Data Collection Available for Public Comments, 30810-30811 [2018-13956]
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30810
Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Notices
inspection and copying at the principal
office of the Exchange. All comments
received will be posted without change.
Persons submitting comments are
cautioned that we do not redact or edit
personal identifying information from
comment submissions. You should
submit only information that you wish
to make available publicly. All
submissions should refer to File
Number SR–NYSEAMER–2018–33 and
should be submitted on or before July
20, 2018.
For the Commission, by the Division of
Trading and Markets, pursuant to delegated
authority.16
Eduardo A. Aleman,
Assistant Secretary.
[FR Doc. 2018–13979 Filed 6–28–18; 8:45 am]
BILLING CODE 8011–01–P
SMALL BUSINESS ADMINISTRATION
Data Collection Available for Public
Comments
60-Day notice and request for
comments.
ACTION:
The Paperwork Reduction Act
(PRA) requires federal agencies to
publish a notice in the Federal Register
concerning each proposed collection of
information before submitting it to OMB
for approval, and to allow 60 days for
public comment in response to the
notice. SBA initially published this
required notice on April 2, 2018. SBA
is republishing the notice to address the
two comments it received requesting
greater detail on the information to be
collected and to provide an additional
60 days for public comment.
DATES: Submit comments on or before
August 28, 2018.
ADDRESSES: Send all comments to
Adrienne Grierson, Deputy Director,
Office of Credit Risk Management,
Small Business Administration, at
lender.oversight@sba.gov.
FOR FURTHER INFORMATION CONTACT:
Adrienne Grierson, Deputy Director,
Office of Credit Risk Management at
lender.oversight@sba.gov or 202–205–
6573, or Curtis B. Rich, Management
Analyst, 202–205–7030, curtis.rich@
sba.gov.
SUPPLEMENTARY INFORMATION: SBA’s
Office of Credit Risk Management
(OCRM) is responsible for the oversight
and supervision of the SBA operations
of approximately 4000 7(a) Lenders,
Certified Development Companies
(‘‘CDCs’’), and Microloan Intermediaries
(‘‘Intermediaries’’), that participate in
sradovich on DSK3GMQ082PROD with NOTICES
SUMMARY:
16 17
CFR 200.30–3(a)(12).
VerDate Sep<11>2014
17:58 Jun 28, 2018
Jkt 244001
SBA’s business loan programs and, for
enforcement of the applicable rules and
regulations. Currently, the agency
guarantees more than $90 billion dollars
in small business loans through these
programs. The information collection
described in detail below helps OCRM
protect the safety and soundness of the
business loan programs and taxpayer
dollars.
In general, SBA collects information
in connection with PARRiS 1 reviews for
7(a) Federally-regulated Lenders,
SMART 2 reviews for CDCs, and PARRiS
Safety and Soundness Examinations for
SBA Supervised Lenders including
Small Business Lending Companies
(SBLCs) and Non-Federally Regulated
Lenders (NFRLs).3 SBA also requests
certain information when it conducts
Delegated Authority Reviews of 7(a)
Lenders and CDCs, and Microloan
Intermediary Site Visits. The discussion
below identifies the nature of the
information to be collected for each type
of lender and the related review or
examination. In addition, SBA has
created separate lists, which are also
discussed below, to clearly identify the
information to be collected.
I. 7(a) Lender and CDC PARRIS and
SMART Analytical and Full Reviews
and Safety and Soundness Exams
A. Common Information Collected
For all Analytical Reviews, Full
Reviews, and Safety and Soundness
examinations 4 of 7(a) lenders and CDCs,
as applicable, in general, SBA requests
information related to the lender’s or
CDC’s management and operation,
eligibility of its SBA loans for SBA
guaranty, compliance with SBA Loan
Program Requirements, credit
administration, and performance of its
SBA loan portfolio.
1. Management and Operations: The
information requested generally
includes the SBA program organization
chart with responsibilities, business
plan, financial and program audits,
evidence of lender compliance with
1 PARRiS refers to the specific risk components
reviewed for 7(a) Lenders: (i) Portfolio Performance;
(ii) Asset Management; (iii) Regulatory Compliance;
(iv) Risk Management; and (v) Special Items.
2 SMART refers to the specific risk components
reviewed for Certified Development Companies: (i)
Solvency and Financial Condition; (ii) Management
and Board Governance; (iii) Asset Quality and
Servicing; (iv) Regulatory Compliance; and (v)
Technical Issues and Mission.
