payday Loans:Policy Background ? • About a dozen states effectively outlaw, with licensing and/or pricing restrictions • 36% federal ceiling on loans to military personnel effective October 2007 • President Obama wants to extend this to everyone • Congress considering 4 bills in current session that could effectively shut down market

  6. Payday Loans:Pressing Policy Questions • How would shutdown affect consumers? • We don’t know: evidence is mixed • Some studies: expensive short-term credit finances productive “investments” (in job retention, health, consumption smoothing) • Other studies: expensive credit exacerbates financial distress Given this uncertainty, why shut off a key source of liquidity when we’re pouring $trillions to get/keep credit flowing?

  7. Regulating Payday Loans:A Behavioral Approach • Mothball the wrecking ball • Improve architecture to help consumers make better decisions • To design effective policy it helps to think a bit more deeply about what we’re trying to fix….

  8. Regulating Payday Loans: Behavioral Diagnostics • Exactly how are consumers going awry? • How and why might consumers do themselves harm when handling expensive short-term credit? • Note: focus is not on mistakes per se • underborrowing rarely a concern; overborrowing is • So what cognitive biases might lead consumers to “get in over their heads”

  9. Behavioral Diagnostics and Treatments • Cognitive bias and problem #1: consumers are impulsive and lack self-control. • Solutions to improve decisions • Delay: build it into the borrowing process • Commitment: help consumers formulate and stick to a sensible plan, in their less-impulsive moments

  10. Treatments for Impulse Control:Delay • Dampen impulsivity by reducing instant gratification • Require consumers to obtain a license: extra step (prior to application) • Waiting period: delay and extra step • Example rule: days delay in getting cash equals number of payday loans previously taken out that year Customer applies & gets approved Customer returns with I.D. in N days Customer gets cash

  11. Treatments for Impulse Control:Self-Regulation Allow consumers to sign contract(s) that voluntarily restrict their own borrowing

  12. Behavioral Diagnosticsand Treatments • Cognitive bias and problem #2: consumers do not anticipate the doo doo they’re getting into • Debt appears deceptively cheap: underestimate costs • Future appears overly bright: overestimate prospects • Solutions to improve decisions at point-of-borrowing: • Bundle loan products with financial counseling • Change disclosures to better highlight true costs, realistic prospects

  13. Treatments for Poorly Informed Consumers: Financial Advice • Make completion of financial counseling a precondition for (repeat) borrowing • Medicine, not education: advise people, and help them come up with a healthy plan • Would need to subsidize advice • Nonprofits & trade associations key players here

  14. Treatments for Poorly Informed Consumers: New Disclosures • Highlight true costs of borrowing in terms that consumers can actually understand • Expected total dollar cost • Over multiple loans, compounded Customer borrows $300 at $15 per $100 for 2 weeks Customer rolls loan over twice Customer pays $156 in total interest

  15. Treatments for Poorly Informed Consumers: New Disclosures • Show typical borrowing experiences (reality check for the overly optimistic) • “Borrowers like you typically take N loans, pay $X in interest, and default Y% of the time”

  16. Bank Overdrafts: Supply-Side Background Big source of revenue for banks 74% of explicit revenue on deposit accounts 6% of net operating income Current regulation: malevolent neglect Inadequate disclosures Elephant in room: (already struggling) banks making unsustainable profits off poor consumer decisions?...

  17. Bank Overdrafts: Consumer-Side Background • Preliminary evidence says “yes”, banks profiting off consumer inattention • Consumers could avoid nearly all overdrafts with simple changes in behavior • Big cost for many consumers • Can be even pricier than payday loans • Median fee in $20-$30 range, regardless of size of the loan (i.e., of the amount of overdraft)

  18. Bank Overdrafts:Regulatory Environment • Problem: upfront disclosure lacking • Solution: mandate upfront disclosure • A la Federal Reserve Board proposed rule! • Model disclosure presentation is quite dry though • Simple product so disclosure should be effective • But for how long? • Upfront disclosure probably insufficient given nature of the product • Probably also need….

  19. Bank Overdrafts:Regulatory Environment • Problem: no disclosure at point-of-overdraft • Unlike a payday loan, customer may not even know they’re entering into a separate, borrowing transaction! “Warning: if you complete this transaction you will overdraft by __$ and incur an NSF fee of $35”

  20. Bank Overdrafts:Regulatory Environment • Problem: most programs opt consumers in • Solution: change default to opt-out, require “active decision” by consumer to opt-in • Federal Reserve Board proposed rule would make this change!

  21. Treatments Beyond thePoint-of-Borrowing • Many households need to reduce debt before they start saving • I.e., their highest investment return comes from paying down expensive debt • So offer new products and programs for debt reduction: “Borrow Less Tomorrow” • Automatic payroll withdrawals • Other SMaRT-like features

  22. Summary of Behavioral Approach to Regulating Payday Loans and Bank Overdrafts • Decision architecture, not wrecking ball • Tools • Delay (waiting periods and consumer licensing) • Self-regulation (commitment contracts) • Financial advice • New disclosures (true costs, typical experiences) • New products (“Borrow Less Tomorrow”)

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