Agency Information Collection Activities; Submission for OMB Review; Comment Request; Extension, 25170-25179 [2012-10097]

Download as PDF 25170 Federal Register / Vol. 77, No. 82 / Friday, April 27, 2012 / Notices Unless otherwise noted, comments regarding each of these applications must be received at the Reserve Bank indicated or the offices of the Board of Governors not later than May 24, 2012. A. Federal Reserve Bank of Atlanta (Chapelle Davis, Assistant Vice President) 1000 Peachtree Street NE., Atlanta, Georgia 30309: 1. Capital Bank Financial Corp., Miami, Florida; to acquire indirectly and then merge with Southern Community Financial Corporation, and thereby acquire its subsidiary, Southern Community Bank & Trust Company, both in Winston-Salem, North Carolina. In connection with this proposal, Applicant proposes to form a subsidiary, Winston 23 Corporation, Miami, Florida, which has applied to become a bank holding company by merging with Southern Community Financial Corporation, and its subsidiary, Southern Community Bank & Trust Company, both in WinstonSalem, North Carolina. Board of Governors of the Federal Reserve System, April 24, 2012. Robert deV. Frierson, Deputy Secretary of the Board. [FR Doc. 2012–10199 Filed 4–26–12; 8:45 am] BILLING CODE 6210–01–P FEDERAL TRADE COMMISSION Agency Information Collection Activities; Submission for OMB Review; Comment Request; Extension Federal Trade Commission (‘‘FTC’’ or ‘‘Commission’’). ACTION: Notice. AGENCY: The FTC intends to ask the Office of Management and Budget (‘‘OMB’’) to extend through April 30, 2015, the current Paperwork Reduction Act (‘‘PRA’’) clearance for the information collection requirements in four consumer financial regulations enforced by the Commission. Those clearances expire on April 30, 2012. DATES: Comments must be filed by May 29, 2012. 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 or deliver your comment to mstockstill on DSK4VPTVN1PROD with NOTICES SUMMARY: VerDate Mar<15>2010 17:44 Apr 26, 2012 Jkt 226001 the following address: Federal Trade Commission, Office of the Secretary, Room H–113 (Annex J), 600 Pennsylvania Avenue NW., Washington, DC 20580. FOR FURTHER INFORMATION CONTACT: Requests for additional information or copies of the proposed information requirements should be addressed to Carole Reynolds or Soyong Cho, Attorneys, Division of Financial Practices, Bureau of Consumer Protection, Federal Trade Commission, 600 Pennsylvania Ave. NW., Washington, DC 20580, (202) 326–3224. SUPPLEMENTARY INFORMATION: The four regulations covered by this notice are: (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 these laws cover unless these 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 Consumer Financial Protection Bureau (CFPB) on July 21, 2011 (‘‘transfer date’’). To implement this transferred authority, the CFPB has published for public comment 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 part 1026 (Regulation Z) for those entities under its rulemaking jurisdiction.1 Although the Dodd-Frank Act transferred most 1 12 CFR part 1002 (Reg. B) (76 FR 79442, Dec. 21, 2011); 12 CFR part 1005 (Reg. E) (76 FR 81020, Dec. 27, 2011) (amended, 77 FR 6194, Fed. 7, 2012); 12 CFR part 1013 (Reg. M) (76 FR 78500, Dec. 19, 2011) (corrected, 76 FR 81789, Dec. 29, 2011); 12 CFR part 1026 (Reg. Z) (76 FR 79768, Dec. 22, 2011). PO 00000 Frm 00050 Fmt 4703 Sfmt 4703 rulemaking authority under ECOA, EFTA, CLA, and TILA to the CFPB, the Board retained rulemaking authority for certain motor vehicle dealers 2 under all of these statutes and also for certain interchange-related requirements under EFTA.3 As a result of the Dodd-Frank Act, the FTC and the CFPB now share the authority to enforce Regulations B, E, M, and Z for entities for which the FTC had enforcement authority before the Act, except for certain motor vehicle dealers. Because of this shared enforcement jurisdiction, the two agencies have divided the FTC’s previously-cleared PRA burden between them,4 except that the FTC retained all of the part of that burden associated with certain motor vehicle dealers (for brevity, referred to in the burden summaries below as a ‘‘carve-out’’).5 The division of PRA burden hours not attributable to certain motor vehicle dealers is reflected in the CFPB’s recent PRA clearance requests to OMB,6 as well as in the FTC’s burden estimates below. As a result of the Dodd-Frank Act, the FTC generally has sole authority to enforce Regulations B, E, M, and Z regarding motor vehicle dealers predominantly engaged in the sale and servicing of motor vehicles, the leasing and servicing of motor vehicles, or both.7 Because the FTC has exclusive jurisdiction to enforce these rules for such motor vehicle dealers, it is including the entire PRA burden for them in the burden estimates below. Under the PRA, 44 U.S.C. 3501–3521, Federal agencies must get OMB approval for each collection of 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, § 1029(a), –(c). 3 See Dodd-Frank Act, § 1075 (these requirements are implemented through Board Regulation II, 12 CFR part 235, rather than EFTA’s implementing Regulation E). 4 The CFPB also factored into its burden estimates respondents over which it has jurisdiction but the FTC does not. 5 These are dealers specified by the Dodd-Frank Act under § 1029 (a), but as limited by subsection (b). Subsection (b) does not preclude CFPB 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, rather than unaffiliated third parties, to consumers. It is not practicable, however, for PRA purposes, to estimate the portion of dealers that engage in one form of financing versus another (and that would or would not be subject to CFPB oversight). Thus, FTC staff’s ‘‘carve-out’’ for this PRA burden analysis reflects a general estimated volume of motor vehicle dealers. This attribution does not change actual enforcement authority. 6 OMB Control Numbers 3170–0013 (Regulation B), 3170–0014 (Regulation E), 3170–0008 (Regulation M), and 3170–0015 (Regulation Z). 7 See Dodd-Frank Act, § 1029(a), –(c). E:\FR\FM\27APN1.SGM 27APN1 Federal Register / Vol. 77, No. 82 / Friday, April 27, 2012 / Notices information they conduct or sponsor. ‘‘Collection of information’’ includes agency requests or requirements to keep records or provide information to a third party. See 44 U.S.C. 3502(3); 5 CFR 1320.3(c). The regulations impose certain recordkeeping and disclosure requirements associated with providing credit or with other financial transactions. On February 7, 2012, the Commission sought comment on the information collection requirements associated with these four regulations. 77 FR 6114.8 The Commission received one comment from the National Automobile Dealers Association (‘‘NADA’’) pertaining to regulatory burden affecting Regulations B, M, and Z.9 NADA stated, as a general matter, that the FTC staff estimates greatly underestimate the recordkeeping, disclosure, and other related compliance requirements for NADA members 10 for the rules at issue, particularly Regulations B, M, and Z. NADA provided two illustrations of this point for Regulations M and Z (discussed and analyzed below under their applicable sub-headings), but did not provide sufficient specific information from which staff could revisit and revise its estimates. Pursuant to the OMB rules, 5 CFR part 1320, that implement the PRA, 44 U.S.C. 3501 et seq., the FTC is providing this second opportunity for NADA and the general public to comment while the FTC seeks OMB approval to renew the pre-existing clearance for these rules. Although all four of the regulations require covered entities to keep certain records, FTC staff believes these records are kept in the normal course of business even absent the particular recordkeeping requirements.11 Covered entities, however, 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- mstockstill on DSK4VPTVN1PROD with NOTICES 8 The Commission published a follow-up notice in the Federal Register on March 5, 2012 (77 FR 13127) to correct certain formatting errors in the Regulation M burden hours table that had initially resulted in misaligned and missing columnar information in that table. 9 NADA’s comment is available at https:// www.ftc.gov/os/comments/regsbemzpra/ index.shtm. 10 NADA states that it represents approximately 16,000 new car and truck dealers, both domestic and import, with over 32,500 separate franchises. Id. 11 PRA ‘‘burden’’ does not include effort expended in the ordinary course of business, regardless of any regulatory requirement. 5 CFR 1320.3(b)(2). VerDate Mar<15>2010 17:44 Apr 26, 2012 Jkt 226001 parties. Related compliance involves set-up/monitoring and transactionspecific 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. While this burden varies with the number of transactions, the figures shown for transaction-related burden in the tables that follow are estimated averages. The required disclosures do not impose PRA burden on some covered entities because they make those disclosures in their normal course of activities. 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 disclosures.12 Calculating the burden associated with the four regulations’ disclosure 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.13 The burden estimates represent FTC staff’s best assessment, based on its knowledge and expertise relating to the financial services 12 For example, large companies may use computer-based and/or electronic means to provide required disclosures, including issuing some disclosures en masse, e.g., notices 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. 13 The Commission generally does not have jurisdiction over banks, thrifts, and federal credit unions under the applicable regulations. PO 00000 Frm 00051 Fmt 4703 Sfmt 4703 25171 industry. 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. 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 wage rates by the burden hours described above. The hourly rates used were $49 for managerial oversight, $30 for skilled technical services, and $16 for clerical work. These figures are averages drawn from Bureau of Labor Statistics data.14 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. The applicable PRA requirements impose minimal capital or other nonlabor 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 ordinary course of business. 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 530,479 credit firms subject to the Commission’s jurisdiction, at an average annual burden of 1.25 hours per firm 15 14 These inputs are based broadly on mean hourly data found within the National Compensation Survey: Occupational Earnings in the United States, 2010, Bulletin 2753 (May 2011), Table 3 (https:// www.bls.gov/ncs/ocs/sp/nctb1477.pdf). 