3 SBLCs and NFRLs are defined in 15 U.S.C.
632(r) and 13 CFR 120.10.
4 Safety and Soundness Examinations are only
performed on SBA Supervised Lenders in the 7(a)
program. SBA Supervised Lenders include SBA
licensed Small Business Lending Companies and
Non-Federally Regulated Lenders as defined in 13
CFR 120.10. Analytical Reviews and Full Reviews
are performed on 7(a) Lenders and CDCs.
PO 00000
Frm 00128
Fmt 4703
Sfmt 4703
regulatory orders and agreements (if
applicable and as appropriate), and staff
training on SBA lending.
2. Eligibility and Credit
Administration: In reviewing these
areas, SBA primarily requests lender’s
or CDC’s policies, loan sample files;
independent loan reviews; loan credit
scoring and risk rating methodologies;
and information on loans approved as
exceptions to policy.
3. Compliance with Loan Program
Requirements: Here, SBA collects
information on services and fees
charged for Third-party vendors,5
lender’s FTA 6 trust account, and
lender’s use of the System of Awards
Management to perform agent due
diligence.
4. Portfolio Performance: In
considering lender or CDC portfolio
performance, SBA requests that lenders
provide a listing of loans indicating
those past due, those with servicing
actions, individual risk ratings, and
those in liquidation or purchased for
SBA to compare with SBA data. SBA
also requests that lenders provide an
explanation for risks identified (e.g.,
identified by high risk metrics or
PARRiS flags triggered).
Further detail on the information SBA
collects in Analytical and Full Reviews
and Safety and Soundness Exams is
contained in the SBA Supervised
Lender Safety and Soundness
Examination/Full Review Information
Request; 7(a) Lender PARRiS Analytical
Review Information Request; CDC
SMART Analytical Review Information
Request; 7(a) Lender PARRiS Full
Review Information Request; and, CDC
SMART Full Review Information
Request. Each Information Request
document is available upon request.
B. SBA Supervised Lender
Supplemental Information for Safety
and Soundness Exams
SBA is the primary federal regulator
for SBA licensed SBLCs and NFRLs that
participate in the 7(a) program.7
5 For purposes of this notice, Third-party vendors
include, for example, Loan Agents (e.g., Packagers
and Lender Service Providers) and Professional
Managers with management contracts.
6 FTA refers to SBA’s Fiscal and Transfer Agent.
7(a) Lenders that sell SBA loans in the Secondary
Market are required by the terms of the Form 1086,
Secondary Participation Guaranty Agreement, to
deposit the guaranteed portion of loan payments in
a segregated account for the benefit of investors.
7 SBA Supervised Lenders are a relatively small
subset of 7(a) Lenders. 7(a) Lenders include SBA
Supervised Lenders and Federally Regulated 7(a)
Lenders (i.e., those lenders regulated by the federal
bank regulators—Federal Deposit Insurance
Corporation, the Office of the Comptroller of the
Currency, the Federal Reserve Board, the National
Credit Union Administration, and the Farm Credit
Administration).
E:\FR\FM\29JNN1.SGM
29JNN1
Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Notices
Because SBA is the primary federal
regulator, SBA performs comprehensive
exams that require information in
addition to that referenced in Section
I.A. Specifically, for SBA Supervised
Lender examinations, SBA additionally
requests corporate governance
documents and information on the
lender’s financial condition, internal
controls and risk mitigation. SBA also
requests information on higher risk
loans, payments related to loans in loan
sample, fidelity insurance, credit
scoring model validation and lender
self-testing for compliance with SBA
Loan Program Requirements. SBA
Supervised Lender safety and
soundness examinations include review
of capital, earnings, and liquidity in
accordance with 13 CFR 120.1050(b)
and accordingly, SBA requests
information on the lender’s financing,
asset account calculations, and dividend
policy. Further detail on the information
that SBA requests for SBA Supervised
Lender examinations is contained in
SBA Supervised Lender Safety and
Soundness Examination/Full Review
Information Request. This document is
available upon request.
sradovich on DSK3GMQ082PROD with NOTICES
C. CDC Supplemental Information
SBA is also the primary federal
regulator for CDCs. SBA guarantees
100% of 504 program debentures.
Therefore, SBA also requests additional
information to prudently oversee CDCs,
as it does for SBA Supervised Lenders.
