This report, the fourth in Pew’s Payday Lending in America series, examines Internet-based payday loans and finds that lender practices often have serious detrimental effects on consumers. Online payday loans are more expensive than those offered through stores and are designed to promote renewals and long-term indebtedness, and they frequently result in unauthorized withdrawals, disclosure of personal information, threats against borrowers, and consumer complaints. This report reiterates Pew’s recommendations that the Consumer Financial Protection Bureau adopt strong, clear regulatory guidelines that will make the entire small-dollar loan market, including online payday loans, safer and more transparent.
Pew’s Payday Lending in America report series has documented structural problems with payday loans, showing that they fail to work as advertised. They are packaged as two-week, flat-fee products but in reality have unaffordable lump-sum repayment requirements that leave borrowers in debt for an average of five months per year, causing them to spend $520 on interest for $375 in credit. This result is inherent in lump-sum repayment loans, whether from a store, website, or bank.
This latest report focuses on issues that are particularly problematic in the online payday loan market, including consumer harassment, threats, dissemination of personal information, fraud, unauthorized accessing of checking accounts, and automated payments that do not reduce loan principal. Recent news coverage has detailed these problems anecdotally, but this study is the first formal analysis of online lending practices to use surveys and focus groups, consumer complaints, company filings, and information about lenders’ spending on advertising and prospective borrower leads.
Many of the problems that borrowers report violate the best practices of the Online Lenders Alliance, the trade association and self-policing organization for these lenders.1 Although the overall findings indicate widespread problems, abusive practices are not universal. Some large online lenders are the subject of very few complaints and are urging a crackdown on companies that mistreat customers. Aggressive and illegal actions are concentrated among the approximately 70 percent of lenders that are not licensed by all the states where they lend and among fraudulent debt collectors.2
Some states have pursued action against online lenders for making loans to residents without obtaining state licenses or for other conduct that violates state laws. But state-level enforcement is often difficult, because the lenders may be incorporated in other states or offshore, or they may claim immunity based on an affiliation with Native American tribes. Intervention by federal regulators, including the Consumer Financial Protection Bureau and the Federal Trade Commission, has helped address some of the most serious concerns.3 But this intervention has not been sufficient to solve the problems that online borrowers experience. Only through strong, clear federal guidelines for the small-dollar lending market as a whole—ensuring that all loans are based on borrowers’ ability to repay and safeguarding their checking accounts—can these illegal practices be eliminated.
This report documents Pew’s findings regarding widespread fraud and abuse in the online lending market and examines strategies that state and federal regulators have used to address harmful and illegal practices. It also provides an overview of additional regulation, particularly at the federal level, that would protect consumers while ensuring ready and safe access to credit.
1 “Best Practices,” Online Lenders Alliance, accessed Feb. 25, 2014, http://www.onlinelendersalliance.org/?page=bestpractices.
2 A review of Better Business Bureau data indicates few complaints against some large companies. Further, the Federal Trade Commission has not cited some firms for engaging in the type of illegal practices documented in this report. The Online Lenders Alliance has also supported efforts to crack down on some of the worst online practices (“Online Lenders Alliance Applauds FTC’s Action Against Fraudulent Debt Collectors” (July 1, 2014), http://www.onlinelendersalliance.org/news/180304/Online-Lenders-Alliance-Applauds-FTC-Action-Against-Fraudulent-Debt-Collectors.htm; and “OLA Applauds FTC Ruling Against Payday Loan Bad Actors” (Aug. 1, 2013), http://www.onlinelendersalliance.org/news/134958/OLA-Applauds-FTC-Ruling-Against-Payday-Loan-Bad-Actors.htm). LendUp, on its website, also separates itself from bad actors, stating, “It’s important to distinguish between reputable payday lenders and those that are looking to sell your personal information or trap you in a cycle of debt.” (“How Do I Choose a Short-Term Lender Online?” (June 16, 2014), https://www.lendup.com/blog/author/Kirk%20Robinson,%20Customer%20Insights.html). John Hecht, “Online Consumer Lending Industry Review: An Industry of Growth, Innovation, and Transition,” Stephens Inc. (Oct. 14, 2013). Presentation on file at The Pew Charitable Trusts.