15 This is an increase from past estimates of one hour per respondent in view of more complex transactions and their associated impact on recordkeeping. E:\FR\FM\27APN1.SGM 27APN1 25172 Federal Register / Vol. 77, No. 82 / Friday, April 27, 2012 / Notices 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.19 minute of skilled technical time. Recordkeeping for the self-test responsibility and of any corrective actions requires an estimated one hour and four hours, respectively, of skilled technical time. for a total of 663,099 hours.16 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 2.25 million credit applications (based on industry data regarding the approximate number of mortgage purchase and refinance originations), for a total of 37,500 hours.17 Staff also estimates that recordkeeping of self-testing subject to the regulation would affect 1,375 firms, with an average annual burden of one hour (of skilled technical time) per firm, for a total of 1,375 hours, and that recordkeeping of any corrective action as a result of self-testing would affect 10% of them, i.e., 138 firms, with an average annual burden of four hours (of skilled technical time) per firm, for a total of 552 hours.18 Keeping records of race/national origin, sex, age, and marital status requires an estimated one 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 various types of mortgage credit to provide a copy of the appraisal report to applicants or to notify them of their right to a copy of the report (and thereafter provide a copy of the report, upon the applicant’s request). Finally, Regulation B also requires that for accounts which spouses may use or for which they are contractually liable, creditors who report credit history must Burden Totals Recordkeeping: 702,526 hours (625,977 + 76,549 carve-out for motor vehicles); $12,720,734 ($11,384,370 + $1,336,364 carve-out for motor vehicles), associated labor costs. Disclosures: 1,164,458 hours (1,032,206 + 132,252 carve-out for motor vehicles); $37,146,214 ($32,927,360 + $4,218,854 carve-out for motor vehicles), associated labor costs. REGULATION B: DISCLOSURES—BURDEN HOURS Setup/Monitoring 1 Disclosures Transaction-related 2 Total setup/ monitoring burden (hours) Average burden per respondent (hours) Respondents Average burden per transaction (minutes) Number of transactions Total transaction burden (hours) Total burden (hours) Credit history reporting Adverse action notices Appraisal notices ........ Appraisal reports ........ Self-test disclosures ... 133,000 530,000 5,000 5,000 1,375 .25 .75 .5 .5 .5 33,250 397,500 2,500 2,500 688 66,309,750 106,096,000 1,125,000 1,125,000 68,750 .25 .25 .25 .25 .25 276,291 442,067 4,688 4,688 286 309,541 839,567 7,188 7,188 974 Total .................... ........................ .......................... ........................ ........................ ........................ ........................ 1,164,458 1 The estimates shown reflect a decrease in applicable mortgage entities regarding appraisal notices and appraisal reports. The figures assume that approximately half of mortgage entities (.5 × 10,000, or 5,000 businesses) would not otherwise provide this information and thus would be affected. The figures also assume that all applicable entities would provide notices first and thereafter provide the reports upon request. 2 The above figures reflect a decrease in mortgage transactions, compared to prior FTC estimates. They also assume that half of applicable mortgage transactions (.5 × 2,250,000, or 1,125,000) would not otherwise provide the appraisal notices and reports and thus would be affected. REGULATION B: RECORDKEEPING AND DISCLOSURES—COST Managerial Required task Time (hours) General recordkeeping Other recordkeeping .... Recordkeeping of test .. Recordkeeping of corrective action ............ mstockstill on DSK4VPTVN1PROD with NOTICES Total Recordkeeping .............. Cost ($49/hr.) Time (hours) Clerical Cost ($30/hr.) Time (hours) Total cost ($) Cost ($16/hr.) 0 0 0 0 0 0 66,310 37,500 1,375 1,989,300 1,125,000 41,250 596,789 0 0 9,548,624 0 0 11,537,924 1,125,000 41,250 0 0 552 16,560 0 0 16,650 ........................ ........................ ........................ ........................ ........................ ........................ 12,720,734 16 Section 1071 of the Dodd-Frank Act amends 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 CFPB 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 the Dodd-Frank Act’s requirements. The VerDate Mar<15>2010 Skilled technical 17:44 Apr 26, 2012 Jkt 226001 Commission will address PRA burden for its enforcement of these requirements after the CFPB and the Board have issued the associated final rules. 17 Regulation B contains model forms that creditors may use to gather and retain the required information. 18 In contrast to banks, for example, entities under FTC jurisdiction are not subject to audits for PO 00000 Frm 00052 Fmt 4703 Sfmt 4703 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. 19 The disclosure may be provided orally or in writing. The model form provided by Regulation B assists creditors in providing the written disclosure. E:\FR\FM\27APN1.SGM 27APN1 25173 Federal Register / Vol. 77, No. 82 / Friday, April 27, 2012 / Notices REGULATION B: RECORDKEEPING AND DISCLOSURES—COST—Continued Managerial Required task Time (hours) Disclosures: Credit history reporting ............... Adverse action notices ................... Appraisal notices .. Appraisal reports ... Self-test disclosure Skilled technical Cost ($49/hr.) Time (hours) Clerical Cost ($30/hr.) Time (hours) Total cost ($) Cost ($16/hr.) 30,954 1,516,746 278,587 8,357,610 0 0 9,874,356 83,957 719 719 97 4,113,893 35,231 35,231 4,753 755,610 6,469 6,469 877 22,668,300 194,070 194,070 26,310 0 0 0 0 0 0 0 0 26,782,193 229,301 229,301 31,063 Total Disclosures .......... ........................ ........................ ........................ ........................ ........................ ........................ 37,146,214 Total Recordkeeping and Disclosures ........................ ........................ ........................ ........................ ........................ ........................ 49,866,948 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, remittance transfer providers, etc. Staff estimates that Regulation E’s recordkeeping requirements affect 391,120 firms offering EFT 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 391,120 hours. This is further detailed below. Burden Totals Recordkeeping: 391,120 hours (375,881 + 15,239 carve-out); $6,805,488 ($6,540,328 + $265,160 carve-out), associated labor costs. Disclosures: 4,019,797 hours (4,002,868 + 16,929 carve-out); $128,236,961 ($127,696,924 + $540,037 carve-out), associated labor costs. REGULATION E: DISCLOSURES—BURDEN HOURS Setup/monitoring Average burden per respondent (hours) Disclosures mstockstill on DSK4VPTVN1PROD with NOTICES Respondents Initial terms ............... Change in terms ...... Periodic statements Error resolution ........ Transaction receipts Preauthorized transfers 1 ..................... Service provider notices ...................... Govt. benefit notices ATM notices 2 ........... Electronic check conversion 3 ................ Payroll cards 4 .......... Overdraft services 5 .. Gift cards 6 ............... Remittance transfers: 7 Disclosures ....... Error resolution Agent compliance ............... Total ........... Transaction-related Total setup monitoring burden (hours) Number of transactions 50,000 12,500 50,000 50,000 50,000 .5 .5 .5 .5 .5 25,000 6,250 25,000 25,000 25,000 500,000 16,500,000 600,000,000 500,000 2,500,000,000 257,620 .5 128,810 50,000 5,000 250 .25 .5 .25 57,620 125 50,000 50,000 .5 .5 .5 .5 Average burden per transaction (minutes) .02 .02 .02 Total transaction burden (hours) Total burden (hours) .02 167 5,500 200,000 41,667 833,333 25,167 11,750 225,000 66,667 858,333 6,440,500 .25 26,835 155,645 12,500 2,500 63 500,000 50,000,000 50,000,000 .25 .25 .25 2,083 208,333 208,333 14,583 210,833 208,396 28,810 63 25,000 25,000 1,152,400 500,000 2,500,000 2,500,000,000 .02 3 384 25,000 833 833,333 29,194 25,063 25,833 858,333 5 .02 .02 35,000 35,000 1 1 35,000 35,000 18,000,000 36,000,000 1 1 300,000 600,000 335,000 635,000 35,000 1 35,000 18,000,000 1 300,000 335,000 ........................ ........................ ........................ 4,019,797 ........................ .......................... .......................... 1 Estimated preauthorized transfers have increased from the FTC’s previously cleared estimate. 2 Estimated ATM transactions have increased from the FTC’s previously cleared estimate. 3 Estimated electronic check conversion has decreased from the FTC’s previously cleared estimate. 4 Payroll card entities and transactions have increased greatly over the years, in large part due to the evolving economy as well as companies seeking ways to cut costs and reduce the amount of paper used in daily operations. VerDate Mar<15>2010 17:44 Apr 26, 2012 Jkt 226001 PO 00000 Frm 00053 Fmt 4703 Sfmt 4703 E:\FR\FM\27APN1.SGM 27APN1 25174 Federal Register / Vol. 77, No. 82 / Friday, April 27, 2012 / Notices 5 Regulation 6 Regulation 7 Regulation E now covers overdraft services. E now, in part, covers gift cards. E now covers remittance transfers. REGULATION E: RECORDKEEPING AND DISCLOSURES—COST Managerial Required task Time (hours) Cost ($49/hr.) Time (hours) Clerical Cost ($30/hr.) Time (hours) Total cost ($) Cost ($16/hr.) 0 0 39,112 1,173,360 352,008 5,632,128 6,805,488 2,517 1,175 123,333 57,575 22,650 10,750 679,500 322,500 0 0 0 0 802,833 380,075 22,500 6,667 1,102,500 326,883 202,500 60,000 6,075,000 1,800,000 0 0 0 0 7,177,500 2,126,883 85,833 4,205,817 772,500 23,175,000 0 0 27,380,817 15,565 762,685 140,080 4,202,400 0 0 4,965,085 1,458 71,442 13,125 393,750 0 0 465,192 21,083 20,840 1,033,067 1,021,160 189,750 187,556 5,692,500 5,626,680 0 0 0 0 6,725,567 6,647,840 2,919 2,506 2,583 85,833 143,031 122,794 126,567 4,205,817 26,275 22,557 23,250 772,500 788,250 676,710 697,500 23,175,000 0 0 0 0 0 0 0 0 931,281 799,504 824,067 27,380,817 33,500 1,641,500 301,500 9,045,000 0 0 10,686,500 63,500 3,111,500 571,500 17,145,000 0 0 20,256,500 33,500 1,641,500 301,500 9,045,000 0 0 10,686,500 Total Disclosures .......... ........................ ........................ ........................ ........................ ........................ ........................ 128,236,961 Total Recordkeeping and Disclosures mstockstill on DSK4VPTVN1PROD with NOTICES Recordkeeping ............. Disclosures: Initial terms ........... Change in terms ... Periodic statements ................. Error resolution ..... Transaction receipts ................. Preauthorized transfers ............ Service provider notices ............... Govt. benefit notices ................... ATM notices .......... Electronic check conversion ......... Payroll cards ......... Overdraft services Gift cards .............. Remittance transfers: Disclosures .... Error resolution ............. Agent compliance ........... Skilled technical ........................ ........................ ........................ ........................ ........................ ........................ 