Contents
                    
                      Chair's foreword
                          Membership of the Committee
                          Committee secretariat
                          Terms of reference
                          List of abbreviations
                          List of recommendations
                        
                          Chapter 1 Introduction
                          Chapter 2 Housing lending in Australia
                          Chapter 3 Mortgage defaults and repossessions
                          Chapter 4 Causes of mortgage defaults and repossessions
                          Chapter 5 Credit regulation and consuper protection protection for borrowers
                          Chapter 6 Lending standards, the financial system and the economy
                          Appendix A – Submissions 
                          Appendix B – Exhibits 
                          Appendix C – Roundtable participants
                      
                    
                    
                    Chair's foreword
                    There have been significant changes  to the practices in, and the structure of, the housing lending market over the  past decade. A large number of new lenders have entered the market, generating  intense competition with established lenders like banks and credit unions. At the  same time, all lenders have made less use of traditional lending standards. Most  lenders are now willing to lend to borrowers with little or no deposit. Lenders  are also willing to permit debt servicing ratios well above the levels  previously allowed.
                      
The committee undertook this inquiry  with a view to examining exactly how lending practices have changed, and what  effect the changes have had. The committee also undertook to examine the  mechanisms in place to ensure borrowers are treated appropriately, with a  particular focus on borrowers facing financial hardship. The committee received  27 submissions and held a roundtable public hearing with 30 key industry  stakeholders. This format allowed the committee to gather evidence within a  short time frame.
                    The changes in the lending market have generally  allowed more households to take on more debt. This has, of course, been  supported by strong domestic and global economic conditions, which have  markedly increased households’ ability to service debt. Some people have argued  that the new lending practices have resulted in widespread irresponsible  lending. The data do not support this assertion. While loan arrears rates have  increased in recent times, they remain low by international and historical  standards. Data on housing repossessions have also shown an increase recently,  but these data lack detail and are therefore an unreliable measure. In chapter  3 the committee recommends that the Australian Bureau of Statistics begin  collecting data in this area.
                    There are a range of reasons why a borrower  might face financial difficulty and be unable to pay their mortgage. Borrowers  may be faced with an unfortunate life event such as job loss or marital break  up, or may have overburdened themselves with debt due to a lack of financial literacy.  Most often it is not the lenders fault, but there are certainly cases where it  is. There are reportedly an increasing number of cases where lenders and/or  brokers are engaging in predatory behaviour aimed at taking advantage of vulnerable  borrowers.
                    
                    
The regulatory framework for  credit should offer consumers protection against inappropriate lending  practices, and should also provide guidance on lenders’ obligations to  borrowers who are facing financial hardship. Evidence to the inquiry suggested  that the current arrangements do not do either of these things as effectively  as they could. As such, reform is needed.
                      
                      The primary instrument for  regulating credit is the Uniform Consumer Credit Code (UCCC). The uniformity it  brings to credit regulation is certainly welcome, but the code itself has a  number of inadequacies. It is not easy to resolve these inadequacies because  the UCCC is a state-based code and is therefore difficult to amend. Another  concern with the current regulatory framework is that there are very few  controls on the conduct of mortgage brokers. Since around 2002 the states and  territories have been trying to come up with a national licensing regime, but it  is still not in place.
                      
                      The regulation of financial  products is generally a Commonwealth responsibility, except in relation to  credit. This division of powers was described during the roundtable as  ‘illogical’ and ‘arbitrary’. The committee agrees with these sentiments, and  therefore recommends that the Commonwealth assumes responsibility for credit  regulation.
 
                      
                      One aspect to Commonwealth  regulation would be to define credit as a financial product for the purposes of  the Corporations Act. This would require providers of credit products and  advice to hold an Australian Financial Services licence. Licensees are subject  to rules about quality of advice and disclosure, and are also required to  belong to an external dispute resolution (EDR) scheme. EDR schemes appear to be  an effective and low-cost mechanism for resolving consumer complaints, but the  schemes’ jurisdictional limits could be increased to enable more complaints to  be dealt with. The committee recommends that the Banking and Financial Services  Ombudsman increase the limit on cases it can consider to $500,000 and that this  amount be indexed annually. The committee also recommends that other schemes  consider the appropriateness of their own limits.
                      
                      The committee also examined the  effects of the changed lending market from the perspective of the financial  system and the macro-economy. By and large, the developments to date have caused  minimal concern.
 
