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Noting Paper 292 - Approach to developing Data Standards for the Non-Bank Lending Sector #292
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The Noting Paper has been attached to the opening comment. |
Initial comment would be whether there is some renaming/rewording required for the data cluster language? For instance the ecosystem currently has |
Some early thoughts & comments; no doubt we will have more as detail is released. As we add new sectors, I hope we have learnt some lessons from implementing the Banking sector. One issue for us concerns business consumers giving consent, specifically secondary users. Like Banking, there are many use cases for CDR data for businesses due to their compliance requirements (at a minimum BAS, financial accounts, audits, tax returns, etc.). Businesses will benefit from collecting data from the NBL sector. There could even be a few new considerations in NBL; consider an employee who 'owns' a motor vehicle lease needing to allow their employer access to the CDR data, as the employer has compliance requirements (FBT, GST) concerning the salary-sacrificing arrangements. Other issues around the current definition of an eligible consumer are, what if some NBL providers do not offer an online experience? Does this mean all their customers are not eligible, so the NBL has no requirement to share CDR data? We also wish to ensure some precise specifications and definitions of terms; for example, a transaction or 'repayment' is a contractual requirement but may include multiple components: for example, repayment (capital & interest), fees (one or more), taxes, insurance and maybe more. So when the getTransaction call is returned, are ADRs (consumers) merely receiving the total repayment value or a transaction for each component? (kind of like a standard loan/mortgage product with an ADI) The worst case would be to receive no transactions and only receive a change in balance, as we fear some providers may only consider a loan product a schedule of repayments. |
Thanks for your comments. Business consumers giving consent Individual consumer accounts may have secondary users with certain privileges on the account (such as a secondary cardholder) that may be given permission to share data in their own capacity, by an account owner. Non-individuals do not have secondary users designated on accounts, rather the business itself is the consumer, and the business may specify nominated representatives of the business to share data on its behalf (commonly, the employees). The question for your scenario would then be; which party is the eligible consumer in relation to the Data Holder for the relevant lease. If you are able to provide further detail, or examples of different 'consumer' and 'owner' arrangements with respect to leases and leased items, and the particular data access that each may be interested in, or require, that may be helpful in understanding any further complexity or opportunity for NBL. NBL providers not offering an online experience If the Data Holder did not have an online service, they may not be obliged to offer data sharing at that time. If you are aware of NBL providers that may be above the proposed de minimis threshold and only offer an offline experience, further details may again be useful for analysis. You can provide further details directly to Treasury using the details provided in this issue - Design Paper: Consumer Data Right Rules and Standards for the Non-Bank Lending Sector #278 Specifications and definitions of terms
The actual level of detail available to the ADR (consumer) may depend on what Data Holders are able to provide according to their respective systems, while still remaining compliant and providing a positive consumer experience. |
In my opinion, the name "Non-Bank Lenders" accurately conveys that these institutions perform similar functions to banks but are not banks themselves. Therefore, any constraints regarding their integration into the existing schema would involve ensuring their products fit within the framework already established for banking products. While I acknowledge Stuart's concern about the potential confusion caused by the use of the term "bank" in the name "bank account," I believe it is a reasonable compromise that avoids the need to create an entirely new schema, which would unnecessarily complicate the process. When considering the use cases for non-bank lenders as data holders, they are essentially identical to those for accessing banking data. As a result, adding further complexity to the schema is not necessary. |
I'm certainly not trying to be difficult here simply highlighting it as a potential issue. I'd actually lean towards simply changing it to "Basic Account Data" for everyone and moving forward. The challenge with the word
It seems like a really long way around to somehow get APRA to declare consent to use the term in the context of the CDR but 🤷 maybe the government folk will perhaps think otherwise. |
The CBA supports the DSB's proposed approach regarding the Standards to apply to the non-bank lending sector, and we agree that they should be aligned with banking. |
Thanks to those who provided feedback. The feedback period is now closed, and responses will be reviewed and considered as part of the draft standards development process. |
Thank you Stu. I want you to know that your comments in this regard have been heard. For the time being the architects will continue with the previously established nomenclature but legal advice will be sought on this, amongst the other legal advice we seek for the Chair. Regardless of the outcome of the advice, I hope to have addressed the point you raised by no later than the end of this calendar year in order to provide clarity and certainty to our community. Regards, |
This Noting Paper outlines the approach and assumptions that will be used to guide the development of the standards for the Non-Bank Lending sector.
The noting paper is attached below:
Noting Paper 292 - Approach to developing Data Standards for the Non-Bank Lending Sector.pdf
While this is not a formal consultation and will not lead to any change to the Consumer Data Standards feedback from the community is still welcome as it will help guide how the consultations for this sector progress.
This noting paper will be open for feedback until the 24th of March.
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