The additional information generally
requested includes corporate
governance documents and information
on lender’s financial condition, internal
controls and risk mitigation practices,
and the CDC’s plan for investment in
other local economic development. In
addition, SBA requests, as applicable,
information on a CDC’s Premier
Certified Lenders Program (PCLP) Loan
Loss Reserve Account and loans that a
CDC packages for other 7(a) lenders.
You may request a copy of the CDC
SMART Analytical Review Information
Request and CDC SMART Full Review
Information Request for more details on
this supplemental information request.
I. 7(a) Lender and CDC Delegated
Authority Reviews
SBA collects information for
Delegated Authority Reviews
performed, in general, every two years
for lenders applying or reapplying to
SBA’s Delegated Authority Programs
(e.g., Preferred Lender Program for 7(a)
Lenders and Accredited Lender Program
or PCLP for CDCs).8 If a lender is
8 Through SBA’s Delegated Authority programs,
qualified lenders may process SBA loans with
VerDate Sep<11>2014
17:58 Jun 28, 2018
Jkt 244001
scheduled to receive an Analytical or
Full Review or a Safety and Soundness
Examination during the same review
cycle as a Delegated Authority Review,
generally SBA will coordinate the
timing of the reviews and the related
information collections to lessen the
burden.
For 7(a) delegated authority reviews,
SBA requests information on
organizational changes, staff training
and experience, lender explanation for
risk indicators triggered, lender risk
mitigation efforts, lender’s financial
condition, lender’s deficiencies
underlying regulatory orders (if
applicable and as appropriate), and loan
sample files (as requested).
For CDC delegated authority reviews,
SBA requests corporate governance
documents and additional information
on organization/staff, financial
condition, internal controls and risk
mitigation. SBA also requests a CDC’s
policies including its no-adverse-change
determination, loan reviews, and lender
explanation for its higher risk metrics.
For more detail on Delegated
Authority Review collections, you may
request a copy of the 7(a) Lender
Nomination for Delegated Authority
Information Request; and, the ALP/
PCLP Renewal Guide and Information
Request.
II. Microloan Intermediary Reviews
For Microloan Program Intermediary
oversight, SBA District Offices perform
an annual site visit for active
Intermediaries. SBA requests
information on SBA program
management and operations including
organizational chart with
responsibilities, business plan, staff
training on SBA lending, and risk
mitigation practices. SBA primarily
reviews the Intermediary’s credit
administration through a loan sample
file request. Specifics on the
information collected are contained in
SBA’s Microloan Intermediary Site
Visit/Review Information Request
document, a copy of which is available
upon request.
III. Other Reviews, Corrective Action
Plans, and Increased Supervision for
7(a) Lenders, CDCs, and Intermediaries
SBA may pose additional information
requests for its Other Reviews,9
generally of higher risk lenders. For
further autonomy and reduced paperwork than
through regular SBA loan processing.
9 Other Reviews may include, for example,
Secondary Market loan reviews, reviews of lender
self-assessments, or Agreed Upon Procedures
Reviews performed by third-party practitioners or
an independent office within the Lender to which
SBA and the Lender agree, that follow a review
protocol as prescribed or approved by SBA.
PO 00000
Frm 00129
Fmt 4703
Sfmt 4703
30811
example, for 7(a) lenders under a public
regulatory order or agreement, SBA may
request information relating to the status
of the underlying deficiencies, as
appropriate, or request loan files for
SBA to review to mitigate risk before the
loan can be sold into the secondary
market. SBA may also request corrective
action plans from lenders following
reviews where findings and deficiencies
are identified. Finally, SBA may request
additional information of lenders under
increased supervision. However,
information requests for increased
supervision tend to be lender specific.
In general, for information that has
already been provided by a 7(a) lender,
a CDC, or a Microloan Intermediary but
is unchanged, a lender may certify that
the information was already provided
and is unchanged in lieu of resubmitting
the information. The certification must
also state to whom and on what date the
information was provided to SBA.
Summary of Information Collection:
Title: SBA Lender and Microloan
Intermediary Reporting Requirements.
OMB Control Number: 3245–0365.
Description of Respondents: SBA 7(A)
Lenders, Certified Development
Companies, and Microloan Intermediary
lenders.
Form Numbers: N/A.
Total Estimated Annual Responses:
1,861.
Total Estimated Annual Hour Burden:
14,573.
Solicitation of Public Comments: SBA
requests comments on the information
described above, specifically on (a)
whether the collection of information is
necessary for the agency to properly
perform its functions; (b) whether the
burden estimates are accurate; (c)
whether there are ways to minimize the
burden, including through the use of
automated techniques or other forms of
information technology; and (d) whether
there are ways to enhance the quality,
utility, and clarity of the information.