135,042,449 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 54,442 firms within the FTC’s jurisdiction leasing products to consumers at an average annual burden of one hour per firm, for a total of 54,442 hours. In its comment NADA observed that preliminary reports from dealers suggest that the FTC estimate for Regulation M advertising compliance, as applied to lease advertisements for motor vehicle dealers, is understated. NADA, however, focused on the FTC estimate of 15 seconds for required disclosures in individual transactions, here, for advertisements. It is ‘‘set-up/ monitoring’’ burden, defined above, though, that addresses the time (and associated labor cost) applicable to systems review and monitoring for continued compliance. For lease advertising, estimated setup/monitoring burden is a half-hour. As noted above, the Commission’s jurisdiction covers a highly diverse universe of entities. The population of affected motor vehicle dealers is one 20 For example, some entities may advertise leases but may not promote the lease terms covered by Regulation M; instead, they may make general statements about offering leases, which do not VerDate Mar<15>2010 17:44 Apr 26, 2012 Jkt 226001 PO 00000 Frm 00054 Fmt 4703 Sfmt 4703 component of a much larger universe of such entities. Thus, the FTC’s estimates may understate some entities’ actual experience and perhaps overstate others’. On balance, though, FTC staff believes these estimates are a fair reflection for the overall universe affected, and the estimates factor into consideration that PRA ‘‘burden’’ does not include effort expended in the ordinary course of business, independent of regulatory requirements.20 Burden Totals Recordkeeping: 54,442 hours (40,558 + 13,884 carve-out); $947,288 ($705,712 + $241,576 carve-out), associated labor costs. Disclosures: 68,403 hours (42,139 + 26,264 carve-out); $2,182,050 ($1,344,228 + $837,822 carve-out), associated labor costs. trigger advertising compliance responsibilities under Regulation M. E:\FR\FM\27APN1.SGM 27APN1 25175 Federal Register / Vol. 77, No. 82 / Friday, April 27, 2012 / Notices REGULATION M: DISCLOSURES—BURDEN HOURS Setup/monitoring Disclosures Transaction-related Total setup/ monitoring burden (minutes) Average burden per respondent (hours) Respondents Number of transactions Average burden per transaction (minutes) Total transaction burden (hours) Total burden (hours) Motor Vehicle Leases 1 .................. Other Leases 2 ........... Advertising ................. 29,442 25,000 13,471 1 .50 .50 29,442 12,500 6,736 1,972,614 250,000 538,840 .50 .25 .25 16,438 1,042 2,245 45,880 13,542 8,981 Total .................... ........................ .......................... ........................ ........................ ........................ ........................ 68,403 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). Leases up to $50,000 (plus an annual adjustment) are now covered, which increases the breadth of transactions subject to the FTC’s jurisdiction under Regulation M. This increase, however, is more than offset by the FTC now sharing PRA burden with the CFPB, which thus yields a net decrease from past FTC estimates of the number of transactions. 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 figures shown for respondents and transactions reflect a net decrease from prior FTC estimates, given current market conditions and the new PRA burden sharing with the CFPB while also recognizing that the CLA and Regulation M now cover leases up to $50,000 (plus an annual adjustment). REGULATION M: RECORDKEEPING AND DISCLOSURES—COST Managerial Required task Time (hours) Skilled technical Cost ($49/hr.) Time (hours) Cost ($30/hr.) Clerical Time (hours) Total cost ($) Cost ($16/hr.) Recordkeeping ............. Disclosures: Motor Vehicle Leases ............... Other Leases ........ Advertising ............ 0 $0 5,444 $163,320 48,998 $783,968 $947,288 4,588 1,354 898 224,812 66,346 44,002 41,292 12,188 8,083 1,238,760 365,640 242,490 0 0 0 0 0 0 1,463,572 431,986 286,492 Total Disclosures .......... ........................ ........................ ........................ ........................ ........................ ........................ 2,182,050 Total Recordkeeping and Disclosures ........................ ........................ ........................ ........................ ........................ ........................ $3,129,338 mstockstill on DSK4VPTVN1PROD with NOTICES 4. Regulation Z Congress enacted the TILA 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. 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. In its comment, NADA stated that Regulation Z closed-end credit advertising requires much more than one minute of review for individual dealers to gauge compliance with VerDate Mar<15>2010 17:44 Apr 26, 2012 Jkt 226001 disclosure requirements. As with its point about the FTC’s estimate for lease advertising under Regulation M, NADA focused here on the FTC estimate of the time per disclosure in an individual transaction, here, for advertisements, rather than on the time for ‘‘set-up/ monitoring.’’ Under the latter category of PRA burden, the FTC estimate is a half-hour. NADA also stated that the estimated burden total appears to assume an average of two transactions per respondent for advertising, with an average burden per transaction of one minute. NADA stated that automobile dealers advertise hundreds, if not thousands of vehicles per year in print, on television, radio, and on sometimes numerous Web sites and other electronic media, and that many are subject to Regulation Z. Again, we note that PRA ‘‘burden’’ does not include effort expended in the ordinary course of business, independent of regulatory PO 00000 Frm 00055 Fmt 4703 Sfmt 4703 requirements.21 Here, too, as with the other regulations discussed above, we have sought to focus on average incremental PRA burden for the overall—and broad—universe of affected entities. Commission staff estimates that Regulation Z’s recordkeeping requirements affect approximately 530,479 entities subject to the FTC’s jurisdiction, at an average annual burden of 1.25 hours per entity,22 for a 21 Some entities may not promote credit terms covered by Regulation Z. For example, they may offer sale prices for products or make general statements about the availability of credit, which do not trigger advertising compliance responsibilities under Regulation Z. Others may offer specific credit terms but they may be subject to exceptions under Regulation Z, and disclosures would not be required, such as offers that no downpayment or no trade-in is required. 22 This is an increase from past estimates of one hour per respondent in recognition of the breadth of amendments to Regulation Z and their associated E:\FR\FM\27APN1.SGM Continued 27APN1 25176 Federal Register / Vol. 77, No. 82 / Friday, April 27, 2012 / Notices total of 663,099 hours. This is further detailed below along with estimates for disclosures under Regulation Z. Burden Totals Recordkeeping: 663,099 hours (586,900 + 76,199 carve-out); $11,537,924 ($10,212,060 + $1,325,864 carve-out), associated labor costs. Disclosures: 12,000,274 hours (10,957,621 + 1,042,653 carve-out); $382,858,568 ($349,597,924 + $33,260,644 carve-out), associated labor costs. REGULATION Z: DISCLOSURES—BURDEN HOURS Setup/monitoring Disclosures 1 mstockstill on DSK4VPTVN1PROD with NOTICES Respondents Open-end credit: Initial terms ......... Rescission notices 4 ............... Subsequent disclosures ........... Periodic statements ............... Error resolution ... Credit and charge card accounts .. Settlement of estate debts 5 ...... Special credit card requirements 6 ............ Home equity lines of credit 7 ......... College student credit card marketing—ed. institutions 8 ........ College student credit card marketing—card issuer reports 9 Posting and reporting of credit card agreements 10 ........... Advertising .......... Sale, transfer, or assignment of mortgages 11 .... Appraiser misconduct reporting 12 ................ Closed-end credit: Credit disclosures 13 ............ Rescission notices 14 ............. Redisclosures 15 .. Variable rate mortgages 16 .... High rate/high-fee mortgages and higher priced mortgages 17 .... Reverse mortgages 18 ........... Advertising .......... Private education loans 19 ............ Sale, transfer, or assignment of mortgages 20 .... Transaction-related Average burden per respondent 2 (hours) 45,000 .75 1,875 .5 10,000 Total setup/ monitoring burden (hours) Number of transactions Total transaction burden (hours) Average burden per transaction 3 (minutes) 33,750 20,000,000 .375 125,000 158,750 938 100,000 .25 417 1,355 .75 7,500 62,500,000 .188 195,833 203,333 45,000 45,000 .75 .75 33,750 33,750 1,750,000,000 4,000,000 .0938 6 2,735,833 400,000 2,769,583 433,750 25,000 .75 18,750 12,500,000 .375 78,125 96,875 45,000 .75 33,750 1,000,000 .375 6,250 40,000 25,000 .75 18,750 12,500,000 .375 78,125 96,875 1,875 .5 938 875,000 .25 3,646 4,584 2,500 .5 1,250 250,000 .25 1,042 2,292 300 .75 225 18,000 .75 225 450 25,000 100,000 .75 .75 18,750 75,000 12,500,000 300,000 .375 .75 78,125 3,750 96,875 78,750 938 1,750,000 .25 7,292 8,230 1,875 .5 625,000 .75 468,750 12,500,000 .375 78,125 546,875 380,480 .75 285,360 163,225,920 2.25 6,120,972 6,406,332 18,750 200,000 .5 .5 9,375 100,000 7,500,000 1,000,000 1 2.25 125,000 37,500 134,375 137,500 17,500 .5 8,750 500,000 1.5 12,500 21,250 10,000 .5 5,000 125,000 1.5 3,125 8,125 12,500 240,240 .5 .5 6,250 120,120 43,750 480,480 1 1 729 8,008 6,979 128,128 100 .5 50 50,000 1.5 1,250 1,300 100,000 .5 50,000 5,000,000 .25 20,833 70,833 impact on recordkeeping though increased coverage and more complex transactions. VerDate Mar<15>2010 17:44 Apr 26, 2012 Total burden (hours) Jkt 226001 PO 00000 Frm 00056 Fmt 4703 Sfmt 4703 E:\FR\FM\27APN1.SGM 27APN1 25177 Federal Register / Vol. 77, No. 82 / Friday, April 27, 2012 / Notices REGULATION Z: DISCLOSURES—BURDEN HOURS—Continued Setup/monitoring Total setup/ monitoring burden (hours) Average burden per respondent 2 (hours) Disclosures 1 Respondents Appraiser misconduct reporting 21 ................ Transaction-related Number of transactions Total transaction burden (hours) Average burden per transaction 3 (minutes) Total burden (hours) 625,000 .75 468,750 12,500,000 .375 78,125 546,875 Total openend credit ........................ .......................... ........................ ........................ ........................ ........................ 4,538,577 Total closedend credit ........................ .......................... ........................ ........................ ........................ ........................ 7,461,697 Total credit ... ........................ .......................... ........................ ........................ ........................ ........................ 12,000,274 1 Regulation Z requires disclosures for closed-end and open-end credit. TILA and Regulation Z now cover credit up to $50,000 plus an annual adjustment (except that real estate credit and private education loans are covered regardless of amount), generally causing an increase in transactions. In some instances noted below, market changes have reduced estimated PRA burden. In other instances noted below, changes to Regulation Z have increased estimated PRA burden. The overall effect of these competing factors, combined with the FTC now sharing with the CFPB estimated PRA burden (for all but certain motor vehicle dealers) yields a net decrease from the FTC’s prior reported estimate for open-end credit and a net increase from the FTC’s prior burden estimate for closed-end credit. 2 Burden per respondent in many categories has increased compared to prior FTC estimates, due to changes in rules. 3 Burden per transaction in many categories has increased compared to prior FTC estimates, due to changes in rules. 4 Mortgages have decreased. 5 Regulation Z now requires disclosures for timely settlement of estate debts. 6 Regulation Z now has special credit card requirements. 7 Home equity lines of credit have decreased. 8 Regulation Z now requires higher education institutions to disclose credit card marketing agreements. 9 Regulation Z now requires card issuers to submit reports on college student credit card marketing. 10 Regulation Z now requires card issuers to post and report general credit card agreements. 