                      
       On behalf of the committee I  would like to thank all of the groups that participated in this inquiry. I  would also like to thank the committee members for their hardworking and  bipartisan approach.
                    Hon Bruce Baird MP
                    
Chair
                    
                    Membership of the Committee
                    
                      
                         Chair   | 
                        Hon Bruce Baird MP  | 
                      
                      
                        Deputy Chair  | 
                        Ms     Sharon Bird MP  | 
                      
                      
                         Members   | 
                        Mr Steven Ciobo MP  | 
                      
                      
                            | 
                        Dr     Craig Emerson    MP  | 
                      
                      
                            | 
                        Ms     Sharon Grierson    MP  | 
                      
                      
                            | 
                        Mr Michael Keenan MP  | 
                      
                      
                        |   | 
                        Mr Stewart McArthur MP  | 
                      
                      
                        |   | 
                        Mr Patrick Secker MP  | 
                      
                      
                        |   | 
                        Hon Alex Somlyay MP  | 
                      
                      
                            | 
                        Mr Lindsay Tanner MP  | 
                      
                    
                    Committee Secretariat
                      
                         Secretary   | 
                        Mr Stephen Boyd  | 
                      
                      
                         Inquiry Secretary   | 
                        Mr Andrew McGowan  | 
                      
                      
                        | Adviser | 
                        Mr John Hawkins  | 
                      
                      
                        | Administrative Officer  | 
                        Ms Frances Wilson | 
                      
                      
                        |   | 
                        Ms Natasha Petrovic | 
                      
                    
                    
                    Terms of Reference
                    The committee,  under its power to inquire into and report on the annual reports of government  agencies, resolved to examine home loan lending practices and the processes  used to deal with people in financial difficulty. 
                      
The annual reports  used to initiate this inquiry were those of the Reserve Bank of Australia and  the Australian Prudential Regulation Authority.
                    
                        
                        List of abbreviations 
                    
                      
                        ABA  | 
                        Australian Bankers’ Association  | 
                      
                      
                        AFS    Licence  | 
                        Australian Financial Services    Licence  | 
                      
                      
                        APRA  | 
                        Australian Prudential Regulation    Authority  | 
                      
                      
                        ASIC  | 
                        Australian Securities and Investments    Commission   | 
                      
                      
                        ADI  | 
                        Authorised Deposit-Taking    Institutions    | 
                      
                      
                        BIS  | 
                        Bank of International Settlements  | 
                      
                      
                        BFSO  | 
                        Banking Financial Services    Ombudsman  | 
                      
                      
                        CCMC  | 
                        Code Compliance Monitoring Committee  | 
                      
                      
                        CBP  | 
                        Code of Banking Practice  | 
                      
                      
                        COSL  | 
                        Credit Ombudsman Service Limited   | 
                      
                      
                        EDR  | 
                        External Dispute Resolution   | 
                      
                      
                        FSU  | 
                        Finance Sector Union  | 
                      
                      
                        FSR  | 
                        Financial Services Reform  | 
                      
                      
                        GDP  | 
                        Gross Domestic Product  | 
                      
                      
                        HBOS  | 
                        Halifax Bank of Scotland  | 
                      
                      
                        LVR  | 
                        Loan-to-Valuation Ratio  | 
                      
                      
                        MFAA  | 
                        Mortgage and Finance Association    of Australia  | 
                      
                      
                        RBA  | 
                        Reserve Bank of Australia  | 
                      
                      
                        UCCC  | 
                        Uniform Consumer Credit Code  | 
                      
                    
                    
                    List of recommendations 
                    Mortgage defaults and repossessions
                   Data on repossessions
                      A consistent theme in submissions and at the  roundtable was the need to get better information on housing repossessions. The  committee believes this should occur so that public debate on housing lending  can be better informed. The most obvious agency to collect national data would  be the Australian Bureau of Statistics. Sources of the data could include  lenders and state and territory supreme courts.
 
Recommendation 1
                        
  The committee  recommends that the Australian Bureau of Statistics begin collecting and  publishing annual data on housing repossessions. The data should be  disaggregated to include, as a minimum, breakdowns by loan type, lender type,  primary cause, and location (local government area or postcode).
 
       Credit  regulation and consumer protection for borrowers
                   Commonwealth  regulation of credit
                      In summary, the committee is of the view that a new  approach to credit regulation is needed. It will not only assist in reducing  the number of predatory lenders and brokers, it will also harmonise regulation  within the financial system, and make credit regulation more readily adaptable  to future changes in the market.
  
    Recommendation 2
                        The committee  recommends that the Commonwealth Government regulate credit products and  advice. This includes the regulation of mortgage brokers and non-bank lenders.
 
                   EDR  scheme limits
                      EDR schemes appear to be an effective and low-cost  mechanism for resolving consumer complaints. The schemes’ jurisdictional limits  could be increased to enable more complaints to be dealt with. This is  particularly relevant for the Banking and Financial Services Ombudsman (BFSO) because  it often deals with complaints where loans have been guaranteed by property. In  this type of complaint the amount in dispute can be the entire value of the  guaranteed property, which would invariably be higher than the BFSO limit of  $280,000.
  
Recommendation 3
                        The committee  recommends that:
  - The board of the Banking and Financial Services  Ombudsman increase its jurisdictional limit to $500,000.This limit should be  indexed annually; and
 
  - Other external dispute resolution schemes consider the  appropriateness of their limits.
 
 
                    
        
    
    
    
	
	    
             
       
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