Curtis Rich,
Management Analyst.
[FR Doc. 2018–13956 Filed 6–28–18; 8:45 am]
BILLING CODE 8025–01–P
SUSQUEHANNA RIVER BASIN
COMMISSION
Projects Approved for Minor
Modifications
Susquehanna River Basin
Commission.
ACTION: Notice.
AGENCY:
This notice lists the minor
modifications approved for a previously
SUMMARY:
E:\FR\FM\29JNN1.SGM
29JNN1
Agencies
[Federal Register Volume 83, Number 126 (Friday, June 29, 2018)]
[Notices]
[Pages 30810-30811]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2018-13956]
=======================================================================
-----------------------------------------------------------------------
SMALL BUSINESS ADMINISTRATION
Data Collection Available for Public Comments
ACTION: 60-Day notice and request for comments.
-----------------------------------------------------------------------
SUMMARY: The Paperwork Reduction Act (PRA) requires federal agencies to
publish a notice in the Federal Register concerning each proposed
collection of information before submitting it to OMB for approval, and
to allow 60 days for public comment in response to the notice. SBA
initially published this required notice on April 2, 2018. SBA is
republishing the notice to address the two comments it received
requesting greater detail on the information to be collected and to
provide an additional 60 days for public comment.
DATES: Submit comments on or before August 28, 2018.
ADDRESSES: Send all comments to Adrienne Grierson, Deputy Director,
Office of Credit Risk Management, Small Business Administration, at
[email protected].
FOR FURTHER INFORMATION CONTACT: Adrienne Grierson, Deputy Director,
Office of Credit Risk Management at [email protected] or 202-
205-6573, or Curtis B. Rich, Management Analyst, 202-205-7030,
[email protected].
SUPPLEMENTARY INFORMATION: SBA's Office of Credit Risk Management
(OCRM) is responsible for the oversight and supervision of the SBA
operations of approximately 4000 7(a) Lenders, Certified Development
Companies (``CDCs''), and Microloan Intermediaries
(``Intermediaries''), that participate in SBA's business loan programs
and, for enforcement of the applicable rules and regulations.
Currently, the agency guarantees more than $90 billion dollars in small
business loans through these programs. The information collection
described in detail below helps OCRM protect the safety and soundness
of the business loan programs and taxpayer dollars.
In general, SBA collects information in connection with PARRiS \1\
reviews for 7(a) Federally-regulated Lenders, SMART \2\ reviews for
CDCs, and PARRiS Safety and Soundness Examinations for SBA Supervised
Lenders including Small Business Lending Companies (SBLCs) and Non-
Federally Regulated Lenders (NFRLs).\3\ SBA also requests certain
information when it conducts Delegated Authority Reviews of 7(a)
Lenders and CDCs, and Microloan Intermediary Site Visits. The
discussion below identifies the nature of the information to be
collected for each type of lender and the related review or
examination. In addition, SBA has created separate lists, which are
also discussed below, to clearly identify the information to be
collected.
---------------------------------------------------------------------------
\1\ PARRiS refers to the specific risk components reviewed for
7(a) Lenders: (i) Portfolio Performance; (ii) Asset Management;
(iii) Regulatory Compliance; (iv) Risk Management; and (v) Special
Items.
\2\ SMART refers to the specific risk components reviewed for
Certified Development Companies: (i) Solvency and Financial
Condition; (ii) Management and Board Governance; (iii) Asset Quality
and Servicing; (iv) Regulatory Compliance; and (v) Technical Issues
and Mission.
\3\ SBLCs and NFRLs are defined in 15 U.S.C. 632(r) and 13 CFR
120.10.
---------------------------------------------------------------------------
I. 7(a) Lender and CDC PARRIS and SMART Analytical and Full Reviews and
Safety and Soundness Exams
A. Common Information Collected
For all Analytical Reviews, Full Reviews, and Safety and Soundness
examinations \4\ of 7(a) lenders and CDCs, as applicable, in general,
SBA requests information related to the lender's or CDC's management
and operation, eligibility of its SBA loans for SBA guaranty,
compliance with SBA Loan Program Requirements, credit administration,
and performance of its SBA loan portfolio.