11 Regulation Z now requires certain acquirers of legal title to disclose the sale, transfer, or assignment of mortgages. 12 Regulation Z now requires reporting of appraiser misconduct. 13 Estimated closed-end credit disclosure transactions have increased from the FTC’s previously cleared estimate. 14 Mortgages have decreased. 15 Regulation Z now has substantial redisclosure requirements. Previously, redisclosures generally were provided in the ordinary course of business. Rule changes since set numerous procedures and circumstances for redisclosures. 16 Variable rate mortgages have decreased. 17 Mortgages have decreased. 18 Reverse mortgages have decreased. 19 Regulation Z now requires disclosures for private education loans. 20 Regulation Z now requires certain acquirers of legal title to disclose the sale, transfer, or assignment of mortgages. 21 Regulation Z now requires reporting of appraiser misconduct. REGULATION Z: RECORDKEEPING AND DISCLOSURES—COST Managerial mstockstill on DSK4VPTVN1PROD with NOTICES Required task Time (hours) Recordkeeping ............. Open-end credit Disclosures: Initial terms ........... Rescission notices Subsequent disclosures .................. Periodic statements ................. Error resolution ..... Credit and charge card accounts .... Settlement of estate debts .......... Special credit card requirements ..... Home equity lines of credit ............. College student credit card marketing—ed institutions ................ VerDate Mar<15>2010 17:44 Apr 26, 2012 Skilled technical Cost ($49/hr.) Time (hours) Clerical Cost ($30/hr.) Time (hours) Total cost ($) Cost ($16/hr.) 0 $0 66,310 $1,989,300 596,789 $9,548,624 $11,537,924 15,875 135 777,875 6,615 142,875 1,220 4,286,250 36,600 0 0 0 0 5,064,125 43,215 20,333 996,317 183,000 5,490,000 0 0 6,486,317 276,958 43,375 13,570,942 2,125,375 2,492,625 390,375 74,778,750 11,711,250 0 0 0 0 88,349,692 13,836,625 9,688 474,712 87,187 2,615,610 0 0 3,090,322 4,000 196,000 36,000 1,080,000 0 0 1,276,000 9,688 474,712 87,187 2,615,610 0 0 3,090,322 458 22,442 4,126 123,780 0 0 146,222 229 11,221 2,063 61,890 0 0 73,111 Jkt 226001 PO 00000 Frm 00057 Fmt 4703 Sfmt 4703 E:\FR\FM\27APN1.SGM 27APN1 25178 Federal Register / Vol. 77, No. 82 / Friday, April 27, 2012 / Notices REGULATION Z: RECORDKEEPING AND DISCLOSURES—COST—Continued Managerial Required task Time (hours) College student credit card marketing—card issuer reports .... Posting and reporting of credit card agreements ....... Advertising ............ Sale, transfer, or assignment of mortgages ......... Appraiser misconduct reporting Skilled technical Cost ($49/hr.) Time (hours) Clerical Cost ($30/hr.) Time (hours) Total cost ($) Cost ($16/hr.) 45 2,205 405 12,150 0 0 14,355 9,688 7,875 474,712 385,875 87,187 70,875 2,615,610 2,126,250 0 0 0 0 3,090,322 2,512,125 823 40,327 7,407 222,210 0 0 262,537 54,687 2,679,663 492,188 14,765,640 0 0 17,445,303 ........................ ........................ ........................ ........................ ........................ ........................ 144,780,593 640,633 13,437 13,750 31,391,017 658,413 673,750 5,765,699 120,938 123,750 172,970,970 3,628,140 3,712,500 0 0 0 0 0 0 204,361,987 4,286,553 4,386,250 2,125 104,125 19,125 573,750 0 0 677,875 969 698 12,813 47,481 34,202 627,837 8,719 6,281 115,315 261,570 188,430 3,459,450 0 0 0 0 0 0 309,051 222,632 4,087,287 130 6,370 1,170 35,100 0 0 41,470 7,083 347,067 63,750 1,912,500 0 0 2,259,567 54,687 2,679,663 492,188 14,765,640 0 0 17,445,303 Total closedend credit ... ........................ ........................ ........................ ........................ ........................ ........................ 238,077,975 Total Disclosures .......... ........................ ........................ ........................ ........................ ........................ ........................ 382,858,568 Total Recordkeeping and Disclosures ........................ ........................ ........................ ........................ ........................ ........................ 394,396,492 mstockstill on DSK4VPTVN1PROD with NOTICES Total open-end credit .......... Closed-end credit Disclosures: Credit disclosures Rescission notices Redisclosures ....... Variable rate mortgages ................. High-rate/high-fee mortgages and higher priced mortgages ......... Reverse mortgages Advertising ............ Private education loans .................. Sale, transfer, or assignment of mortgages ......... Appraiser misconduct reporting Request for Comment: You can file a comment online or on paper. For the Commission to consider your comment, we must receive it on or before May 29, 2012. 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 Commission Web site, at https://www.ftc.gov/os/ publiccomments.shtm. As a matter of discretion, the Commission tries to remove individuals’ home contact information from comments before placing them on the Commission Web site. VerDate Mar<15>2010 17:44 Apr 26, 2012 Jkt 226001 Because you comment will be made public, you are solely responsible for making sure that your comment does not include any sensitive personal information, like anyone’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, like medical records or other individually identifiable health information. In addition, do not include any ‘‘[t]rade secret or any commercial or financial information which is obtained PO 00000 Frm 00058 Fmt 4703 Sfmt 4703 from any person and which is privileged or confidential’’ as provided in 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). In particular, do not include competitively sensitive information such as costs, sales statistics, inventories, formulas, patterns devices, manufacturing processes, or customer names. If you want the Commission to give your comment confidential treatment, you must file it in paper form, with a request for confidential treatment, and you have to follow the procedure explained in FTC Rule 4.9(c)).23 Your 23 In particular, the written request for confidential treatment that accompanies the E:\FR\FM\27APN1.SGM 27APN1 mstockstill on DSK4VPTVN1PROD with NOTICES Federal Register / Vol. 77, No. 82 / Friday, April 27, 2012 / Notices comment will be kept confidential only if the FTC General Counsel, in his or her sole discretion, grants your request in accordance with the law and the public interest. 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. 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. If this Notice appears at https:// www.regulations.gov/#!home, you also may file a comment through that Web site. If you file your comment on paper, write ‘‘Regs BEMZ, PRA Comments, P084812’’ on your comment and on the envelope, and mail or deliver it to the following address: Federal Trade Commission, Office of the Secretary, Room H–113 (Annex J) 600 Pennsylvania Avenue NW., Washington, DC 20580. If possible, submit your paper comment to the Commission by courier or overnight service. 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 should be sent by facsimile to (202) 395–5167. Visit the Commission Web site at to read this Notice and the news release describing it. 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 May 29, 2012. You can find more information, including routine uses permitted by the Privacy Act, in the Commission’s privacy 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), CFR 4.9(c), 16 CFR 4.9(c). VerDate Mar<15>2010 17:44 Apr 26, 2012 Jkt 226001 policy, at https://www.ftc.gov/ftc/ privacy.htm. Willard K. Tom, General Counsel. [FR Doc. 2012–10097 Filed 4–26–12; 8:45 am] BILLING CODE 6750–01–P DEPARTMENT OF HEALTH AND HUMAN SERVICES Agency for Healthcare Research and Quality Patient Safety Organizations: Expired Listing for Medkinetics, LLC Agency for Healthcare Research and Quality (AHRQ), HHS. ACTION: Notice of delisting. AGENCY: AHRQ has accepted a notification of expiration from the Medkinetics, LLC of its status as a Patient Safety Organization (PSO). The Patient Safety and Quality Improvement Act of 2005 (Patient Safety Act) authorizes the listing of PSOs, which are entities or component organizations whose mission and primary activity is to conduct activities to improve patient safety and the quality of health care delivery. HHS issued the Patient Safety and Quality Improvement Final Rule (Patient Safety Rule) to implement the Patient Safety Act. AHRQ administers the provisions of the Patient Safety Act and Patient Safety Rule relating to the listing and operation of PSOs. DATES: The directories for both listed and delisted PSOs are ongoing and reviewed weekly by AHRQ. The delisting was effective at 12 Midnight ET (2400) on January 6, 2012. ADDRESSES: Both directories can be accessed electronically at the following HHS Web site: https:// www.PSO.AHRQ.qov/. FOR FURTHER INFORMATION CONTACT: Eileen Hogan, Center for Quality Improvement and Patient Safety, AHRQ, 540 Gaither Road, Rockville, MD 20850; Telephone (toll free): (866) 403–3697; Telephone (local): (301) 427–1111; TTY (toll free): (866) 438–7231; TTY (local): (301) 427–1130; Email: PSO@AHRQ.hhs.gov. SUPPLEMENTARY INFORMATION: SUMMARY: Background The Patient Safety Act, Public Law 109–41, 42 U.S.C. 299b–21—b–26, provides for the formation of PSOs, which collect, aggregate, and analyze confidential information regarding the quality and safety of health care delivery. The Patient Safety Rule, 42 CFR part 3, authorizes AHRQ, on behalf PO 00000 Frm 00059 Fmt 4703 Sfmt 4703 25179 of the Secretary of HHS, to list as a PSO an entity that attests that it meets the statutory and regulatory requirements for listing. A PSO can be ‘‘delisted’’ by the Secretary if it is found to no longer meet the requirements of the Patient Safety Act and Patient Safety Rule. Section 3.108(d) of the Patient Safety Rule requires AHRQ to provide public notice when it removes an organization from the list of federally approved PSOs. Accordingly, Medkinetics, LLC, PSO number P0036, was delisted effective at 12 Midnight ET (2400) on January 6, 2012. More information on PSOs can be obtained through AHRQ’s PSO Web site at https://www.PSO.AHRQ.gov/ index.html. Dated: April 19, 2012. Carolyn M. Clancy, Director. [FR Doc. 2012–10013 Filed 4–26–12; 8:45 am] BILLING CODE 4160–90–M DEPARTMENT OF HEALTH AND HUMAN SERVICES Agency for Healthcare Research and Quality Patient Safety Organizations: Voluntary Relinquishment From Surgical Safety Institute Agency for Healthcare Research and Quality (AHRQ), HHS. ACTION: Notice of delisting. AGENCY: AHRQ has accepted a notification of voluntary relinquishment from the Surgical Safety Institute of its status as a Patient Safety Organization (PSO). The Patient Safety and Quality Improvement Act of 2005 (Patient Safety Act) authorizes the listing of PSOs, which are entities or component organizations whose mission and primary activity is to conduct activities to improve patient safety and the quality of health care delivery. HHS issued the Patient Safety and Quality Improvement Final Rule (Patient Safety Rule) to implement the Patient Safety Act. AHRQ administers the provisions of the Patient Safety Act and Patient Safety Rule relating to the listing and operation of PS0s. DATES: The directories for both listed and delisted PSOs are ongoing and reviewed weekly by AHRQ. The delisting was effective at 12 Midnight ET (2400) on February 21, 2012. ADDRESSES: Both directories can be accessed electronically at the following HHS Web site: https://www.pso.AHRQ.gov/. SUMMARY: E:\FR\FM\27APN1.SGM 27APN1

