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By: Tracy Bremmer It’s not really all about the credit score. Now don’t get me wrong, a credit score is a very important tool used in credit decision making; however there’s so much more that lenders use to say “accept” or “decline.” Many lenders segment their customer/prospect base prior to ever using the score. They use credit-related attributes such as, “has this consumer had a bankruptcy in the last two years?” or “do they have an existing mortgage account?” to segment out consumers into risk-tier buckets. Lenders also evaluate information from the application such as income or number of years at current residence. These types of application attributes help the lender gain insight that is not typically evaluated in the traditional risk score. For lenders who already have a relationship with a customer, they will look at their existing relationships with that customer prior to making a decision. They’ll look at things like payment history and current product mix to better understand who best to cross-sell, up-sell, or in today’s economy, down-sell. In addition, many lenders will run the applicant through some type of fraud database to ensure the person really is who they say they are. I like to think of the score as the center of the decision, with all of these other metrics as necessary inputs to the entire decision process. It is like going out for an ice cream sundae and starting with the vanilla and needing all the mix-ins to make it complete.

— By Kari Michel What is your credit risk score? Is it 300, 700, 900 or something in between? In order to understand what it means, you need to know which score you are referencing. Lenders use many different scoring models to determine who qualifies for a loan and at what interest rate. For example, Experian has developed many scores, such as VantageScore®. Think of VantageScore® as just one of many credit scores available in the marketplace. While all credit risk models have the same purpose, to use credit information to assess risk, each credit model is unique in that each one has its own proprietary formula that combines and calculates various credit information from your credit report. Even if lenders used the same credit risk score, the interpretation of risk depends on the lender, and their lending policies and criteria may vary. Additionally, each credit risk model has its own score range as well. While the score range may be relatively similar to another score range, the meaning of the score may not necessarily be the same. For example, a 640 in one score may not mean the same thing or have the same credit risk as a 640 for another score. It is also possible for two different scores to represent the same level of risk. If you have a good credit score with one lender, you will likely have a good score with other lenders, even if the number is different.

As I've suggested in previous postings, we've certainly expected more clarifying language from the Red Flags Rule drafting agencies. Well, here is some pretty good information in the form of another FAQ document created by the Board of Governors of the Federal Reserve System (FRB), Federal Deposit Insurance Corporation (FDIC), National Credit Union Administration (NCUA), Office of the Comptroller of the Currency (OCC), Office of Thrift Supervision (OTS), and Federal Trade Commission (FTC). This is a great step forward in responding to many of the same Red Flag guidelines questions that we get from our clients, and I hope it's not the last one we see. You can access the document via any of the agency website, but for quick reference, here is the FDIC version: http://www.fdic.gov/news/news/press/2009/pr09088.html
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typesetting, remaining essentially unchanged. It was popularised in the 1960s with the release of Letraset sheets containing Lorem Ipsum passages, and more recently with desktop publishing software like Aldus PageMaker including versions of Lorem Ipsum.