---------------------------------------------------------------------------
\4\ Safety and Soundness Examinations are only performed on SBA
Supervised Lenders in the 7(a) program. SBA Supervised Lenders
include SBA licensed Small Business Lending Companies and Non-
Federally Regulated Lenders as defined in 13 CFR 120.10. Analytical
Reviews and Full Reviews are performed on 7(a) Lenders and CDCs.
---------------------------------------------------------------------------
1. Management and Operations: The information requested generally
includes the SBA program organization chart with responsibilities,
business plan, financial and program audits, evidence of lender
compliance with regulatory orders and agreements (if applicable and as
appropriate), and staff training on SBA lending.
2. Eligibility and Credit Administration: In reviewing these areas,
SBA primarily requests lender's or CDC's policies, loan sample files;
independent loan reviews; loan credit scoring and risk rating
methodologies; and information on loans approved as exceptions to
policy.
3. Compliance with Loan Program Requirements: Here, SBA collects
information on services and fees charged for Third-party vendors,\5\
lender's FTA \6\ trust account, and lender's use of the System of
Awards Management to perform agent due diligence.
---------------------------------------------------------------------------
\5\ For purposes of this notice, Third-party vendors include,
for example, Loan Agents (e.g., Packagers and Lender Service
Providers) and Professional Managers with management contracts.
\6\ FTA refers to SBA's Fiscal and Transfer Agent. 7(a) Lenders
that sell SBA loans in the Secondary Market are required by the
terms of the Form 1086, Secondary Participation Guaranty Agreement,
to deposit the guaranteed portion of loan payments in a segregated
account for the benefit of investors.
---------------------------------------------------------------------------
4. Portfolio Performance: In considering lender or CDC portfolio
performance, SBA requests that lenders provide a listing of loans
indicating those past due, those with servicing actions, individual
risk ratings, and those in liquidation or purchased for SBA to compare
with SBA data. SBA also requests that lenders provide an explanation
for risks identified (e.g., identified by high risk metrics or PARRiS
flags triggered).
Further detail on the information SBA collects in Analytical and
Full Reviews and Safety and Soundness Exams is contained in the SBA
Supervised Lender Safety and Soundness Examination/Full Review
Information Request; 7(a) Lender PARRiS Analytical Review Information
Request; CDC SMART Analytical Review Information Request; 7(a) Lender
PARRiS Full Review Information Request; and, CDC SMART Full Review
Information Request. Each Information Request document is available
upon request.
B. SBA Supervised Lender Supplemental Information for Safety and
Soundness Exams
SBA is the primary federal regulator for SBA licensed SBLCs and
NFRLs that participate in the 7(a) program.\7\
[[Page 30811]]
Because SBA is the primary federal regulator, SBA performs
comprehensive exams that require information in addition to that
referenced in Section I.A. Specifically, for SBA Supervised Lender
examinations, SBA additionally requests corporate governance documents
and information on the lender's financial condition, internal controls
and risk mitigation. SBA also requests information on higher risk
loans, payments related to loans in loan sample, fidelity insurance,
credit scoring model validation and lender self-testing for compliance
with SBA Loan Program Requirements. SBA Supervised Lender safety and
soundness examinations include review of capital, earnings, and
liquidity in accordance with 13 CFR 120.1050(b) and accordingly, SBA
requests information on the lender's financing, asset account
calculations, and dividend policy. Further detail on the information
that SBA requests for SBA Supervised Lender examinations is contained
in SBA Supervised Lender Safety and Soundness Examination/Full Review
Information Request. This document is available upon request.
---------------------------------------------------------------------------
\7\ SBA Supervised Lenders are a relatively small subset of 7(a)
Lenders. 7(a) Lenders include SBA Supervised Lenders and Federally
Regulated 7(a) Lenders (i.e., those lenders regulated by the federal
bank regulators--Federal Deposit Insurance Corporation, the Office
of the Comptroller of the Currency, the Federal Reserve Board, the
National Credit Union Administration, and the Farm Credit
Administration).
---------------------------------------------------------------------------
C. CDC Supplemental Information
SBA is also the primary federal regulator for CDCs. SBA guarantees
100% of 504 program debentures. Therefore, SBA also requests additional
information to prudently oversee CDCs, as it does for SBA Supervised
Lenders. The additional information generally requested includes
corporate governance documents and information on lender's financial
condition, internal controls and risk mitigation practices, and the
CDC's plan for investment in other local economic development. In
addition, SBA requests, as applicable, information on a CDC's Premier
Certified Lenders Program (PCLP) Loan Loss Reserve Account and loans
that a CDC packages for other 7(a) lenders. You may request a copy of
the CDC SMART Analytical Review Information Request and CDC SMART Full
Review Information Request for more details on this supplemental
information request.