Agencies

[Federal Register Volume 77, Number 82 (Friday, April 27, 2012)]
[Notices]
[Pages 25170-25179]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2012-10097]


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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: The FTC intends to ask the Office of Management and Budget 
(``OMB'') to extend through April 30, 2015, the current Paperwork 
Reduction Act (``PRA'') clearance for the information collection 
requirements in four consumer financial regulations enforced by the 
Commission. Those clearances expire on April 30, 2012.

DATES: Comments must be filed by May 29, 2012.

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 or deliver your comment to the following address: 
Federal Trade Commission, Office of the Secretary, Room H-113 (Annex 
J), 600 Pennsylvania Avenue NW., Washington, DC 20580.

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

SUPPLEMENTARY INFORMATION: The four regulations covered by this notice 
are:
    (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 these laws cover unless these 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 Consumer Financial Protection Bureau (CFPB) on July 21, 2011 
(``transfer date''). To implement this transferred authority, the CFPB 
has published for public comment 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 part 1026 
(Regulation Z) for those entities under its rulemaking jurisdiction.\1\ 
Although the Dodd-Frank Act transferred most rulemaking authority under 
ECOA, EFTA, CLA, and TILA to the CFPB, the Board retained rulemaking 
authority for certain motor vehicle dealers \2\ under all of these 
statutes and also for certain interchange-related requirements under 
EFTA.\3\
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    \1\ 12 CFR part 1002 (Reg. B) (76 FR 79442, Dec. 21, 2011); 12 
CFR part 1005 (Reg. E) (76 FR 81020, Dec. 27, 2011) (amended, 77 FR 
6194, Fed. 7, 2012); 12 CFR part 1013 (Reg. M) (76 FR 78500, Dec. 
19, 2011) (corrected, 76 FR 81789, Dec. 29, 2011); 12 CFR part 1026 
(Reg. Z) (76 FR 79768, Dec. 22, 2011).
    \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 part 235, rather 
than EFTA's implementing Regulation E).
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    As a result of the Dodd-Frank Act, the FTC and the CFPB now share 
the authority to enforce Regulations B, E, M, and Z for entities for 
which the FTC had enforcement authority before the Act, except for 
certain motor vehicle dealers. Because of this shared enforcement 
jurisdiction, the two agencies have divided the FTC's previously-
cleared PRA burden between them,\4\ except that the FTC retained all of 
the part of that burden associated with certain motor vehicle dealers 
(for brevity, referred to in the burden summaries below as a ``carve-
out'').\5\ The division of PRA burden hours not attributable to certain 
motor vehicle dealers is reflected in the CFPB's recent PRA clearance 
requests to OMB,\6\ as well as in the FTC's burden estimates below.
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    \4\ The CFPB also factored into its burden estimates respondents 
over which it has jurisdiction but the FTC does not.
    \5\ These are dealers specified by the Dodd-Frank Act under 
Sec.  1029 (a), but as limited by subsection (b). Subsection (b) 
does not preclude CFPB 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, rather than unaffiliated third parties, to 
consumers. It is not practicable, however, for PRA purposes, to 
estimate the portion of dealers that engage in one form of financing 
versus another (and that would or would not be subject to CFPB 
oversight). Thus, FTC staff's ``carve-out'' for this PRA burden 
analysis reflects a general estimated volume of motor vehicle 
dealers. This attribution does not change actual enforcement 
authority.
    \6\ OMB Control Numbers 3170-0013 (Regulation B), 3170-0014 
(Regulation E), 3170-0008 (Regulation M), and 3170-0015 (Regulation 
Z).
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    As a result of the Dodd-Frank Act, the FTC generally has sole 
authority to enforce Regulations B, E, M, and Z regarding motor vehicle 
dealers predominantly engaged in the sale and servicing of motor 
vehicles, the leasing and servicing of motor vehicles, or both.\7\ 
Because the FTC has exclusive jurisdiction to enforce these rules for 
such motor vehicle dealers, it is including the entire PRA burden for 
them in the burden estimates below.
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    \7\ See Dodd-Frank Act, Sec.  1029(a), -(c).
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    Under the PRA, 44 U.S.C. 3501-3521, Federal agencies must get OMB 
approval for each collection of

[[Page 25171]]

information they conduct or sponsor. ``Collection of information'' 
includes agency requests or requirements to keep records or provide 
information to a third party. See 44 U.S.C. 3502(3); 5 CFR 1320.3(c). 
The regulations impose certain recordkeeping and disclosure 
requirements associated with providing credit or with other financial 
transactions.
    On February 7, 2012, the Commission sought comment on the 
information collection requirements associated with these four 
regulations. 77 FR 6114.\8\ The Commission received one comment from 
the National Automobile Dealers Association (``NADA'') pertaining to 
regulatory burden affecting Regulations B, M, and Z.\9\
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    \8\ The Commission published a follow-up notice in the Federal 
Register on March 5, 2012 (77 FR 13127) to correct certain 
formatting errors in the Regulation M burden hours table that had 
initially resulted in misaligned and missing columnar information in 
that table.
    \9\ NADA's comment is available at https://www.ftc.gov/os/comments/regsbemzpra/index.shtm.
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    NADA stated, as a general matter, that the FTC staff estimates 
greatly underestimate the recordkeeping, disclosure, and other related 
compliance requirements for NADA members \10\ for the rules at issue, 
particularly Regulations B, M, and Z. NADA provided two illustrations 
of this point for Regulations M and Z (discussed and analyzed below 
under their applicable sub-headings), but did not provide sufficient 
specific information from which staff could revisit and revise its 
estimates. Pursuant to the OMB rules, 5 CFR part 1320, that implement 
the PRA, 44 U.S.C. 3501 et seq., the FTC is providing this second 
opportunity for NADA and the general public to comment while the FTC 
seeks OMB approval to renew the pre-existing clearance for these rules.
---------------------------------------------------------------------------

    \10\ NADA states that it represents approximately 16,000 new car 
and truck dealers, both domestic and import, with over 32,500 
separate franchises. Id.
---------------------------------------------------------------------------

    Although all four of the regulations require covered entities to 
keep certain records, FTC staff believes these records are kept in the 
normal course of business even absent the particular recordkeeping 
requirements.\11\ Covered entities, however, 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).
---------------------------------------------------------------------------

    \11\ PRA ``burden'' does not include effort expended in the 
ordinary course of business, regardless of any regulatory 
requirement. 5 CFR 1320.3(b)(2).
---------------------------------------------------------------------------

    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. While this burden varies with the number of transactions, 
the figures shown for transaction-related burden in the tables that 
follow are estimated averages.
    The required disclosures do not impose PRA burden on some covered 
entities because they make those disclosures in their normal course of 
activities. 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 disclosures.\12\
---------------------------------------------------------------------------

    \12\ For example, large companies may use computer-based and/or 
electronic means to provide required disclosures, including issuing 
some disclosures en masse, e.g., notices 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.
---------------------------------------------------------------------------

    Calculating the burden associated with the four regulations' 
disclosure 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.\13\ The burden estimates represent FTC staff's best 
assessment, based on its knowledge and expertise relating to the 
financial services industry. 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.
---------------------------------------------------------------------------

    \13\ The Commission generally does not have jurisdiction over 
banks, thrifts, and federal credit unions under the applicable 
regulations.
---------------------------------------------------------------------------

    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 wage rates by the burden hours described above. The 
hourly rates used were $49 for managerial oversight, $30 for skilled 
technical services, and $16 for clerical work. These figures are 
averages drawn from Bureau of Labor Statistics data.\14\ 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.
---------------------------------------------------------------------------

    \14\ These inputs are based broadly on mean hourly data found 
within the National Compensation Survey: Occupational Earnings in 
the United States, 2010, Bulletin 2753 (May 2011), Table 3 (https://www.bls.gov/ncs/ocs/sp/nctb1477.pdf).
---------------------------------------------------------------------------

    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 ordinary course of business.