3 “U.S. District Judge Finds That FTC Can Sue Deceptive Payday Loan Business Regardless of American Indian Tribal Affiliation,” Federal Trade Commission, accessed March 19, 2014, http://www.ftc.gov/news-events/press-releases/2014/03/us-district-judge-finds-ftc-cansue-deceptive-payday-loan.
[i] “Best Practices,” Online Lenders Alliance, accessed Feb. 25, 2014, http://www.onlinelendersalliance.org/?page=bestpractices.
[ii] A review of Better Business Bureau data indicates few complaints against some large companies. Further, the Federal Trade Commission has not cited some firms for engaging in the type of illegal practices documented in this report. The Online Lenders Alliance has also supported efforts to crack down on some of the worst online practices (“Online Lenders Alliance Applauds FTC’s Action Against Fraudulent Debt Collectors” (July 1, 2014),http://www.onlinelendersalliance.org/news/180304/Online-Lenders-Alliance-Applauds-FTC-Action-Against-Fraudulent-Debt-Collectors.htm; and “OLA Applauds FTC Ruling Against Payday Loan Bad Actors” (Aug. 1, 2013), http://www.onlinelendersalliance.org/news/134958/OLA-Applauds-FTC-Ruling-Against-Payday-Loan-Bad-Actors.htm). LendUp, on its website, also separates itself from bad actors, stating, “It’s important to distinguish between reputable payday lenders and those that are looking to sell your personal information or trap you in a cycle of debt.” (“How Do I Choose a Short-Term Lender Online?” (June 16, 2014),https://www.lendup.com/blog/author/Kirk%20Robinson,%20Customer%20Insights.html). John Hecht, “Online Consumer Lending Industry Review: An Industry of Growth, Innovation, and Transition,” Stephens Inc. (Oct. 14, 2013). Presentation on file at The Pew Charitable Trusts.
[iii] “U.S. District Judge Finds That FTC Can Sue Deceptive Payday Loan Business Regardless of American Indian Tribal Affiliation,” Federal Trade Commission, accessed March 19, 2014, http://www.ftc.gov/news-events/press-releases/2014/03/us-district-judge-finds-ftc-cansue-deceptive-payday-loan.
[i] “Best Practices,” Online Lenders Alliance, accessed Feb. 25, 2014, http://www.onlinelendersalliance.org/?page=bestpractices.
[ii] A review of Better Business Bureau data indicates few complaints against some large companies. Further, the Federal Trade Commission has not cited some firms for engaging in the type of illegal practices documented in this report. The Online Lenders Alliance has also supported efforts to crack down on some of the worst online practices (“Online Lenders Alliance Applauds FTC’s Action Against Fraudulent Debt Collectors” (July 1, 2014),http://www.onlinelendersalliance.org/news/180304/Online-Lenders-Alliance-Applauds-FTC-Action-Against-Fraudulent-Debt-Collectors.htm; and “OLA Applauds FTC Ruling Against Payday Loan Bad Actors” (Aug. 1, 2013), http://www.onlinelendersalliance.org/news/134958/OLA-Applauds-FTC-Ruling-Against-Payday-Loan-Bad-Actors.htm). LendUp, on its website, also separates itself from bad actors, stating, “It’s important to distinguish between reputable payday lenders and those that are looking to sell your personal information or trap you in a cycle of debt.” (“How Do I Choose a Short-Term Lender Online?” (June 16, 2014),https://www.lendup.com/blog/author/Kirk%20Robinson,%20Customer%20Insights.html). John Hecht, “Online Consumer Lending Industry Review: An Industry of Growth, Innovation, and Transition,” Stephens Inc. (Oct. 14, 2013). Presentation on file at The Pew Charitable Trusts.
[iii] “U.S. District Judge Finds That FTC Can Sue Deceptive Payday Loan Business Regardless of American Indian Tribal Affiliation,” Federal Trade Commission, accessed March 19, 2014, http://www.ftc.gov/news-events/press-releases/2014/03/us-district-judge-finds-ftc-cansue-deceptive-payday-loan.