I. 7(a) Lender and CDC Delegated Authority Reviews
SBA collects information for Delegated Authority Reviews performed,
in general, every two years for lenders applying or reapplying to SBA's
Delegated Authority Programs (e.g., Preferred Lender Program for 7(a)
Lenders and Accredited Lender Program or PCLP for CDCs).\8\ If a lender
is scheduled to receive an Analytical or Full Review or a Safety and
Soundness Examination during the same review cycle as a Delegated
Authority Review, generally SBA will coordinate the timing of the
reviews and the related information collections to lessen the burden.
---------------------------------------------------------------------------
\8\ Through SBA's Delegated Authority programs, qualified
lenders may process SBA loans with further autonomy and reduced
paperwork than through regular SBA loan processing.
---------------------------------------------------------------------------
For 7(a) delegated authority reviews, SBA requests information on
organizational changes, staff training and experience, lender
explanation for risk indicators triggered, lender risk mitigation
efforts, lender's financial condition, lender's deficiencies underlying
regulatory orders (if applicable and as appropriate), and loan sample
files (as requested).
For CDC delegated authority reviews, SBA requests corporate
governance documents and additional information on organization/staff,
financial condition, internal controls and risk mitigation. SBA also
requests a CDC's policies including its no-adverse-change
determination, loan reviews, and lender explanation for its higher risk
metrics.
For more detail on Delegated Authority Review collections, you may
request a copy of the 7(a) Lender Nomination for Delegated Authority
Information Request; and, the ALP/PCLP Renewal Guide and Information
Request.
II. Microloan Intermediary Reviews
For Microloan Program Intermediary oversight, SBA District Offices
perform an annual site visit for active Intermediaries. SBA requests
information on SBA program management and operations including
organizational chart with responsibilities, business plan, staff
training on SBA lending, and risk mitigation practices. SBA primarily
reviews the Intermediary's credit administration through a loan sample
file request. Specifics on the information collected are contained in
SBA's Microloan Intermediary Site Visit/Review Information Request
document, a copy of which is available upon request.
III. Other Reviews, Corrective Action Plans, and Increased Supervision
for 7(a) Lenders, CDCs, and Intermediaries
SBA may pose additional information requests for its Other
Reviews,\9\ generally of higher risk lenders. For example, for 7(a)
lenders under a public regulatory order or agreement, SBA may request
information relating to the status of the underlying deficiencies, as
appropriate, or request loan files for SBA to review to mitigate risk
before the loan can be sold into the secondary market. SBA may also
request corrective action plans from lenders following reviews where
findings and deficiencies are identified. Finally, SBA may request
additional information of lenders under increased supervision. However,
information requests for increased supervision tend to be lender
specific.
---------------------------------------------------------------------------
\9\ Other Reviews may include, for example, Secondary Market
loan reviews, reviews of lender self-assessments, or Agreed Upon
Procedures Reviews performed by third-party practitioners or an
independent office within the Lender to which SBA and the Lender
agree, that follow a review protocol as prescribed or approved by
SBA.
---------------------------------------------------------------------------
In general, for information that has already been provided by a
7(a) lender, a CDC, or a Microloan Intermediary but is unchanged, a
lender may certify that the information was already provided and is
unchanged in lieu of resubmitting the information. The certification
must also state to whom and on what date the information was provided
to SBA.
Summary of Information Collection:
Title: SBA Lender and Microloan Intermediary Reporting
Requirements.
OMB Control Number: 3245-0365.
Description of Respondents: SBA 7(A) Lenders, Certified Development
Companies, and Microloan Intermediary lenders.
Form Numbers: N/A.
Total Estimated Annual Responses: 1,861.
Total Estimated Annual Hour Burden: 14,573.
Solicitation of Public Comments: SBA requests comments on the
information described above, specifically on (a) whether the collection
of information is necessary for the agency to properly perform its
functions; (b) whether the burden estimates are accurate; (c) whether
there are ways to minimize the burden, including through the use of
automated techniques or other forms of information technology; and (d)
whether there are ways to enhance the quality, utility, and clarity of
the information.
Curtis Rich,
Management Analyst.
[FR Doc. 2018-13956 Filed 6-28-18; 8:45 am]
BILLING CODE 8025-01-P