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 530,479 credit firms subject to the Commission's 
jurisdiction, at an average annual burden of 1.25 hours per firm \15\

[[Page 25172]]

for a total of 663,099 hours.\16\ 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 2.25 
million credit applications (based on industry data regarding the 
approximate number of mortgage purchase and refinance originations), 
for a total of 37,500 hours.\17\ Staff also estimates that 
recordkeeping of self-testing subject to the regulation would affect 
1,375 firms, with an average annual burden of one hour (of skilled 
technical time) per firm, for a total of 1,375 hours, and that 
recordkeeping of any corrective action as a result of self-testing 
would affect 10% of them, i.e., 138 firms, with an average annual 
burden of four hours (of skilled technical time) per firm, for a total 
of 552 hours.\18\ Keeping records of race/national origin, sex, age, 
and marital status requires an estimated one minute of skilled 
technical time. Recordkeeping for the self-test responsibility and of 
any corrective actions requires an estimated one hour and four hours, 
respectively, of skilled technical time.
---------------------------------------------------------------------------

    \15\ This is an increase from past estimates of one hour per 
respondent in view of more complex transactions and their associated 
impact on recordkeeping.
    \16\ Section 1071 of the Dodd-Frank Act amends 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 CFPB 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 the 
Dodd-Frank Act's requirements. The Commission will address PRA 
burden for its enforcement of these requirements after the CFPB and 
the Board have issued the associated final rules.
    \17\ Regulation B contains model forms that creditors may use to 
gather and retain the required information.
    \18\ In contrast to banks, for example, entities under FTC 
jurisdiction are not subject to audits 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.
---------------------------------------------------------------------------

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 various types of 
mortgage credit to provide a copy of the appraisal report to applicants 
or to notify them of their right to a copy of the report (and 
thereafter provide a copy of the report, upon the applicant's request). 
Finally, Regulation B also requires that for accounts which 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.\19\
---------------------------------------------------------------------------

    \19\ The disclosure may be provided orally or in writing. The 
model form provided by Regulation B assists creditors in providing 
the written disclosure.
---------------------------------------------------------------------------

Burden Totals

    Recordkeeping: 702,526 hours (625,977 + 76,549 carve-out for motor 
vehicles); $12,720,734 ($11,384,370 + $1,336,364 carve-out for motor 
vehicles), associated labor costs.
    Disclosures: 1,164,458 hours (1,032,206 + 132,252 carve-out for 
motor vehicles); $37,146,214 ($32,927,360 + $4,218,854 carve-out for 
motor vehicles), associated labor costs.

                                                         Regulation B: Disclosures--Burden Hours
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                       Setup/Monitoring \1\                                   Transaction-related \2\
                                         ---------------------------------------------------------------------------------------------------------------
                                                                           Total setup/                       Average          Total
               Disclosures                                Average burden    monitoring       Number of      burden per      transaction    Total burden
                                            Respondents   per respondent      burden       transactions     transaction       burden          (hours)
                                                              (hours)         (hours)                        (minutes)        (hours)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Credit history reporting................         133,000             .25          33,250      66,309,750             .25         276,291         309,541
Adverse action notices..................         530,000             .75         397,500     106,096,000             .25         442,067         839,567
Appraisal notices.......................           5,000             .5            2,500       1,125,000             .25           4,688           7,188
Appraisal reports.......................           5,000             .5            2,500       1,125,000             .25           4,688           7,188
Self-test disclosures...................           1,375             .5              688          68,750             .25             286             974
                                         ---------------------------------------------------------------------------------------------------------------
    Total...............................  ..............  ..............  ..............  ..............  ..............  ..............       1,164,458
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ The estimates shown reflect a decrease in applicable mortgage entities regarding appraisal notices and appraisal reports. The figures assume that
  approximately half of mortgage entities (.5 x 10,000, or 5,000 businesses) would not otherwise provide this information and thus would be affected.
  The figures also assume that all applicable entities would provide notices first and thereafter provide the reports upon request.
\2\ The above figures reflect a decrease in mortgage transactions, compared to prior FTC estimates. They also assume that half of applicable mortgage
  transactions (.5 x 2,250,000, or 1,125,000) would not otherwise provide the appraisal notices and reports and thus would be affected.


                                                    Regulation B: Recordkeeping and Disclosures--Cost
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                    Managerial                   Skilled technical                   Clerical
                                         ------------------------------------------------------------------------------------------------   Total cost
              Required task                                 Cost  ($49/                     Cost  ($30/                     Cost  ($16/         ($)
                                           Time  (hours)       hr.)        Time  (hours)       hr.)        Time  (hours)       hr.)
--------------------------------------------------------------------------------------------------------------------------------------------------------
General recordkeeping...................               0               0          66,310       1,989,300         596,789       9,548,624      11,537,924
Other recordkeeping.....................               0               0          37,500       1,125,000               0               0       1,125,000
Recordkeeping of test...................               0               0           1,375          41,250               0               0          41,250
Recordkeeping of corrective action......               0               0             552          16,560               0               0          16,650
                                         ---------------------------------------------------------------------------------------------------------------
    Total Recordkeeping.................  ..............  ..............  ..............  ..............  ..............  ..............      12,720,734

[[Page 25173]]

 
Disclosures:
    Credit history reporting............          30,954       1,516,746         278,587       8,357,610               0               0       9,874,356
    Adverse action notices..............          83,957       4,113,893         755,610      22,668,300               0               0      26,782,193
    Appraisal notices...................             719          35,231           6,469         194,070               0               0         229,301
    Appraisal reports...................             719          35,231           6,469         194,070               0               0         229,301
    Self-test disclosure................              97           4,753             877          26,310               0               0          31,063
                                         ---------------------------------------------------------------------------------------------------------------
        Total Disclosures...............  ..............  ..............  ..............  ..............  ..............  ..............      37,146,214
                                         ---------------------------------------------------------------------------------------------------------------
        Total Recordkeeping and           ..............  ..............  ..............  ..............  ..............  ..............      49,866,948
         Disclosures....................
--------------------------------------------------------------------------------------------------------------------------------------------------------

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, remittance transfer providers, etc. Staff 
estimates that Regulation E's recordkeeping requirements affect 391,120 
firms offering EFT 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 391,120 hours. This is further detailed below.

Burden Totals

    Recordkeeping: 391,120 hours (375,881 + 15,239 carve-out); 
$6,805,488 ($6,540,328 + $265,160 carve-out), associated labor costs.
    Disclosures: 4,019,797 hours (4,002,868 + 16,929 carve-out); 
$128,236,961 ($127,696,924 + $540,037 carve-out), associated labor 
costs.

                                                         Regulation E: Disclosures--Burden Hours
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                         Setup/monitoring                                       Transaction-related
                                         ---------------------------------------------------------------------------------------------------------------
                                                              Average       Total setup                       Average          Total
               Disclosures                                  burden per      monitoring       Number of      burden per      transaction    Total burden
                                            Respondents     respondent        burden       transactions     transaction       burden          (hours)
                                                              (hours)         (hours)                        (minutes)        (hours)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Initial terms...........................          50,000             .5           25,000         500,000             .02             167          25,167
Change in terms.........................          12,500             .5            6,250      16,500,000             .02           5,500          11,750
Periodic statements.....................          50,000             .5           25,000     600,000,000             .02         200,000         225,000
Error resolution........................          50,000             .5           25,000         500,000            5             41,667          66,667
Transaction receipts....................          50,000             .5           25,000   2,500,000,000             .02         833,333         858,333
Preauthorized transfers \1\.............         257,620             .5          128,810       6,440,500             .25          26,835         155,645
Service provider notices................          50,000             .25          12,500         500,000             .25           2,083          14,583
Govt. benefit notices...................           5,000             .5            2,500      50,000,000             .25         208,333         210,833
ATM notices \2\.........................             250             .25              63      50,000,000             .25         208,333         208,396
Electronic check conversion \3\.........          57,620             .5           28,810       1,152,400             .02             384          29,194
Payroll cards \4\.......................             125             .5               63         500,000            3             25,000          25,063
Overdraft services \5\..................          50,000             .5           25,000       2,500,000             .02             833          25,833
Gift cards \6\..........................          50,000             .5           25,000   2,500,000,000             .02         833,333         858,333
Remittance transfers: \7\
    Disclosures.........................          35,000            1             35,000      18,000,000            1            300,000         335,000
    Error resolution....................          35,000            1             35,000      36,000,000            1            600,000         635,000
    Agent compliance....................          35,000            1             35,000      18,000,000            1            300,000         335,000
                                         ---------------------------------------------------------------------------------------------------------------
        Total...........................  ..............  ..............  ..............  ..............  ..............  ..............       4,019,797
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Estimated preauthorized transfers have increased from the FTC's previously cleared estimate.
\2\ Estimated ATM transactions have increased from the FTC's previously cleared estimate.
\3\ Estimated electronic check conversion has decreased from the FTC's previously cleared estimate.
\4\ Payroll card entities and transactions have increased greatly over the years, in large part due to the evolving economy as well as companies seeking
  ways to cut costs and reduce the amount of paper used in daily operations.

[[Page 25174]]

 
\5\ Regulation E now covers overdraft services.
\6\ Regulation E now, in part, covers gift cards.
\7\ Regulation E now covers remittance transfers.


                                                    Regulation E: Recordkeeping and Disclosures--Cost
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                    Managerial                   Skilled technical                   Clerical
                                         ------------------------------------------------------------------------------------------------   Total cost
              Required task                                 Cost  ($49/                     Cost  ($30/                     Cost  ($16/         ($)
                                           Time  (hours)       hr.)        Time  (hours)       hr.)        Time  (hours)       hr.)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Recordkeeping...........................               0               0          39,112       1,173,360         352,008       5,632,128       6,805,488
Disclosures:
    Initial terms.......................           2,517         123,333          22,650         679,500               0               0         802,833
    Change in terms.....................           1,175          57,575          10,750         322,500               0               0         380,075
    Periodic statements.................          22,500       1,102,500         202,500       6,075,000               0               0       7,177,500
    Error resolution....................           6,667         326,883          60,000       1,800,000               0               0       2,126,883
    Transaction receipts................          85,833       4,205,817         772,500      23,175,000               0               0      27,380,817
    Preauthorized transfers.............          15,565         762,685         140,080       4,202,400               0               0       4,965,085
    Service provider notices............           1,458          71,442          13,125         393,750               0               0         465,192
    Govt. benefit notices...............          21,083       1,033,067         189,750       5,692,500               0               0       6,725,567
    ATM notices.........................          20,840       1,021,160         187,556       5,626,680               0               0       6,647,840
    Electronic check conversion.........           2,919         143,031          26,275         788,250               0               0         931,281
    Payroll cards.......................           2,506         122,794          22,557         676,710               0               0         799,504
    Overdraft services..................           2,583         126,567          23,250         697,500               0               0         824,067
    Gift cards..........................          85,833       4,205,817         772,500      23,175,000               0               0      27,380,817
Remittance transfers:
        Disclosures.....................          33,500       1,641,500         301,500       9,045,000               0               0      10,686,500
        Error resolution................          63,500       3,111,500         571,500      17,145,000               0               0      20,256,500
        Agent compliance................          33,500       1,641,500         301,500       9,045,000               0               0      10,686,500
                                         ---------------------------------------------------------------------------------------------------------------
        Total Disclosures...............  ..............  ..............  ..............  ..............  ..............  ..............     128,236,961
                                         ---------------------------------------------------------------------------------------------------------------
        Total Record-keeping and          ..............  ..............  ..............  ..............  ..............  ..............     135,042,449
         Disclosures....................
--------------------------------------------------------------------------------------------------------------------------------------------------------

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 54,442 firms within the FTC's jurisdiction leasing 
products to consumers at an average annual burden of one hour per firm, 
for a total of 54,442 hours.
    In its comment NADA observed that preliminary reports from dealers 
suggest that the FTC estimate for Regulation M advertising compliance, 
as applied to lease advertisements for motor vehicle dealers, is 
understated. NADA, however, focused on the FTC estimate of 15 seconds 
for required disclosures in individual transactions, here, for 
advertisements. It is ``set-up/monitoring'' burden, defined above, 
though, that addresses the time (and associated labor cost) applicable 
to systems review and monitoring for continued compliance. For lease 
advertising, estimated setup/monitoring burden is a half-hour.
    As noted above, the Commission's jurisdiction covers a highly 
diverse universe of entities. The population of affected motor vehicle 
dealers is one component of a much larger universe of such entities. 
Thus, the FTC's estimates may understate some entities' actual 
experience and perhaps overstate others'. On balance, though, FTC staff 
believes these estimates are a fair reflection for the overall universe 
affected, and the estimates factor into consideration that PRA 
``burden'' does not include effort expended in the ordinary course of 
business, independent of regulatory requirements.\20\
---------------------------------------------------------------------------

    \20\ For example, some entities may advertise leases but may not 
promote the lease terms covered by Regulation M; instead, they may 
make general statements about offering leases, which do not trigger 
advertising compliance responsibilities under Regulation M.
---------------------------------------------------------------------------

Burden Totals

    Recordkeeping: 54,442 hours (40,558 + 13,884 carve-out); $947,288 
($705,712 + $241,576 carve-out), associated labor costs.
    Disclosures: 68,403 hours (42,139 + 26,264 carve-out); $2,182,050 
($1,344,228 + $837,822 carve-out), associated labor costs.

[[Page 25175]]



                                                         Regulation M: Disclosures--Burden Hours
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                         Setup/monitoring                                       Transaction-related
                                         ---------------------------------------------------------------------------------------------------------------
                                                                           Total setup/                   Average burden       Total
               Disclosures                                Average burden    monitoring       Number of          per         transaction    Total burden
                                            Respondents   per respondent      burden       transactions     transaction       burden          (hours)
                                                              (hours)        (minutes)                       (minutes)        (hours)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Motor Vehicle Leases \1\................          29,442            1             29,442       1,972,614             .50          16,438          45,880
Other Leases \2\........................          25,000             .50          12,500         250,000             .25           1,042          13,542
Advertising.............................          13,471             .50           6,736         538,840             .25           2,245           8,981
                                         ---------------------------------------------------------------------------------------------------------------
    Total...............................  ..............  ..............  ..............  ..............  ..............  ..............          68,403
--------------------------------------------------------------------------------------------------------------------------------------------------------
\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). Leases up to $50,000 (plus an annual adjustment) are now covered, which increases the breadth of transactions subject to the FTC's
  jurisdiction under Regulation M. This increase, however, is more than offset by the FTC now sharing PRA burden with the CFPB, which thus yields a net
  decrease from past FTC estimates of the number of transactions.
\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 figures shown for respondents and transactions reflect a net decrease from prior FTC estimates, given current market conditions and
  the new PRA burden sharing with the CFPB while also recognizing that the CLA and Regulation M now cover leases up to $50,000 (plus an annual
  adjustment).


                                                    Regulation M: Recordkeeping and Disclosures--Cost
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                    Managerial                   Skilled technical                   Clerical
                                         ------------------------------------------------------------------------------------------------   Total cost
              Required task                                 Cost  ($49/                     Cost  ($30/                     Cost  ($16/         ($)
                                           Time  (hours)       hr.)        Time  (hours)       hr.)        Time  (hours)       hr.)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Recordkeeping...........................               0              $0           5,444        $163,320          48,998        $783,968        $947,288
Disclosures:
    Motor Vehicle Leases................           4,588         224,812          41,292       1,238,760               0               0       1,463,572
    Other Leases........................           1,354          66,346          12,188         365,640               0               0         431,986
    Advertising.........................             898          44,002           8,083         242,490               0               0         286,492
                                         ---------------------------------------------------------------------------------------------------------------
        Total Disclosures...............  ..............  ..............  ..............  ..............  ..............  ..............       2,182,050
                                         ---------------------------------------------------------------------------------------------------------------
        Total Recordkeeping and           ..............  ..............  ..............  ..............  ..............  ..............      $3,129,338
         Disclosures....................
--------------------------------------------------------------------------------------------------------------------------------------------------------

4. Regulation Z

    Congress enacted the TILA 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. 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.
    In its comment, NADA stated that Regulation Z closed-end credit 
advertising requires much more than one minute of review for individual 
dealers to gauge compliance with disclosure requirements. As with its 
point about the FTC's estimate for lease advertising under Regulation 
M, NADA focused here on the FTC estimate of the time per disclosure in 
an individual transaction, here, for advertisements, rather than on the 
time for ``set-up/monitoring.'' Under the latter category of PRA 
burden, the FTC estimate is a half-hour.
    NADA also stated that the estimated burden total appears to assume 
an average of two transactions per respondent for advertising, with an 
average burden per transaction of one minute. NADA stated that 
automobile dealers advertise hundreds, if not thousands of vehicles per 
year in print, on television, radio, and on sometimes numerous Web 
sites and other electronic media, and that many are subject to 
Regulation Z. Again, we note that PRA ``burden'' does not include 
effort expended in the ordinary course of business, independent of 
regulatory requirements.\21\ Here, too, as with the other regulations 
discussed above, we have sought to focus on average incremental PRA 
burden for the overall--and broad--universe of affected entities.
---------------------------------------------------------------------------

    \21\ Some entities may not promote credit terms covered by 
Regulation Z. For example, they may offer sale prices for products 
or make general statements about the availability of credit, which 
do not trigger advertising compliance responsibilities under 
Regulation Z. Others may offer specific credit terms but they may be 
subject to exceptions under Regulation Z, and disclosures would not 
be required, such as offers that no downpayment or no trade-in is 
required.
---------------------------------------------------------------------------

    Commission staff estimates that Regulation Z's recordkeeping 
requirements affect approximately 530,479 entities subject to the FTC's 
jurisdiction, at an average annual burden of 1.25 hours per entity,\22\ 
for a

[[Page 25176]]

total of 663,099 hours. This is further detailed below along with 
estimates for disclosures under Regulation Z.
---------------------------------------------------------------------------

    \22\ This is an increase from past estimates of one hour per 
respondent in recognition of the breadth of amendments to Regulation 
Z and their associated impact on recordkeeping though increased 
coverage and more complex transactions.
---------------------------------------------------------------------------

Burden Totals

    Recordkeeping: 663,099 hours (586,900 + 76,199 carve-out); 
$11,537,924 ($10,212,060 + $1,325,864 carve-out), associated labor 
costs.
    Disclosures: 12,000,274 hours (10,957,621 + 1,042,653 carve-out); 
$382,858,568 ($349,597,924 + $33,260,644 carve-out), associated labor 
costs.

                                                         Regulation Z: Disclosures--Burden Hours
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                         Setup/monitoring                               Transaction-related
                                         ------------------------------------------------------------------------------------------------
                                                                                                          Average burden                   Total burden
             Disclosures \1\                              Average burden   Total setup/      Number of          per            Total          (hours)
                                            Respondents   per respondent    monitoring     transactions     transaction     transaction
                                                            \2\ (hours)   burden (hours)                   \3\ (minutes)  burden (hours)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Open-end credit:
    Initial terms.......................          45,000             .75          33,750      20,000,000            .375         125,000         158,750
    Rescission notices \4\..............           1,875             .5              938         100,000             .25             417           1,355
    Subsequent disclosures..............          10,000             .75           7,500      62,500,000            .188         195,833         203,333
    Periodic statements.................          45,000             .75          33,750   1,750,000,000           .0938       2,735,833       2,769,583
    Error resolution....................          45,000             .75          33,750       4,000,000               6         400,000         433,750
    Credit and charge card accounts.....          25,000             .75          18,750      12,500,000            .375          78,125          96,875
    Settlement of estate debts \5\......          45,000             .75          33,750       1,000,000            .375           6,250          40,000
    Special credit card requirements \6\          25,000             .75          18,750      12,500,000            .375          78,125          96,875
    Home equity lines of credit \7\.....           1,875             .5              938         875,000             .25           3,646           4,584
    College student credit card                    2,500             .5    1,250 250,000             .25           1,042           2,292
     marketing--ed. institutions \8\....
    College student credit card                      300             .75             225          18,000             .75             225             450
     marketing--card issuer reports \9\.
    Posting and reporting of credit card          25,000             .75          18,750      12,500,000            .375          78,125          96,875
     agreements \10\....................
    Advertising.........................         100,000             .75          75,000         300,000             .75           3,750          78,750
    Sale, transfer, or assignment of               1,875             .5              938       1,750,000             .25           7,292           8,230
     mortgages \11\.....................
    Appraiser misconduct reporting \12\.         625,000             .75         468,750      12,500,000            .375          78,125         546,875
Closed-end credit:
    Credit disclosures \13\.............         380,480             .75         285,360     163,225,920            2.25       6,120,972       6,406,332
    Rescission notices \14\.............          18,750             .5            9,375       7,500,000               1         125,000         134,375
    Redisclosures \15\..................         200,000             .5          100,000       1,000,000            2.25          37,500         137,500
    Variable rate mortgages \16\........          17,500             .5            8,750         500,000             1.5          12,500          21,250
    High rate/high-fee mortgages and              10,000             .5            5,000         125,000             1.5           3,125           8,125
     higher priced mortgages \17\.......
    Reverse mortgages \18\..............          12,500             .5            6,250          43,750               1             729           6,979
    Advertising.........................         240,240             .5          120,120         480,480               1           8,008         128,128
    Private education loans \19\........             100             .5               50          50,000             1.5           1,250           1,300
    Sale, transfer, or assignment of             100,000             .5           50,000       5,000,000             .25          20,833          70,833
     mortgages \20\.....................

[[Page 25177]]

 
    Appraiser misconduct reporting \21\.         625,000             .75         468,750      12,500,000            .375          78,125         546,875
                                         ---------------------------------------------------------------------------------------------------------------
        Total open-end credit...........  ..............  ..............  ..............  ..............  ..............  ..............       4,538,577
                                         ---------------------------------------------------------------------------------------------------------------
        Total closed-end credit.........  ..............  ..............  ..............  ..............  ..............  ..............       7,461,697
                                         ---------------------------------------------------------------------------------------------------------------
        Total credit....................  ..............  ..............  ..............  ..............  ..............  ..............      12,000,274
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Regulation Z requires disclosures for closed-end and open-end credit. TILA and Regulation Z now cover credit up to $50,000 plus an annual adjustment
  (except that real estate credit and private education loans are covered regardless of amount), generally causing an increase in transactions. In some
  instances noted below, market changes have reduced estimated PRA burden. In other instances noted below, changes to Regulation Z have increased
  estimated PRA burden. The overall effect of these competing factors, combined with the FTC now sharing with the CFPB estimated PRA burden (for all but
  certain motor vehicle dealers) yields a net decrease from the FTC's prior reported estimate for open-end credit and a net increase from the FTC's
  prior burden estimate for closed-end credit.
\2\ Burden per respondent in many categories has increased compared to prior FTC estimates, due to changes in rules.
\3\ Burden per transaction in many categories has increased compared to prior FTC estimates, due to changes in rules.
\4\ Mortgages have decreased.
\5\ Regulation Z now requires disclosures for timely settlement of estate debts.
\6\ Regulation Z now has special credit card requirements.
\7\ Home equity lines of credit have decreased.
\8\ Regulation Z now requires higher education institutions to disclose credit card marketing agreements.
\9\ Regulation Z now requires card issuers to submit reports on college student credit card marketing.
\10\ Regulation Z now requires card issuers to post and report general credit card agreements.
\11\ Regulation Z now requires certain acquirers of legal title to disclose the sale, transfer, or assignment of mortgages.
\12\ Regulation Z now requires reporting of appraiser misconduct.
\13\ Estimated closed-end credit disclosure transactions have increased from the FTC's previously cleared estimate.
\14\ Mortgages have decreased.
\15\ Regulation Z now has substantial redisclosure requirements. Previously, redisclosures generally were provided in the ordinary course of business.
  Rule changes since set numerous procedures and circumstances for redisclosures.
\16\ Variable rate mortgages have decreased.
\17\ Mortgages have decreased.
\18\ Reverse mortgages have decreased.
\19\ Regulation Z now requires disclosures for private education loans.
\20\ Regulation Z now requires certain acquirers of legal title to disclose the sale, transfer, or assignment of mortgages.
\21\ Regulation Z now requires reporting of appraiser misconduct.


                                                    Regulation Z: Recordkeeping and Disclosures--Cost
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                    Managerial                   Skilled technical                   Clerical
                                         ------------------------------------------------------------------------------------------------
              Required task                                 Cost  ($49/                     Cost  ($30/                     Cost  ($16/   Total cost ($)
                                           Time (hours)        hr.)        Time (hours)        hr.)        Time (hours)        hr.)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Recordkeeping...........................               0              $0          66,310      $1,989,300         596,789      $9,548,624     $11,537,924
Open-end credit Disclosures:
    Initial terms.......................          15,875         777,875         142,875       4,286,250               0               0       5,064,125
    Rescission notices..................             135           6,615           1,220          36,600               0               0          43,215
    Subsequent disclosures..............          20,333         996,317         183,000       5,490,000               0               0       6,486,317
    Periodic statements.................         276,958      13,570,942       2,492,625      74,778,750               0               0      88,349,692
    Error resolution....................          43,375       2,125,375         390,375      11,711,250               0               0      13,836,625
    Credit and charge card accounts.....           9,688         474,712          87,187       2,615,610               0               0       3,090,322
    Settlement of estate debts..........           4,000         196,000          36,000       1,080,000               0               0       1,276,000
    Special credit card requirements....           9,688         474,712          87,187       2,615,610               0               0       3,090,322
    Home equity lines of credit.........             458          22,442           4,126         123,780               0               0         146,222
    College student credit card                      229          11,221           2,063          61,890               0               0          73,111
     marketing--ed institutions.........

[[Page 25178]]

 
    College student credit card                       45           2,205             405          12,150               0               0          14,355
     marketing--card issuer reports.....
    Posting and reporting of credit card           9,688         474,712          87,187       2,615,610               0               0       3,090,322
     agreements.........................
    Advertising.........................           7,875         385,875          70,875       2,126,250               0               0       2,512,125
    Sale, transfer, or assignment of                 823          40,327           7,407         222,210               0               0         262,537
     mortgages..........................
    Appraiser misconduct reporting......          54,687       2,679,663         492,188      14,765,640               0               0      17,445,303
                                         ---------------------------------------------------------------------------------------------------------------
        Total open-end credit...........  ..............  ..............  ..............  ..............  ..............  ..............     144,780,593
Closed-end credit Disclosures:
    Credit disclosures..................         640,633      31,391,017       5,765,699     172,970,970               0               0     204,361,987
    Rescission notices..................          13,437         658,413         120,938       3,628,140               0               0       4,286,553
    Redisclosures.......................          13,750         673,750         123,750       3,712,500               0               0       4,386,250
    Variable rate mortgages.............           2,125         104,125          19,125         573,750               0               0         677,875
    High-rate/high-fee mortgages and                 969          47,481           8,719         261,570               0               0         309,051
     higher priced mortgages............
    Reverse mortgages...................             698          34,202           6,281         188,430               0               0         222,632
    Advertising.........................          12,813         627,837         115,315       3,459,450               0               0       4,087,287
    Private education loans.............             130           6,370           1,170          35,100               0               0          41,470
    Sale, transfer, or assignment of               7,083         347,067          63,750       1,912,500               0               0       2,259,567
     mortgages..........................
    Appraiser misconduct reporting......          54,687       2,679,663         492,188      14,765,640               0               0      17,445,303
                                         ---------------------------------------------------------------------------------------------------------------
        Total closed-end credit.........  ..............  ..............  ..............  ..............  ..............  ..............     238,077,975
                                         ---------------------------------------------------------------------------------------------------------------
        Total Disclosures...............  ..............  ..............  ..............  ..............  ..............  ..............     382,858,568
                                         ---------------------------------------------------------------------------------------------------------------
        Total Recordkeeping and           ..............  ..............  ..............  ..............  ..............  ..............     394,396,492
         Disclosures....................
--------------------------------------------------------------------------------------------------------------------------------------------------------

    Request for Comment: You can file a comment online or on paper. For 
the Commission to consider your comment, we must receive it on or 
before May 29, 2012. 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 Commission Web site, at https://www.ftc.gov/os/publiccomments.shtm. As a matter of discretion, the Commission tries 
to remove individuals' home contact information from comments before 
placing them on the Commission Web site.
    Because you comment will be made public, you are solely responsible 
for making sure that your comment does not include any sensitive 
personal information, like anyone'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, like medical records or other individually identifiable 
health information. In addition, do not include any ``[t]rade secret or 
any commercial or financial information which is obtained from any 
person and which is privileged or confidential'' as provided in 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). In particular, do not include competitively sensitive 
information such as costs, sales statistics, inventories, formulas, 
patterns devices, manufacturing processes, or customer names.
    If you want the Commission to give your comment confidential 
treatment, you must file it in paper form, with a request for 
confidential treatment, and you have to follow the procedure explained 
in FTC Rule 4.9(c)).\23\ Your

[[Page 25179]]

comment will be kept confidential only if the FTC General Counsel, in 
his or her sole discretion, grants your request in accordance with the 
law and the public interest.
---------------------------------------------------------------------------

    \23\ 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), CFR 4.9(c), 16 CFR 4.9(c).
---------------------------------------------------------------------------

    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. 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. 
If this Notice appears at https://www.regulations.gov/#!home, you also 
may file a comment through that Web site.
    If you file your comment on paper, write ``Regs BEMZ, PRA Comments, 
P084812'' on your comment and on the envelope, and mail or deliver it 
to the following address: Federal Trade Commission, Office of the 
Secretary, Room H-113 (Annex J) 600 Pennsylvania Avenue NW., 
Washington, DC 20580. If possible, submit your paper comment to the 
Commission by courier or overnight service.
    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 should be sent by facsimile to (202) 395-5167.
    Visit the Commission Web site at to read this Notice and the news 
release describing it. 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 May 
29, 2012. You can find more information, including routine uses 
permitted by the Privacy Act, in the Commission's privacy policy, at 
https://www.ftc.gov/ftc/privacy.htm.

Willard K. Tom,
General Counsel.
[FR Doc. 2012-10097 Filed 4-26-12; 8:45 am]
BILLING CODE 6750-01-P
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